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Mainstreaming energy efficiency finance LC-SC3-EE-10-2018-2019-2020 CSA Coordination and support action


What is it about?

Energy efficiency is not yet considered as an attractive investment by the financial sector which limits the possibility to use external private finance on top of equity of project owners and available public funding. The lack of statistical data on the actual energy and costs savings achieved by energy efficiency investment projects, as well as on payment default rates, results in financial institutions attributing high-risk premiums to energy efficiency investments.

Energy efficiency represents high transaction costs for rather small investments, which is not financially very attractive. Technical and legal standardisation is highly needed at all steps of the investment value chain in order to simplify transactions and increase the confidence of financial institutions. The lack of standardisation of projects also prevents securitisation of energy efficiency assets (loans or equity) so that financial institutions are not able to refinance their debt on the capital markets.

Whereas energy efficiency investments are usually expected to be paid back exclusively through the reduction of the energy bill, there is increasing evidence that non-energy benefits play a key role in the decision to invest in energy efficiency. This includes for instance increased building value, lower tenant turnover or vacancy rates etc. This includes, for instance, increased building value, lower tenant turnover or vacancy rates, etc. and increasing the number of tenants in long-term tenancy agreements rather than short term ones These benefits need to be quantified through data collection and monetised in order to evolve the parameters used by financiers to assess an energy efficiency investment.


Proposals should address at least one of the following issues:

  • Development, demonstration and promotion of frameworks for the standardisation and benchmarking of sustainable energy investments. This could include for example, but not exclusively, labelling schemes, project rating methodologies and risk assessment tools, standardised legal and financial structures of assets (loans, guarantees, energy performance contracts etc.) in order to develop securitisation for energy efficiency based financial products. Proposals integrated in a broader approach such as socially responsible investment should focus on the energy component;
  • Capacity building for banks and investors at the national and local level, in particular on underwriting sustainable energy investments;

Gathering, processing and disclosing large-scale data on actual financial performance of energy efficiency investments, in order to create a track record for energy efficiency in different sectors (buildings, industry, transport, etc.) Proposals should build upon or complement the work of the Energy Efficiency Financial Institutions Group (EEFIG) e.g. the De-risking Energy Efficiency Platform;

Further integration of non-energy benefits in project valuation, in particular in the building sector, leading to evolution of existing financial products or creation of new targeted products;

Targeting institutional investors (e.g. public pension schemes) in order to increase the share of their funds invested in energy efficiency, or to develop specific funds or investment products. Supporting the integration of energy efficiency in portfolio management strategies for institutional investors and/or fund managers, including through re-definition of fiduciary duties;

Exploring the impact of revised risk ratings and requirements for energy efficiency on financial regulations (Basel III, Solvency II).

The Commission considers that proposals requesting a contribution from the EU of between EUR 1 million and EUR 1.5 million would allow this specific challenge to be addressed appropriately. Nonetheless, this does not preclude submission and selection of proposals requesting other amounts.

Expected Impact:

Proposals are expected to demonstrate, depending on the scope addressed, the impacts listed below, using quantified indicators and targets wherever possible:

  • Frameworks, standardisation, benchmarking, standardised descriptions and data evidence of financial returns of energy efficiency investments agreed and accepted by the market;
  • Number of financial institutions and other stakeholders reached as well as their potential volume of investment concerned;
  • Primary energy savings triggered by the project (in GWh/year);
  • Higher allocation of institutional investments to energy efficiency; standardisation of assets enabling securitisation; development of a secondary market for energy efficiency assets (in million Euro of investment within 5 years after the end of the project);
  • Investments in sustainable energy triggered by the project (million Euro).

In the same framework IED has already implemented several innovative projects which included innovative practices. If you are interested in applying for this call you could contact us and further discuss the available options.

Submission deadline:

  • 04 September 2018  17:00 (Brussels time)
  • 03 September   2019   17:00 (Brussels time)

Available Budget

The total budget available for the co-financing of projects under the present call described as follows:

  1. LC-SC3-EE-10-2018-2019-2020CSA Coordination and support action (2018): 6,000,000
  2. LC-SC3-EE-10-2018-2019-2020 – CSA Coordination and support action (2019):  6,000,000

Eligibility of the applicants

Legal entities established in the following countries and territories will be eligible to receive funding through Horizon 2020 grants:

  • The Member States (MS) of the European Union (EU), including their outermost regions;
  • The Overseas Countries and Territories (OCT) linked to the Member States
  • The associated countries (AC)

Taking into account the nature of the activity and with the objective to maximize the European Added Value and European market uptake through transnational collaboration (Transition towards Secure, Clean and Efficient Energy and the Energy Union project are cross-national policy initiatives and priorities aiming at trans-national solutions.), the following additional eligibility criteria apply for Coordination and Support Actions (CSA):

  1. at least three legal entities shall participate in an action;
  2. each of the three legal entities shall be established in a different Member State or Associated Country
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