Transposition of Consumer Rights
ERGEG Monitoring Report
Christina Veigl-Guthann, ERGEG Task Force Chair
2 First Citizens’ Energy Forum, London, 27 October 2008
Report on the transposition of consumer rights as defined in Annex A of the Electricity and Gas Directives of 2003
Requested by the European Commission
Report on consumer protection instruments in Member States Related to the provisions for strengthening the role of customers in the
Third Package A set of three best practices in relation to the supplier switching process,
price transparency and customer protection was published by ERGEG in July 2006. Two years later, it seems particularly relevant and highly valuable to try to review if Member States (MS) have put in place these different consumer protection instruments
Scope: household customers Report focused on household customers only, as Annex A of the Directives
applies at least to household customers – it is up to each MS to decide whether other customer groups should enjoy the same level of customer protection as set out in Annex A
Monitoring Report on Transposition of Consumer Rights
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Monitoring Report on Transposition of Consumer Rights
Methodology:
Based on the results of two questionnaires, one for electricity, one for gas
Questionnaires contained 46 closed questions
Questionnaires administered to the NRAs of EU Member States + Norway and Iceland
27 countries answered (exceptions: Malta and Bulgaria)
Responses are displayed with a focus on some countries’ individual characteristics, where deemed appropriate
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General Comments
There are many different ways to implement the consumer-related obligations at national level, depending on the retail market design and the level of maturity of the retail market.
The position of European electricity and gas customers is determined not only by European energy legislation but also by EU consumer legislation (e.g. on unfair contract terms and commercial practices), national contract law, national consumer protection law, etc.
The varying national situations are also shaped by the interpretation of existing European legislation – which is itself sometimes not entirely clear.
In many MS with open markets, end-user price regulation still exists
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Contractual Relationships – great variety
One contract (often with the supplier) or two contracts, in some countries both situations coexist, in some countries there are no written contracts (especially with the DSO)
Separate contracts for network and supply
12
6
10
0
2
4
6
8
10
12
14
electricity
one contract both situations coexist tw o contracts
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Bills
There is no correlation between having one or two contracts and receiving one or two bills
More than 50% of MS have one single bill, in the other countries both situations coexist, almost no country with a provision for having two bills
In 2/3 of MS without regulated prices, suppliers have the obligation to separate amounts for supply price and network charges on bill(s)
16
12
00
5
10
15
20
electricity
one bill both situations coexist tw o bills15
9
1
02
468
1012
1416
gas
one bill both situations coexist tw o bills
Separate bills for network and supply
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Transposition of Annex A Provisions (I)
High level of transposition for suppliers:
customers have to be informed of the most relevant aspects of the supply contract prior to signing it – Annex A (a)
Information to customer prior to signingelectricity
11
22
12
6
0
5
10
15
20
25
DSO supplier
YES NO
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Transposition of Annex A Provisions (II)
High level of transposition for suppliers:
Information on price changes and changes of general terms and conditions – Annex A (b)
Customers shall not be charged for switching – Annex A (e)
Universal service and information about these rights– Annex A (g)
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Transposition of Annex A Provisions (III)
Room for improvement
Transparency and comparability of offered prices and services – Annex A (c)
Dispute resolution mechanisms – Annex A (f)
Wide choice of payment methods – Annex A (d)
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Information
Price calculators:
In 16 MS for electricity, only in 8 MS for gas
In 9 out of 16 MS, price calculators are provided by NRAs
In 13 out of 16 MS, they are provided by private companies (often in addition to an “official” one)
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Information
Consumption and cost:
Requirements vary from once a month to every three years
Majority of MS: requirement to inform customers on an annual basis
actual customers’ experience may differ
Bills based on estimated consumption values
24
4
0
5
10
15
20
25
electricity
YES NO
Bills based on estimated consumption exist in almost all countries. However, we do not know how many customers are concerned and often NRAs do not have data on this
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Legal Minimum Frequency to Inform about Consumption
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Supplier Switching
In 1/3 of MS, customers have to be in contact with more than one market actor
There seems to be room for improvement to ensure customer confidence and convenience with switching suppliers
Data exchange when switching supplier
1920
15
0
5
10
15
20
electricity
standardized f ormat standardized content automated
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Support Systems
Alternative Dispute Resolution Board
Exists in about 2/3 of MS
9 NRAs are responsible for this board
responsible for alternative dispute settlement boardelectricity
9
3
5 5
0
2
4
6
8
10
regulator consumerorganisation
other public entity other
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Vulnerable Customers
40% of MS have a definition of vulnerable customers within the electricity and gas framework
50% of them offer a support system within the electricity market and 60% in gas
6 countries have a special regulated price for them
Nearly all MS have a general support system for vulnerable customers, i.e. social services
14
6
14
0
2
4
6
8
10
12
14
16
support system withinenergy system
if yes, regulated price
YES NO
16
6
9
0
2
4
6
8
10
12
14
16
18
support system withinenergy system
if yes, regulated price
YES NO
support system for vulnerables within energy system
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Other Findings
Information is key for customers to make their choices
Relevant information is often provided on the internet
In some countries this may be not sufficient, information campaigns or other information tools may be required
Market participants (suppliers & DSOs) play a key role in informing customers actively (through billing, companies’ marketing activities)
The bill is very relevant in customer communication
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Other Findings
Customers may be treated in different ways within one country if they are supplied with or without regulated end-user prices
- some legal provisions apply only for regulated but not for liberalised market
- price calculators can be found more often in countries without price regulation
Information about price changesenergy prices on the liberalised market
electricity
15 14
0
67 6
18
13
0
5
10
15
20
individuallyaddressed
bill customer newsletter other media
YES
NO
Information about price changesenergy prices on markets with end-user price regulation
electricity
1
11
0
911
2
12
3
02468
101214
individuallyaddressed
bill customer newsletter other media
YES
NO
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Next Steps
ERGEG’s priority for 2009 is to examine areas where further work (and what kind of work) is needed to work on consumer empowerment (also in line with the focus of the Citizens’ Energy Forum)
Complaint handling has been identified as an issue for 2009 (methods of complaint collecting, classification & reporting, plus recommendations on complaint handling)
A status review on the definition of vulnerable customers in MS is also envisaged for 2009
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Thank you for your attention.
For more information on ERGEG’s work on customer issues visit: www.energy-regulators.eu
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