Category: Environment

  • MIL-OSI: Diversified Closes Summit Natural Resources Acquisition and Tenth Asset Backed Securitization Issuance

    Source: GlobeNewswire (MIL-OSI)

    Bolt-on Acquisition Increases Coal Mine Methane Environmental Credit Cash Flow, Expands Midstream Infrastructure, and Enhances Southern Appalachia Prices

    Strategic Refinance Incorporates 40% Improvement in Cash Flow from New Hedges and an Innovative Master Trust Structure

    Solidifies Diversified as the Leading Issuer of Oil & Gas Securitizations

    BIRMINGHAM, Ala., Feb. 27, 2025 (GLOBE NEWSWIRE) — Diversified Energy Company PLC (LSE:DEC; NYSE:DEC) (“Diversified” or the “Company”) announces the close of its previously announced acquisition of operated natural gas properties and related midstream pipeline infrastructure located within Virginia, West Virginia, and Alabama (the “Assets”) from Summit Natural Resources (the “Seller”) (together with the assets, the “Acquisition”).

    Additionally, the Company closed on an asset backed securitization (“ABS”) refinancing, creating the ABS X note. Diversified will use the proceeds from the ABS transaction to consolidate and repay the outstanding principal of the previously issued ABS I, ABS II and Term Loan I, utilizing those assets plus additional Summit Natural Resources assets as collateral in the new structure. The ABS transaction will also benefit from an improved hedging profile, creating enhanced margins and cash flows. Additional proceeds from this refinancing will be used to reduce outstanding borrowings and for general corporate purposes.

    Acquisition Highlights

    • Acquisition net purchase price of ~$42 million
    • Current net production of ~12 MMcfepd (2 Mboepd)(a)
    • PDP Reserves of 65 Bcfe (11 MMBoe) with PV-10 of ~$55 million(b)
      • Purchase price equivalent of ~PV-16(b)
    • Estimated 2025 Adjusted EBITDA of ~$12 million(b)(c)
    • Existing Coal Mine Methane (“CMM”) volumes with opportunities to extend future production and additional environmental credits
    • Appalachian assets overlap existing operations providing synergies for increased cash margins
    • Strategic midstream pipeline assets facilitate capability to enhance commodity realizations
    • Recent improvements to commodity prices have further-enhanced the transaction economics

    ABS Issuance Highlights

    • $530 million ABS X note structured as a master trust
    • Strategic hedges expected to add ~40% ($38 million) to EBITDA(c) of refinanced assets
    • Significantly oversubscribed (6.5x) with orders from 20 unique investors, reflecting the cash flow quality of our assets and Diversified’s reputation as a responsible issuer
    • Investment grade rated notes with blended fixed coupon of approximately 6.4% in A tranche
    • Improved amortization expected to generate increased cash flows

    Sustainability-Linked

    Sustainable Fitch has again-provided a Second Party Opinion that the instrument’s Key Performance Indicators (the “KPIs”) align with the International Capital Markets Association (ICMA) framework for sustainability-linked bond principles, highlighting Diversified’s commitment to aligning its financing with the Company’s overall sustainability strategy.

    *ratings established by Fitch Ratings,Inc.

    Commenting on the Acquisition and ABS transaction, CEO Rusty Hutson, Jr. said:

    “We are excited to announce the completion of another acquisition of high-quality, bolt-on assets that are uniquely positioned to benefit from the operational expertise of our field teams, capture higher prices with exposure to premium Transco Zone 5 pricing, and are poised to provide additional revenues from the sale of incremental environmental credits with our growth in the production of coal mine methane. We continue to believe there is a sizeable backlog of organic Coal Mine Methane cash flow growth within our current Appalachian portfolio, and this acquisition highlights our ability to leverage existing capabilities, assets, and intellectual capital to grow this segment of our revenue stream.

    Brad Gray, CFO further commented:

    Supported by a growing base of loyal credit investors, we are now a seasoned programmatic issuer, and this ABS transaction achieved record demand with a significant amount of interest from a large group of new participants. This strategic refinance improves asset level cash flow with higher hedge prices and a more refined amortization schedule. Our increasing operational scale, track record of stable asset performance, and strength of our business enable us to attract reliable sources of capital and achieve a lower overall cost of capital. This outcome is a testament to how the financial markets value Diversified’s reliable production and consistent cash flows.”

    On the Securitization: Barclays Capital, Inc. acted as Sole Structuring Advisor and Placement Agent, Mizuho Securities USA LLC, KeyBanc Capital Markets Inc., and Legado Capital Advisors, LLC acted as Co-Placement Agents.

    Detring Energy Advisors acted as the sell side advisor to Summit Natural Resources.

    Footnotes:

    (a)   Current production based on estimated average daily production for January 2025; Estimate based on historical performance and engineered type curves for the Assets.
         
    (b)   Based on engineering reserves assumptions using historical cost assumptions and NYMEX strip as of October 28, 2024 for the twelve months ended December 31, 2025.
         
    (c)   Adjusted EBITDA is a Non-IFRS measure. As presented for the ABS transaction, represents the twelve months ended February 28, 2026. for more information, see “Use of Non-IFRS Measures”.
         

    For Company-specific items, refer also to the Glossary of Terms and/or Alternative Performance Measures found in the Company’s 2024 Interim Report dated June 30, 2024 and Form 20-F for the year ended December 31, 2023 filed with the United States Securities and Exchange Commission.

    For further information, please contact:

    Diversified Energy Company PLC +1 973 856 2757
    Doug Kris dkris@dgoc.com
    Senior Vice President, Investor Relations & Corporate Communications www.div.energy
       
    FTI Consulting dec@fticonsulting.com
    U.S. & UK Financial Public Relations  
       

    About Diversified Energy Company PLC

    Diversified is a leading publicly traded energy company focused on natural gas and liquids production, transport, marketing, and well retirement. Through our unique and differentiated strategy, we acquire existing, long-life assets and invest in them to improve environmental and operational performance until retiring those assets in a safe and environmentally secure manner. Recognized by ratings agencies and organizations for our sustainability leadership, this solutions-oriented, stewardship approach makes Diversified the Right Company at the Right Time to responsibly produce energy, deliver reliable free cash flow, and generate shareholder value.

    Forward-Looking Statements

    This announcement contains forward-looking statements (within the meaning of the U.S. Private Securities Litigation Reform Act of 1995). These forward-looking statements, which contain the words “anticipate”, “believe”, “intend”, “estimate”, “expect”, “may”, “will”, “seek”, “continue”, “aim”, “target”, “projected”, “plan”, “goal”, “achieve”, “opportunity” and words of similar meaning, reflect the Company’s beliefs and expectations and are based on numerous assumptions regarding the Company’s present and future business strategies and the environment the Company will operate in and are subject to risks and uncertainties that may cause actual results to differ materially. No representation is made that any of these statements or forecasts will come to pass or that any forecast results will be achieved. Expected benefits of the Acquisition and the ABS transaction, including the impact of the Acquisition and the ABS transaction on the company’s cash flows and cash margins, and the Company’s production of coal mine methane, may not be realized. Forward-looking statements involve inherent known and unknown risks, uncertainties and contingencies because they relate to events and depend on circumstances that may or may not occur in the future and may cause the actual results, performance or achievements of the Company to be materially different from those expressed or implied by such forward-looking statements. Many of these risks and uncertainties relate to factors that are beyond the Company’s ability to control or estimate precisely, including the risk factors described in the “Risk Factors” section in the Company’s Annual Report and Form 20-F for the year ended December 31, 2023 and the risk factors described in Exhibit 99.2 to the Company’s Form 6-K furnished with the SEC on January 27, 2025, in each case filed with the United States Securities and Exchange Commission. Forward-looking statements speak only as of their date and neither the Company nor any of its directors, officers, employees, agents, affiliates or advisers expressly disclaim any obligation to supplement, amend, update or revise any of the forward-looking statements made herein, except where it would be required to do so under applicable law. As a result, you are cautioned not to place undue reliance on such forward-looking statements.

    Use of Non-IFRS Measures

    Certain key operating metrics that are not defined under IFRS (alternative performance measures) are included in this announcement. These non-IFRS measures are used by us to monitor the underlying business performance of the Company from period to period and to facilitate comparison with our peers. Since not all companies calculate these or other non-IFRS metrics in the same way, the manner in which we have chosen to calculate the non-IFRS metrics presented herein may not be compatible with similarly defined terms used by other companies. The non-IFRS metrics should not be considered in isolation of, or viewed as substitutes for, the financial information prepared in accordance with IFRS. Certain of the key operating metrics are based on information derived from our regularly maintained records and accounting and operating systems.

    Adjusted EBITDA

    As used herein, EBITDA represents earnings before interest, taxes, depletion, depreciation and amortization. Adjusted EBITDA includes adjusting for items that are not comparable period-over-period, namely, accretion of asset retirement obligation, other (income) expense, loss on joint and working interest owners receivable, (gain) loss on bargain purchases, (gain) loss on fair value adjustments of unsettled financial instruments, (gain) loss on natural gas and oil property and equipment, costs associated with acquisitions, other adjusting costs, non-cash equity compensation, (gain) loss on foreign currency hedge, net (gain) loss on interest rate swaps and items of a similar nature.

    EBITDA and Adjusted EBITDA should not be considered in isolation or as a substitute for operating profit or loss, net income or loss, or cash flows provided by operating, investing, and financing activities. However, we believe such measures are is useful to an investor in evaluating our financial performance because they (1) are widely used by investors in the natural gas and oil industry as an indicator of underlying business performance; (2) help investors to more meaningfully evaluate and compare the results of our operations from period to period by removing the often-volatile revenue impact of changes in the fair value of derivative instruments prior to settlement; (3) with respect to Adjusted EBITDA, is used in the calculation of a key metric in one of our Credit Facility financial covenants; and (4) are used by us as a performance measure in determining executive compensation. We are unable to provide a quantitative reconciliation of forward-looking EBITDA and Adjusted EBITDA to the most directly comparable forward-looking IFRS measures because the items necessary to estimate such forward-looking IFRS measures are not accessible or estimable at this time without unreasonable efforts. The reconciling items in future periods could be significant.

    PV-10

    PV-10 is a non-IFRS financial measure and generally differs from Standardized Measure, the most directly comparable IFRS measure, because it does not include the effects of income taxes on future net cash flows. While the Standardized Measure is free cash dependent on the unique tax situation of each company, PV-10 is based on a pricing methodology and discount factors that are consistent for all companies. In this announcement, PV-10 is calculated using NYMEX pricing. It is not practicable to reconcile PV-10 using NYMEX pricing to standardized measure in accordance with IFRS at this time. Investors should be cautioned that neither PV-10 nor the Standardized Measure represents an estimate of the fair market value of proved reserves.

    The MIL Network

  • MIL-OSI USA: Sens. Markey, Padilla, Warnock Lead Colleagues in Demanding Answers About EPA Clean School Bus Program Funds Freeze

    US Senate News:

    Source: United States Senator for Massachusetts Ed Markey

    Letter Text (PDF)

    Washington (February 27, 2025) – Senators Edward J. Markey (D-Mass.), Alex Padilla (D-Calif.), and Raphael Warnock (D-Ga.) led a letter with fifteen colleagues to Environmental Protection Agency (EPA) Administrator Lee Zeldin today, requesting information about the status of the distribution of Clean School Bus program funding to recipients with signed agreements and urging the EPA to immediately release any withheld funding.

    In the letter, the lawmakers write, “To provide these health and cost savings benefits to our children and continue supporting the boom in electric bus manufacturing that is creating good-paying jobs across the country, the EPA must implement the Clean School Bus program as Congress directed. Following your confirmation hearing, you committed to the continued implementation of this program when you responded: ‘I commit to following the law. I cannot prejudge the outcome of any particular policy review.’ Recognizing that Congress authorizes and appropriates federal funding—and explicitly established the Clean School Bus program through a bipartisan vote— it is your duty to implement the program and ensure program awardees have confidence in working with the EPA and are receiving funding.”

    The letter is signed by Senators Jeff Merkley (D-Ore.), Jon Ossoff (D-Ga.), Ron Wyden (D-Ore.), Mazie Hirono (D-Hawaii), Jeanne Shaheen (D-N.H), Gary Peters (D-Mich.), Bernie Sanders (I-Vt.), Catherine Cortez Masto (D-Nev.), Patty Murray (D-Wash.), Michael Bennet (D-Colo.), Mark Warner (D-Va.), Cory Booker (D-N.J.), Elizabeth Warren (D-Mass.), Richard Blumenthal (D-Conn.), and Sheldon Whitehouse (D-R.I.).

    The lawmakers request the following information by March 6, 2025:

    1. For both rebates and grants under the Clean School Bus program, what is the status of the disbursement of already obligated funds to recipients?
    1. On what legal basis did the EPA end its disbursement of already obligated funds for the program? Please identify the authority under which the EPA cut off funding.
    1. If the disbursement of any obligated Clean School Bus Program grants and rebates currently remains frozen for any awardees, when will it resume? If you cannot provide a date, please explain why, including the legal basis for not resuming disbursements and an explanation of the EPA’s grant and rebate-review process.
    1. Will you commit to following the law by obligating the remaining Clean School Bus program grants and rebates that have yet to be awarded, or that have been awarded but not yet disbursed, through FY2026?

    MIL OSI USA News

  • MIL-OSI: Sunrun Reports Fourth Quarter and Full Year 2024 Financial Results

    Source: GlobeNewswire (MIL-OSI)

    Cash Generation of $34 million in Q4 after safe harbor equipment purchases, third consecutive quarter of positive Cash Generation

    Paid down $132 million of recourse debt in Q4 with excess cash

    Cash Generation guidance of $200 million to $500 million in 2025

    Cash Generation guidance of $40 to $50 million in Q1

    Net Earning Assets increased to $6.8 billion, including $947 million of Total Cash

    Storage Capacity Installed of 392 Megawatt hours in Q4, exceeding high-end of guidance range and representing 78% year-over-year growth, as storage attachment rates reach 62%

    Solar Energy Capacity Installed of 242 Megawatts in Q4, within the guidance range, reaching 7.5 Gigawatts of Networked Solar Energy Capacity

    SAN FRANCISCO, Feb. 27, 2025 (GLOBE NEWSWIRE) — Sunrun (Nasdaq: RUN), the nation’s leading provider of clean energy as a subscription service, today announced financial results for the fourth quarter and full year ended December 31, 2024.

    “We are growing, generating meaningful cash, increasing our book value of deployed systems, and paying down debt. We are poised to further improve our operating and financial results, and deliver a very strong 2025 with meaningful Cash Generation. Our actions to optimize our product mix, prioritize the highest value geographies and routes to market and an intense focus on cost as we grow have resulted in the highest Net Subscriber Values Sunrun has ever reported,” said Mary Powell, Sunrun’s Chief Executive Officer. “We are improving in every dimension we control – focusing on fast, effective execution, delivering strong financial and operating results, gaining share in a disciplined way, while building a long-term foundation of valuable grid resources.”

    “In the fourth quarter, we again set new margin records and delivered the third consecutive quarter of Cash Generation. We continue to execute well in the capital markets, raising more than $4 billion in asset-level debt and tax equity financing during 2024, and more than $800 million in non-recourse debt financing year-to-date. We have extended our runway of tax equity commitments and term sheets, including $1.3 billion added year-to-date,” said Danny Abajian, Sunrun’s Chief Financial Officer. “We have a strong balance sheet with no near-term corporate debt maturities and have paid down recourse parent debt by $186 million since March, including a $132 million paydown using excess cash in Q4. As we increase our Cash Generation, we will continue to further pay down parent recourse debt and are committed to a capital allocation strategy beyond this initial de-leveraging period that drives significant shareholder value.”

    Fourth Quarter Updates

    • Storage Attachment Rates Reach 62%: Customer Additions with storage grew more than 50% during the quarter compared to the prior-year period. Storage attachment rates on installations reached 62% in Q4, up from 45% in the prior-year period, with 392 Megawatt hours installed during the quarter. Sunrun has installed more than 156,000 solar and storage systems, representing over 2.5 Gigawatt hours of stored energy capacity.
    • Continued Strong Capital Markets Execution: In January 2025, Sunrun priced a $629 million securitization of residential solar and battery systems. The securitization is Sunrun’s thirteenth securitization since 2015 and first issuance in 2025. The oversubscribed transaction was structured with three separate classes of A rated notes, only two of which were publicly offered. The weighted average spread of the notes was 197 basis points, which was an improvement of approximately 38 basis points from our prior securitization in September. Similar to prior transactions, Sunrun raised additional capital in a subordinated non-recourse financing, which increased the cumulative advance rate to above 80% as measured against the initial Contracted Subscriber Value of the portfolio.
    • Paying Down Recourse Debt: We continue to pay down parent recourse debt. During the fourth quarter, we repurchased $125.5 million in principal of our 2026 Convertible Notes. As of December 31, 2024 we had only $7.7 million outstanding of these notes, which we may repurchase in 2025. Since March 31, 2024 we have paid down recourse debt by $186 million, by repurchasing our 2026 Convertible Notes and reducing borrowings under our recourse Working Capital Facility. We have also increased our Total Cash balance by $164 million and grown Net Earning Assets by $1.5 billion. We expect to further pay down our recourse debt in 2025 by $100 million or more. Aside from the $7.7 million outstanding of our 2026 Convertible Notes, we have no recourse debt maturities until March 2027. Over time we will explore further capital allocation options to maximize shareholder value, based on market conditions and our long-term outlook.
    • Improving Grid Stability with Virtual Power Plants: During 2024, Sunrun’s virtual power plants (VPPs) successfully supported power grids across the country with a combined instantaneous peak of nearly 80 megawatts—a capacity greater than many traditional fossil-fuel power plants. These innovative programs leveraged Sunrun’s fleet of residential solar and battery systems—the largest in America—empowering customers to generate, store, and share their own solar energy. In 2024, more than 20,000 Sunrun customers participated in 16 virtual power plant programs across nine states and territories. From California and Texas to Puerto Rico and New England, the customers’ batteries supplied on-demand, stored solar energy to augment power resources during hundreds of critical energy events.

    Key Operating Metrics

    In the fourth quarter of 2024, Customer Additions were 32,932 including 30,709 Subscriber Additions. As of December 31, 2024, Sunrun had 1,048,842 Customers, including 889,186 Subscribers. Customers grew 12% in the fourth quarter of 2024 compared to the fourth quarter of 2023.

    Annual Recurring Revenue from Subscribers was approximately $1.6 billion as of December 31, 2024. The Average Contract Life Remaining of Subscribers was 17.6 years as of December 31, 2024.

    Subscriber Value was $55,811 in the fourth quarter of 2024, a 11% increase compared to the fourth quarter of 2023. Creation Cost was $36,634 in the fourth quarter of 2024, a 1% decrease compared to the fourth quarter of 2023.

    Net Subscriber Value was $19,177 in the fourth quarter of 2024. Total Value Generated was $589 million in the fourth quarter of 2024. On a pro-forma basis assuming a 7.3% discount rate, consistent with capital costs observed in the quarter, Subscriber Value was $50,998 and Net Subscriber Value was $14,364 in the fourth quarter of 2024.

    Gross Earning Assets as of December 31, 2024, were $17.8 billion. Net Earning Assets were $6.8 billion, which included $947 million in Total Cash, as of December 31, 2024.

    Cash Generation was $34.2 million in the fourth quarter of 2024, the third consecutive quarter of positive Cash Generation.

    Storage Capacity Installed was 392.0 Megawatt hours in the fourth quarter of 2024, a 78% increase compared to the fourth quarter of 2023.

    Solar Energy Capacity Installed was 242.4 Megawatts in the fourth quarter of 2024, a 7% increase compared to the fourth quarter of 2023. Included in this figure is 232.0 Megawatts of Solar Energy Capacity Installed for Subscribers in the fourth quarter of 2024, an 11% increase compared to the fourth quarter of 2023.

    Networked Solar Energy Capacity was 7,531 Megawatts as of December 31, 2024. Included in this figure is 6,436 Megawatts of Networked Solar Energy Capacity for Subscribers as of December 31, 2024.

    Networked Storage Capacity was 2.5 Gigawatt hours as of December 31, 2024.

    The solar energy systems we deployed in Q4 are expected to offset the emission of 4.8 million metric tons of CO2 over the next thirty years. Over the last twelve months ended December 31, 2024, Sunrun’s systems are estimated to have offset 4.0 million metric tons of CO2.

    Outlook

    Cash Generation is expected to be in a range of $40 million to $50 million in the first quarter of 2025.

    For the full-year 2025, Cash Generation is expected to be in a range of $200 million to $500 million.

    Storage Capacity Installed is expected to be in a range of 265 to 275 Megawatt hours in the first quarter of 2025, representing approximately 30% growth year over year at the midpoint.

    Solar Energy Capacity Installed is expected to be in a range of 170 to 180 Megawatts in the first quarter of 2025, representing approximately flat year over year growth at the midpoint.

    For the full-year 2025, the Company expects robust growth in Storage Capacity Installed year over year, and Solar Energy Capacity Installed is expected to be approximately flat year over year.

    Fourth Quarter 2024 GAAP Results

    Total revenue was $518.5 million in the fourth quarter of 2024, up $1.9 million, or 0%, from the fourth quarter of 2023. Customer agreements and incentives revenue was $388.6 million, an increase of $67.0 million, or 21%, compared to the fourth quarter of 2023. Solar energy systems and product sales revenue was $129.9 million, a decrease of $65.1 million, or 33%, compared to the fourth quarter of 2023. The increasing mix of Subscribers results in less upfront revenue recognition, as revenue is recognized over the life of the Customer Agreement, which is typically 20 or 25 years.

    Total cost of revenue was $421.0 million, a decrease of 13% year-over-year. Total operating expenses were $652.6 million, a decrease of 9% year-over-year, on a pro-forma basis to exclude a non-cash goodwill impairment, which was incurred in the fourth quarter of 2024.

    Net loss attributable to common stockholders was $2,813.7 million, or $12.51 per basic and diluted share for the fourth quarter of 2024. Pro forma to exclude non-cash impairment charges, results in non-GAAP net income of $360.9 million or $1.41 per diluted share for the fourth quarter of 2024.

    Full Year 2024 GAAP Results

    Total revenue was $2,037.7 million in the full year 2024, down $222.1 million, or 10%, from the full year 2023. Customer agreements and incentives revenue was $1,505.2 million, an increase of $318.5 million, or 27%, compared to the full year 2023. Solar energy systems and product sales revenue was $532.5 million, a decrease of $540.6 million, or 50%, compared to the full year 2023.

    Total cost of revenue was $1,709.2 million, a decrease of 18% year-over-year. Total operating expenses were $2,610.8 million, a decrease of 15% year-over year, on a pro-forma basis to exclude non-cash goodwill impairment, which was incurred in both the full year 2023 and full year 2024.

    During the year, Sunrun recorded a non-cash goodwill impairment charge of approximately $3.1 billion. Due to the decline in our stock price, we wrote down our goodwill balance of $3.1 billion in its entirety during the fourth quarter of 2024. The goodwill primarily arose following the stock-for-stock acquisition of Vivint Solar in October 2020, with the majority arising from and determined based on the market capitalizations at the time of the acquisition. The Company recorded a non-cash goodwill impairment charge of $3.1 billion, or $14.05 per basic share, in our Consolidated Statement of Operations for the full year 2024, which was reflected in the Company’s fourth quarter results.

    Net loss attributable to common stockholders was $2,846.2 million, or $12.81 per basic and diluted share for the full year 2024. Pro-forma to exclude non-cash impairment charges, results in non-GAAP net income of $333.7 million or $1.33 per diluted share for the full-year 2024.

    Financing Activities

    As of February 27, 2025, closed transactions and executed term sheets provide us with expected tax equity to fund over 500 Megawatts of Solar Energy Capacity Installed for Subscribers beyond what was deployed through December 31, 2024. Sunrun also has $680 million in unused commitments available in its non-recourse senior revolving warehouse loan after the January securitization, to fund approximately 230 megawatts of projects for Subscribers.

    Conference Call Information

    Sunrun is hosting a conference call for analysts and investors to discuss its fourth quarter and full year 2024 results and business outlook at 1:30 p.m. Pacific Time today, February 27, 2025. A live audio webcast of the conference call along with supplemental financial information will be accessible via the “Investor Relations” section of Sunrun’s website at https://investors.sunrun.com. The conference call can also be accessed live over the phone by dialing (877) 407-5989 (toll free) or (201) 689-8434 (toll). An audio replay will be available following the call on the Sunrun Investor Relations website for approximately one month.

    About Sunrun

    Sunrun Inc. (Nasdaq: RUN) revolutionized the solar industry in 2007 by removing financial barriers and democratizing access to locally-generated, renewable energy. Today, Sunrun is the nation’s leading provider of clean energy as a subscription service, offering residential solar and storage with no upfront costs. Sunrun’s innovative products and solutions can connect homes to the cleanest energy on earth, providing them with energy security, predictability, and peace of mind. Sunrun also manages energy services that benefit communities, utilities, and the electric grid while enhancing customer value. Discover more at www.sunrun.com

    Non-GAAP Information

    This press release includes references to certain non-GAAP financial measures, such as non-GAAP net (loss) income and non-GAAP net (loss) income per share. We believe that these non-GAAP financial measures, when reviewed in conjunction with GAAP financial measures, can provide meaningful supplemental information for investors regarding the performance of our business and facilitate a meaningful evaluation of current period performance on a comparable basis with prior periods. Our management uses these non-GAAP financial measures in order to have comparable financial results to analyze changes in our underlying business from quarter to quarter. These non-GAAP financial measures should be considered as a supplement to, and not as a substitute for or superior to the GAAP financial measures presented in this press release and our financial statements and other publicly filed reports. Non-GAAP measures as presented herein may not be comparable to similarly titled measures used by other companies.

    Non-GAAP net (loss) income is defined as GAAP net (loss) income adjusted by the non-cash goodwill impairment charge, non-cash adjustment to equity investments, and the debt discount amortization. Management believes the exclusion of this non-cash and non-recurring item provides useful supplemental information to investors and facilitates the analysis of its operating results and comparison of operating results across reporting periods.

    Forward Looking Statements

    This communication contains forward-looking statements related to Sunrun (the “Company”) within the meaning of Section 27A of the Securities Act of 1933, and Section 21E of the Securities Exchange Act of 1934 and the Private Securities Litigation Reform Act of 1995. Such forward-looking statements include, but are not limited to, statements related to: the Company’s financial and operating guidance and expectations; the Company’s business plan, trajectory, expectations, market leadership, competitive advantages, operational and financial results and metrics (and the assumptions related to the calculation of such metrics); the Company’s momentum in its business strategies including expectations regarding market share, total addressable market, growth in certain geographies, customer value proposition, market penetration, growth of certain divisions, financing activities, financing capacity, product mix, and ability to manage cash flow and liquidity; the growth of the solar industry; the Company’s financing activities and expectations to refinance, amend, and/or extend any financing facilities; trends or potential trends within the solar industry, our business, customer base, and market; the Company’s ability to derive value from the anticipated benefits of partnerships, new technologies, and pilot programs, including contract renewal and repowering programs; anticipated demand, market acceptance, and market adoption of the Company’s offerings, including new products, services, and technologies; the Company’s strategy to be a margin-focused, multi-product, customer-oriented company; the ability to increase margins based on a shift in product focus; expectations regarding the growth of home electrification, electric vehicles, virtual power plants, and distributed energy resources; the Company’s ability to manage suppliers, inventory, and workforce; supply chains and regulatory impacts affecting supply chains; the Company’s leadership team and talent development; the legislative and regulatory environment of the solar industry and the potential impacts of proposed, amended, and newly adopted legislation and regulation on the solar industry and our business; the ongoing expectations regarding the Company’s storage and energy services businesses and anticipated emissions reductions due to utilization of the Company’s solar energy systems; and factors outside of the Company’s control such as macroeconomic trends, bank failures, public health emergencies, natural disasters, acts of war, terrorism, geopolitical conflict, or armed conflict / invasion, and the impacts of climate change. These statements are not guarantees of future performance; they reflect the Company’s current views with respect to future events and are based on assumptions and estimates and are subject to known and unknown risks, uncertainties and other factors that may cause actual results, performance or achievements to be materially different from expectations or results projected or implied by forward-looking statements. The risks and uncertainties that could cause the Company’s results to differ materially from those expressed or implied by such forward-looking statements include: the Company’s continued ability to manage costs and compete effectively; the availability of additional financing on acceptable terms; worldwide economic conditions, including slow or negative growth rates and inflation; volatile or rising interest rates; changes in policies and regulations, including net metering, interconnection limits, and fixed fees, or caps and licensing restrictions and the impact of these changes on the solar industry and our business; the Company’s ability to attract and retain the Company’s business partners; supply chain risks and associated costs; realizing the anticipated benefits of past or future investments, partnerships, strategic transactions, or acquisitions, and integrating those acquisitions; the Company’s leadership team and ability to attract and retain key employees; changes in the retail prices of traditional utility generated electricity; the availability of rebates, tax credits and other incentives; the availability of solar panels, batteries, and other components and raw materials; the Company’s business plan and the Company’s ability to effectively manage the Company’s growth and labor constraints; the Company’s ability to meet the covenants in the Company’s investment funds and debt facilities; factors impacting the home electrification and solar industry generally, and such other risks and uncertainties identified in the reports that we file with the U.S. Securities and Exchange Commission from time to time. All forward-looking statements used herein are based on information available to us as of the date hereof, and we assume no obligation to update publicly these forward-looking statements for any reason, except as required by law.

    Citations to industry and market statistics used herein may be found in our Investor Presentation, available via the “Investor Relations” section of Sunrun’s website at https://investors.sunrun.com.

    Consolidated Balance Sheets
    (In Thousands)
        As of December 31,
          2024     2023
    Assets        
    Current assets:        
    Cash   $ 574,956   $ 678,821
    Restricted cash     372,312     308,869
    Accounts receivable, net     170,706     172,001
    Inventories     402,083     459,746
    Prepaid expenses and other current assets     202,579     262,822
    Total current assets     1,722,636     1,882,259
    Restricted cash     148     148
    Solar energy systems, net     15,032,115     13,028,871
    Property and equipment, net     121,239     149,139
    Goodwill         3,122,168
    Other assets     3,021,746     2,267,652
    Total assets   $ 19,897,884   $ 20,450,237
    Liabilities and total equity        
    Current liabilities:        
    Accounts payable   $ 354,214   $ 230,723
    Distributions payable to noncontrolling interests and redeemable noncontrolling interests     41,464     35,180
    Accrued expenses and other liabilities     543,752     499,225
    Deferred revenue, current portion     129,442     128,600
    Deferred grants, current portion     7,900     8,199
    Finance lease obligations, current portion     26,045     22,053
    Non-recourse debt, current portion     231,665     547,870
    Pass-through financing obligation, current portion         16,309
    Total current liabilities     1,334,482     1,488,159
    Deferred revenue, net of current portion     1,208,905     1,067,461
    Deferred grants, net of current portion     196,535     195,724
    Finance lease obligations, net of current portion     66,139     68,753
    Line of credit     384,226     539,502
    Non-recourse debt, net of current portion     11,806,181     9,191,689
    Convertible senior notes     479,420     392,867
    Pass-through financing obligation, net of current portion         278,333
    Other liabilities     119,846     190,866
    Deferred tax liabilities     137,940     122,870
    Total liabilities     15,733,674     13,536,224
    Redeemable noncontrolling interests     624,159     676,177
    Total stockholders’ equity     2,554,207     5,230,228
    Noncontrolling interests     985,844     1,007,608
    Total equity     3,540,051     6,237,836
    Total liabilities, redeemable noncontrolling interests and total equity   $ 19,897,884   $ 20,450,237
    Consolidated Statements of Operations
    (In Thousands, Except Per Share Amounts)

        Three Months Ended
    December 31,
      Year Ended
    December 31,
          2024       2023       2024       2023  
    Revenue:                
    Customer agreements and incentives   $ 388,574     $ 321,555     $ 1,505,227     $ 1,186,706  
    Solar energy systems and product sales     129,918       195,035       532,492       1,073,107  
    Total revenue     518,492       516,590       2,037,719       2,259,813  
    Operating expenses:                
    Cost of customer agreements and incentives     292,632       287,780       1,169,213       1,077,114  
    Cost of solar energy systems and product sales     128,361       194,808       539,952       1,019,638  
    Sales and marketing     150,751       166,760       617,162       740,821  
    Research and development     8,794       7,663       39,304       21,816  
    General and administrative     72,045       57,110       245,127       221,067  
    Goodwill Impairment     3,122,168             3,122,168       1,158,000  
    Total operating expenses     3,774,751       714,121       5,732,926       4,238,456  
    Loss from operations     (3,256,259 )     (197,531 )     (3,695,207 )     (1,978,643 )
    Interest expense, net     (233,385 )     (181,826 )     (848,366 )     (652,989 )
    Other income (expense), net     89,829       (157,644 )     161,539       (63,900 )
    Loss before income taxes     (3,399,815 )     (537,001 )     (4,382,034 )     (2,695,532 )
    Income tax benefit     136       (1,595 )     (26,817 )     (12,691 )
    Net loss     (3,399,951 )     (535,406 )     (4,355,217 )     (2,682,841 )
    Net loss attributable to noncontrolling interests and redeemable noncontrolling interests     (586,294 )     (185,282 )     (1,509,050 )     (1,078,344 )
    Net loss attributable to common stockholders   $ (2,813,657 )   $ (350,124 )   $ (2,846,167 )   $ (1,604,497 )
    Net loss per share attributable to common stockholders                
    Basic   $ (12.51 )   $ (1.60 )   $ (12.81 )   $ (7.41 )
    Diluted   $ (12.51 )   $ (1.60 )   $ (12.81 )   $ (7.41 )
    Weighted average shares used to compute net loss per share attributable to common stockholders                
    Basic     224,896       218,461       222,215       216,642  
    Diluted     224,896       218,461       222,215       216,642  
    Consolidated Statements of Cash Flows
    (In Thousands)

        Three Months Ended December 31,   Year Ended December 31,
          2024       2023       2024       2023  
    Operating activities:                
    Net loss   $ (3,399,951 )   $ (535,406 )   $ (4,355,217 )   $ (2,682,841 )
    Adjustments to reconcile net loss to net cash used in operating activities:                
    Depreciation and amortization, net of amortization of deferred grants     162,343       143,024       620,876       531,669  
    Goodwill impairment     3,122,168             3,122,168       1,158,000  
    Deferred income taxes     136       (1,623 )     (26,817 )     (12,716 )
    Stock-based compensation expense     28,869       27,555       112,825       111,781  
    Interest on pass-through financing obligations           4,862       8,837       19,504  
    Reduction in pass-through financing obligations           (9,820 )     (20,787 )     (40,352 )
    Unrealized (gain) loss on derivatives     (122,319 )     108,226       (120,008 )     28,105  
    Other noncash items     105,220       118,956       210,479       261,390  
    Changes in operating assets and liabilities:                
    Accounts receivable     5,741       5,762       (14,974 )     15,748  
    Inventories     (59,735 )     202,055       57,663       324,158  
    Prepaid expenses and other current assets     (301,380 )     (142,438 )     (771,997 )     (476,628 )
    Accounts payable     141,070       (52,514 )     177,449       (108,785 )
    Accrued expenses and other liabilities     4,182       (31,986 )     80,588       (56,473 )
    Deferred revenue     55,297       47,340       152,762       106,700  
    Net cash used in operating activities     (258,359 )     (116,007 )     (766,153 )     (820,740 )
    Investing activities:                
    Payments for the costs of solar energy systems     (791,785 )     (651,462 )     (2,699,452 )     (2,587,183 )
    Purchase of equity investment           (5,000 )           (5,000 )
    Purchases of property and equipment, net     (627 )     (4,662 )     (1,572 )     (20,960 )
    Net cash provided by (used in) investing activities     (792,412 )     (661,124 )     (2,701,024 )     (2,613,143 )
    Financing activities:                
    Proceeds from state tax credits, net of recapture                 5,203       4,033  
    Proceeds from trade receivable financing     124,261       41,225       124,261       41,225  
    Repayment of trade receivable financing           (41,225 )           (41,225 )
    Proceeds from line of credit     48,700       473,277       354,256       1,124,675  
    Repayment of line of credit     (56,998 )     (451,023 )     (509,532 )     (1,090,331 )
    Proceeds from issuance of convertible senior notes, net of capped call transaction                 444,822        
    Repurchase of convertible senior notes     (117,235 )     (1,545 )     (346,581 )     (1,545 )
    Proceeds from issuance of non-recourse debt     644,950       556,100       4,009,906       3,745,580  
    Repayment of non-recourse debt     (102,748 )     (175,728 )     (1,794,962 )     (1,575,527 )
    Payment of debt fees     (128 )     (412 )     (93,875 )     (47,342 )
    Proceeds from pass-through financing and other obligations, net           2,100       4,795       8,812  
    Repayment of pass-through financing obligation                 (240,288 )      
    Payment of finance lease obligations     (6,605 )     (6,484 )     (27,240 )     (23,279 )
    Contributions received from noncontrolling interests and redeemable noncontrolling interests     521,480       459,858       1,811,966       1,572,399  
    Distributions paid to noncontrolling interests and redeemable noncontrolling interests     (70,269 )     (51,578 )     (308,657 )     (225,114 )
    Acquisition of noncontrolling interest     (4,761 )           (26,195 )     (46,274 )
    Proceeds from transfer of investment tax credits     148,586       6,980       705,697       6,980  
    Payments to redeemable noncontrolling interests and noncontrolling interests of investment tax credits     (148,586 )     (6,980 )     (705,697 )     (6,980 )
    Net proceeds related to stock-based award activities     6,923       8,459       18,876       22,611  
    Net cash provided by financing activities     987,570       813,024       3,426,755       3,468,698  
    Net change in cash and restricted cash     (63,201 )     35,893       (40,422 )     34,815  
    Cash and restricted cash, beginning of period     1,010,617       951,945       987,838       953,023  
    Cash and restricted cash, end of period   $ 947,416     $ 987,838     $ 947,416     $ 987,838  
    Reconciliation between GAAP and Non-GAAP diluted (loss) income per share:

        Three Months Ended
    December 31, 2024
      Year Ended
    December 31, 2024
        Net (Loss)
    Income
      Diluted EPS   Net (Loss)
    Income
      Diluted EPS
    GAAP diluted loss per share   $ (2,813,657 )   $ (12.51 )   $ (2,846,167 )   $ (12.81 )
    Debt Discount Amortization     1,131       0.01       6,438       0.03  
    Non-cash impairment charges (2)     3,173,450       14.11       3,173,450       14.28  
    Non-GAAP diluted income per share (1)   $ 360,924     $ 1.41     $ 333,721     $ 1.33  
                     
    GAAP weighted average shares for diluted EPS     224,896           222,215      
    Non-GAAP weighted average shares for diluted EPS     256,614           250,622      


    (1)
       Non-GAAP diluted income per share excludes the effects of the pro forma adjustment detailed above. Non- GAAP diluted income per share is adjusted to exclude this item, as it is not used by management to evaluate the performance of the business.
    (2)   Excluding this item of non-recurring, infrequent or unusual nature and its impact on the comparability of our results for the period to prior periods and future expected trends.

    Key Operating and Financial Metrics

    The following operating metrics are used by management to evaluate the performance of the business. Management believes these metrics, when taken together with other information contained in our filings with the SEC and within this press release, provide investors with helpful information to determine the economic performance of the business activities in a period that would otherwise not be observable from historic GAAP measures. Management believes that it is helpful to investors to evaluate the present value of cash flows expected from subscribers over the full expected relationship with such subscribers (“Subscriber Value”, more fully defined in the definitions appendix below) in comparison to the costs associated with adding these customers, regardless of whether or not the costs are expensed or capitalized in the period (“Creation Cost”, more fully defined in the definitions appendix below). The Company also believes that Subscriber Value, Creation Costs, and Total Value Generated are useful metrics for investors because they present an unlevered view of all of the costs associated with new customers in a period compared to the expected future cash flows from these customers over a 30-year period, based on contracted pricing terms with its customers, which is not observable in any current or historic GAAP-derived metric. Management believes it is useful for investors to also evaluate the future expected cash flows from all customers that have been deployed through the respective measurement date, less estimated costs to maintain such systems and estimated distributions to tax equity partners in consolidated joint venture partnership flip structures, and distributions to project equity investors (“Gross Earning Assets”, more fully defined in the definitions appendix below). The Company also believes Gross Earning Assets is useful for management and investors because it represents the remaining future expected cash flows from existing customers, which is not a current or historic GAAP-derived measure.

    Various assumptions are made when calculating these metrics. Both Subscriber Value and Gross Earning Assets utilize a 6% rate to discount future cash flows to the present period. Furthermore, these metrics assume that customers renew after the initial contract period at a rate equal to 90% of the rate in effect at the end of the initial contract term. For Customer Agreements with 25-year initial contract terms, a 5-year renewal period is assumed. For a 20-year initial contract term, a 10-year renewal period is assumed. In all instances, we assume a 30-year customer relationship, although the customer may renew for additional years, or purchase the system. Estimated cost of servicing assets has been deducted and is estimated based on the service agreements underlying each fund.

    In-period volume metrics: Three Months Ended
    December 31, 2024
     
    Customer Additions   32,932  
    Subscriber Additions (included within Customer Additions)   30,709  
    Solar Energy Capacity Installed (in Megawatts)   242.4  
    Solar Energy Capacity Installed for Subscribers (in Megawatts)   232.0  
    Storage Capacity Installed (in Megawatt hours)   392.0  
         
    In-period value creation metrics: Three Months Ended
    December 31, 2024
     
    Subscriber Value Contracted Period $52,035  
    Subscriber Value Renewal Period $3,776  
    Subscriber Value $55,811  
    Creation Cost $36,634  
    Net Subscriber Value $19,177  
    Total Value Generated (in millions) $588.9  
         
    In-period environmental impact metrics: Three Months Ended
    December 31, 2024
     
    Positive Environmental Impact from Customers (over trailing twelve months, in millions of metric tons of CO2 avoidance)   4.0  
    Positive Expected Lifetime Environmental Impact from Customer Additions (in millions of metric tons of CO2 avoidance)   4.8  
         
    Period-end metrics: December 31, 2024  
    Customers   1,048,842  
    Subscribers (subset of Customers)   889,186  
    Households Served in Low-Income Multifamily Properties   21,129  
    Networked Solar Energy Capacity (in Megawatts)   7,531  
    Networked Solar Energy Capacity for Subscribers (in Megawatts)   6,436  
    Networked Storage Capacity (in Megawatt hours)   2,525  
    Annual Recurring Revenue (in millions) $1,644  
    Average Contract Life Remaining (in years)   17.6  
    Gross Earning Assets Contracted Period (in millions) $13,791  
    Gross Earning Assets Renewal Period (in millions) $4,043  
    Gross Earning Assets (in millions) $17,834  
    Net Earning Assets (in millions) $6,766  
           

    Figures presented above may not sum due to rounding. For adjustments related to Subscriber Value and Creation Cost, please see the supplemental Creation Cost and Net Subscriber Value calculation memo for each applicable period, which is available on investors.sunrun.com.

    Definitions

    Deployments represent solar or storage systems, whether sold directly to customers or subject to executed Customer Agreements (i) for which we have confirmation that the systems are installed, subject to final inspection, or (ii) in the case of certain system installations by our partners, for which we have accrued at least 80% of the expected project cost (inclusive of acquisitions of installed systems).

    Customer Agreements refer to, collectively, solar or storage power purchase agreements and leases.

    Subscriber Additions represent the number of Deployments in the period that are subject to executed Customer Agreements.

    Customer Additions represent the number of Deployments in the period.

    Solar Energy Capacity Installed represents the aggregate megawatt production capacity of our solar energy systems that were recognized as Deployments in the period.

    Solar Energy Capacity Installed for Subscribers represents the aggregate megawatt production capacity of our solar energy systems that were recognized as Deployments in the period that are subject to executed Customer Agreements.

    Storage Capacity Installed represents the aggregate megawatt hour capacity of storage systems that were recognized as Deployments in the period.

    Creation Cost represents the sum of certain operating expenses and capital expenditures incurred divided by applicable Customer Additions and Subscriber Additions in the period. Creation Cost is comprised of (i) installation costs, which includes the increase in gross solar energy system assets and the cost of customer agreement revenue, excluding depreciation expense of fixed solar assets, and operating and maintenance expenses associated with existing Subscribers, plus (ii) sales and marketing costs, including increases to the gross capitalized costs to obtain contracts, net of the amortization expense of the costs to obtain contracts, plus (iii) general and administrative costs, and less (iv) the gross profit derived from selling systems to customers under sale agreements and Sunrun’s product distribution and lead generation businesses. Creation Cost excludes stock based compensation, amortization of intangibles, and research and development expenses, along with other items the company deems to be non-recurring or extraordinary in nature. The gross margin derived from solar energy systems and product sales is included as an offset to Creation Cost since these sales are ancillary to the overall business model and lowers our overall cost of business. The sales, marketing, general and administrative costs in Creation Costs is inclusive of sales, marketing, general and administrative activities related to the entire business, including solar energy system and product sales. As such, by including the gross margin on solar energy system and product sales as a contra cost, the value of all activities of the Company’s segment are represented in the Net Subscriber Value.

    Subscriber Value represents the per subscriber value of upfront and future cash flows (discounted at 6%) from Subscriber Additions in the period, including expected payments from customers as set forth in Customer Agreements, net proceeds from tax equity finance partners, payments from utility incentive and state rebate programs, contracted net grid service program cash flows, projected future cash flows from solar energy renewable energy credit sales, less estimated operating and maintenance costs to service the systems and replace equipment, consistent with estimates by independent engineers, over the initial term of the Customer Agreements and estimated renewal period. For Customer Agreements with 25 year initial contract terms, a 5 year renewal period is assumed. For a 20 year initial contract term, a 10 year renewal period is assumed. In all instances, we assume a 30-year customer relationship, although the customer may renew for additional years, or purchase the system.

    Net Subscriber Value represents Subscriber Value less Creation Cost.

    Total Value Generated represents Net Subscriber Value multiplied by Subscriber Additions.

    Customers represent the cumulative number of Deployments, from the company’s inception through the measurement date.

    Subscribers represent the cumulative number of Customer Agreements for systems that have been recognized as Deployments through the measurement date.

    Networked Solar Energy Capacity represents the aggregate megawatt production capacity of our solar energy systems that have been recognized as Deployments, from the company’s inception through the measurement date.

    Networked Solar Energy Capacity for Subscribers represents the aggregate megawatt production capacity of our solar energy systems that have been recognized as Deployments, from the company’s inception through the measurement date, that have been subject to executed Customer Agreements.

    Networked Storage Capacity represents the aggregate megawatt hour capacity of our storage systems that have been recognized as Deployments, from the company’s inception through the measurement date.

    Gross Earning Assets is calculated as Gross Earning Assets Contracted Period plus Gross Earning Assets Renewal Period.

    Gross Earning Assets Contracted Period represents the present value of the remaining net cash flows (discounted at 6%) during the initial term of our Customer Agreements as of the measurement date. It is calculated as the present value of cash flows (discounted at 6%) that we would receive from Subscribers in future periods as set forth in Customer Agreements, after deducting expected operating and maintenance costs, equipment replacements costs, distributions to tax equity partners in consolidated joint venture partnership flip structures, and distributions to project equity investors. We include cash flows we expect to receive in future periods from tax equity partners, government incentive and rebate programs, contracted sales of solar renewable energy credits, and awarded net cash flows from grid service programs with utilities or grid operators.

    Gross Earning Assets Renewal Period is the forecasted net present value we would receive upon or following the expiration of the initial Customer Agreement term but before the 30th anniversary of the system’s activation (either in the form of cash payments during any applicable renewal period or a system purchase at the end of the initial term), for Subscribers as of the measurement date. We calculate the Gross Earning Assets Renewal Period amount at the expiration of the initial contract term assuming either a system purchase or a renewal, forecasting only a 30-year customer relationship (although the customer may renew for additional years, or purchase the system), at a contract rate equal to 90% of the customer’s contractual rate in effect at the end of the initial contract term. After the initial contract term, our Customer Agreements typically automatically renew on an annual basis and the rate is initially set at up to a 10% discount to then-prevailing utility power prices.

    Net Earning Assets represents Gross Earning Assets, plus total cash, less adjusted debt and less pass-through financing obligations, as of the same measurement date. Debt is adjusted to exclude a pro-rata share of non-recourse debt associated with funds with project equity structures along with debt associated with the company’s ITC safe harboring facility. Because estimated cash distributions to our project equity partners are deducted from Gross Earning Assets, a proportional share of the corresponding project level non-recourse debt is deducted from Net Earning Assets, as such debt would be serviced from cash flows already excluded from Gross Earning Assets.

    Cash Generation is calculated using the change in our unrestricted cash balance from our consolidated balance sheet, less net proceeds (or plus net repayments) from all recourse debt (inclusive of convertible debt), and less any primary equity issuances or net proceeds derived from employee stock award activity (or plus any stock buybacks or dividends paid to common stockholders) as presented on the Company’s consolidated statement of cash flows. The Company expects to continue to raise tax equity and asset-level non-recourse debt to fund growth, and as such, these sources of cash are included in the definition of Cash Generation. Cash Generation also excludes long-term asset or business divestitures and equity investments in external non-consolidated businesses (or less dividends or distributions received in connection with such equity investments). Restricted cash in a reserve account with a balance equal to the amount outstanding of 2026 convertible notes is considered unrestricted cash for the purposes of calculating Cash Generation.

    Annual Recurring Revenue represents revenue arising from Customer Agreements over the following twelve months for Subscribers that have met initial revenue recognition criteria as of the measurement date.

    Average Contract Life Remaining represents the average number of years remaining in the initial term of Customer Agreements for Subscribers that have met revenue recognition criteria as of the measurement date.

    Households Served in Low-Income Multifamily Properties represent the number of individual rental units served in low-income multi-family properties from shared solar energy systems deployed by Sunrun. Households are counted when the solar energy system has interconnected with the grid, which may differ from Deployment recognition criteria.

    Positive Environmental Impact from Customers represents the estimated reduction in carbon emissions as a result of energy produced from our Networked Solar Energy Capacity over the trailing twelve months. The figure is presented in millions of metric tons of avoided carbon emissions and is calculated using the Environmental Protection Agency’s AVERT tool. The figure is calculated using the most recent published tool from the EPA, using the current-year avoided emission factor for distributed resources on a state by state basis. The environmental impact is estimated based on the system, regardless of whether or not Sunrun continues to own the system or any associated renewable energy credits.

    Positive Expected Lifetime Environmental Impact from Customer Additions represents the estimated reduction in carbon emissions over thirty years as a result of energy produced from solar energy systems that were recognized as Deployments in the period. The figure is presented in millions of metric tons of avoided carbon emissions and is calculated using the Environmental Protection Agency’s AVERT tool. The figure is calculated using the most recent published tool from the EPA, using the current-year avoided emission factor for distributed resources on a state by state basis, leveraging our estimated production figures for such systems, which degrade over time, and is extrapolated for 30 years. The environmental impact is estimated based on the system, regardless of whether or not Sunrun continues to own the system or any associated renewable energy credits.

    Total Cash represents the total of the restricted cash balance and unrestricted cash balance from our consolidated balance sheet.

    Investor & Analyst Contact:

    Patrick Jobin
    SVP, Deputy CFO & Investor Relations Officer
    investors@sunrun.com

    Media Contact:

    Wyatt Semanek
    Director, Corporate Communications
    press@sunrun.com

    The MIL Network

  • MIL-OSI USA: VIDEO: Capito Votes to Overturn Biden–Era Natural Gas Tax

    US Senate News:

    Source: United States Senator for West Virginia Shelley Moore Capito
    To watch Chairman Capito’s floor remarks, click here.
    WASHINGTON, D.C. – Today, U.S. Senator Shelley Moore Capito (R-W.Va.), Chairman of the Senate Environment and Public Works (EPW) Committee, voted to overturn the Biden Environmental Protection Agency’s (EPA) Waste Emissions Charge (WEC) regulation as part of the Methane Emissions Reduction Program (MERP) under the Democrats’ Inflation Reduction Act. This rule enabled the collection of the Democrats’ natural gas tax, which would hurt American energy generation, damage our economy, and be detrimental to energy jobs across our country. The Senate approved the Congressional Review Act (CRA) joint resolution of disapproval, which was introduced by U.S. Senator John Hoeven (R-N.D.) and co-sponsored by Chairman Capito, by a vote of 52-47.
    Prior to the final vote on the CRA, Chairman Capito delivered remarks on the Senate floor outlining the consequences of the natural gas tax and the importance of natural gas to American energy dominance, and urged her colleagues to support the measure.
    Below are the floor remarks of Chairman Shelley Moore Capito (R-W.Va.) as delivered.
    “I rise today in support of my friend from North Dakota, Senator Hoeven’s, Congressional Review Act resolution to block the implementation of the Biden administration’s Waste Emissions Charge, otherwise known as the natural gas tax.
    “Since the day this regulation was finalized last November, I pledged that I would work with President Trump and my colleagues in the Congress to repeal this misguided, anti-energy tax. Today in the Senate, that is exactly what we’re working to do.
    “We must recognize that we are in a critical moment for American energy. The North American Energy Reliability Corporation has found that over the next 10 years, due to a rise in energy consumption and the early retirement of our existing fossil fuel generation, our country could face major electric generation and reliability concerns.
    “We must take action now to ensure that our future demand is met, that the lights remain on, our homes remain warm, and our economy keeps moving for Americans all across this country. We can do this by continuing to invest in natural gas.
    “Over 60% of American homes, every day, heat their homes, their water, or their food with natural gas. Natural gas is responsible for over 40% of electricity generation, and fuels more than half of our industrial sector’s process heat. While the natural gas tax fails to recognize this reality, let’s look at what is true.
    “Fracking and shale gas have both revolutionized and transformed American energy, leading to lower prices, job growth, and increased American energy security. According to the Energy Information Administration, the rapid expansion of natural gas-fired power plants, in this country, has decreased the power sector’s carbon dioxide emissions by 35% over the last 25 years.
    “Natural gas has the potential to further reduce American greenhouse gas emissions if we continue to increase production.
    “Natural gas is affordable, reliable, and a clean source of energy, vital to our country and our economy. We should be expanding natural gas production, not restricting it. Instead, the natural gas tax will constrain American natural gas production, leading to increased energy prices and providing a boost to the production of natural gas in Russia.
    “Simply put, repealing the natural gas tax is a win for our economy, a win for our natural security, and a win for our environment.
    “As part of establishing this tax, the Democrats’ so-called ‘Inflation Reduction Act’ ordered the EPA to revise its subpart W requirements in order to facilitate the reporting and calculation of the tax.
    “The EPA subpart W revisions blatantly disregard and overstep even the partisan mandates of the IRA, and would excessively increase the tax burden on American energy under this natural gas tax. The revised emission factors with its subpart W reporting requirements make broad assumptions about oil and gas operations and technology that will lead to inaccurate reporting for many owners and operators.
    “The rule would not only radically expand the scope of emissions required to be reported by each facility under the greenhouse gas reporting program, but it also excessively expands the number of facilities that are covered by subpart W, and consequently, responsible to pay the natural gas tax.
    “Due to this uninformed and artificial overestimate of U.S. methane emissions, some smaller operators, who were once below the waste emissions threshold, are now at risk of seeing their reported methane emissions inflated, and owe large sums under the natural gas tax. If not repealed, this rule will arbitrarily increase the cost and burden of reporting under subpart W, motivated by the Democrats’ interest in growing the revenues generated by their natural gas tax.
    “This will make it even more difficult and expensive to produce, transport, and consume American natural gas, and in turn, will hurt both American families who rely on the energy, and the environment of the communities that we live.
    “It’s important that we note that our efforts today works in tandem with this Chamber’s recently passed budget resolution. As Chairman of the Environment and Public Works Committee, I have long intended to stop the natural gas tax, and we will continue to pursue this through the reconciliation process.
    “Today’s vote on the CRA provides all senators the opportunity to put our vote on record after witnessing the Biden EPA’s bait and switch on the implementation of this misguided policy.
    “I encourage my colleagues to support the CRA that is central to our mission of American energy dominance, and rejects this tax that will bolster our adversaries, increase energy costs on American families, and put our energy future at risk.”

    MIL OSI USA News

  • MIL-OSI USA: Senate passes Kennedy-backed resolution to repeal Biden-era methane fee for U.S. energy producers

    US Senate News:

    Source: United States Senator John Kennedy (Louisiana)

    WASHINGTON – The Senate today passed a joint resolution of disapproval under Congressional Review Act procedures that Sen. John Kennedy (R-La.) helped introduce. Sen. John Hoeven (R-N.D.) led the resolution, which would overturn the Biden administration’s proposed Environmental Protection Agency (EPA) rule to implement a fee on methane emissions.

    Rep. August Pfluger (R-Texas) introduced the resolution in the House of Representatives. The resolution now moves to the president’s desk.

    “For four years, the Biden administration waged war on oil and gas drilling—and hardworking Americans paid the price because of that. Today, the Senate voted to roll back another misguided policy and unleash U.S. energy production,” said Kennedy. 

    The EPA’s methane fee rule would effectively create a new tax on key parts of the American oil and gas industry, including both onshore and offshore natural gas production and liquefied natural gas import, export and storage.

    On Jan. 17, 2025, the rule went into effect. Earlier this month, Kennedy helped introduce the resolution in the Senate.

    Text of the resolution is available here.

    MIL OSI USA News

  • MIL-OSI USA: NASA Installs Heat Shield on First Private Spacecraft Bound for Venus

    Source: NASA

    Engineers at NASA’s Ames Research Center in California’s Silicon Valley, Bohdan Wesely, right, and Eli Hiss, left, complete a fit check of the two halves of a space capsule that will study the clouds of Venus for signs of life.
    Led by Rocket Lab of Long Beach, California, and their partners at the Massachusetts Institute of Technology in Cambridge, Rocket Lab’s Venus mission will be the first private mission to the planet.
    NASA’s role is to help the commercial space endeavor succeed by providing expertise in thermal protection of small spacecraft. Invented at Ames, NASA’s Heatshield for Extreme Entry Environment Technology (HEEET) – the brown, textured material covering the bottom of the capsule in this photo – is a woven heat shield designed to protect spacecraft from temperatures up to 4,500 degrees Fahrenheit. The probe will deploy from Rocket Lab’s Photon spacecraft bus, taking measurements as it descends through the planet’s atmosphere.
    Teams at Ames work with private companies, like Rocket Lab, to turn NASA materials into solutions such as the heat shield tailor-made for this spacecraft destined for Venus, supporting growth of the new space economy. NASA’s Small Spacecraft Technology program, part of the agency’s Space Technology Mission Directorate, supported development of the heat shield for Rocket Lab’s Venus mission.

    MIL OSI USA News

  • MIL-OSI Europe: Written question – Donald Trump Jr hunt in Veneto and killing of ruddy shelduck – E-000678/2025

    Source: European Parliament

    Question for written answer  E-000678/2025
    to the Commission
    Rule 144
    Dario Tamburrano (The Left)

    A number of newspapers[1] have published a video[2] of a hunt in Veneto[3] in which Donald Trump Jr, son of the US President, took part. He appears surrounded by dead birds in the video[4].

    The image quality makes it difficult to identify all the species. A ruddy shelduck appears to be recognisable in the foreground.

    Gesturing to it, Donald Trump Jr says, ‘This is actually a rather uncommon duck for the area. Not even sure what it is in English. But, er … incredible shoot.’ We therefore understand that it is rare and has been hunted (and not found dead, for example).

    A Veneto Regional Councillor said[5], ‘if [Trump Jr] acted in accordance with the rules, as seems to be the case, there is no reason for this hysteria’.

    The councillor is a member of Fratelli d’Italia, a ruling party in both Italy and the Veneto Region.

    The Minister for the Environment[6] said that perhaps a Trump Jr lookalike had shot the shelduck.

    As it stands, the Italian authorities have taken no action.

    In the light of the above:

    • 1.Does EU legislation allow for the hunting of ruddy shelducks[7]?
    • 2.If it does not allow for it, what steps will the Commission take in this case, both generally and specifically if Italy itself takes no action?

    Submitted: 13.2.2025

    • [1] For instance: https://t.ly/hMHnA.
    • [2] The video appeared on – and was subsequently deleted from – Field Ethos: https://edition.cnn.com/2025/02/05/travel/video/donald-trump-junior-accused-of-shooting-rare-duck-italy-digvid – around 00:25 et seq.
    • [3] The hunt presumably took place in late December or early January: Christmas decorations appear in one indoors scene.
    • [4] 01:38 et seq.
    • [5] https://t.ly/KOiLM
    • [6] https://t.ly/x9-Of
    • [7] The question does not concern the theoretical possibility of hunting (conceivably by way of derogation) ruddy shelducks, but their actual hunting (and in recent months), also bearing in mind that the 2024-25 hunting schedule of the Veneto Region does not provide for the hunting of ruddy shelducks by way of derogation itself – https://bur.regione.veneto.it/BurvServices/pubblica/DettaglioDgr.aspx?id=532485.
    Last updated: 27 February 2025

    MIL OSI Europe News

  • MIL-OSI Africa: European Investment Bank (EIB) backs Africa Finance Corporation $750 Million Climate Resilient Infrastructure Fund

    Source: Africa Press Organisation – English (2) – Report:

    CAPE TOWN, South Africa, February 27, 2025/APO Group/ —

    The European Investment Bank (EIB) has committed to join Africa Finance Corporation (AFC) (www.AfricaFC.org) in financing a $750 million Infrastructure Climate Resilient Fund (ICRF). This landmark initiative will accelerate climate adaptation and sustainable infrastructure across Africa.

    As part of this commitment, the EIB today confirmed it will invest $52.48 million in the Fund, which is managed by AFC Capital Partners (ACP), the asset management arm of AFC. ACP has already secured a $253 million commitment from the Green Climate Fund (GCF), marking GCF’s largest-ever equity investment in Africa. In addition, the Nigeria Sovereign Investment Authority (NSIA) and two private African pension funds have also committed to the Fund, demonstrating robust institutional backing on the continent and internationally.

    The Infrastructure Climate Resilient Fund aims to accelerate climate adaptation in Africa by embedding resilience measures at every stage of infrastructure development—from design and construction to operation. Using blended finance to de-risk private investment, the Fund also integrates innovative tools such as climate risk parametric insurance to enhance protection against climate-related risks and losses. In addition, the Fund will provide technical assistance to enhance the capacity of countries seeking climate risk assessment and adaptation, aligning with the European Union’s Global Gateway initiative and the UN Sustainable Development Goals.

    The EIB formally signed the agreement at the Finance in Common Summit (FICS) in Cape Town today, demonstrating the close collaboration between the EIB, AFC, and other strategic partners.

    “The EIB is committed to supporting private sector investment in climate-resilient infrastructure, especially in regions most vulnerable to climate change,” EIB Vice-President Ambroise Fayolle stated at the ceremony today. “This partnership with the Africa Finance Corporation and the launch of ACP’s Infrastructure Climate Resilient Fund are a significant step towards accelerating Africa’s green and digital transition and ensuring a sustainable future for all. The EIB’s investment is not just about the initial capital injection; it is also intended to have a multiplier effect by attracting more investors, reducing risk, showcasing successful projects, and promoting best practices in climate finance.”

    ACP’s fund aims to demonstrate that Africa can pursue a climate-resilient and sustainable development path by addressing market failures, mitigating environmental risks, strengthening logistics, trade, and industrialization, and accelerating the continent’s digital and energy transition.

    “This Fund is crucial for bridging the funding gap for climate adaptation in Africa,” Samaila Zubairu, AFC’s President & CEO, said at the launch event today. “By focusing on climate-resilient infrastructure, we are not only securing our economic future but also creating opportunities for sustainable growth, and supporting job creation across the continent. We are glad to partner with the EIB and other investors who are committed to increasing the impact of climate finance.”

    Developing Climate-Resilient Infrastructure

    The ICRF focuses on Africa, the world’s most climate-vulnerable continent, by investing in infrastructure that can withstand the impacts of climate change while reducing carbon emissions. The Fund prioritizes resilient, low-carbon solutions across transport and logistics, clean energy, digital infrastructure, and industrial development, ensuring sustainable growth.

    ACP’s investment strategy evaluates climate risk across both physical and transition dimensions, including emissions and climate governance. The Fund is committed to ensuring that infrastructure assets are designed, built, and operated to withstand and adapt to evolving climate conditions. To achieve this, ACP will conduct rigorous climate risk screenings and assessments for every investment, establishing a new benchmark for selecting and implementing the most effective adaptation solutions.

    The Fund leverages a powerful partnership between three major institutions—EIB, AFC, and GCF—uniting their expertise, capital, and commitment to climate resilience. Aligned with the EIB’s Climate Bank Roadmap, ACP will draw on the proven track records and deep technical expertise of both EIB and AFC in infrastructure investment, creating a compelling platform to attract additional investors. Through this strategic collaboration, the $750 million fund is poised to unlock up to $3.7 billion in financing, accelerating the deployment of climate-resilient infrastructure across Africa.

    The GCF will play a critical role by providing technical assistance for due diligence and climate resilience monitoring while also covering the first-loss tranches on new investments, effectively de-risking projects and attracting private capital.

    Once operational, the Fund aims to invest in a diversified portfolio of 10 to 12 projects across Africa. It will also assist countries and entities in capacity building and deployment of climate risk assessment and adaptation solutions.

    Further Information

    Leveraging Partnerships

    The Fund is built on a powerful partnership between three major institutions: the European Investment Bank (EIB), Africa Finance Corporation (AFC), and the Green Climate Fund (GCF). Through its asset management arm, AFC Capital Partners (ACP), AFC is collaborating with the EIB to deploy the Fund, leveraging both institutions’ proven track records and technical expertise in infrastructure investment to attract additional investors. The partnership is further strengthened by the GCF’s critical role in providing first-loss protection and technical assistance, ensuring a robust framework for scaling climate-resilient infrastructure across Africa.

    Mobilizing Climate Finance

    The EIB’s $52.48 million commitment is a strategic step toward the Fund’s $750 million target, aimed at catalysing additional investments from both private and public sector partners into climate-resilient infrastructure. This commitment is expected to help mobilize approximately $3.7 billion in total financing, driving tangible, on-the-ground impact across Africa.

    Focusing on EIB’s core priorities agreed by ECOFIN

    The EIB investment will support the climate bank ambition to accelerate international action on adaptation and resilience. With an expected climate action and environmental sustainability contribution of about 80%, the operation will contribute to EIB’s objectives to dedicate (i) 50% of its financing toward climate action and environmental sustainability and (ii) 15% of its financing toward to climate adaptation by 2025. The Fund supports three of the five EU Global Gateway thematic priorities: i) climate and energy, ii) transport and iii) digital.

    Addressing Market Failures

    The EIB investment in ACP’s Infrastructure Climate Resilient Fund is intended to address the scarcity of equity capital for greenfield infrastructure projects, and to help overcome other market failures such as the lack of incentives for green energy solutions or market failures related to transport accessibility and digital connectivity. The Fund also aims to improve the efficiency of logistics and trade corridors and contribute to the digital and energy transition.

    Supporting the Green and Digital Transition

    By investing in clean energy and digital infrastructure, the Fund aims to support the broader green and digital transition in Africa and contribute to diversification and security of energy supply, as well as improved access to digital connectivity.

    Enhancing Capacity for Climate Risk Management

    ACP’s Infrastructure Climate Resilient Fund will provide technical assistance to build capacity for climate risk assessment and adaptation, with a focus on integrating climate risk considerations into project design and construction.

    Creating Jobs and Economic Opportunities

    Projects backed by ACP’s Infrastructure Climate Resilient Fund will contribute to job creation, economic growth, and improved quality of life in the target regions. These projects are expected to generate significant temporary employment during construction as well as permanent jobs during operation.

    Key projects in the ICRF pipeline, such as the Lobito Corridor, underscore AFC’s pivotal role in driving transformational and climate-resilient infrastructure investments across Africa. As the lead developer of the project, AFC is spearheading efforts to enhance regional connectivity and economic integration through the corridor, which is set to become a critical trade and logistics route linking Angola, the Democratic Republic of Congo (DRC), and Zambia.

    The Lobito Corridor is expected to unlock vast economic opportunities by facilitating efficient transportation of critical minerals, agricultural goods, and other commodities, reducing dependency on other congested export routes and fostering industrial development along the wider corridor. Alongside partners including the European Union, the United States Government, the African Development Bank and the governments of Angola, the Democratic Republic of Congo and Zambia, AFC is working to ensure the corridor is developed with climate resilience in mind, integrating sustainable infrastructure solutions that can withstand environmental challenges while promoting long-term economic growth.

    Beyond Lobito, the ICRF pipeline includes other strategic projects across transport, clean energy, and digital infrastructure, all designed to attract institutional investment and address Africa’s pressing infrastructure gap. Through these initiatives, ACP continues to highlight its commitment to mobilizing capital for projects that deliver both financial returns and lasting developmental impact.

    The investments backed by the Fund will actively promote the adoption of Environmental, Social, and Governance (ESG) best practices, including gender equality, protection, and anti-discrimination policies.

    De-risking Investments

    The Fund’s structure, with support from the EIB and other institutions like the Green Climate Fund (GCF), aims to de-risk climate investments.

    The GCF is providing grant funding to help with due diligence and monitoring of climate resilience, which can make the investments more attractive to other investors. Additionally, the Fund will integrate innovative climate risk insurance to complement traditional indemnity programs.

    Aligning with Global and Regional Objectives

    The EIB investment aligns with EU strategies, the African Union’s Agenda 2063, and the UN Sustainable Development Goals, and aims to support the implementation of Nationally Determined Contributions.

    MIL OSI Africa

  • MIL-OSI Canada: Investing in the Inuit economy and protecting Canada’s Northern ecosystems

    Source: Government of Canada – Prime Minister

    There is no relationship more important to Canada than the one it has with Indigenous Peoples, the original inhabitants and stewards of lands and waters in Canada since time immemorial. We remain committed to working with Indigenous partners to advance reconciliation, recognizing the role of Indigenous leadership in environmental stewardship, and helping ensure the world we leave to future generations is safe and healthy.

    Today, the Prime Minister, Justin Trudeau, was joined by the President of the Qikiqtani Inuit Association (QIA), Olayuk Akesuk, to announce the signing of the SINAA Project Finance for Permanence Agreement between the Government of Canada, the QIA, The Pew Charitable Trusts, and the Aajuraq Conservation Fund Society.

    Contributions to the SINAA Agreement include a planned $200 million from the Government of Canada, along with $70 million pledged from philanthropic donors in Canada and around the world. Over the next 15 years, these investments are projected to attract $318 million to the Qikiqtani region, with more jobs, opportunities, and Inuit-led stewardship of lands and waters. The agreement will also make meaningful progress in advancing the goal to conserve 30 per cent of oceans in Canada by 2030, adding an additional 3.68 per cent contribution to Canada’s water-based ecosystems.

    This milestone agreement in advancing Inuit-led conservation and reconciliation includes a new conservation plan to establish a robust and lasting network of proposed Inuit-led and protected water and land conservation areas in Canada’s Arctic. Protecting these areas will ensure the long-term health and sustainability of ecosystems, while safeguarding the well-being and ways of life of Inuit communities in the region. In Inuktitut, SINAA means “the floe edge”, where the open sea meets the frozen sea, becoming a vibrant ecosystem of marine life. With the SINAA Agreement, we will strengthen existing protected and conserved ecosystems through enhanced partnership with Inuit governance.

    To further support economic opportunities for the Qikiqtani Inuit, Fisheries and Oceans Canada and the QIA have signed the Qikiqtani Fisheries Agreement. The agreement provides funding over the next 10 years to support both acquiring access to offshore commercial fisheries, vessels and gear, and training to participate in offshore commercial fishing in adjacent waters.

    With these investments, we are building an economy based on conservation, investing in community infrastructure like the Arctic Bay Small Craft Harbour, and creating jobs where Inuit knowledge will be leveraged and valorized to protect Northern ecosystems.

    As one of the most biodiverse areas of the Arctic, the Qikiqtani region is home to some of the world’s most iconic species, including narwhals, whales, and polar bears. With today’s landmark agreement, we reaffirm our commitment to working alongside Inuit and Northern partners to protect these precious ecosystems that are so deeply intertwined with Inuit culture, economy, and well-being. Together, we are ensuring biodiversity and livelihoods are sustained for generations to come.

    Quotes

    “The Canadian Arctic has been home to vibrant ecosystems and Indigenous communities for generations. With today’s announcement, we are strengthening our commitment to protecting lands, waters, and wildlife, honouring Inuit-led conservation efforts, and walking forward on the shared path of reconciliation. Working together with provinces, territories, Inuit communities, and other partners, we can build a future where traditions, stories, and ways of life are preserved and celebrated.”

    “Today, we are reaching a historic milestone in Canadian history. The agreement signed today sets the foundations for Inuit-led and governed conservation efforts to protect our culture, lands, waters, and wildlife. Today is a proud day, and I thank the Government of Canada, donors, and the philanthropic community for seeing our vision and working with us to make it a reality.”

    “Canada is proud to be part of the SINAA Agreement advancing Inuit-led conservation in the Arctic. This agreement marks an important milestone in partnership and honours the vital role of Inuit stewardship in safeguarding the environment. Through this important partnership, we are supporting the well-being of Inuit in the Qikiqtani region today, while conserving ecosystems for our children and grandchildren.”

    “Nature and oceans are defining elements of Canada’s identity. Protecting them is crucial not only in the fight against biodiversity loss and climate change, but also in preserving our deep connection to nature and building a sustainable future – one where Indigenous traditions and knowledge are at the heart of our conservation efforts. We are proud to work with Inuit partners and territorial governments through the SINAA Agreement to advance new and enhanced Inuit-led marine conservation areas in the Arctic, ensuring that the region’s diverse and unique marine ecosystems can thrive.”

    Quick Facts

    • The Project Finance for Permanence (PFP) model provides for multi-partner investments and sustainable financing for large-scale conservation and sustainable development projects. These initiatives bring together Indigenous organizations, governments, and the philanthropic community to identify shared goals for protecting nature and ultimately halting biodiversity loss while advancing community well-being and reconciliation with Indigenous Peoples.
    • In recent years, the Government of Canada has made historic investments in Indigenous-led conservation projects, including through initiatives like the Indigenous Guardians program.
    • In December 2022, during the 15th Conference of the Parties (COP15) to the Convention on Biological Diversity in Montréal, Quebec, the federal government pledged to deliver up to $800 million in support of up to four Indigenous-led PFP initiatives. Today’s SINAA announcement is the third of these initiatives, following the launch of the Great Bear Sea PFP and the NWT Our Land for the Future PFP initiatives last year.
    • The SINAA Agreement (formerly the Qikiqtani PFP) is led by the Qikiqtani Inuit Association (QIA) and aims to conserve up to 3.68 per cent of the marine environment in Canada in addition to strengthening long-term existing protected areas that already contribute 8.60 per cent toward marine conservation targets.
    • Fisheries and Oceans Canada has collaborated with Parks Canada and Environment and Climate Change Canada to advance this innovative funding model where a minimum of one dollar will be contributed by philanthropic organizations for every four dollars contributed by the federal government. This includes a planned $200 million of federal funds plus $70 million pledged from philanthropic organizations to support Inuit-led conservation in Nunavut.
      • Together, these contributions will be managed and invested by the Aajuraq Conservation Fund Society, a Canadian-led society governed by members appointed by QIA and The Pew Charitable Trusts to generate durable, long-term financing for ongoing conservation and stewardship activities led by QIA.
    • The SINAA Agreement represents an important step in Inuit-led conservation in the Qikiqtani region. Key components of the SINAA Agreement include: 
      • A conservation plan that proposes several new protected and conserved areas and enhanced protections for existing areas.
      • Support for the Inuit stewardship (Nauttiqsuqtiit) program enabling Inuit partners to have eyes and ears on the water, land, and ice.
      • Support for Nauttiqsuqtiit Conservation Centres so that Inuit stewards have the proper equipment and work spaces to be stewards of the water, land, and ice.
      • Support for Inuit-led regional governance so that Inuit partners can implement an integrated and regional vision for conservation that takes into consideration local and regional perspectives along with Inuit knowledge.
    • The Government of Canada, QIA, and The Pew Charitable Trusts have engaged with the Government of Nunavut throughout the planning of the initiative and will continue to engage through the implementation, specifically through advancing the conservation plan.
    • Grounded in science, Indigenous knowledge, and local perspectives, Canada is committed to working with partners across the country to conserve 30 per cent of lands and waters by 2030.

    Related Product

    Associated Links

    MIL OSI Canada News

  • MIL-OSI Economics: IPAA Applauds Senate Passage of Congressional Review Act Resolution to Nullify Biden Methane Tax Regulations

    Source: Independent Petroleum Association of America

    Headline: IPAA Applauds Senate Passage of Congressional Review Act Resolution to Nullify Biden Methane Tax Regulations

    IPAA Applauds Senate Passage of Congressional Review Act Resolution to Nullify Biden Methane Tax Regulations

    WASHINGTON – The Independent Petroleum Association of America (IPAA) issued the following statement following the Senate passage of H.J.Res.35 which through the Congressional Review Act process disapproves of the Biden Environmental Protection Agency’s (EPA) methane emissions fee on oil and natural gas facilities which will lead to higher prices for consumers, reduced domestic energy production, and increased American reliance on foreign energy sources.

    IPAA President & CEO Jeff Eshelman: “The Independent Petroleum Association of America (IPAA) applauds Sen. John Hoeven for his leadership in overturning the EPA’s Waste Emissions Charge (Methane Tax) regulations. This Congressional Review Act (CRA) resolution approved by the Senate today allows Congress to nullify the regulations the Biden Administration established to implement the misguided methane tax. The Biden Administration and Democrats in Congress passed the methane tax to single out and punish the oil and natural gas industry despite its already burdensome EPA regulatory framework. The tax was passed without appropriate understanding of its impact or industry safeguards. IPAA has always opposed the methane tax and believe it is simply a tax designed to hamper American oil and gas production.  With the passage of H.J.Res.35 in both the House and Senate, IPAA urges quick action by President Trump to sign this resolution and will work with his Administration to eliminate this unnecessary tax on American oil and natural gas producers as soon as possible.”

    IPAA also supports legislation led by Senator Ted Cruz (R-TX) and Congressman August Pfluger (R-TX-11) to repeal the Methane Tax.

    MIL OSI Economics

  • MIL-OSI United Kingdom: Thousands of fish released to restock Cheshire river

    Source: United Kingdom – Executive Government & Departments

    Press release

    Thousands of fish released to restock Cheshire river

    A total of 4,000 fish, including chub dace and roach, have been released into the River Weaver at two key locations in Cheshire.

    The team preparing to stock the fish.

    The restocking aims to help replenish populations after two pollution incidents in October 2023, which sadly led to the loss of thousands of fish.

    The two key locations include Mill Island Weir and downstream in “The Willows” area.

    Restocking is done where natural population numbers have been depleted or to create new fisheries and opportunities for anglers. It occurs in winter because water temperatures are low and this minimises any stress on the fish, giving them the best possible survival rates.

    An image of the team restocking fish into the River Weaver

    February is a good time to introduce the fish into rivers, as it enables them to acclimatise to their new surroundings, ahead of their spawning season in the spring.

    Fish also play a critical role in sustaining a river’s finely-balanced eco-system, so the wider natural environment will also get a helping hand, as a result of the restocking.

    James Grosscurth, Fisheries Officer for the Environment Agency in Greater Manchester, Merseyside and Cheshire, said:

    Sometimes our native fish populations need a helping hand, particularly following pollution incidents.

    After careful and consistent monitoring, increased agricultural site inspections and enforcement and an enhanced officer presence upstream of Nantwich Lake, we were pleased to confirm that the water quality in the River Weaver can provide a healthy habitat for thousands of new recruits.

    This first restocking will form part of a three-year program, funded by rod licence income, to encourage natural recovery. Our thanks go to Nantwich Angling Society who have been working tirelessly, alongside our officers, to help make this happen.

    All of the fish introduced to the Weaver have been reared at the Environment Agency’s National Coarse Fish Farm in Calverton, Nottinghamshire.

    Every year, the Environment Agency stocks almost half a million fish of nine different species into England’s rivers. Being the principal supply of coarse fish for 32 years, the fish farm plays a crucial role to help improve fisheries around the country.

    Close up of fish entering the river during restocking.

    Fisheries officers use data from national surveys to identify where there are problems with poor breeding, issues with survival rates, or where numbers have been impacted following a pollution incident.

    These surveys help the officers ensure that fish are released into the right locations and where the need is greatest as well as supporting angling clubs to boost local fishing spots.

    Fisheries Officers inspect rod licences 24/7 throughout the North West, and work continually on cases of illegal fishing and other associated fisheries crime. Fishing illegally can result in a fine of up to £2,500, and offenders can also have their fishing equipment seized.

    It’s easy to buy a rod fishing licence online. Get yours here: Buy a rod fishing licence: When you need a licence – GOV.UK

    illegal fishing and other offences can be reported to the Environment Agency’s Incident Hotline on 0800 807060.

    Updates to this page

    Published 27 February 2025

    MIL OSI United Kingdom

  • MIL-OSI Global: Why Freetown’s celebrated tree planting scheme won’t work for other African cities, or the planet

    Source: The Conversation – UK – By Milo Gough, Lecturer in African Studies, University of Oxford

    More than a million trees have been planted in the city of Freetown in Sierra Leone since 2020. This reforestation scheme, known as “FreetownTheTreeTown”, has been celebrated for its innovative approach to climate action, with ambitious plans to plant another 5 million trees by 2030 and 20 million more by 2050.

    A global network of mayors known as the C40 Cities and other urban development experts have called this a “highly replicable” solution for environmental crises across urban Africa.

    Reforestation helps Freetown cope with excess heat, annual seasonal floods, landslides and other environmental problems. Because of its geography, squeezed between wooded mountains and coastline, and widespread poverty, the city is one of the most vulnerable in the world to the effects of the climate change.

    Deforestation of Freetown’s mountains for wood, charcoal and housing space led to a landslide in 2017 that killed 1,100 people and left at least another 3,000 people homeless. FreetownTheTreetown is a response to this disaster.




    Read more:
    Sierra Leone mudslide was a man-made tragedy that could have been prevented


    There are also important historical contexts. I’ve conducted research into the colonial history of Freetown and the changing historical meaning of its trees. From the spiritual meaning of trees in Indigenous west African cultures, through to their use in colonial planning schemes, trees in Freetown have been central to political struggles over the urban landscape.

    Tree planting should not be viewed simply as a generic social good. Trees are embedded in wider structures of power. From colonial-era tree planting, which aimed to reorganise Freetown into a European style city, to the 21st century’s green capitalism – in which tree “tokens” have become commodities for their marketable “carbon offset” – trees are far from apolitical.

    Tree planting projects alone cannot solve environmental problems in African cities. As the world heats up, reliance on fossil fuels must be reduced. Green capitalism’s tree planting schemes won’t cut greenhouse gas emissions at source.

    Climate solutions

    FreetownTheTreeTown is organised through an app, TreeTracker, used by community growers who plant and care for saplings that have been grown in a nursery. They use the app to tag the geographical location of each new tree and track tree growth with photographs.

    The community growers, largely women and young people, receive payments from the city administration once every quarter in the form of tokens that can be exchanged for cash. Thanks to this community, the project has achieved a high tree survival rate of over 80%.

    Inside Freetown’s tree planting scheme.

    Since 2020, this project has received almost US$3 million (£2.4 million), largely from the World Bank and the Global Environmental Facility.

    But the project is supposed to start covering its own costs through selling carbon offset tokens to foreign nations and companies. Buyers will buy these to “cancel out” their own carbon emissions. A polluting airline in the US, for example, could claim it has reduced its greenhouse gas emissions if it buys carbon offset tokens from FreetownTheTreeTown.




    Read more:
    There aren’t enough trees in the world to offset society’s carbon emissions – and there never will be


    Carbon offset schemes have been criticised by academics and journalists for overstating the rate and speed at which they can reduce overall greenhouse gas emissions. They’ve been accused of distracting attention from the necessary and difficult work of transitioning away from polluting energy sources.

    Charcoal is the most important product of the deforestation of Freetown’s mountainous peninsula because the city’s residents use it as cooking fuel. It is, however, highly polluting. People living in informal communities are encouraged to move to cleaner cooking fuels. Some briquettes are even made from human waste. Freetown is genuinely trying to reduce its extremely low carbon emissions.

    Tensions in tree town

    Tension between the conservation and exploitation of Freetown’s mountain forest has existed for centuries. Freetown was established by British colonists in 1792 as a site for the resettlement of formerly enslaved people from across west Africa. Mountain forests were cut down and turned into timber for the board houses of Freetown.

    My research into the late 19th century history of Freetown has revealed that an enormous iroko tree with a trunk circumference of over 15 metres was a place of great spiritual and ritual significance in the area of Brookfields.




    Read more:
    Bringing forests to the city: 10 ways planting trees improves health in urban centres


    Many formerly enslaved people from Yorubaland, in what is today south-western Nigeria, believed iroko trees were inhabited by powerful spirits. Witches were thought to hold meetings around them.

    The Brookfields iroko tree was feared. But it was also respected. Processions of the Bondo, an all-female secret society, visited the tree with offerings, such as corn and pieces of cloth.

    The colonial government planted new trees to demarcate the gridded streetscape of Freetown. But Freetonians did not like the new trees. They suspected them of harbouring mosquitoes and snakes. Twenty years after the first planting, most had been cut down by the city’s residents. The colonial government attempted to overwrite west African understandings of trees by imposing a new order.

    Tree planting schemes must pay close attention to histories of government-led dispossession if they are to successfully transform cities. FreetownTheTreeTown has begun to tackle this history head on by co-creating this reforested city with its communities. This is important work. But, there must be caution about simply transplanting the technical solutions from Freetown to other cities across Africa.


    Don’t have time to read about climate change as much as you’d like?

    Get a weekly roundup in your inbox instead. Every Wednesday, The Conversation’s environment editor writes Imagine, a short email that goes a little deeper into just one climate issue. Join the 40,000+ readers who’ve subscribed so far.


    Milo Gough has received funding from the Arts and Humanities Research Council through CHASE DTP.

    ref. Why Freetown’s celebrated tree planting scheme won’t work for other African cities, or the planet – https://theconversation.com/why-freetowns-celebrated-tree-planting-scheme-wont-work-for-other-african-cities-or-the-planet-247254

    MIL OSI – Global Reports

  • MIL-OSI: Viridien Announces its Q4 & Full Year 2024 Results

    Source: GlobeNewswire (MIL-OSI)

    Paris (France), February 27th, 2025, 17h45 CET

    2024: A YEAR OF OVERACHIEVEMENTS

    2025: ON TRACK TO DELIVER c.$100 MILLION NET CASH FLOW

      Q4 FY1
    Revenue2 $339M $ 1,117M (-1%)
    Adjusted EBITDA3 $157M $455M (+14%)
    Net Cash-Flow $27M $56M (+73%)

    Sophie Zurquiyah, Chief Executive Officer of Viridien, said:

    “In 2024, we met our revenue and exceeded our profitability and cash generation targets driven by strong commercial successes at Geoscience, a dynamic performance at Earth Data in both our key basins and prospective regions and the continued focus on operational efficiency at Sensing & Monitoring.

    In 2025, Viridien will continue strengthening its technology leadership in its core markets while further developing its New Businesses. We anticipate continued improvements thanks to Geoscience’s record high backlog, Earth Data’s solid pipeline of projects and the termination of contractual fees for vessel commitments, and Sensing & Monitoring’s progress towards their restructuring plan.

    In this context, we confirm with confidence our target of c.$100 million of net cash generation and balance sheet deleveraging.”

    2024 Highlights2

    • Group2
      • IFRS figures: Revenue, EBITDA and Net Income of respectively $1,211 million, $516 million, $51 million. $427 million, $216 million, $29 million in Q4.
      • Overall stable group revenue at $1,117 million.
      • Strong growth at Digital, Data & Environment (DDE) with $787 million revenue (+17%). Consistent momentum for Geoscience (GEO) driven by our preferred advanced technology and numerous commercial successes at Earth Data (EDA).
        • Sensing & Monitoring (SMO) revenue was $330 million, with no mega crews during the year.
        • 33% revenue growth for New Businesses, exceeding our 30% target.
      • Group adjusted EBITDA3 of $455 million. DDE Adjusted EBITDA of $458 million, up 25% driven by the strong performance of both GEO and EDA. SMO adjusted EBITDA of $35 million (vs $56 million) already reflecting the positive impact of the restructuring effort.
      • Net Cash flow of $56 million, including $(75) million contractual fees from vessel commitments, exceeding our initial Net Cash flow target of “reaching a similar level as 2023” (ie. $32 million).
      • Key milestones of our financial roadmap delivered during the year: improved credit rating in Q2, revolving credit facility extended in Q3 and implementation and increase of the bond buyback program in Q3 and Q4.
      • Net debt at $921 million ($974 million in December 2023) and liquidity at $392 million (including $90 million undrawn RCF).  
    • Digital, Data and Energy Transition (DDE)
      • Revenue at $787 million was up 17% with strong growth at GEO (+20%) and EDA (+14%). Q4 revenue, $238 million (+19%).
      • Adjusted EBITDA at $458 million was up 25%. Profitability impacted by $(54) million in penalty fees from vessel commitments vs $(44) million in 2023. Q4 EBITDA $150 million (+28%).         $(12) million penalty vs $(13) million in Q4 2023.
        • Geoscience:
          • Revenue at $404 million (+20%). $107 million in Q4 (+10%).
          • GEO performance continues to be driven by technology differentiation. Order intakes, +89% in 2024, +155% in Q4, benefited from best-in-class imaging technology which the industry requires to solve subsurface challenges, increased activity in the Middle East and the renewal of long-term contracts for Dedicated HPC Processing Centers (DPCs).
    • New Businesses in GEO confirm the positive market dynamics in Carbon Sequestration with several projects in Norway, US Gulf and in Asia Pacific, as well as in Minerals & Mining with the award of programs in Australia and Oman. Alliance signed with Baker Hughes to offer high-quality and fully integrated Carbon Capture and Sequestration solutions to clients.
    • Earth Data:
      • Revenue at $383 million (+14%). $131 million in Q4 (+27%).
      • Prefunding revenue grew to $205 million (+6%). 81% of Capex. After-Sales grew to $178 million (+25%) in a flat market.
      • $252 million Capex, including the large Laconia Ocean Bottom Nodes (OBN) project in the US Gulf, the North Viking Graben streamer survey in Norway, and numerous global reprocessing projects.
      • New Businesses in EDA completed the mining project in Southeast Arizona and delivered several Carbon Sequestration projects in the North Sea, US Gulf and Asia.
    • Sensing and Monitoring (SMO)
      • Revenue at $330 million was down 27%, following delivery of “mega crew” systems in 2023.        $100 million in Q4 (-16%).
      • Adjusted EBITDA at $35 million was down 37%. $18 million in Q4 (+104%).
      • Q4 EBITDA performance shows that the restructuring plan is on track to achieve expected cost reductions and operational flexibility.
      • New Businesses in SMO represented 17% of revenue and experienced strong momentum with deliveries for the geothermal market and infrastructure monitoring.
    • Market trends
      • E&P Capex environment expected to be stable year-on-year in 2025, as the longer-term energy industry upcycle extends.
      • Evolving Industry Trends:
        • Offshore exploration gaining momentum in key regions like the US Gulf, Brazil, Norway as well as frontiers areas such as the Equatorial Margin and the East Mediterranean Sea.
        • Middle East growth expected with investments in advanced imaging and digital solutions.
        • Demand expected to be strong for High-end geophysical technologies, such as OBN and Full Waveform Inversion (FWI), that mitigate risks and optimize field development.
      • New Businesses:
        • Continued market growth potential in CSS with new imaging contracts and project pipeline driven by most Oil & Gas operators investing to reduce carbon emissions and address societal pressures.
        • Increased interest from the Minerals & Mining sector for subsurface characterization.
        • Infrastructure Monitoring market consistently increasing by double digits annually across various sectors.
        • Digital solutions / HPC markets expanding rapidly fueled mainly by the explosion of AI applications.
    • New reporting KPI for EDA
      • Starting in Q1 2025, we will change the reporting KPIs for EDA:
        • To align with market practice, Revenue split between Prefunding and After-sales will no longer be reported.
    • Cash EBITDA (i.e. EBITDA – Capex) will be reported to provide more clarity on our financial performance. ($97 million and $75 million in 2023 and 2024 respectively, excluding penalty fees from vessel commitments).
    • Full year 2025 financial outlook
      • In 2025, based on a stable E&P Capex environment, performance is expected to be driven by:
        • Geoscience: growth backed by industry leading technology and strong backlog.
    • Earth Data: stronger Cash EBITDA KPI, with end of vessel commitment penalty fees.
      • Sensing & Monitoring: further savings expected from the restructuring plan.
      • New Businesses: growth and first year positive contribution to the group’s profitability.
    • Financial objective: net cash flow of c.$100m.
    • Viridien will continue to focus on cash flow generation and deleveraging. Thanks to 2024 financial performance and the favorable debt market, our bond refinancing could be realized in 2025, before our previous Q1 2026 indication.
    • Full Year 2024 Conference call
      • The press release and the presentation will be available on our website www.viridiengroup.com at 5:45 pm (CET).
      • An English language analysts conference call is scheduled today at 6.00 pm (CET).
      • Participants should register for the call here to receive a dial-in number and code, or participate via the live webcast from here.
      • A replay of the conference call will be made available the day after for a period of 12 months in audio format on the Company’s website.

    The Board of Directors met on February 27, 2025 and approved the consolidated financial statements ending December 31, 2024. The Statutory Auditors are in the process of issuing a report with an unqualified opinion.

    About Viridien:

    Viridien (www.viridiengroup.com) is an advanced technology, digital and Earth data company that pushes the boundaries of science for a more prosperous and sustainable future. With our ingenuity, drive and deep curiosity we discover new insights, innovations, and solutions that efficiently and responsibly resolve complex natural resource, digital, energy transition and infrastructure challenges. Viridien employs around 3,400 people worldwide and is listed as VIRI on the Euronext Paris SA (ISIN ISIN: FR001400PVN6).

    Contact:

     VP Corporate Finance

    Jean-Baptiste Roussille
    jean-baptiste.roussille@viridiengroup.com

    Q4 & FY 2024- Financial Results

    Key Segment P&L figures
    (In million $)
    2023
    Q4
    2024
    Q4
    Var.
    %
    2023
    FY
    2024
    FY
    Var.
    %
     
     
    Exchange rate euro/dollar 1,07 1,09 2% 1,08 1,09 1%  
    Segment revenue 320 339 6% 1 125 1 117 (1%)  
    DDE 201 238 19% 672 787 17%  
    Geoscience 98 107 10% 335 404 20%  
    Earth Data 103 131 27% 337 383 14%  
    Prefunding 62 49 (20%) 194 205 6%  
    After-Sales & other 41 82 99% 143 178 25%  
    SMO 119 100 (16%) 453 330 (27%)  
    Land 42 55 32% 176 157 (10%)  
    Marine 66 29 (56%) 230 117 (49%)  
    Beyond the core 11 16 45% 48 56 17%  
    Segment EBITDA 122 128 5% 400 422 5%  
    Adjusted * Segment EBITDA 121 157 30% 400 455 14%  
    DDE 117 150 28% 367 458 25%  
    SMO 9 18 56 35 (37%)  
    Corporate and other (5) (11) (24) (38) (59%)  
    Segment operating income 15 33 138 113 (18%)  
    Adjusted* Segment Opinc 14 89 138 173 25%  
    DDE 21 89 140 206 47%  
    SMO (1) 11   24 4 (83%)  
    Corporate and other (6) (11) (26) (38) (44%)  
    *Adjusted for non-recurring charges and gains.              
    Other KPI
    (In million $)
    2023
    Q4
    2024
    Q4
    Var.
    %
    2023
    FY
    2024
    FY
    Var.
    %
     
     
    Geoscience Backlog 184 351 90% 184 351 90%  
    Total Capex (42) (81) (92)% (232) (285) (23)%  
    Industrial capex (8) (4) 51% (44) (17) 61%  
    R&D capex (4) (5) (5)% (17) (16) 7%  
    Earth Data (Cash) (29) (72) (171) (252) (47)%  
    Earth Data Cash predunding rate 210% 68%   113% 81%    
    EDA Library net book value* 458 456 (0)% 458 456 (0)%  
    Liquidity 422 392   422 392    
    o.w. undrawn RCF 95 90   95 90    
    Gross debt* (1 301) (1 223)   (1 301) (1 223)    
    o.w. accrued interests (20) (18)   (19) (18)    
    o.w. lease liabilities (103) (125)   (103) (125)    
    Net debt* 974 921   974 921    
    Net debt*/Segment adjusted EBITDA        x2.4 x2.0    
    *Post IFRS15/16              
    Consolidated IFRS Income Statements
    (In million $)
    2023
    Q4
    2024
    Q4
    Var.
    %
    2023
    FY
    2024
    FY
    Var.
    %
     
     
    Exchange rate euro/dollar 1,07 1,09   1,08 1,09    
    Revenue 265 427 61% 1 076 1 211 13%  
    EBITDA 68 216 351 516 47%  
    Operating Income (11) 49 119 143 21%  
    Equity from Investment (3) (1) 47% (2) (0) 77%  
    Net cost of financial debt (20) (24) (20%) (95) (97) (2%)  
       Other financial income (loss) (2) 5 (4) 4  
       Income taxes 11 1 (94%) (14) (13) 3%  
    Net Income / Loss from continuing operations (25) 29 4 36  
    from discontinued operations 10 0 (100%) 12 15 20%  
    Net income / (loss) (15) 29 16 51  
    Shareholder’s net income / (loss) (15) 29 13 50  
    Basic Earnings per share in $ 0,00 0,00   1,81 6,97    
    Diluted Earnings per share in € 0 0,00   1,80 6,93    
    Cash Flow items
    (In million $)
    2023
    Q4
    2024
    Q4
    Var.
    %
    2023
    FY
    2024
    FY
    Var.
    %
     
     
    Segment EBITDA 122 128 5% 400 422 5%  
    Income Tax Paid 9 (2) 6 (12)  
    Change in Working Capital & Provisions 21 30 42% 3 48  
    Other Cash Items 1 (0) 1 (1)  
    Cash provided by Operating Activity 153 155 1% 410 457 11%  
    Earth Data Capex (29) (72) (171) (252) (47%)  
    Industrial Capex & Dev. Costs (13) (9) 32% (61) (33) 46%  
    Acquisitions and Proceeds of Assets 5 6 24% 3 7  
    Cash from Investing Activity (37) (75) (229) (278) -22%  
    Paid Cost of Debt (44) (43) 2% (91) (86) 6%  
    Lease Repayement (19) (12) 36% (57) (56) 2%  
    Asset Financing 1 (0) 22 (1)  
    Cash from Financing Activity (63) (56) 11% (126) (142) -13%  
    Discontinued Operations Acquisitions (6) 3 (23) 19  
    Net Cash Flow 48 27 -43% 32 56 73%  
    Financing cash flow (2) (49)   (6) (69)    
    Forex and other 7 (12)   3 (11)    
    Net increase/(decrease) in cash 52 (34)   29 (25)    

     CONSOLIDATED FINANCIAL STATEMENTS – December 31st, 2024

    6.1 2023-2024 Viridien consolidated financial statements

    6.1.1 CONSOLIDATED STATEMENT OF OPERATIONS

    In millions of US$ Notes December 31
    (1)        2024 2023
    Operating revenues 18, 19 1,211.3 1,075.5
    Other income from ordinary activities   0.1 0.3
    Total income from ordinary activities   1,211.4 1,075.8
    Cost of operations   (871.2) (817.4)
    Gross profit   340.2 258.4
    Research and development expenses – net 20 (17.8) (26.1)
    Marketing and selling expenses   (37.1) (36.1)
    General and administrative expenses   (82.9) (75.8)
    Other revenues (expenses) – net 21 (58.9) (1.4)
    Operating income 19 143.5 119.0
    Cost of financial debt – gross   (109.4) (103.3)
    Income from cash and cash equivalents   12.3 8.0
    Cost of financial debt – net 22 (97.2) (95.3)
    Other financial income (loss) 23 3.7 (3.8)
    Income (loss) before income taxes and share of income (loss) from companies accounted for under the equity method   50.1 19.9
    Income taxes 24 (13.4) (14.0)
    Net income (loss) before share of net income (loss) from companies accounted for under the equity method   36.6 5.9
    Net income (loss) from companies accounted for under the equity method 8 (0.5) (2.0)
    Net income (loss) from continuing operations   36.1 3.9
    Net income (loss) from discontinued operations 5 14.7 12.3
    Consolidated net income (loss)   50.8 16.2
    Attributable to:      
    Owners of Viridien S.A   49.8 12.9
    Non-controlling interests   1.0 3.3
    Weighted average number of shares outstanding (a) 29 7,150,958 7,131,286
    Weighted average number of shares outstanding adjusted for dilutive potential ordinary shares (a) 29 7,184,713 7,171,894
    Net income (loss) per share (in US$)      
    (1)        – Base (a)   6.97 1.81
    (2)        – Diluted (a)   6.93 1.80
    Net income (loss) from continuing operations per share (in US$)      
    (3)        – Base (a) $ 4.91 0.08
    (4)        – Diluted (a) $ 4.89 0.08
    Net income (loss) from discontinued operations per share (in US$)      
    (5)        – Base (a) $ 2.06 1.72
    (6)        – Diluted (a) $ 2.05 1.72

    (a) As a result of the July 31, 2024 reverse share split, the calculation of basic and diluted earnings per shares for 2023 has been adjusted retrospectively. Number of ordinary shares outstanding has been adjusted to reflect the proportionate change in the number of shares.

    The accompanying notes are an integral part of the consolidated financial statements.

    Consolidated statement of comprehensive income (loss)

    In millions of US$ December 31
    (2)        2024 (a) 2023 (a)
    Net income (loss) from consolidated statement of operations 50.8 16.2
    Other comprehensive income to be reclassified in profit (loss) in subsequent period:    
    Net gain (loss) on cash flow hedges 0.4 2.0
    Variation in translation adjustments (23.0) 14.2
    Net other comprehensive income to be reclassified in profit (loss) in subsequent period (1) (22.7) 16.2
    Other comprehensive income not to be classified in profit (loss) in subsequent period:    
    Net gain (loss) on actuarial changes on pension plan 3.6 (4.6)
    Net other comprehensive income not to be reclassified in profit (loss) in subsequent period (2) 3.6 (4.6)
    Total other comprehensive income (loss) for the period, net of taxes (1)+(2) (19.1) 11.6
    Total comprehensive income (loss) for the period 31.8 27.8
    Attributable to:    
    Owners of Viridien S.A 31.3 25.1
    Non-controlling interests 0.5 2.7
    (a) Including other comprehensive income related to discontinued operations which is not material.

    The accompanying notes are an integral part of the consolidated financial statements.

    6.1.2 CONSOLIDATED STATEMENT OF FINANCIAL POSITION

    In millions of US$ Notes (3)        Dec 31, 2024 Dec 31, 2023
    ASSETS      
    Cash and cash equivalents 28 301.7 327.0
    Trade accounts and notes receivable, net 3, 18 339.9 310.9
    Inventories and work-in-progress, net 4 163.3 212.9
    Income tax assets 24 22.9 30.8
    Other current assets, net 4 74.0 92.1
    Assets held for sale, net 5 24.5
    Total current assets   926.2 973.7
    Deferred tax assets 24 43.6 29.9
    Other non-current assets, net 16 8.9 6.8
    Investments and other financial assets, net 7 25.7 22.7
    Investments in companies accounted for under the equity method 8 1.1 2.2
    Property plant & equipment, net 9 220.6 206.1
    Intangible assets, net 10 535.4 579.7
    Goodwill, net 11 1,082.8 1,095.5
    Total non-current assets   1,918.1 1,942.9
    TOTAL ASSETS   2,844.3 2,916.6
    LIABILITIES AND EQUITY      
    Financial debt – current portion 13 56.9 58.0
    Trade accounts and notes payable 3 120.9 86.4
    Accrued payroll costs   84.5 89.1
    Income taxes payable 24 20.4 12.5
    Advance billings to customers   19.2 24.0
    Provisions – current portion 16 19.7 8.7
    Other current financial liabilities 14 0.5 21.3
    Other current liabilities 12 182.5 250.3
    Liabilities associated with non-current assets held for sale 5 2.4
    Total current liabilities   507.0 550.3
    Deferred tax liabilities 24 18.4 24.3
    Provisions – non-current portion 16 28.8 30.1
    Financial debt – non-current portion 13 1,165.6 1,242.8
    Other non-current financial liabilities 14 0.5
    Other non-current liabilities 12 1.7 4.3
    Total non-current liabilities   1,214.5 1,302.0
    Common stock (a) 15 8.7 8.7
    Additional paid-in capital   118.7 118.7
    Retained earnings   1,036.5 980.4
    Other Reserves   55.2 27.3
    Treasury shares   (20.1) (20.1)
    Cumulative income and expense recognized directly in equity   (1.1) (1.4)
    Cumulative translation adjustments   (113.3) (90.8)
    Equity attributable to owners of Viridien S.A.   1,084.7 1,022.8
    Non-controlling interests   38.1 41.5
    Total Equity   1,122.8 1,064.3
    TOTAL LIABILITIES AND EQUITY   2,844.3 2,916.6
    (a) Common stock: 11,215,501 shares authorized and 7,165,465 shares with a nominal value of €1.00 outstanding at December 31, 2024.

    The accompanying notes are an integral part of the consolidated financial statements.

    6.1.3 CONSOLIDATED STATEMENT OF CASH FLOWS

    In millions of US$ Notes December 31
    (4)        2024 2023
    OPERATING ACTIVITIES      
    Consolidated net income (loss) 1, 19 50.8 16.2
    Less: Net income (loss) from discontinued operations 5 (14.7) (12.3)
    Net income (loss) from continuing operations   36.1 3.9
    Depreciation, amortization and impairment 1, 19, 28 124.7 91.5
    Impairment and amortization of Earth Data surveys 1, 10, 28 261.4 153.1
    Amortization and depreciation of Earth Data surveys, capitalized 10 (16.6) (15.4)
    Variance on provisions   14.3 (2.6)
    Share-based compensation expenses   3.4 2.8
    Net (gain) loss on disposal of fixed and financial assets   (3.7) (1.7)
    Share of (income) loss in companies recognized under equity method   0.5 2.0
    Other non-cash items   (0.3) 5.2
    Net cash flow including net cost of financial debt and income tax   419.8 238.8
    Less: Cost of financial debt   97.2 95.3
    Less: Income tax expense (gain)   13.4 14.0
    Net cash flow excluding net cost of financial debt and income tax   530.4 348.1
    Income tax paid – Net (a)   (12.4) 5.5
    Net cash flow before changes in working capital   518.0 353.6
    Changes in working capital   (61.2) 54.7
    – Change in trade accounts and notes receivable   (128.4) 51.8
    – Change in inventories and work-in-progress   28.1 49.2
    – Change in other current assets   10.5 (9.9)
    – Change in trade accounts and notes payable   26.8 (5.4)
    – Change in other current liabilities   1.8 (31.0)
    Net cash flow from operating activities   456.7 408.3
    INVESTING ACTIVITIES      
    Total capital expenditures (tangible and intangible assets) net of variation of fixed assets suppliers and excluding Earth Data surveys) 9 (32.9) (60.9)
    Investments in Earth Data surveys 10 (252.1) (171.1)
    Proceeds from disposals of tangible and intangible assets 28 6.8 0.4
    Proceeds from divestment of activities and sale of financial assets 28 6.2
    Dividends received from investments in companies under the equity method   0.5
    Acquisition of investments, net of cash & cash equivalents acquired 28 (1.9)
    Variation in other non-current financial assets 28 (8.2) (5.2)
    Net cash-flow used in investing activities   (286.0) (232.5)
    FINANCING ACTIVITIES      
    Repayment of long-term debt 13, 28 (59.4) (1.8)
    Total issuance of long-term debt 13, 28 0.1 23.9
    Lease repayments 13, 28 (55.7) (57.0)
    Financial expenses paid 13, 28 (85.6) (90.7)
    Net proceeds from capital increase:      
    – from shareholders:   0.1
    – from non-controlling interests of integrated companies  
    Dividends paid and share capital reimbursements:  
    – Equity attributable to owners of Viridien S.A.  
    – to non-controlling interests of integrated companies   (3.8) (0.9)
    Net cash-flow from (used in) financing activities   (204.4) (126.4)
    Effect of exchange rate changes on cash   (11.0) 2.6
    Net cash flows incurred by discontinued operations 5 19.3 (23.0)
    Net increase (decrease) in cash and cash equivalents   (25.3) 29.0
    Cash and cash equivalents at beginning of year   327.0 298.0
    Cash and cash equivalents at end of period   301.7 327.0
    (a) Includes a cash inflow of US$6 million in 2024 and US$32 million in 2023 for the research tax credit in France.

    The accompanying notes are an integral part of the consolidated financial statements.

    6.1.4 CONSOLIDATED STATEMENT OF CHANGES IN EQUITY

    In millions of US$, except for share data Number of shares issued (a) Share capital Additional paid-in capital Retained earnings Other reserves Treasury shares Income and expense recognized directly in equity Cumu-lative translation adjust-ment Viridien S.A. – Equity attributable to owners of Viridien S.A. Non-controlling interests Total equity
    Balance at January 1, 2023 7,123,573 8.7 118.6 967.9 50.0 (20.1) (3.4) (102.4) 1,019.3 39.5 1,058.8
    Net gain (loss) on actuarial changes on pension plan (1)       (4.6)         (4.6)   (4.6)
    Net gain (loss) on cash flow hedges (2)             2.0   2.0   2.0
    Net gain (loss) on translation adjustments (3)               14.8 14.8 (0.6) 14.2
    Other comprehensive income (1)+(2)+(3)   (4.6) 2.0 14.8 12.2 (0.6) 11.6
    Net income (loss) (4)       12.9         12.9 3.3 16.2
    Comprehensive income (1)+(2)+(3)+(4)   8.3 2.0 14.8 25.1 2.7 27.8
    Exercise of warrants 238   0.1           0.1   0.1
    Dividends                 (1.0) (1.0)
    Cost of share based payment 12,951     2.6         2.6   2.6
    Transfer to retained earnings of the parent company                  
    Variation in translation adjustments generated by the parent company         (22.7)       (22.7)   (22.7)
    Changes in consolidation scope and other       1.6       (3.2) (1.6) 0.3 (1.3)
    Balance at December 31, 2023 7,136,763 8.7 118.7 980.4 27.3 (20.1) (1.4) (90.8) 1,022.8 41.5 1,064.3

    (a) Pro forma following Reverse Share Split (see note 2 – Significant events, acquisitions and divestitures).

    In millions of US$, except for share data Number of shares issued (b) Share capital Additional paid-in capital Retained earnings Other reserves Treasury shares Income and expense recognized directly in equity Cumu-lative translation adjust-ment Viridien S.A. – Equity attributable to owners of Viridien S.A. Non-controlling interests Total equity
    Balance at January 1, 2024 7,136,763 8.7 118.7 980.4 27.3 (20.1) (1.4) (90.8) 1,022.8 41.5 1,064.3
    Net gain (loss) on actuarial changes on pension plan (1)       3.6         3.6   3.6
    Net gain (loss) on cash flow hedges (2)             0.4   0.4   0.4
    Net gain (loss) on translation adjustments (3)               (22.5) (22.5) (0.6) (23.0)
    Other comprehensive income (1)+(2)+(3)   3.6 0.4 (22.5) (18.5) (0.6) (19.1)
    Net income (loss) (4)       49.8         49.8 1.0 50.8
    Comprehensive income (1)+(2)+(3)+(4)   53.4 0.4 (22.5) 31.3 0.5 31.8
    Exercise of warrants                      
    Dividends                 (3.8) (3.8)
    Cost of share based payment 24,703     2.7         2.7   2.7
    Transfer to retained earnings of the parent company                  
    Variation in translation adjustments generated by the parent company         28.0       28.0   28.0
    Changes in consolidation scope and other                      
    Balance at December 31, 2024 7,161,465 8.7 118.7 1,036.5 55.2 (20.1) (1.1) (113.3) 1,084.7 38.1 1,122.8

    (b) Reverse Share Split: Pursuant to a delegation from the Combined General Meeting of shareholders of May 15, 2024, and a sub-delegation from the Board of Directors held on the same day, a reversed share split has been implemented, on July 31, 2024, on the basis of 1 new share of €1.00 nominal value for 100 old shares of €0.01 nominal value.

    The accompanying notes are an integral part of the consolidated financial statements.


    1All variations refer to the same period last year
    2Unless otherwise stated, all figures and comments are referring to “Segment” (i.e. pre-IFRS 15), as defined in the 2023 and 2024 Universal Registration Documents’ glossaries, under section 8.7
    3Adjusted for non-recurring items

    Attachment

    The MIL Network

  • MIL-OSI USA: Ricketts: States Should “Play a More Active Role in Federal Highway Programming”

    US Senate News:

    Source: United States Senator Pete Ricketts (Nebraska)
    WASHINGTON, D.C. – Today, U.S. Senator Pete Ricketts (R-NE), a member of the Senate Environment and Public Works Committee, called for states to play a more active role in federal highway programming. Ricketts said the following:
    “Transportation infrastructure, we’ve all said it, is incredibly important in my home state in Nebraska, just like it is where you all come from,” Ricketts said. “It’s important for our competitiveness, for our industrial opportunity, and really just our quality of life. And so it’s something that we want to make sure we’re doing to the best job possible. As we’re looking to reauthorize, toward Highway Reauthorization, states need to be playing a more active role in the programming.”
    “The Department of Transportation should be doing something where we empower states through the formula funding to be able to let them make the decisions and not cherry-pick different ‘green’ projects that are discretionary grants,” Ricketts said.
    [embedded content]
    Click here to watch
    Ricketts made the comments in a Senate Environment and Public Works Committee hearing on implementation of the Infrastructure Investment and Jobs Act. During the hearing, he also questioned the panelists on ways to improve efficiency and service quality through process improvement, similar to Nebraska’s successful process improvement when Ricketts was Governor.

    MIL OSI USA News

  • MIL-OSI United Kingdom: Beach recycling underway to strengthen Norfolk flood protection

    Source: United Kingdom – Executive Government & Departments

    Press release

    Beach recycling underway to strengthen Norfolk flood protection

    An expected 14,000 tonnes of sand and shingle will be moved to protect 800 homes and 4,000 caravans.

    Work is underway to bolster natural flood defences along the west coast of Norfolk as part of their yearly renewal.  

    Beach recycling will see an expected 14,000 tonnes of sand and shingle will be moved around the beach from where it’s been deposited by the tidal movement of the sea. 

    The aggregate is taken north to Heacham and South Hunstanton to restore the shingle ridge along a 5km stretch of coastline.

    The shingle ridge is a natural flood defence protecting more than 800 properties and 4,000 caravans. The recycling will be completed in time for ground nesting birds and tourists to arrive. 

    To move thousands of tonnes of material, the Environment Agency uses three 30-tonne dumper trucks, two bulldozers and an excavator. 

    The recycling follows a report into the shingle ridge which was published in Summer 2024. The Environment Agency is set to begin updating the 2015 Wash East Coast Management Strategy (WECMS) for Hunstanton to Wolferton Creek later this year. The updated strategy will further assess the latest monitoring data and reflect the findings of the Initial Assessment report.

    Sadia Moeed, Area Director for the Environment Agency said:

    “Beach recycling is an incredibly important part of the work we do on the Norfolk coast. It’s vital the shingle ridge is kept in good condition to help reduce the risk of flooding to the communities behind it.

    “It’s also important that property owners continue to refrain from digging into the ridge and approach the us if they wish to carry out works within 16m of it. This will also help preserve the integrity of the ridge and its ability to perform as a natural flood defence.

    “People should know their flood risk and sign up for free flood warnings by going to https://www.gov.uk/check-flood-risk or calling Floodline on 0345 988 1188. You can also follow @EnvAgencyAnglia on Twitter for the latest flood updates.”‎

    Both Natural England and the RSPB are consulted on the beach recycling to preserve the coastline’s environmental importance. The work is funded by the East Wash Coastal Management Community Interest Company which raises funds from the local community, caravan park owners and landowners. Anglian Water and the Borough Council of Kings Lynn & West Norfolk also contribute to the project.

    Cllr Sandra Squire, Cabinet Member for Environment at the Borough Council of King’s Lynn & West Norfolk, said:

    “Restoring the shingle ridges between Hunstanton and Snettisham helps to protect people and wildlife living on the coast in west Norfolk.

    “This important annual beach recycling programme, which is an effective means of undertaking important flood defence work to maintain the defences along the Snettisham to Hunstanton coastline, makes a real difference to the communities in the area.”

    Notes to editors

    Updates to this page

    Published 27 February 2025

    MIL OSI United Kingdom

  • MIL-OSI: H2C Safety Pipe, Inc. Welcomes Peter Miller as Environmental Policy Director

    Source: GlobeNewswire (MIL-OSI)

    SANTA BARBARA, Calif., Feb. 27, 2025 (GLOBE NEWSWIRE) — H2C Safety Pipe, Inc. announces that Peter Miller has joined the company as Environmental Policy Director. In this role, Miller will engage with environmental stakeholders, policymakers, and industry leaders to advance regulatory standards that help ensure hydrogen pipeline safety and integrity, supporting the global transition to clean energy.

    Miller brings over 35 years of experience in environmental policy, clean energy advocacy, and regulatory development. Most recently, he served as Director of the Western Region Climate and Clean Energy Program at the Natural Resources Defense Council (NRDC), where he played a pivotal role in shaping California’s renewable energy policies, energy efficiency programs, and carbon reduction initiatives. His extensive background includes collaborating with public, private, and nonprofit sectors to develop innovative environmental solutions.

    Miller was drawn to H2C Safety Pipe by its mission to address one of the most critical challenges in hydrogen infrastructure: minimizing hydrogen leakage to maximize public safety and environmental benefits. “The transition to a clean energy economy depends not only on expanding hydrogen infrastructure but ensuring that it is deployed responsibly,” said Miller. “H2C Safety Pipe’s innovative technology provides an essential solution to a key problem—controlling hydrogen leakage while keeping costs affordable. I’m excited to bring my expertise to this team and help shape the policies that will make an industry standard a reality.”

    Robert Shelton, President of H2C Safety Pipe, said, “We are at a pivotal moment in the clean energy transition, and ensuring that hydrogen pipelines meet the highest safety and environmental standards is critical to long-term success. Millions of miles of natural gas pipelines have taught us that gas pipelines invariably leak, and we know hydrogen poses even greater challenges. Peter will be instrumental in building support for strong, science-backed standards that will ensure future hydrogen pipelines are safe and leak-free. His leadership will help us establish a sustainable framework for the future of hydrogen infrastructure.”

    The addition of Miller follows H2C Safety Pipe’s November 2024 announcement that Nick Gaines has joined the company as Director of Legislative Affairs. Gaines brings over a decade of experience at the intersection of technology, policy, and community development. Together, Miller and Gaines will engage with regulators, legislators, and the environmental community to champion a zero-leakage hydrogen standard in California that advances a responsible transition to a clean energy future.

    About the H2C Safety PipeTechnology
    H2C Safety Pipe, Inc. is revolutionizing hydrogen transport and distribution with its proprietary Safety Pipe technology. Designed to address leakage concerns and enhance safety, this technology allows for the cost-effective, scalable and environmentally responsible distribution of hydrogen, particularly in densely populated areas. By retrofitting existing infrastructure, H2C’s pipe-within-a-pipe solution significantly reduces the costs and complexities associated with deploying new hydrogen pipelines, thus accelerating the transition to cleaner energy sources. For more information about H2C Safety Pipe and its groundbreaking hydrogen pipeline technology, visit H2Csafetypipe.com.

    Media Contact:
    Lisa Murray
    Trevi Communications, Inc.
    lisa@trevicomm.com

    A photo accompanying this announcement is available at https://www.globenewswire.com/NewsRoom/AttachmentNg/d780016d-d0b5-4e98-a52a-5a7ea11bf42f

    The MIL Network

  • MIL-OSI Economics: Microsoft AI ignites telecom innovation and growth

    Source: Microsoft

    Headline: Microsoft AI ignites telecom innovation and growth

    The telecommunications industry is experiencing significant AI advancements, emerging as the leading adopter of generative and agentic AI to drive automation, personalization, and data-driven decisions. According to a recent IDC white paper, telecom and media companies are seeing nearly four times the return on investment (ROI) on every dollar invested in AI. Additionally, by 2027, almost 90% of telecom providers are expected to use generative AI to improve customer experiences, up from 62% today. 

    96% of our tier-1 telecom customers are already adopting Microsoft AI solutions. Our ecosystem of customers and partners are harnessing the power of AI to reimagine customer experiences, modernize networks, automate business operations, and drive growth.

    Ahead of Mobile World Congress 2025 (MWC), we’re sharing new capabilities and customer momentum that show how telecoms are adopting the Microsoft Cloud and AI capabilities to support their AI journey and empower the next generation of telecom solutions. 

    We invite you to join us next week at MWC to learn more about our new announcements and see firsthand how Microsoft AI is transforming the telecom industry. Experience live demos, attend insightful sessions, and meet our experts to learn how you can drive innovation and growth with Microsoft AI technologies.

    Data is the fuel that powers AI: Telco data model

    Telecom networks are recognized for their complex, data-rich environments. This data is the fuel that powers AI and forms the foundation upon which next-generation telecom systems are built. To convert this massive potential into actionable intelligence, organizations need a unified platform that can seamlessly connect, manage, and analyze their data. Microsoft Fabric is the end-to-end data platform designed to power customer AI transformation and help organizations reimagine how they unlock value from their data and revolutionize the services they offer.

    Today we announce the Telco industry data model in Microsoft Fabric, designed to unify all data—from network performance metrics to customer interactions, within a single analytics environment. As an integral Fabric workload, telecom providers can use the Telco industry data model to manage and streamline how all their data is ingested, modelled, and analyzed through: 

    • Native Fabric integration—a unified pipeline within Fabric’s analytics, governance, and visualization framework means faster time to market, with better insights. 
    • Expanded data model—pre-built telecom-specific schemas covering network data, customer insights, and operational metrics drives operational efficiency.
    • Developer and visualization tools—simplified, AI-ready solution building that dramatically reduces development and testing time, making networks more resilient. 

    More than 50% of our telecom customers are leveraging Fabric for real-time business insights to optimize business and network operations. Leading customers like Telefónica, KPN, One NZ, and partners like Accenture, Infosys, and LigaData are using Fabric to achieve business results. The broader customer adoption for Fabric is more than 19,000 customers, including 70% of the Fortune 500. The Telco industry data model in Microsoft Fabric enables telecoms to establish a strong data foundation to unlock AI-powered insights that fuel innovation, operational efficiency, and greater value across the entire organization. 

    “Microsoft Fabric, powered by Telco data model and AI capabilities, has revolutionized our solutions by providing real-time insights throughout the customer journey, potentially increasing operational efficiency by 40%. Our solution offers preventive insights across the entire order lifecycle and its auto-healing capability for enhanced jeopardy management, significantly improving the management of complex B2B orders and enhancing the customer experience.”

    Balakrishna D.R., Executive Vice President, Infosys Limited 

    The Telco industry data model in Microsoft Fabric will be available early in April 2025.

    Telecom customers around the world are taking advantage of the cloud and AI in new and innovative ways. The collaborations we recently announced with KT Corporation, Lumen, Telstra, and Vodafone demonstrate how telecoms are innovating to elevate customer experiences, streamline business operations, modernize networks, and unlock new revenue streams. Additionally, we’re introducing new collaborations with top telecom providers that exemplify how they’re building the foundation to successfully implement AI, benefiting their organization, employees, and customers. 

    • Spark, New Zealand’s leading telecom provider, is joining forces with Microsoft in the country’s largest Microsoft public cloud partnership, highlighting how AI and the Cloud are helping to transform telecom worldwide. Spark will migrate a portion of its workloads to Microsoft Azure and roll out one of New Zealand’s largest Microsoft 365 Copilot deployments. For more, read the press release. 
    • Microsoft and Telefónica are extending their strategic collaboration to co-develop digital solutions using Open Gateway, a GSMA-led initiative that transforms communication networks into programmable platforms via Telefónica’s AI platform, Kernel. Both companies will work together to migrate Kernel’s capacities to Azure as part of a software as a service (SaaS) offering. The collaboration also encompasses a joint go-to-market strategy, which will bring a suite of digital products and services to other telecoms, developers, and telecom entities—available on Azure Marketplace and integrated into Microsoft’s overall telecom solutions. For more, read the press release.

    We are also announcing that Surface for Business with 5G devices and Microsoft 365 Copilot will be available in all Verizon Business channels starting in April 2025. This launch marks a decade of partnership between Microsoft and Verizon Business, offering cellular connected Surface for Business devices and Microsoft services. Customers are choosing Surface Copilot+ PCs today for their exceptional performance, battery life, and security. Now, with the Verizon 5G network, the combination of Surface and Microsoft 365 Copilot offers an unparalleled mobile experience for business customers. For more, read the Surface IT Pro blog. 

    Telecoms accelerate growth in the next wave of AI: Agentic AI

    As the AI platform shift accelerates, it’s inspiring to see customers and partners harness AI, generative AI, and agentic AI to drive transformation—reshaping both their businesses and the industry at large. 

    Elevating customer experiences

    A recent IDC white paper showed AI-powered customer engagement is a top priority for businesses, with 92% of organizations currently using AI for marketing and public relations (PR) and 77% using it for customer service​. Telecom providers are delivering frictionless customer experiences with AI-infused customer care at-scale with Dynamics 365. With a comprehensive view of the customer, telecoms obtain real-time insights into accounts and next-best actions to take. They also enable their customers through AI-powered automation for self-service. Additionally, Amdocs has created the Customer Engagement Platform that is fully integrated with Dynamics 365, to reimagine customer experience and identify new revenue opportunities for telecoms. 

    Since last MWC, we announced Dynamics 365 Contact Center, a powerful solution that works with existing customer relationship management systems (CRMs) and unifies interactions, streamlines support, and boosts customer satisfaction. With this solution, consumers can engage and self-serve in their channel of choice while reps can handle billing and tech issues faster with a single view. Built-in Copilot capabilities and real-time analytics drive improvements and upselling, enhancing loyalty, and revenue. 

    Leading telecoms are also reimagining how they connect with customers by harnessing Microsoft 365 Copilot to capture real-time transcripts, gain contextual insights, and automate repetitive tasks. This reduces handling times, freeing representatives to tackle more complex customer needs.

    Here are some examples of how telecoms customers are using Microsoft AI technologies to transform their business and reimagine customer experiences:

    • Telkomsel’s AI-powered solution Veronika, built on Azure and introduced at the end of 2023, is delivering impressive results. Telkomsel has increased self-service interactions by 62% and cut escalations to agents by 38%. The average monthly active users of Veronika also grew by 67%, rising from 1.3 million in the first half of 2023 to 2.2 million in the second half. These improvements have boosted agent productivity and service quality, making for a smoother, more efficient customer experience.
    • Vodafone is harnessing Microsoft 365 Copilot to empower 68,000 employees to boost productivity, innovation, and quality. They are also leveraged Azure OpenAI Service, Azure AI Studio, Kubernetes Service to develop Tobi and SuperAgent to empower their agents with real-time AI support to improve customer experience, decrease churn, and provide competitive advantage. This improved first-time resolution from 70% to 90%. 
    • Lumen is leveraging Microsoft AI solutions to empower their employees and improve customer service.

    “Lumen is building the trusted network for AI. By scaling our AI capabilities with tools like Copilot, Azure AI, and Azure ML, we’re empowering our employees to tackle complex challenges and prioritize high-impact activities that enhance customer experiences and satisfaction. As we navigate our transformation, Microsoft’s AI tools are essential in supporting our objectives and sustaining our competitive advantage.”

    Ryan Asdourian, Executive Vice President and Chief Marketing Officer, Lumen Technologies 

    Optimizing operations and modernizing networks

    To keep pace with increasing business demands, leading telecoms are optimizing business operations and modernizing their networks with AI and an integrated data backbone. 

    Here are examples of how customers are using Microsoft AI capabilities to drive operational efficiency, innovation and growth:

    • AT&T automates code conversion and human resources (HR) inquiries with Azure OpenAI Service, improving employee experience, cutting costs and boosting customer service.
    • KT Corporation is leveraging Microsoft AI to drive efficiency and innovation.

    The Microsoft AI-driven solutions have enabled KT Corporation to improve its work efficiency and drive significant work innovation. By introducing Microsoft 365 Copilot, KT Corporation empowered over 11,000 employees with the latest AI solutions. Additionally, by developing AI agents built on solutions such as Microsoft Sustainability Manager and Copilot, KT reduced task completion time by 50% and improved infrastructure efficiency by 20%.” Phil Oh, CTO, KT Corporation

    • Proximus and TCS’s GitHub Copilot journey showcases how Microsoft generative AI accelerates IT delivery in telecom, improving productivity, code quality, and developer experience.

    “In terms of developer experience, that’s where we got phenomenal, satisfactory feedback from developers—about 90% plus positive feedback from all categories of developers.”

    Muralidharan Murugesan, Head – AI, Telco, Media & Information Services Industry, TCS 

    • NTT DATA is leveraging Microsoft AI to build agentic AI workloads.

    “NTT DATA leverages Microsoft Copilot Studio to deliver agentic AI advisory, implementation, managed services, and connectivity. By providing industry-specific automation and utilizing our integrated managed services platform, we support clients throughout their agents’ lifecycle. This collaboration is pivotal in achieving our clients’ outcomes, enabling us to deliver tailored, efficient, and innovative solutions that drive business success and enhance decision-making processes.”

    Aishwarya Sing, SVP, Global Head of Digital Collaboration, NTT

    • One NZ is using Microsoft Fabric for real-time analytics from unified data sources. With the integration of multiple systems and visualizing insights on a single pane, One NZ has rapidly streamlined processes and proactively addressed growth opportunities: 

    “Previously, you needed to be a data engineer or scientist to access and understand customer information. Now we’re making it user-friendly, so anyone can easily make data-driven decisions.”

    Strathan Campbell, Channel Environment Technology Lead, One NZ 

    • Telstra scales in-house generative AI tools, saving 90% of employees’ time and reducing follow-up contacts by 20%.

    Unlocking new revenue streams in the enterprise

    A recent IDC white paper reports that 63% of telco and media companies say they are currently monetizing or using AI to boost revenue. As a trusted partner, beyond supporting their own transformation, we equip telecom providers with comprehensive business-to-business (B2B) offerings to drive topline growth and better serve their enterprise customers. 

    For example, AT&T’s collaboration with Microsoft is reimagining enterprise connectivity. AI applications and AT&T’s connectivity are tackling the USD112 billion annual retail shrinkage issue head-on. By integrating Azure IoT with AT&T’s 5G network and leveraging Teams Phone Mobile for notifications, retailers receive alerts that minimize loss and ensure safer shopping experience. AT&T’s move into AI-powered connectivity has created new revenue streams, spanning cost savings, compliance, and collaboration.

    “AT&T is a leader in enabling innovative AI solutions and continues to expand capabilities through our relationship with Microsoft. We’re excited to integrate Microsoft’s AI capabilities into our retail crime intelligence platform, which utilizes near real-time notifications via Teams Phone Mobile. This collaboration underscores the commitment of both companies to enhance retail security and contribute to a safer shopping environment for both employees and customers.”

    Cameron Coursey, Vice President, AT&T Connected Solutions 

    Another partner, Norwood Systems, is extending traditional voice services with Voice AI, opening up a new revenue stream for telecoms. Its OpenSpan solution, built on Azure OpenAI Service and Azure AI Speech, enables telecoms to bridge public switched telephone network (PSTN) and mobile services, to deliver advanced features like real-time recording, transcription, and summarization. This provides seamless call management for users and deeper insights for the telecom providers:

    “By integrating Norwood’s OpenSpan with our mobile and voice networks, BT is unlocking new possibilities in voice technology. This innovation bridges our award-winning networks with AI, creating opportunities to enhance customer experiences, drive new efficiencies, and shape the future of voice communications.”

    Jon Martin, Senior Director, Unified Communications, BT 

    To continue our mission to help telecoms succeed in this era of AI platform shift, Microsoft is enabling telecoms to further capitalize on AI by offering generative AI-powered managed security services. This allows tier-1 telecoms to generate new revenue from reselling, implementation, and managed services, while also reducing security operations center (SOC) costs and accelerating threat responses.

    AI-powered Microsoft platforms and capabilities for co-innovation

    Microsoft offers arguably the most comprehensive AI solutions. As a platform-first company, we also provide extensive tools to empower partners, developers and customers to build innovative cloud and AI solutions that meet the needs of telecom businesses.

    Our adaptive cloud approach unifies hybrid, multi-cloud, and edge infrastructure through a single Azure Arc platform. We enable customers to build distributed, low-latency, high-performance applications and establish a common data foundation for current and future AI investments. For ultra-low latency or regulatory scenarios, we’re expanding Azure with Azure Local—cloud-connected infrastructure deployable at edge locations like retail sites and central offices. We continue to support existing Azure Operator Nexus customers as the solution evolves as part of our overall approach for Azure at the edge.

    Accenture is spearheading an enterprise-ready private multi-access edge compute (MEC) solution built on Azure Local to deliver low latency, localized data processing, and meet regulatory requirements. Tejas Rao, Accenture, Managing Director, Accenture says, “Private 5G and edge computing are no longer experimental technologies, they are catalysts for enterprise transformation. By leveraging Azure Local, we help organizations harness ultra-low latency and localized data processing to unlock real-time insights, automate critical operations, and meet industry-specific compliance needs.”

    Another partner,

    Microsoft has also performed an initial integration of Project Janus into Academic institutions, such as the To learn more about how telecoms can modernize their networks with Project Janus, read this blog. 

    Join us at MWC to learn more 

    As the pace of AI impact accelerates, telecoms need a partner they can trust to navigate what’s next. Join us at Mobile World Congress 2025 to learn more about our latest AI innovations in theater sessions, see cutting edge demos, and meet with our experts. Let’s shape the future of telecom together—powered by AI, inspired by innovation, and built on trust. Read this brochure to learn more about Microsoft’s MWC presence, including in-booth theater sessions and demos showcasing the latest innovations from Microsoft and our customers and partners. 

    MIL OSI Economics

  • MIL-OSI Global: Botanic gardens are struggling to keep up with the biodiversity crisis – here’s what they can do

    Source: The Conversation – UK – By Samuel Brockington, Professor of Evolution, Curator of the Cambridge University Botanic Garden, University of Cambridge

    As I wander around Cambridge University Botanic Garden, a tree called the Wollemi pine often catches my eye. It’s one of our rarest trees, and a distinctive looking pine, with broad needles and bark that reminds you of coco pops.

    First discovered in 1994 in a ravine in the Wollemi National Park in western Australia, only a few hundred survive in the wild. Although it has been on planet earth for hundreds of thousands of years, it is close to extinction. This tree species, like many others, represents a paradox: a rare and threatened species thriving in cultivation while its wild counterparts are just about hanging on to existence.

    As a curator of one of the world’s largest university botanic gardens, I often talk about the power of living collections. I also recognise their limits. The world’s botanic gardens hold an extraordinary diversity of plants. But, they are struggling to keep up with the accelerating biodiversity extinction crisis.

    Botanic gardens are often seen simply as peaceful retreats from the daily rat race or living museums where species are catalogued and displayed. But they are far more than that. Collectively, the world’s gardens form an extensive network of living plant collections, acting as refuges for biodiversity, sources of genetic material for research, and hubs for ecological restoration.

    Our recent study, published in the journal Nature Ecology & Evolution, analysed 50 of the world’s largest living plant collections, currently growing 41% of all species in cultivation, and 500,000 individual plants. Our research spanned a century of digitised data and the findings are striking.

    Programmes like the International Conifer Conservation Programme, led by the Royal Botanic Garden Edinburgh, have successfully safeguarded conifer species at risk of extinction. And Missouri Botanic Garden has changed how it manages its collection to prioritise threatened species, embedding conservation into its core activities. For example, they are increasingly only growing plant species that will naturally fit their own climate.

    Yet, despite these successes at specific gardens, our new research suggests that our current global system of botanic gardens is not keeping pace with the biodiversity crisis.

    We have hit “peak capacity” in botanic gardens – both in the number of plants grown and in the diversity of species held. This means we are growing as many individual plants as we possibly can, and our collections are as diverse as they can possibly be. While this may seem like a success, it reveals an uncomfortable truth: we are running out of space and resources to add more species.

    We have already passed “peak wild”. This means that we are collecting and sourcing less plants directly from the wild. Since 1992, the proportion of wild-collected plants entering botanic gardens has declined, alongside a decrease in material sourced across international political boundaries.

    This shift coincides with the Convention on Biological Diversity, which aims to regulate the trade of wild animals and plants and the use of genetic resources. While intended to promote fair sharing of the benefits of biodiversity, it has seems to have negatively effected the cultivation of plants outside of their native environment, even when this is being done to protect them. It has done this by limiting the movement of plant material.

    Collections are also becoming less globally diverse. Since the early 1990s, they have become increasingly regionalised, potentially limiting their capacity to act as global conservation networks.

    These trends expose a crucial challenge: if botanic gardens are to play a serious role in conservation, their curators must rethink how they collect, share and manage plant diversity.

    Some gardens are already adapting, exemplified by the global charity Botanic Gardens Conservation International’s (BGCI) Global Conservation Consortia, which are forming networks to safeguard specific tree genera.

    Central to their efforts is the concept of the “meta-collection” – a coordinated network of living collections that steward global plant diversity. Collaboration is essential, as no single institution has the capacity or expertise to conserve every threatened species alone. BGCI is leading efforts to collate data from thousands of collections worldwide. Its searchable platforms, such as PlantSearch and ThreatSearch, are leading the way in terms of the data tools institutions need to identify conservation priorities and track the status of threatened species.

    Smart next steps

    To save endangered plants, we need to focus on three key actions that make a real difference, much like how we protect the Wollemi pine.

    The rules around plant protection need to be fixed. Right now, complicated legal barriers can make it harder, not easier, to save plants. We need clear guidelines that help gardens and conservationists share and protect rare species responsibly, without getting stuck in red tape.

    We need to make better use of what we already have. Many botanic gardens are running out of space, so rather than collecting more and more species, we need to focus on preserving strong, genetically diverse populations of the most endangered plants – like ensuring the Wollemi pine has a secure future in multiple locations around the world.

    A global data system would allow scientists to see, in real time, where rare plants like the Wollemi pine are being grown, how well they’re doing, and where help is needed most. Better information means smarter conservation decisions.

    Botanic gardens have a long history of adaptation. They have evolved from medicinal gardens to scientific institutions, and now they must become conservation leaders on a global scale. The extinction crisis demands bold action, strategic collaboration and a willingness to rethink traditional approaches.


    Don’t have time to read about climate change as much as you’d like?

    Get a weekly roundup in your inbox instead. Every Wednesday, The Conversation’s environment editor writes Imagine, a short email that goes a little deeper into just one climate issue. Join the 40,000+ readers who’ve subscribed so far.


    Samuel Brockington does not work for, consult, own shares in or receive funding from any company or organisation that would benefit from this article, and has disclosed no relevant affiliations beyond their academic appointment.

    ref. Botanic gardens are struggling to keep up with the biodiversity crisis – here’s what they can do – https://theconversation.com/botanic-gardens-are-struggling-to-keep-up-with-the-biodiversity-crisis-heres-what-they-can-do-248722

    MIL OSI – Global Reports

  • MIL-OSI: New Research by VelocityEHS Drives AI Innovation in EHS & ESG

    Source: GlobeNewswire (MIL-OSI)

    CHICAGO, Feb. 27, 2025 (GLOBE NEWSWIRE) — VelocityEHS®, the global leader in enterprise EHS & ESG software solutions, has announced the publication of three groundbreaking scientific papers, further cementing its leadership in artificial intelligence (AI) and machine learning (ML) in workplace safety and sustainability. These papers, published in the esteemed journals Ergonomics; International Journal of Data Warehousing and Mining; and Elsevier, showcase VelocityEHS’ innovative in musculoskeletal disorder (MSD) risk assessment, ESG data management, and Chemical Safety.

    Advancements in Ergonomics Risk Assessment

    The first paper, NLP-based Ergonomics MSD Risk Root Cause Analysis and Risk Controls Recommendation, published in Ergonomics and authored by Pulkit Parikh, PhD., Julia Penfield, PhD., Richard Barker, CPE, CSP, Blake McGowan, CPE, and James Richard Mallon, CPE, presents an AI-powered framework that utilizes Natural Language Processing (NLP) to automate the identification of musculoskeletal disorder (MSD) risks and recommend targeted risk controls.

    By leveraging deep learning and expert-driven ML models, this system goes beyond traditional risk scoring to provide actionable insights that improve workplace ergonomics and reduce injuries.

    “Traditional ergonomics assessments often stop at producing risk scores, leaving companies without clear guidance on control actions,” said Rick Barker, CPE, Senior Director, Solution Strategy.

    Until now, most research using artificial intelligence to combat musculoskeletal disorders has been limited to risk assessment. One of the unanswered questions among researchers is how to enhance the model to offer sustainable improvement strategies.

    Julia Penfield, PhD., VP of Research & Machine Learning at VelocityEHS addressed this challenge: “We presented a framework that goes beyond MSD risk scoring. Along with machine learning, computer vision and natural language processing can propose risk control recommendations to help organizations achieve their goal to create safer workplaces. To the best of my knowledge, we are the first to take this holistic approach.”

    Revolutionizing ESG Data Management

    The second paper, Automatic Question Answering from Large ESG Reports, published in International Journal of Data Warehousing and Mining, and co-authored by Pulkit Parikh, PhD., and Julia Penfield, PhD., introduces the first AI-driven system designed to automatically extract and answer questions from extensive Environmental, Social, Governance (ESG) reports.

    ESG reports often exceed 50 pages, making manual extraction for audits, benchmarking, or Scope 3 reporting time-consuming and labor-intensive. Compounding this challenge, audits require answering hundreds of questions, posing difficulties even for experts. Additionally, midsize companies managing Scope 3 reports must manage thousands of suppliers, making it difficult to process ESG data.

    “An AI-system could transform this process, enabling organizations to retrieve relevant information and drive informed decision-making effortlessly and efficiently,” said Dr. Julia Penfield.

    Transforming Chemical Safety with AI-driven SDS Indexing

    The third paper, A Machine Learning Driven Automated System to Extract Multiple Information Fields from Safety Data Sheet Documents, published in Elsevier, and authored by Misbah Khan, Julia Penfield, PhD., Aatish Suman, and Stephanie Crowell, presents an AI-powered system designed to automate the extraction of key chemical safety data from Safety Data Sheets (SDS).

    SDS indexing has evolved from storing physical copies to digitally extracting key fields for inventory and risk management. While essential for compliance, manual SDS indexing is labor-intensive, costly and time consuming. An AI-driven solution will automate this process, allowing organizations to access critical chemical information with speed and accuracy.

    “Effective chemical data management is essential for workplace safety and regulatory compliance. AI is no longer the future of chemical safety — it’s the present. With automated SDS indexing, we’re setting a new standard for speed, accuracy, and compliance,” says Misbah Khan, Staff Machine Learning Scientist, VelocityEHS. “An AI-driven solution will allow an organization’s team member to quickly retrieve SDS information in case of an accident, improving the response time and potentially saving a life. This blend of innovation and responsibility propels us toward an EHS future that’s both efficient and human centered.”

    The paper concluded that an automated system could improve efficiency and compliance by indexing fields, such as product name, manufacturer, supplier, and revision date, with a precision accuracy of 96 to 99%.

    Driving Innovation in Workplace Safety & Sustainability

    These research contributions reflect VelocityEHS’ commitment to pioneering AI to improve workplace safety and operational performance. The company continues to invest in innovation to provide advanced solutions so organizations can reach all their EHS goals.

    To learn how Velocity’s AI Machine Leaning scientists worked with certified ergonomists to deliver the most comprehensive ergonomics assessment tool, watch this video.

    For more about VelocityEHS, visit www.EHS.com.

    About VelocityEHS

    Relied on by more than 10 million users worldwide to drive operational excellence and achieve outstanding outcomes, VelocityEHS is the global leader in true SaaS enterprise EHS & ESG technology. The VelocityEHS Accelerate® Platform is the definitive gold standard, delivering best-in-class software solutions for managing Safety, Ergonomics, Chemical Management, and Operational Risk. In addition, Velocity offers world-class applications for Contractor Safety & Permit to Work, Environmental Compliance, and ESG.

    The VelocityEHS team includes unparalleled industry expertise, with more certified experts in health, safety, industrial hygiene, ergonomics, sustainability, the environment, AI, and machine learning than any other EHS software provider. Recognized by the EHS industry’s top independent analysts as a Leader in the Verdantix 2025 Green Quadrant Analysis, VelocityEHS is committed to industry thought leadership and to accelerating the pace of innovation through its software solutions and vision. Its privacy and security protocols, which include SOC2 Type II attestation, are among the most stringent in the industry.

    VelocityEHS is headquartered in Chicago, Illinois, with locations in Ann Arbor, Michigan; Tampa, Florida; Oakville, Ontario; London, England; Perth, Western Australia; and Cork, Ireland. For more information, visit www.EHS.com. 

    Media Contact:
    Jennifer Sinkwitts
    VelocityEHS
    jsinkwitts@ehs.com

    The MIL Network

  • MIL-OSI United Kingdom: Sir Jon Cunliffe’s address on the Water Commission’s Future Plans

    Source: United Kingdom – Executive Government & Departments

    Speech

    Sir Jon Cunliffe’s address on the Water Commission’s Future Plans

    A speech by Water Commission Chair Sir Jon Cunliffe as the public and stakeholders are invited to share their views on the future of the water sector.

    Good morning. Thank you very much for coming, and on a personal note thank you to the Greater Manchester Authority for hosting us.  It is very good to be back in Manchester.

    I spent four happy and formative years here as a student, half a century ago.  Manchester was a lively, energetic, and forward-looking place, and that has not changed. I have come back to visit in various roles and whenever I have, I am struck by how much the city has changed, how much it has regenerated itself and how much it has developed and grown in every sense of the word

    And, in the same way as I have come back to Manchester, I find myself returning, after 45 years, to issues of water and the environment. The Secretary of State for Defra and Welsh Ministers asked me to lead an Independent Commission to recommend changes to reset the water sector and its regulation.

    I should say at the outset, it’s a hugely important task and I am privileged to be asked to do it. The provision of water, and the quality of our natural water environment matters deeply to millions of people, many of whom marched in London for clean water last year and the organisers are here today. The organisers gave me this sample containing river waters collected from across all parts of Great Britain to remind me of the task and I have done that. I am very aware of the significance of this work.

    My first job in the civil service, 45 years ago at the old Department of the Environment, involved working on the initial EU legislation on bathing water and industrial pollution of water – a time when the UK was generally regarded as the ‘dirty man of Europe’.

    As with Manchester, much has changed since then. And we should start by recognising what has been achieved.

    The UK has world-leading drinking water.  We can drink from our taps without a second thought, 365 days of the year.  That is not the case in many other developed countries. The UK ranks among the best countries in the world for sanitation related health.

    In infrastructure terms, leakage is down by over a third since privatisation, 85% of bathing waters – the legislation that I worked on – in England are rated as good or excellent (compared to 28% in the 1990s), and there has been over £220 billion of capital investment in real terms in the system Environmental monitoring and transparency have also increased.

    And, viewed over the last 40 years, these changes have not come with huge increase in costs to the public. Since 2014, water bills have actually fallen in real terms most years. It is difficult to think of many other things that you can say that for. For 2024 – 25 the average bill is estimated to be around £1.20 a day for both water and sanitation services – although, as we know, bills are due to rise more sharply and I will come to that in a moment.

    But, those achievements notwithstanding, it would be very difficult to say now that we have a water sector, and regulation of water in general, in which the public have trust and with which the public is satisfied.

    Or that we have sector that has kept pace with the increasing need to invest or kept pace with the public’s increasing expectations around the protection of our natural environment.

    Or indeed, a sector in which investors, who need to finance the huge investment need, see as a stable and predictable long-term investment.

    And of course not all water companies are the same, but something has clearly gone wrong when the largest water company in England is struggling close to insolvency, when there are criminal enforcement cases in train against pretty much all water companies, when a number of companies’ debt is rated at below investment grade, and when over a third of water companies are formally challenging the economic regulator’s decisions.

    Over the last few months, since taking on the Independent Commission, I and the team here have engaged extensively with stakeholders on all sides of the debate about the water sector – with environmental NGOs, consumers, investors, water companies, regulators and Parliamentarians among others. There is, rightly, a great deal of anger with where the system is.

    I have met no-one who is happy with the current system.

    Of course, to paraphrase Leo Tolstoy, while all are unhappy, everyone is unhappy in their own way. But there is no lack of recognition that change is needed.

    And, although there are different views on why the current system is not working – and, look, while I recognise that not all I have spoken with would choose the current model of a regulated private industry – I do think there is strong and widespread support for the proposition that the current model can be made to work better than it is working today.  And there are no shortage of ideas as to how that might be done.

    The Call for Evidence that the Commission is launching today reflects what we have heard in this initial period of engagement.

    The Commission’s Terms of Reference are very broad and very detailed. Consequently, the Call for Evidence is both comprehensive and substantive (it runs to over 200 pages  –  although you will be relieved to hear that there is an Executive Summary).

    The call for evidence is intended to do three things.

    First, to set out the history and map the current arrangements.  Second, to set out, as comprehensively as we can, all the issues that have been raised regarding the water sector – on all sides of the debate.  And third, to set out the areas of possible change that we want to explore further and on which we would like to hear views and evidence.

    And, because the Call is intended to be the foundation for our further work, it is the opportunity for all concerned to tell us if we have misunderstood, or if we have omitted, issues or that we should be exploring areas and ideas that we have not identified.

    I should make one caveat very clear: the Call for Evidence is not a consultation on the Commission’s recommendations.  Nor should you infer – or try to infer – from the Call what the Commission’s recommendations will be.  We are, bluntly, not at the recommendations stage and we will not be there for some months.

    Rather, you should treat the Call for Evidence as the opportunity to input your views – on the issues, on the areas for change and, indeed, on anything else – to give us a broad and deep foundation for the next stage of our work.  And the Call will not be the end of our engagement.  We will continue to engage and to test ideas with a range of stakeholders, and test our thinking as it develops, with support from an expert Advisory Group which the Commission has appointed, some of whom are here today.

    I cannot, as I say, give you the Commission’s recommendations. What I can do today, however, is to set out the key areas we are exploring and where we think change is likely to be needed.

    First, I have talked primarily about the water sector and the water industry.  But the Commission’s terms of reference go wider than that.  One very important task we have been set is to look at the strategic management of water in England and in Wales.

    And we have one water system made up of river basins, aquifers, coasts.  And there are many demands upon it: demands by the water industry, by the industry generally, by agriculture and by development, to take water out of the system and to put wastewater back; demands from the public to use that same water system for recreational purposes and to enjoy the natural environment; and the demands of the plant and wildlife that depend upon it for their very existence.

    These demands often have to be balanced against each other and balanced against the costs they entail. Looking forward, climate change, population and economic growth and rising environmental standards will increase those pressures and make them more expensive to meet.

    A very strong and consistent message that the Commission has heard is that there needs to be a better strategic framework to provide guidance at the national level for balancing competing pressures. At the highest level, this is a task only Government can do. And to be clear, this is not just about the setting of objectives – indeed the setting of objectives is the easier task compared to the much thornier job of providing guidance on how objectives that may not align should be reconciled.

    Comparison has been made to us with energy, and the role that could be played by national ‘systems operator’ – an organisation responsible for managing and overseeing the entire system. However, I should say to a much greater extent than energy, our water system is made up of regional systems and local catchment areas. Water is just more local — and much more difficult to move around than electrons or gas molecules.

    So, while many have commented on the need for a better framework at the national level, many have also argued on the need for stronger regional and local management of the demands on water. Under the Mayor’s leadership, Greater Manchester, where we are today, has pioneered a more integrated, holistic approach to the management of water at the regional level, and I think has highlighted the potential for such approaches.

    The question of how these gaps in national and regional management of water should be addressed is not an easy one but is an important element in our thinking and one on which we very keen to hear views and ideas.

    The second area I would like to highlight is the regulatory system for the water industry. You will not be surprised that this has been an area that has attracted major comment in the Commission’s engagement with stakeholders again from all sides of the debate.

    Regulation of private firms exists in our economy and society to ensure that firms do not pursue their internal objectives at the cost of external, public policy objectives.

    In the case of the private water companies, which are effectively monopolies, regulation has to encompass not only environmental protection and public health objectives but must also include economic regulation to prevent abuse of monopoly power.

    As the private water system has developed since privatisation, and frankly as the expectations of the sector have increased, new regulatory and planning mechanisms have been added. These have aimed, rightly, to incentivise water companies to improve customer service and to improve environmental performance and to ensure that companies plan to invest – in the public interest – in necessary environmental improvements, future water resources, and better waste-water management and drainage.

    Many have commented to the Commission on the complexity of the system that has resulted in a duplication between regulators and on a lack of responsiveness to regional and local priorities (I note in passing that that there were 93 separate statutory and non-statutory requirements driving water company investment in the recent Price Review, amounting to 18,000 individual actions for water companies).

    In the absence of competition, economic regulation by Ofwat relies on ‘comparability’ to establish the industry wide benchmarks for efficiency and for performance that an efficient company should meet and uses that to set the amount customers should pay.

    It is crucial, when customers cannot switch to other providers, to have an objective framework for incentivising efficiency and good service.  But as the regulatory framework has grown, and as that has happened, increasing weight has been put on developing the comparability approach to set targets for an increasing range of outcomes. This, it has been argued, has not only increased complexity, but failed sufficiently to acknowledge the very real differences – differences of geography, demography, infrastructure – between water companies.

    And many have also commented to the Commission on the tensions that can result when one authority is responsible for setting requirements for water company expenditure in line with public health or environmental standards and another is charged with responsibility for determining cost-efficiency with a view to protecting customer bills.

    So, we’re very keen to hear further views and evidence on whether and how the system can be simplified, whether comparability mechanisms for setting benchmarks and targets could be supported by more company specific and regional approaches and how costs and benefits could be more closely integrated in the assessment of water company plans.

    And on the environmental side we are also keen to hear views on the environmental regulation of water and how it is implemented, how it is monitored, and how it is enforced.

    The Water Framework Directive, which is a successor of the legislation that I worked on all those years ago, inherited from the EU, sets a target to achieve good ecological status of water bodies by 2027. While this target looks likely to be missed by a large margin in England and Wales, it should not be forgotten how significant this legislation has been in driving improvements to our rivers, lakes and seas.

    As we approach its target date, Government will, at minimum, need to consider whether a new, post 2027, target should be set and what it should encompass. The Commission has heard a range of views on whether the approach to water body quality should be widened to include public policy objectives beyond ecological condition, such as public health.

    Stakeholders have also commented on the perceived lack of flexibility in the legislation which, it is argued, prevents nature-based solutions to improve water quality. There have also been extensive comments on the lack of mechanisms and resources to implement the Water Framework Directive, including how to ensure there is the necessary action from other sectors like agriculture and transport that have a major role to play in improving the condition of the water environment.

    We have seen evidence that is in the Call for Evidence that the fragmented, sectoral approach to impacts on water body quality and the siloing of funding streams often results in interventions that are sub-optimal in terms of value for money and sub-optimal cost effectiveness. We are interested in views on how this could be improved and, in particular, the role that might be played by that local regional level of water management that I referred to earlier.

    Finally, and really importantly, confidence that regulation – be it environmental, health or economic – will be enforced where necessary is a crucial key element to achieving and maintaining public trust in the system.

    There has been a lot of action in that area. Strong and robust enforcement is needed to deter and punish but we have also heard of the need to ensure that enforcement and sanctions are not self-defeating but rather provide, as well, a route to redemption. The Commission is very interested in how the necessary level of public confidence in enforcement can be achieved going forward.

    Turning to companies and investors, there has been significant change in the ownership of companies since privatisation, with a transition for many firms from publicly listed companies with ownership by retail and institutional investors to unlisted ‘private’ companies owned by private equity funds or international infrastructure companies. In Wales, reflecting a particular set of historical circumstances, a not-for-profit model was adopted in the 2000s.

    There has been extensive debate on the link between ownership models and company performance. I have to say, initial analysis by the Commission has not thrown up a very clear picture of any relationship between company ownership models, including Welsh Water’s not-for-profit model, and companies’ overall  performance on a range of metrics. But this is an area on which we are keen to hear more evidence and expert advice.

    The possible exception is the area of financial resilience – the Commission is aware that decisions by a number of companies about structure and debt historically have left them more exposed – as we have seen in the extreme example of Thames Water.

    Financial resilience in general is an area we want to explore further.

    Water companies enjoy a licence to provide essential monopoly public services.  They own and operate critical infrastructure. Given the importance of those services and that infrastructure, for which there are no effective substitutes, the licence comes with the obligation for companies to be resilient, financially as well as operationally.

    Financial resilience is not, in my view, a matter solely for water company boards – any more than financial resilience is. In my experience, it’s not solely a matter for the boards of banks. The public interest in water company resilience must also be protected. Where there is a public interest, one hopes and trusts that the long-term resilience of the company is of as much importance to the board and owners as it is to the public. History unfortunately – in both the water and, for example, again in the banking sector – suggests that this is not always the case.

    The capital structure of water companies, the amount of capital they hold that can absorb loss when risks crystallise, is therefore a matter in which there is both a private and public interest.  As is the degree of flexibility and transparency that operating companies have in their financial arrangements more generally, for example in the case of very complex business structures. The regulatory system has developed new mechanisms in this area, in the light of experience in recent years.

    The Commission is seeking views on whether those mechanisms provide adequate and, importantly, practical, workable means of providing assurance of financial resilience, and how account should be taken of the different risk profiles of different companies.  Given that the risk profiles of companies generally is going to change as the investment in new infrastructure increases and becomes an increasing proportion of their business, this is an important area on which we need to look forward as well as learn from past experience.

    There is, of course, another very important side to this coin.  Water company owners need to provide the resilience to bear the risks, through time, that they can reasonably be expected to bear.  But they also need to be rewarded, fairly, for bearing those risks.

    And while there can never be absolute certainty and standards and society’s expectations will change, investors, in water company equity and debt, need to be able to trust that the regulatory system through time will be generally stable and predictable.

    Those issues are particularly important given the very significant investment needs that have to be financed in the future.

    The Commission is seeking views on how investor return should be determined, how the system can be made more stable and predictable and evidence more generally on how investment in the water sector in England and Wales compares to investment with a similar risk profile in other sectors and countries.

    Finally operational resilience, which is as important as financial resilience.

    We have heard a range of views on whether we have the right systems in place at both the regulators and in companies to assess the resilience of companies’ infrastructure and to fund replacement at the necessary rate over the long-term.

    Questions have been raised over whether failure metrics give an accurate assessment of infrastructure resilience and more generally it is not always clear where regulatory responsibility lies. The long-term maintenance of infrastructure may not fit easily into the current planning regimes. I should note here that other countries appear to replace infrastructure at a faster rate.

    The Commission would like to hear further views in this area, including on the case for setting national standards for infrastructure resilience as has been recommended by the NIC.

    So, to conclude, I have been asked frequently over the last few months what outcome the Commission is seeking and whether we will be recommending evolutionary or revolutionary change.

    The answer to the first question is that the outcome we need is an industry and regulatory system that is trusted by the public, by customers, and by investors to deliver world class, efficient services and the necessary quality of the water environment and that is trusted to do that sustainably into the future. And that is not going to happen overnight, of course, but I hope the Commission can provide the platform for it to happen over time.

    The answer to the second question is that we will recommend whatever we think is necessary, in line with our terms of reference, to achieve that outcome.

    Thank you very much.

    Updates to this page

    Published 27 February 2025

    MIL OSI United Kingdom

  • MIL-OSI Global: Trump administration sets out to create an America its people have never experienced − one without a meaningful government

    Source: The Conversation – USA – By Sidney Shapiro, Professor of Law, Wake Forest University

    A worker removes letters from the U.S. Agency for International Development building. Kayla Bartkowski/Getty Images

    The U.S. government is attempting to dismantle itself.

    President Donald Trump has directed the executive branch to “significantly reduce the size of government.” That includes deep cuts in federal funding of scientific and medical research and freezing federal grants and loans for businesses. He has ordered the reversal or removal of regulations on medical insurance companies and other businesses and sought to fire thousands of federal employees. Those are just a few of dozens of executive orders that seek to deconstruct the government.

    More than 70 lawsuits have challenged those orders as illegal or unconstitutional. In the meantime, the resulting chaos is preventing the government from carrying out its everyday functions.

    The administration accidentally fired civil servants who were responsible for safeguarding the country’s nuclear weapons, preventing a bird flu epidemic and overseeing the nation’s electricity supply. A Veterans Administration official told NBC, “It’s leading to paralysis, and nothing is getting done.” A spokesperson at a nationwide program that provides meals to seniors, Meals on Wheels, which the government helps fund, said, “The uncertainty right now is creating chaos for local Meals on Wheels providers not knowing whether they should be serving meals today.”

    Our recent book, “How Government Built America,” shows why the administration’s aim to eliminate government could result in an America that the country’s people have never experienced – one in which free-market economic forces operate without any accountability to the public.

    Federal dollars built the federal interstate highway system and maintain it.
    Gary Coronado/Los Angeles Times via Getty Images

    A combination of regulation and freedom

    The U.S. economy began in the Colonial era as a mix of government regulation and market forces, and it has remained so ever since. History shows that without government regulation, markets left to their own devices have made the country poorer, killed and injured thousands, increased economic inequality, and left millions of Americans mired in desperate poverty, among other economic and social ills.

    For example, approximately 23,000 people died from workplace injuries in 1913. In 2023, that figure was just 5,283, largely because the Occupational Safety and Health Administration began regulating workplace safety in 1971. Similarly, the rate of deaths in vehicle crashes per mile driven has decreased 93% since 1923, which can be mainly attributed to the ways government has made vehicles and highways safer.

    Government funding and regulation have yielded countless economic benefits for the public, including the launch of many efforts later capitalized on by the private sector. Government funding delivered a COVID-19 vaccine in record time, many of the technologies – GPS, touchscreens and the internet – that are key to the functioning of the cellphone in your pocket, and the highway system that enables travel throughout the country.

    Government management of the economy has prevented economic downturns and enabled quicker recoveries when they have occurred. Government regulations keep private businesses from engaging in reckless economic behavior that harms everyone, as happened in 2008 when loopholes in rules and enforcement allowed the banking industry to invest billions of dollars in worthless securities. The government then spent trillions to prevent major banks from collapsing and to stimulate the nation’s economic recovery.

    More recently, in response to the COVID-19 pandemic, the government spent $3.1 trillion to keep the economy healthy.

    Food and water are safe because the Food and Drug Administration and the Environmental Protection Agency act to protect people from becoming ill.

    Because of government oversight, Americans can safely take the medications physicians prescribe to make them better. They can safely put money in checking and savings accounts knowing that the Federal Deposit Insurance Corporation and the National Credit Union Administration reduce the likelihood of the bank or credit union failing – and ensure they don’t lose everything if trouble arises.

    The Federal Trade Commission works to ensure the advertising Americans see is not deceptive, and the Securities and Exchange Commission makes sure that the companies people invest in are not making false claims about their financial prospects.

    Americans know that their children can get a free public education and student loans for college or trade schools to advance themselves economically. And government has helped millions of Americans pay for housing, food, medical care and the other necessities of life even if they work full-time or cannot because of age, illness or disability.

    A person gets drinking water from a tap in Jackson, Miss.
    AP Photo/Rogelio V. Solis

    Not a perfect record

    Admittedly, there is wasteful spending – as much as $150 billion a year in erroneous payments. That is a lot of money, but it’s a tiny sliver – just 2.2% – of the $6.75 trillion the federal government spent in the 2024 fiscal year. And government has not always been a positive force in society, either.

    As we describe in our book, for a very long time the federal government aided and abetted slavery and then racial segregation. It also codified the treatment of women as second-class citizens, and discriminated against members of the LGBTQ community.

    Yet government has addressed these failings as Americans’ understanding of equality has evolved. Over the past century, rights for women, racial and ethnic minority groups and people with a range of sexualities and gender identities have been recognized in constitutional amendments, federal laws, state laws and Supreme Court decisions.

    As our book shows, the responses haven’t always been immediate, but the president and Congress have addressed policy mistakes and incompetent administration by making appropriate adjustments to the mix of government and free markets, sometimes at the behest of court cases and more often through congressional action.

    Until now, however, it has never been government policy to shut down government wholesale by defunding agencies such as the U.S. Agency for International Development or threatening to do so with the Consumer Financial Protection Bureau and the Department of Education.

    Many Trump voters cited economic factors as motivating their support. And our book documents how policies supported by both political parties – particularly globalization, which led to the flood of manufacturing jobs that went overseas – contributed to the economic struggles with which many Americans are burdened.

    But based on the history of how government built America, we believe the most effective way to improve the economic prospects of those and other Americans is not to eliminate portions of the government entirely. Rather, it’s to adopt government programs that create economic opportunity in deindustrialized areas of the country.

    These problems – economic inequality and loss of opportunity – were caused by the free market’s response to the lack of government action, or insufficient or misdirected action. The market cannot be expected to fix what it has created. And markets don’t answer to the American people. Government does, and it can take action.

    Sidney Shapiro is affiliated with the Center for Progressive Reform.

    Joseph P. Tomain does not work for, consult, own shares in or receive funding from any company or organization that would benefit from this article, and has disclosed no relevant affiliations beyond their academic appointment.

    ref. Trump administration sets out to create an America its people have never experienced − one without a meaningful government – https://theconversation.com/trump-administration-sets-out-to-create-an-america-its-people-have-never-experienced-one-without-a-meaningful-government-250727

    MIL OSI – Global Reports

  • MIL-OSI United Kingdom: ‘Don’t ignore us’ warning to suspected city fly tippers

    Source: City of Wolverhampton

    City of Wolverhampton Council is issuing the stern warning as it continues its crackdown on fly tipping and those who fail to assist with enquiries.

    In the latest prosecution brought by the council, Eric Kwansah, of Byrne Road, Blakenhall, was found guilty in his absence of one obstruction charge under section 110 of The Environment Act 1995, for failing to comply with investigating officers’ requests for assistance.

    Dudley Magistrates Court fined Kwansah £400 during the hearing on 19 February. He was ordered to pay a victim surcharge of £160 and costs of £1,211.86. The costs awarded to the council will be reinvested back into its environmental crime service.

    In this case, council CCTV captured a man leaving a property in Byrne Road at around 6.40am on 20 February last year. He removed a mattress from the front of the property and dragged it on foot, along Byrne Road and into Napier Road, where he left it.

    Two days later, again around 6.40am, a man was filmed leaving the same property, carrying what appeared to be a pane of glass or mirror into Napier Road, where he again left the item.

    An officer from the council’s environmental crime team then visited the property in Byrne Road and left a card asking the occupier to contact the council. Further enquiries by the officer identified the occupant as Kwansah.

    A £400 fixed penalty notice (FPN) was delivered by hand and Kwansah got in touch with the officer to say he had always left items of waste in the street, and they had been taken away. The officer explained this was fly tipping and was an offence, but Kwansah said he could not pay the fine.

    The payment period was extended, but no payment was received. An appointment for Kwansah to attend the Civic Centre was made but no further contact was received and no payment was made.

    Kwansah’s failure to comply with the request prevented officers from furthering their investigation into who was responsible for the fly tipping. As a result, the prosecution for obstruction was brought.

    The recent action supports ongoing work under the council’s Shop a Tipper campaign where anyone suspected of dumping rubbish will have their images shared to appeal for information to help identify them.

    If the information provided leads to successful identification, and Fixed Penalty Notices are issued and paid or a prosecution takes place, residents receive a £100 Enjoy Wolverhampton Gift Card.

    Residents can contact 01902 555685 with information or report online at Fly-Tipping – Shop a Tipper.

    Councillor Bhupinder Gakhal, cabinet member for resident services at City of Wolverhampton Council, said: “Suspected fly tippers cannot just simply ignore contact from us and hope we will forget.

    “In this case, we gave the defendant the opportunity to discuss the incident. We also extended the payment period of the fine, but the offender still didn’t comply.

    “Bringing this case to court serves as an example to others that they can’t just ignore our investigations. We will take all necessary measures to keep our city clean and fly tippers should be aware that we have recently increased our Fixed Penalty Notice to £1,000.

    “Fly tipping is a blight on the local environment and we are continually working to tackle this unpleasant and illegal behaviour.”

    Residents are reminded that waste can be disposed of free of charge at our Household Waste and Recycling Centres (tips) which are open 7 days a week from 8am to 4pm. Centres are at Anchor Lane, Lanesfield, Bilston and Shaw Road, Wolverhampton.

    A bulky item collection service to dispose of big unwanted items is also available, find out more at Bulky item collection.

    MIL OSI United Kingdom

  • MIL-OSI: Allied Energy Corporation Outlook: Strong Growth and Strategic Developments

    Source: GlobeNewswire (MIL-OSI)

    Key Points:

    Expansion & Optimization of Production Capacity

    • Thiel Site Expansion: Increasing power generation capacity to 3.5 MW by Q3 2025, leveraging Texas’ competitive electricity rates (8.73¢ per kWh) for enhanced profitability.
    • Gilmer Lease Enhancements: Upgrading 116 pump jacks to smaller, energy-efficient units, reducing costs and unlocking production potential from Caddo & Strawn formations.
    • SWD & Natural Gas Expansion: Advancing new Saltwater Disposal (SWD) lease negotiations and actively exploring natural gas reserves for long-term sustainability.

    Strategic Partnerships & Portfolio Growth

    • Green Lease Collaboration: Working with Petroloro, LLC and ORO Energy, LLC, with key strategic plans expected by Q2 2025.
    • Enerhash & Sloan Project: Overcoming 2024 operational delays, with anticipated returns in Q2 2025.
    • Prometheus Development: Strengthening ties with Miller ESP to support drilling and operational advancements.

    Strategic Realignments & Focus on High-Value Ventures

    • Exit from Energix Partnership: Decision driven by missed milestones, allowing a shift toward more lucrative opportunities.
    • Diversified Growth Strategy: Ensuring a robust energy portfolio through operational efficiency, resource expansion, and financial discipline.

    CARROLLTON, Texas, Feb. 27, 2025 (GLOBE NEWSWIRE) — Allied Energy Corporation (OTC: AGYP) is excited to announce significant strides in our ongoing projects and production capacity expansion, reinforcing our optimistic outlook for the company’s future. With the momentum of these developments, the company is well-positioned for substantial growth in the coming months.

    Production Buildout at Thiel Site: A Game-Changer for Capacity Growth

    At our Thiel site, we are making significant strides in expanding operational capacity by constructing and installing two 1.25 MW generators. The new production pad has already been successfully laid, and noise abatement testing is scheduled shortly.

    Once the first two generators are running at full capacity, we plan to add a third unit, increasing the site’s total capacity to an impressive 3 to 3.5 MW by the end of Q3 2025. This expansion strategically positions Allied Energy to capitalize on Texas’ booming energy sector, where industrial power consumption is projected to grow significantly in the coming years.

    Market Potential & Financial Impact

    • Dominance in Energy Production: Texas leads the nation in energy production, contributing significantly to U.S. crude oil and natural gas outputs. source: eia.gov
    • Competitive Electricity Rates: With commercial electricity rates in Texas averaging 8.73¢ per kWh, our scalable operations can take advantage of low-cost power, maximizing margins. source: chooseenergy.com
    • Projected Revenue Growth: At full capacity (approximately 3.5 MW), the Thiel site could generate significant revenues, depending on operational efficiency and market conditions.

    “By strengthening our infrastructure now, we are ensuring long-term scalability, improved financial performance, and the ability to compete with industry leaders in power generation and energy solutions. The Thiel is a key site in our portfolio, and we are very pleased with the progress. We expect to see strong returns from these investments, and the addition of the third genset will significantly enhance our operational capabilities,” said George Monteith, CEO of Allied Energy Corporation.

    Strategic Development at Gilmer Lease

    At our Gilmer lease, Allied Energy continues to optimize operations with the replacement of 116 pump jacks with smaller, more efficient units. We have also placed a packer in the well to cut off Mississippi water, enabling production from the Caddo and possibly the Strawn formations. One well is currently being converted, and depending on its performance, we plan to convert two additional wells in Q3 and Q4.

    Strategic Development at Gilmer Lease: Enhancing Efficiency & Maximizing Production

    At our Gilmer lease, Allied Energy continues to optimize operations by replacing 116 pump jacks with smaller, more efficient units. This upgrade reduces maintenance costs, energy consumption, and mechanical failures, ensuring greater long-term operational efficiency.

    Additionally, we have strategically placed a packer in the well to cut off Mississippi water intrusion, allowing uninterrupted production from the Caddo formation and potentially unlocking reserves from the Strawn formation. Currently, one well is undergoing conversion, and based on its performance, we plan to convert two additional wells in Q3 and Q4.

    Advantages of These Operational Activities

    • Improved Efficiency & Cost Reduction: Smaller, modern pump jacks consume up to 30% less energy than traditional units, lowering operating costs while maintaining steady production. (source: API)
    • Maximizing Reserve Potential: Unlocking secondary formations like Strawn could increase overall recoverable reserves, extending the well’s productive lifespan.
    • Environmental & Regulatory Benefits: Optimizing operations aligns with state and federal efficiency standards, reducing environmental impact and ensuring compliance with industry best practices. (source: EIA)

    “These strategic enhancements position Allied Energy for sustained growth, ensuring higher production efficiency, lower costs, and maximized asset value. We’re committed to ensuring that each well reaches its full potential. Our team is working diligently to implement improvements that will help us achieve optimal production from these properties,” said Monteith.

    Green Lease: Collaborating for Future Developments

    Allied Energy is in ongoing discussions with partners Petroloro, LLC and ORO Energy, LLC to determine future developments at our Green Lease. We are currently awaiting an outline of activities from ORO Energy, LLC and plan to finalize our strategic plans for this lease in Q2 2025. These discussions represent an exciting avenue for growth and diversification of our portfolio.

    Prometheus: Focused on Future SWD Development

    We are actively negotiating a new SWD lease and exploring potential new locations for drilling. In addition, our partnership with Miller ESP is evolving as we assess future development opportunities. We remain focused on ensuring long-term sustainability and profitability through strategic planning in the SWD space.

    Ongoing Research and Natural Gas Expansion

    Our research into future natural gas resources and the identification of expansion opportunities continues to move forward. We are exploring new locations to broaden our operations and strengthen our presence in areas that complement our existing project sites. These initiatives will further enhance Allied Energy’s ability to meet growing demand while maximizing shareholder value.

    Enerhash and Sloan Project: Continues to evolve in 2025

    Our successful stewardship of the Enerhash and Sloan projects will continue to pay dividends through 2025. However, we were advised in November 2024 that operational issues have caused delays in their scheduled payment. Despite this, Allied Energy anticipates returns from this venture in Q2 of 2025.

    Strategic Decision: Parting Ways with Energix for the Time Being

    After careful consideration, Allied Energy has made the strategic decision to cut ties with Energix for the time being due to missed critical, time-sensitive milestones. As more lucrative opportunities have emerged, we believe it is in the best interest of the company to focus our resources on these ventures. However, we remain open to the possibility of reigniting a relationship with Energix in the future should the opportunity align with our long-term goals.

    “We are constantly seeking the best opportunities to maximize value for our shareholders. While we have decided to part ways with Energix for now, we look forward to exploring future collaborations when the time is right,” said Monteith.

    Allied Energy Corporation is well-positioned for growth in 2025 and beyond, with a clear focus on increasing capacity, enhancing production, and making strategic partnerships. We remain committed to delivering value to our shareholders and continuing to build a diversified and robust energy portfolio.

    About AGYP:

    Allied Energy Corp. is an energy development and production company acquiring oil & gas reserves in some of the most prolific hydrocarbon bearing regions of the United States. The Company specializes in the business of reworking & re-completing ‘existing’ oil & gas wells located in the thousands of mature oil & gas producing fields across the United States. The Company applies its knowledge, experience, and effective well-remediation technologies to achieve higher production volumes, longer well life, and more efficient recovery of the proven and available oil and gas reserves in the fields/projects in which it has acquired an ownership interest. The Company will utilize updated technologies such as hydraulic fracturing (“fracking”), drilling of lateral (“horizontal”) legs in productive zones, and utilizing new cased hole electric logging to locate bypassed pays, all to enhance daily rates and oil & gas recoveries. By acquiring interests in a growing number of selected projects in various regions, Allied Energy Corp. is diversifying its exposure and effectively minimizing risk as it pursues corporate growth, top line & bottom-line revenues to the benefit of all stakeholders. There are proven, recoverable reserves contained in the many aging oil & gas fields that have been bypassed by companies moving away from these fields in search of deeper, more plentiful, but more costly reserves. The Company plans to concentrate on bypassed oil and gas as there is less competition and, as mentioned above, the costs are considerably less. Additionally, the company will acquire interests in marginal wells that can be acquired at minimal cost, of which there are 420,000 wells in the U.S. Quoting Barry Russell, President of the Independent Petroleum Association of America (“IPAA”) – “With approximately 20 percent of American oil production and 10 percent of American natural gas production coming from marginal wells, they are America’s true strategic petroleum reserve.”

    Safe Harbor Statement:

    This press release may contain certain forward-looking statements that are within the meaning of the Private Securities Litigation Reform Act of 1995. The Company has tried, whenever possible, to identify these forward-looking statements using words such as “anticipates,” “believes,” “estimates,” “expects,” “plans,” “intends,” “potential” and similar expressions. These statements reflect the Company’s current beliefs and are based upon information currently available to it. Accordingly, such forward-looking statements involve known and unknown risks, uncertainties and other factors which could cause the Company’s actual results, performance or achievements to differ materially from those expressed in or implied by such statements. The Company undertakes no obligation to update or advise in the event of any change, addition or alteration to the information catered in this Press Release, including such forward-looking statements.

    Contact:

    Allied Energy Corporation
    Phone: 972-632-2393
    Email: info@alliedengycorp.com
    Twitter: https://twitter.com/AlliedEnergyCo1

    A photo accompanying this announcement is available at https://www.globenewswire.com/NewsRoom/AttachmentNg/2612d1fd-1f10-4e95-91f3-d9fa7cca0e78

    The MIL Network

  • MIL-OSI Global: Israel’s bombing of Gaza caused untold environmental damage − recovery will take effort and time

    Source: The Conversation – USA – By Lesley Joseph, Research Assistant Professor of Environmental Engineering, University of South Carolina

    Vast areas in Gaza have been reduced to rubble. Majdi Fathi/NurPhoto via Getty Images

    The war in Gaza has come with an awful cost. Tens of thousands of Palestinian civilians have been killed, and thousands more are missing. And while a temporary ceasefire has allowed for increased aid delivery, easing the plight of those facing disease and hunger, experts predict malnutrition and health issues to persist for months or even years.

    Much of the territory’s infrastructure – its schools, hospitals and homes – has been damaged or destroyed. And yet, the tremendous human and societal loss has been augmented by a lesser reported but potentially catastrophic, consequence: environmental devastation.

    In June 2024, the United Nations Environment Programme conducted an environmental impact assessment to evaluate the damage resulting from Israeli military actions in Gaza. It found “unprecedented levels of destruction” from the intensive bombing campaign, along with the complete collapse of water and solid waste systems, and widespread contamination of the soil, water and air. And that was before another six months of bombing caused further damage to Gaza.

    As a scholar of environmental justice, I have thought carefully about the impact that a lack of clean water, access to sanitation facilities, and the absence of basic infrastructure can have on a community, particularly vulnerable and marginalized populations. The current pause in fighting is providing respite for the 2.2 million people in Gaza who have endured more than a year of war. It also provides an opportunity to evaluate the environmental damage to the densely populated enclave in three crucial areas: the water, sanitation and hygiene sector, or WASH; air quality; and waste management.

    Here is what we know so far:

    WASH sector

    According to an interim damage assessment released by the World Bank, U.N. and E.U. in March 2024, an estimated US$502.7 million of damage was inflicted on the WASH sector in Gaza in the initial months of bombing, including damage to approximately 57% of the water infrastructure.

    The United Nations reported that water desalination plants in Gaza, 162 water wells and two of the three water connections with Israel’s national water provider had been severely damaged.

    As a result, the amount of available water in Gaza was at that point reduced to roughly 2-8 liters per person per day – below the World Health Organization emergency daily minimum of 15 liters and far below its standard recommendation of 50-100 liters per day.

    In November 2024, meanwhile, the charity Oxfam reported that all five wastewater treatment plants in Gaza had been forced to shut down, along with the majority of its 65 wastewater pumping stations. This resulted in ongoing discharges of raw, untreated sewage into the environment. As of June 2024, an estimated 15.8 million gallons of wastewater has been discharged into the environment in and around Gaza, according to the U.N. environmental report.

    Meanwhile, sanitation facilities for Palestinians in Gaza are practically nonexistent. Reporting from U.N. Women states that people in Gaza routinely walk long distances and then wait for hours just to use a toilet, and due to the lack of water, these toilets cannot be flushed or cleaned.

    Air quality

    The air quality in Gaza has been drastically impacted by this war. NASA satellite imagery from the first few months of the war found that approximately 165 fires were recorded in Gaza from October 2023 to January 2024.

    With a shortage of electricity, residents have been forced to burn various materials, including plastics and household waste, for cooking and heating. And this has contributed to a dangerous decline in air quality.

    Meanwhile, large amounts of dust, debris and chemical releases have been produced from explosions and the destruction of infrastructure, leading to significant air pollution. In February 2024, the U.N. Mine Action Service estimated that, in the first few months of the war alone, more than 25,000 tons of explosives had been used, equivalent to “two nuclear bombs.”

    Waste management

    In the first six months of bombardment, more than 39 million tons of debris were generated, much of it likely to contain harmful contaminants, including asbestos, residue from explosives and toxic medical waste.

    Human remains are also mixed in with this debris, with estimates that over 10,000 bodies remain under the rubble. Moreover, the three main landfills in the Gaza Strip have been closed and are unable to receive waste or conflict-related debris.

    Substantial damage has been done to five out of six solid waste management facilities, and solid waste continues to accumulate at camps and shelters, with an estimate of 1,100 to 1,200 tons being generated daily.

    The charge of ‘ecocide’

    With such environmental destruction, claims of “ecocide” have been made against the Israeli government by international rights groups.

    Although not presently incorporated into the framework of international law, there have been recent efforts for ecocide to be added as a crime under the Rome Statute, the treaty that established the International Criminal Court. Indeed, a panel of experts in 2021 proposed a working definition of ecocide as “unlawful or wanton acts committed with knowledge that there is a substantial likelihood of severe and either widespread or long-term damage to the environment caused by those acts.”

    To date, 15 countries have criminalized ecocide, and Ukraine is investigating Russia for ecocide for its destruction of the Kakhovka Dam in 2023.

    Various organizations, including the Al Mezan Center for Human Rights, the University of California Global Health Institute and the Women’s International League for Peace and Freedom, have stated that the level of environmental devastation in Gaza reaches the proposed legal definition of “ecocide.”

    Although the Israeli government has not responded to these accusations, it has consistently stated that it has a right to defend itself and that it seeks to protect civilians as it conducts its military operations.

    Health impacts of environmental harm

    Regardless of whether the charge of ecocide applies to Israel’s bombardment of Gaza, the environmental impact, the spread of disease, and other harmful health impairments will be felt for years to come.

    The United Nations Relief and Works Agency reported an increase in hepatitis A in the enclave, from 85 cases before the current war to 107,000 cases in October 2024. The WHO has reported 500,000 cases of diarrhea and 100,000 cases of lice and scabies, along with the reemergence of polio.

    Polio virus has been found in wastewater, threatening the lives of Palestinian children in Gaza.
    Dawoud Abo Alkas/Anadolu via Getty Images

    The lack of adequate WASH facilities has also disproportionately affected women and girls by interfering with basic menstrual hygiene, harming their mental and physical health.

    Meanwhile, the increased presence of dangerous air pollutants has led to increases in respiratory issues, including nearly 1 million acute respiratory illnesses. Presently, the most common respiratory ailments in Gaza are asthma, chronic obstructive pulmonary disease, bronchitis, pneumonia and lung cancer.

    Next steps

    As a licensed environmental engineer, I have never seen the scale of environmental destruction that has occurred in Gaza.

    While the situation is unprecedented, there are concrete steps that the international community can take to help Gaza’s environment recover. The three-stage ceasefire agreement between Israel and Hamas, which went into effect on Jan. 19, 2025, is a promising first step. This agreement has allowed some Israeli hostages to be released and Palestinian detainees to return to their homes. It also allows for more humanitarian aid to enter Gaza to deal with the current food crisis and health emergency.

    Nevertheless, there are significant challenges ahead for the people of Gaza. First, the ceasefire agreement will need to hold – and already there are signs of difficulty in implementing the agreement in full. Should fighting resume, that will close or delay the opportunity for engineers and surveyors to perform detailed, comprehensive field assessments.

    Meanwhile, the need for a post-conflict plan for Gaza has never been starker.

    Recovering from Gaza’s environmental devastation will require Israel and neighboring countries, as well as influential world powers such as the United States and the European Union, to work together to rebuild critical infrastructure, such as water and wastewater treatment plants and solid waste infrastructure. Moreover, to succeed, any long-term plan for the reconstruction of Gaza will need to prioritize the needs and perspectives of Palestinians themselves.

    Lesley Joseph does not work for, consult, own shares in or receive funding from any company or organization that would benefit from this article, and has disclosed no relevant affiliations beyond their academic appointment.

    ref. Israel’s bombing of Gaza caused untold environmental damage − recovery will take effort and time – https://theconversation.com/israels-bombing-of-gaza-caused-untold-environmental-damage-recovery-will-take-effort-and-time-245311

    MIL OSI – Global Reports

  • MIL-OSI United Kingdom: Environment Agency grants permit for Portland incinerator

    Source: United Kingdom – Executive Government & Departments

    Press release

    Environment Agency grants permit for Portland incinerator

    Conditions are being put on site operations and granting an environmental permit will not impact outcome of judicial review into site’s planning permission.

    Conditions have been set in the permit on emissions and their monitoring, plant operation, waste type and quantity

    The Environment Agency has today granted an application for a permit to operate a new non-hazardous waste incinerator in Portland port. 

    Following a number of consultations, the agency agreed that Powerfuel Portland Ltd had met all of the necessary criteria needed for the environmental permit to be given for the proposed incinerator. Where an application meets the requirements of the Environmental Permitting Regulations (2016) the agency must issue a permit.

    Conditions have been set in the permit on emissions and their monitoring, operation of the plant and the amount and type of waste to be accepted. The permit limits the waste that can be incinerated to refuse derived fuel – that is produced from domestic municipal solid waste (MSW) and commercial & industrial (C&I) waste unsuitable for recycling.

    A spokesperson for the Environment Agency said:

    We have carefully considered all of the submissions we received during the various consultations and we thank everyone who took the time to contact us with their views.

    Background

    The Environment Agency does not look at issues around vehicle movements to and from the site, working hours and whether or not the site is suitable for this kind of work. All of those are matters dealt with through the local authority planning process and is entirely separate from the environmental permitting process. 

    Although the planning permission granted by the Secretary of State is currently subject to a judicial review, we do not consider the outcome of that process would impact our conclusions on the environmental permit. Nor will granting the permit affect the outcome of the court proceedings, which will be determined on their own merits.

    Updates to this page

    Published 27 February 2025

    MIL OSI United Kingdom

  • MIL-OSI United Kingdom: Increase of domestic timber to boost UK economy and housebuilding

    Source: United Kingdom – Executive Government & Departments

    Press release

    Increase of domestic timber to boost UK economy and housebuilding

    New vision by government to deliver on its Plan for Change by increasing timber use in construction and boosting economic growth.

    Credit: BSW Timber

    A new roadmap to get Britain building with the use of sustainable and low carbon building materials, will help solve the housing crisis and achieve 2050 net zero targets.

    New, ambitious plans to increase the use of timber in construction to boost the domestic timber industry, economic growth, rural jobs and housebuilding targets, have been announced by Environment Minister Mary Creagh today (Thursday 27th February) at the Timber in Construction (TiC) Summit in London.

    The government has outlined new methods to deliver on its Plan for Change that will help to build 1.5million sustainable and affordable homes, create a low-waste circular construction sector and drive further investment into domestic timber and wood-processing supply chains.

    Speaking at the TiC Summit, Minister Creagh confirmed the government will recommit to the Timber in Construction Roadmap, which outlines measures to increase the use of timber in the construction sector. 

    David Hopkins (CEO of Timber Development UK), Defra Environment Minister Creagh, Andrew Carpenter (CEO of Structural Timber Association) , Andy Leitch (Deputy Chief Executive of Confor) at the Timber in Construction Summit, London, February 2025 Credit: Timber Development UK

    Using timber in construction is one of the best ways to reduce emissions from buildings. Around 25% of the UK’s greenhouse gas emissions are from the built environment, and larger buildings can store up to 400% more carbon when built out of engineered timber products compared to when built with concrete. Currently only 80% of the timber the UK uses is imported.

    The new Timber in Construction Roadmap outlines more ambitious Government priorities and key actions including:

    • Encouraging the use of sustainable, low carbon building materials, and ensuring carbon emissions are considering during the design, construction and use of buildings.
    • Fulfilling the Government’s commitment to delivering 1.5m homes this Parliament by using Modern Methods of Construction (MMC) including the use of timber, to boost productivity in housebuilding and deliver high quality, energy efficient new homes.
    • Creating a circular economy by championing timber’s potential for a clean growth future – supporting the construction sector to use the most sustainable, low carbon materials and construction techniques.
    • Accelerating economic growth by creating new and diverse green jobs in the productive forestry and timber sectors, as well as stimulating further investment into domestic timber and wood processing supply chains.

    These actions will go alongside recommitting to existing plans such as promoting timber as a construction material, boosting skills and capacity across the supply chain and increasing the supply of sustainable timber products.

    Environment Minister Mary Creagh said:

    “This Government is getting Britain building.

     “Our Plan for Change will build 1.5 million homes this Parliament. Timber will play a vital role benefitting development and nature.”

    Forestry Commission Chief Executive, Richard Stanford said: 

     ”To reach net zero, we must increase timber production from homegrown trees and use that timber in our buildings to sequester carbon. The Timber in Construction Roadmap will propel forestry production in England to ensure timber security, reduce our dependence on imports, and address the nature crisis by boosting biodiversity, improving water quality, and providing more green spaces for people.

    “The Forestry Commission will continue to collaborate closely with partners from the timber, forestry, and construction sectors in this critical area of work for many years ahead”.

    Alex Goodfellow, Chair of the Confederation of Timber Industries, and CEO of Donaldson Offsite said:

    “The Minister’s support for the Timber in Construction Roadmap shows the Government’s firm commitment to a growth agenda: growth for forestry, for housing, for low-carbon skills and for the economy. The timber supply chain is a major economic player in the UK, connecting rural and urban environments. 

    “Timber frame construction is a well-proven technology and business model for delivering houses rapidly and sustainably while improving quality.  By accelerating this growth we can build more low-carbon housing today while providing a market pull for expanding forests. As a supply chain we will support the Government to deliver on all of the goals in the Roadmap and help build a more sustainable future.”

    The amended Roadmap goes further than previous Government commitments, setting out more ambitious targets and actions to increase the use of homegrown timber in construction in a move to reduce carbon emissions, provide green jobs of the future, create affordable and sustainable housing, and drive-up economic growth.

    Increasing the domestic production of timber will create new green jobs in the forestry and wood processing sectors, which contribute over £3bn to the UK economy.

    Updates to this page

    Published 27 February 2025

    MIL OSI United Kingdom

  • MIL-OSI Europe: EIB backs Africa Finance Corporation $750 Million Climate Resilient Infrastructure Fund

    Source: European Investment Bank

    EIB

    The European Investment Bank (EIB) has committed to join Africa Finance Corporation (AFC) in financing a $750 million Infrastructure Climate Resilient Fund (ICRF). This landmark initiative will accelerate climate adaptation and sustainable infrastructure across Africa.

    As part of this commitment, the EIB today confirmed it will invest $52.48 million in the Fund, which is managed by AFC Capital Partners (ACP), the asset management arm of AFC. ACP has already secured a $253 million commitment from the Green Climate Fund (GCF), marking GCF’s largest-ever equity investment in Africa. In addition, the Nigeria Sovereign Investment Authority (NSIA) and two private African pension funds have also committed to the Fund, demonstrating robust institutional backing on the continent and internationally.

    The Infrastructure Climate Resilient Fund aims to accelerate climate adaptation in Africa by embedding resilience measures at every stage of infrastructure development—from design and construction to operation. Using blended finance to de-risk private investment, the Fund also integrates innovative tools such as climate risk parametric insurance to enhance protection against climate-related risks and losses. In addition, the Fund will provide technical assistance to enhance the capacity of countries seeking climate risk assessment and adaptation, aligning with the European Union’s Global Gateway initiative and the UN Sustainable Development Goals.

    The EIB formally signed the agreement at the Finance in Common Summit (FICS) in Cape Town today, demonstrating the close collaboration between the EIB, AFC, and other strategic partners.

    “The EIB is committed to supporting private sector investment in climate-resilient infrastructure, especially in regions most vulnerable to climate change,” EIB Vice-President Ambroise Fayolle stated at the ceremony today. “This partnership with the Africa Finance Corporation and the launch of ACP’s Infrastructure Climate Resilient Fund are a significant step towards accelerating Africa’s green and digital transition and ensuring a sustainable future for all. The EIB’s investment is not just about the initial capital injection; it is also intended to have a multiplier effect by attracting more investors, reducing risk, showcasing successful projects, and promoting best practices in climate finance.”

    ACP’s fund aims to demonstrate that Africa can pursue a climate-resilient and sustainable development path by addressing market failures, mitigating environmental risks, strengthening logistics, trade, and industrialization, and accelerating the continent’s digital and energy transition.

    “This Fund is crucial for bridging the funding gap for climate adaptation in Africa,” Samaila Zubairu, AFC’s President & CEO, said at the launch event today. “By focusing on climate-resilient infrastructure, we are not only securing our economic future but also creating opportunities for sustainable growth, and supporting job creation across the continent. We are glad to partner with the EIB and other investors who are committed to increasing the impact of climate finance.”

    Developing Climate-Resilient Infrastructure

    The ICRF focuses on Africa, the world’s most climate-vulnerable continent, by investing in infrastructure that can withstand the impacts of climate change while reducing carbon emissions. The Fund prioritizes resilient, low-carbon solutions across transport and logistics, clean energy, digital infrastructure, and industrial development, ensuring sustainable growth.

    ACP’s investment strategy evaluates climate risk across both physical and transition dimensions, including emissions and climate governance. The Fund is committed to ensuring that infrastructure assets are designed, built, and operated to withstand and adapt to evolving climate conditions. To achieve this, ACP will conduct rigorous climate risk screenings and assessments for every investment, establishing a new benchmark for selecting and implementing the most effective adaptation solutions.

    The Fund leverages a powerful partnership between three major institutions—EIB, AFC, and GCF—uniting their expertise, capital, and commitment to climate resilience. Aligned with the EIB’s Climate Bank Roadmap, ACP will draw on the proven track records and deep technical expertise of both EIB and AFC in infrastructure investment, creating a compelling platform to attract additional investors. Through this strategic collaboration, the $750 million fund is poised to unlock up to $3.7 billion in financing, accelerating the deployment of climate-resilient infrastructure across Africa.

    The GCF will play a critical role by providing technical assistance for due diligence and climate resilience monitoring while also covering the first-loss tranches on new investments, effectively de-risking projects and attracting private capital.

    Once operational, the Fund aims to invest in a diversified portfolio of 10 to 12 projects across Africa. It will also assist countries and entities in capacity building and deployment of climate risk assessment and adaptation solutions.

    Background information

    Leveraging Partnerships

    The Fund is built on a powerful partnership between three major institutions: the European Investment Bank (EIB), Africa Finance Corporation (AFC), and the Green Climate Fund (GCF). Through its asset management arm, AFC Capital Partners (ACP), AFC is collaborating with the EIB to deploy the Fund, leveraging both institutions’ proven track records and technical expertise in infrastructure investment to attract additional investors. The partnership is further strengthened by the GCF’s critical role in providing first-loss protection and technical assistance, ensuring a robust framework for scaling climate-resilient infrastructure across Africa.

    Mobilizing Climate Finance

    The EIB’s $52.48 million commitment is a strategic step toward the Fund’s $750 million target, aimed at catalysing additional investments from both private and public sector partners into climate-resilient infrastructure. This commitment is expected to help mobilize approximately $3.7 billion in total financing, driving tangible, on-the-ground impact across Africa.

    Focusing on EIB’s core priorities agreed by ECOFIN

    The EIB investment will support the climate bank ambition to accelerate international action on adaptation and resilience. With an expected climate action and environmental sustainability contribution of about 80%, the operation will contribute to EIB’s objectives to dedicate (i) 50% of its financing toward climate action and environmental sustainability and (ii) 15% of its financing toward to climate adaptation by 2025. The Fund supports three of the five EU Global Gateway thematic priorities: i) climate and energy, ii) transport and iii) digital.

    Addressing Market Failures

    The EIB investment in ACP’s Infrastructure Climate Resilient Fund is intended to address the scarcity of equity capital for greenfield infrastructure projects, and to help overcome other market failures such as the lack of incentives for green energy solutions or market failures related to transport accessibility and digital connectivity. The Fund also aims to improve the efficiency of logistics and trade corridors and contribute to the digital and energy transition.

    Supporting the Green and Digital Transition

    By investing in clean energy and digital infrastructure, the Fund aims to support the broader green and digital transition in Africa and contribute to diversification and security of energy supply, as well as improved access to digital connectivity.

    Enhancing Capacity for Climate Risk Management

    ACP’s Infrastructure Climate Resilient Fund will provide technical assistance to build capacity for climate risk assessment and adaptation, with a focus on integrating climate risk considerations into project design and construction.

    Creating Jobs and Economic Opportunities

    Projects backed by ACP’s Infrastructure Climate Resilient Fund will contribute to job creation, economic growth, and improved quality of life in the target regions. These projects are expected to generate significant temporary employment during construction as well as permanent jobs during operation.

    Key projects in the ICRF pipeline, such as the Lobito Corridor, underscore AFC’s pivotal role in driving transformational and climate-resilient infrastructure investments across Africa. As the lead developer of the project, AFC is spearheading efforts to enhance regional connectivity and economic integration through the corridor, which is set to become a critical trade and logistics route linking Angola, the Democratic Republic of Congo (DRC), and Zambia.

    The Lobito Corridor is expected to unlock vast economic opportunities by facilitating efficient transportation of critical minerals, agricultural goods, and other commodities, reducing dependency on other congested export routes and fostering industrial development along the wider corridor. Alongside partners including the European Union, the United States Government, the African Development Bank and the governments of Angola, the Democratic Republic of Congo and Zambia, AFC is working to ensure the corridor is developed with climate resilience in mind, integrating sustainable infrastructure solutions that can withstand environmental challenges while promoting long-term economic growth.

    Beyond Lobito, the ICRF pipeline includes other strategic projects across transport, clean energy, and digital infrastructure, all designed to attract institutional investment and address Africa’s pressing infrastructure gap. Through these initiatives, ACP continues to highlight its commitment to mobilizing capital for projects that deliver both financial returns and lasting developmental impact.

    The investments backed by the Fund will actively promote the adoption of Environmental, Social, and Governance (ESG) best practices, including gender equality, protection, and anti-discrimination policies.

    De-risking Investments

    The Fund’s structure, with support from the EIB and other institutions like the Green Climate Fund (GCF), aims to de-risk climate investments.

    The GCF is providing grant funding to help with due diligence and monitoring of climate resilience, which can make the investments more attractive to other investors. Additionally, the Fund will integrate innovative climate risk insurance to complement traditional indemnity programs.

    Aligning with Global and Regional Objectives

    The EIB investment aligns with EU strategies, the African Union’s Agenda 2063, and the UN Sustainable Development Goals, and aims to support the implementation of Nationally Determined Contributions.

    Background information

    About EIB Global

    EIB Global is the EIB Group’s specialised arm dedicated to increasing the impact of international partnerships and development finance.  EIB Global is designed to foster strong, focused partnership within Team Europe, alongside fellow development finance institutions, and civil society. EIB Global brings the Group closer to local people, companies and institutions through our offices across the world

    About AFC

    AFC was established in 2007 to be the catalyst for pragmatic infrastructure and industrial investments across Africa. AFC’s approach combines specialist industry expertise with a focus on financial and technical advisory, project structuring, project development, and risk capital to address Africa’s infrastructure development needs and drive sustainable economic growth.

    Seventeen years on, AFC has developed a track record as the partner of choice in Africa for investing and delivering on instrumental, high-quality infrastructure assets that provide essential services in the core infrastructure sectors of power, natural resources, heavy industry, transport, and telecommunications. AFC has 44 member countries and has invested over US$15 billion in 36 African countries since its inception.

    MIL OSI Europe News

  • MIL-OSI Europe: Answer to a written question – Oak forest dieback – E-003071/2024(ASW)

    Source: European Parliament

    1. There are several projects supported with EU funding that relate to the management of holm and cork oak forests and improving their resilience. Under the EU programme for the environment and climate action, LIFE FAGESOS[1] specifically aims to address and remediate outbreaks of Phytophthora cinnamomi disease through the development and application of new integrated pest management protocols. Another relevant completed project is LIFE ADAPTAMED[2], which produced a good practice manual for combating cork oak pests[3]. Conservation and restoration activities are also being undertaken thanks to funding under the Recovery and Resilience Facility[4] and the European Regional Development Fund[5].

    2. Forestry interventions under the Common Agricultural Policy[6] should be based on sustainable forest management plans[7] and may comprise sustainable management of forests and investments that guarantee and enhance forest conservation and resilience.

    Support may be granted for management commitments and investments aimed at maintaining the health of forests and protecting forests against abiotic and biotic damages caused by animals, plant diseases or pest infestations. Support for the restoration of forestry potential following natural disaster, adverse climatic events or catastrophic events may be granted as well.

    3. The Commission is not currently involved in any active cooperation with countries outside of the EU on this issue. In Morocco, the ‘Terre Verte Programme‘ contributes to Morocco’s forests replantation programmes. The programme also focuses on the fight against forest diseases, dieback and promoting effective replantation through research policy reinforcement, but there is no specific focus on Quercus forests.

    • [1] Project running until 2027: https://webgate.ec.europa.eu/life/publicWebsite/project/LIFE21-CCA-IT-LIFE-FAGESOS-101074466/phytophthora-induced-decline-of-fagaceae-ecosystems-in-southern-europe-exacerbated-by-climate-change-preserving-ecosystem-services-through-improved-integrated-pest-management
    • [2] https://webgate.ec.europa.eu/life/publicWebsite/project/LIFE14-CCA-ES-000612/protection-of-key-ecosystem-services-by-adaptive-management-of-climate-change-endangered-mediterranean-socioecosystems
    • [3] https://www.lifeadaptamed.eu/?p=1907
    • [4] https://www.researchgate.net/publication/382020516_Restoring_Mediterranean_Oaks_Enhancing_ Conservation_and_Management_through_Networked_Plot_Monitoring_and_Plot-based_Analysis
    • [5] https://ec.europa.eu/regional_policy/funding/erdf_en
    • [6] Regulation (EU) 2021/2115 of the European Parliament and of the Council of 2 December 2021 establishing rules on support for strategic plans to be drawn up by Member States under the common agricultural policy (CAP Strategic Plans) and financed by the European Agricultural Guarantee Fund (EAGF) and by the European Agricultural Fund for Rural Development (EAFRD) and repealing Regulations (EU) No 1305/2013 and (EU) No 1307/2013, OJ L 435, 6.12.2021, p. 1-186.
    • [7] Or equivalent instruments.
    Last updated: 27 February 2025

    MIL OSI Europe News

  • MIL-OSI Europe: Answer to a written question – Ongoing pollution of Newport Bay – E-002737/2024(ASW)

    Source: European Parliament

    The Commission has been made aware of concerns about pollution of Newport Bay/Clew Bay through Written Question E-000547/2024.

    1. The Commission is following up on the judgment of the Court of Justice of the European Union in Case C-444/21[1] in which Ireland was found to have failed to legally designate several Special Areas of Conservation and to adopt conservation objectives and measures for numerous sites, in breach of the Habitats Directive[2]. This judgment covers the Clew Bay, for which conservation measures are yet awaited. Once communicated, their conformity with EU law will be duly assessed.

    2. For agglomerations below 1 000 population equivalents (p.e.) like Newport ( 815)[3], limited obligations apply from end 2027 under Article 18 of the revised Urban Waste Water Treatment Directive[4], notably where a risk is identified for the environment or public health. Ireland has submitted with considerable delay its third River Basin Management Plans under the Water Framework Directive[5]: the Commission will raise any implementation issues with the Irish authorities once it will have completed its ongoing assessment.

    3. The Irish European Regional Development Fund[6] programmes do not include any funding for the specific objective ‘promoting access to water and sustainable water management’. The Irish Recovery and Resilience Plan[7] supports the upgrade of ten small treatment plants, but the Newport plant was not selected by Uisce Éireann for funding.

    • [1] Commission v Ireland (Protection des zones spéciales de conservation) Case C-444/21 of 29 June 2023: https://eur-lex.europa.eu/legal-content/EN/TXT/PDF/?uri=CELEX:62021CJ0444
    • [2] Council Directive 92/43/EEC of 21 May 1992 on the conservation of natural habitats and of wild fauna and flora, OJ L 206, 22.7.1992, p. 7.
    • [3] https://www.citypopulation.de/en/ireland/towns/mayo/29332__newport/
    • [4] Directive (EU) 2024/3019 of the European Parliament and of the Council of 27 November 2024 concerning urban wastewater treatment (recast), OJ L, 2024/3019, 12.12.2024.
    • [5] Directive 2000/60/EC of the European Parliament and of the Council of 23 October 2000 establishing a framework for Community action in the field of water policy OJ L 327, 22.12.2000, p. 1-73.
    • [6] The objectives and scope of the European Regional Development Fund (ERDF) are laid down in Regulation (EU) No 2021/1058 of the European Parliament and of the Council of 24 June 2021 on the European Regional Development Fund and on the Cohesion Fund, OJ L 231, 30.6.2021.
    • [7] https://commission.europa.eu/business-economy-euro/economic-recovery/recovery-and-resilience-facility/country-pages/irelands-recovery-and-resilience-plan_en
    Last updated: 27 February 2025

    MIL OSI Europe News

  • MIL-OSI Europe: REPORT on the European Semester for economic policy coordination 2025 – A10-0022/2025

    Source: European Parliament

    MOTION FOR A EUROPEAN PARLIAMENT RESOLUTION

    on the European Semester for economic policy coordination 2025

    (2024/2112(INI))

    The European Parliament,

     having regard to the Treaty on the Functioning of the European Union (TFEU), in particular Articles 121, 126 and 136 thereof,

     having regard to Protocol No 1 to the Treaty on European Union (TEU) and the TFEU on the role of national parliaments in the European Union,

     having regard to Protocol No 2 to the TEU and the TFEU on the application of the principles of subsidiarity and proportionality,

     having regard to Protocol No 12 to the TEU and the TFEU on the excessive debt procedure,

     having regard to the Treaty on Stability, Coordination and Governance in the Economic and Monetary Union,

     having regard to Regulation (EU) 2024/1263 of the European Parliament and of the Council of 29 April 2024 on the effective coordination of economic policies and on multilateral budgetary surveillance and repealing Council Regulation (EC) No 1466/97[1],

     having regard to Council Regulation (EU) 2024/1264 of 29 April 2024 amending Regulation (EC) No 1467/97 on speeding up and clarifying the implementation of the excessive deficit procedure[2],

     having regard to Council Directive (EU) 2024/1265 of 29 April 2024 amending Directive 2011/85/EU on requirements for budgetary frameworks of the Member States[3],

     having regard to Regulation (EU) No 1173/2011 of the European Parliament and of the Council of 16 November 2011 on the effective enforcement of budgetary surveillance in the euro area[4],

     having regard to Regulation (EU) No 1174/2011 of the European Parliament and of the Council of 16 November 2011 on enforcement measures to correct excessive macroeconomic imbalances in the euro area[5],

     having regard to Regulation (EU) No 1176/2011 of the European Parliament and of the Council of 16 November 2011 on the prevention and correction of macroeconomic imbalances[6],

     having regard to Regulation (EU) No 472/2013 of the European Parliament and of the Council of 21 May 2013 on the strengthening of economic and budgetary surveillance of Member States in the euro area experiencing or threatened with serious difficulties with respect to their financial stability[7],

     having regard to Regulation (EU) No 473/2013 of the European Parliament and of the Council of 21 May 2013 on common provisions for monitoring and assessing draft budgetary plans and ensuring the correction of excessive deficit of the Member States in the euro area[8],

     having regard to Regulation (EU, Euratom) 2020/2092 of the European Parliament and of the Council of 16 December 2020 on a general regime of conditionality for the protection of the Union budget[9] (the Rule of Law Conditionality Regulation),

     having regard to Regulation (EU) 2021/241 of the European Parliament and of the Council of 12 February 2021 establishing the Recovery and Resilience Facility[10] (the RRF Regulation),

     having regard to the Commission’s Spring 2024 Economic Forecast of 15 May 2024,

     having regard to the Commission’s Autumn 2024 Economic Forecast of 15 November 2024,

     having regard to the Commission’s Debt Sustainability Monitor 2023 of 22 March 2024,

     having regard to the Commission communication of 17 December 2024 entitled ‘Alert Mechanism Report 2025’ (COM(2024)0702) and to the Commission recommendation of 17 December 2024 for a Council recommendation on the economic policy of the euro area (COM(2024)0704),

     having regard to the Commission proposal of 17 December 2024 for a joint employment report from the Commission and the Council (COM(2024)0701),

     having regard to the Commission communication of 8 March 2023 entitled ‘Fiscal policy guidance for 2024’ (COM(2023)0141),

     having regard to the Commission report of 19 June 2024 prepared in accordance with Article 126(3) of the Treaty on the Functioning of the European Union (COM(2024)0598),

     having regard to the Council Recommendation of 12 April 2024 on the economic policy of the euro area[11],

     having regard to the European Fiscal Board assessment of 3 July 2024 on the fiscal stance appropriate for the euro area in 2025,

     having regard to the Eurogroup statement of 15 July 2024 on the fiscal stance for the euro area in 2025,

     having regard to the European Fiscal Board’s 2024 annual report, published on 2 October 2024,

     having regard to the Commission communication of 19 June 2024 entitled ‘2024 European Semester – Spring Package’ (COM(2024)0600),

     having regard to the Commission communication of 17 December 2024 entitled ‘2025 European Semester – Autumn package’ (COM(2024)0700),

     having regard to the Commission communication of 11 December 2019 entitled ‘The European Green Deal’ (COM(2019)0640), to the Paris Agreement adopted on 12 December 2025 in the context of the United Nations Framework Convention on Climate Change and to the UN Sustainable Development Goals,

     having regard to the Eighth Environment Action Programme to 2030,

     having regard to the Interinstitutional Proclamation of 17 November 2017 on the European Pillar of Social Rights[12] and to the Commission communication of 4 March 2021 entitled ‘The European Pillar of Social Rights Action Plan’ (COM(2021)0102),

     having regard to its resolution of 21 January 2021 on access to decent and affordable housing for all[13],

     having regard to the document by Ursula von der Leyen, candidate for President of the European Commission, of 18 July 2024 entitled ‘Europe’s choice – Political guidelines for the next European Commission 2024-2029’, and to the statement made by Valdis Dombrovskis, Commissioner for Economy and Productivity, Implementation and Simplification, at his confirmation hearing on 7 November 2024,

     having regard to International Monetary Fund working paper 24/181 of August 2024 entitled ‘Taming Public Debt in Europe: Outlook, Challenges, and Policy Response’,

     having regard to the International Monetary Fund’s Fiscal Monitor entitled ‘Putting a Lid on Public Debt’ of October 2024,

     having regard to Special Report 13/2024 of the European Court of Auditors entitled ‘Absorption of funds from the Recovery and Resilience Facility – Progressing with delays and risks remain regarding the completion of measures and therefore the achievement of RRF objectives’,

     having regard to the in-depth analysis entitled ‘The new economic governance framework: implications for monetary policy’, published by its Directorate-General for Internal Policies on 20 November 2024[14],

     having regard to the in-depth analysis entitled ‘Economic Dialogue with the European Commission on EU Fiscal Surveillance’, published by its Directorate-General for Internal Policies on 1 December 2024[15],

     having regard to Mario Draghi’s report of 9 September 2024 entitled ‘The future of European Competitiveness’ (the Draghi report),

     having regard to Rule 55 of its Rules of Procedure,

     having regard to the report of the Committee on Economic and Monetary Affairs (A10-0022/2025),

    A. whereas the European Semester plays an essential role in coordinating economic and budgetary policies in the Member States, and thus preserves the macroeconomic stability of the economic and monetary union;

    B. whereas the European Semester aims to promote sustainable, inclusive and competitive growth, employment, macroeconomic stability and sound public finances throughout the entire EU, with a view to ensuring the sustained upward convergence of the economic, social and environmental performance of the Member States;

    C. whereas the 2024 European Semester marked the first implementation cycle of the new economic governance framework, which came into force on 30 April 2024, guiding the EU and its Member States through a transitional phase;

    D. whereas the 2024 Council Recommendation on the economic policy of the euro area calls on the Member States to take action, both individually and collectively, to strengthen competitiveness, boost economic and social resilience, preserve macro-financial stability and sustain a high level of public investment to support the green and digital transitions; whereas fiscal stability is a basis for both sustainable high social standards in the EU and the competitiveness of the EU;

    E. whereas the main objectives of the new economic governance framework are to strengthen debt sustainability and sustainable and inclusive growth in all Member States, as well as enabling all Member States to undertake the necessary reforms and investments in the EU’s common priorities, which include (i) a fair green and digital transition, (ii) social and economic resilience including the European pillar of social rights, (iii) energy security, and (iv) the build-up of defence capabilities; whereas disparities in fiscal capacity among Member States hinder equitable investment in strategic priorities and weaken cohesion within the single market;

    F. whereas reference values of up to 3 % of government deficit to GDP and 60 % of public debt to GDP are defined by the TFEU; whereas the EU’s headline deficit and government debt-to-GDP ratio remain above the reference values; whereas both the headline deficit and government debt-to-GDP ratio vary across the EU, with significantly divergent situations in different Member States;

    G. whereas excessive deficit procedures were opened, or kept open, for eight Member States in 2024; whereas some Member States were not subject to an excessive deficit procedure, despite having a deficit above 3 % of GDP in 2023, as decided by the Council and the Commission after a balanced assessment of all the relevant factors;

    H. whereas no procedure concerning macroeconomic imbalances has been opened by the Council since the establishment of this procedure in 2011; whereas, in accordance with its Alert Mechanism Report, the Commission will conduct an in-depth review of 10 countries identified as experiencing macroeconomic imbalances or excessive imbalances in 2025;

    I. whereas the success of a framework relies heavily on its proper, transparent and effective implementation from the outset, while taking into account the Member States’ starting points and the individual challenges they face;

    J. whereas the timely submission of the national medium-term fiscal-structural and draft budgetary plans is a precondition for the effective implementation and credibility of the new rules; whereas the first national fiscal and budgetary plans have already been assessed by the Council; whereas the equal treatment of the Member States and compliance with the requirements outlined in Regulation (EU) 2024/1263 as regards the fiscal plans are necessary for the effective implementation of the framework;

    K. whereas the economic outlook for the EU remains highly uncertain and there is a growing risk of future events or situations that will negatively affect the economy; whereas Russia’s aggression in Ukraine and the conflicts in the Middle East are aggravating geopolitical risks and highlighting Europe’s energy vulnerability; whereas a rise in protectionist measures by trading partners may affect world trade, with negative repercussions for the EU economy; whereas current geopolitical tensions have demonstrated the need for the EU to further strengthen its open strategic autonomy and remain competitive in the global market, while ensuring that no one is left behind;

    L. whereas the implementation of the revised economic governance framework is expected to lead to a restrictive fiscal stance for the euro area, as a whole, of 0.5 % of GDP in 2024 and 0.25 % of GDP in 2025; whereas political discussion is needed to ensure appropriate public investment levels following the expiry of the Recovery and Resilience Facility (RRF) in 2026;

    M. whereas the Draghi report points out that the gap between the EU and the United States in the level of GDP at 2015 prices has gradually widened, from slightly more than 15 % in 2002 to 30 % in 2023, and estimates the necessary additional annual investment by the EU at EUR 800 billion, including EUR 450 billion for the energy transition;

    N. whereas the new Commission has set the goal of being an ‘investment Commission’; whereas discussions on addressing the significant investment gap and reducing borrowing costs are needed in the EU; whereas the framework, where appropriate, should be strengthened by EU-level investment instruments and tools designed to minimise the cost for EU taxpayers and maximise efficiency in the provision of European public goods;

    O. whereas the Member States need to have the necessary control and audit mechanisms to ensure respect for the rule of law and to protect the EU’s financial interests, in particular to prevent fraud, corruption and conflicts of interest and to ensure transparency;

    P. whereas it is important to increase the share of ‘fully implemented’ country-specific recommendations (CSRs) and to link them more closely to the respective country reports in order to contribute to more effective economic governance;

    1. Notes that in the last few years, the EU has demonstrated a high degree of resilience and unity in the face of major shocks, thanks, among other things, to a coordinated policy response involving all the EU institutions, including a flexible approach to the use of new and existing instruments; further recalls that promoting long-term sustainable growth means promoting a balance between responsible fiscal policies, structural reforms and investments that together increase efficiency, productivity, employment and prosperity, and also entails boosting competitiveness, fostering the single market, developing economic growth policies and revising the regulatory framework to attract investments; stresses the fundamental need for sustainable, inclusive and competitive economic growth;

    2. Notes that economic policy coordination is fundamentally necessary for a successful economic and monetary union; recalls that the European Semester is the well-established framework for coordinating fiscal, economic, employment and social policies across the EU, in line with the Treaties, while respecting the defined national competences;

    3. Notes the Commission’s commitment to ensure that the European Semester drives policy coordination for competitiveness, sustainability and social fairness, as well as the integration of the UN Sustainable Development Goals and the European pillar of social rights; notes that the European Green Deal remains a core deliverable for the Commission;

    4. Highlights the fact that an integrated, coordinated, targeted and horizontal industrial policy is vital to increase investments in the EU’s innovation capacity, while bolstering competitiveness and the integrity of the single market;

    5. Highlights that public and private investments are crucial for the EU’s ability to cope with existing challenges, including developing the EU’s innovation capacity and implementing the just green and digital transitions, and that they will increase the EU’s resilience, long-term competitiveness and open strategic autonomy; calls attention to the need for strategic investments in energy interconnections, low-carbon energies (such as renewables) and energy efficiency to, among other things, (i) make the EU independent from imported fossil fuels and prevent the possible inflationary effects of dependence on these, (ii) modernise production systems and (iii) promote social cohesion; recalls that the materialisation of climate-change-related physical risks can greatly affect public finances, as demonstrated by the floods in Valencia in October 2024 and the cyclone in Mayotte in December 2024; calls on the Member States to make the necessary investments to improve climate change mitigation and adaptation and enhance the resilience of the EU economy;

    6. Calls on the Commission to come up with initiatives, on the basis of the Budapest Declaration; to make the EU more competitive, productive, innovative and sustainable, by building on economic, social and territorial cohesion and ensuring convergence and a level playing field both within the EU and globally; notes the development of a new competitiveness coordination tool; expects the Commission to clarify how this tool will interact with the European Semester; stresses the importance of supporting micro, small and medium-sized enterprises as key drivers of economic growth and employment within the EU;

    7. Stresses the need to foster a dynamic entrepreneurial ecosystem that supports innovators, recognising their critical role in driving global competitiveness, economic resilience, job creation and open strategic autonomy;

    8. Welcomes the Commission’s recommendations regarding the economic policy of the euro area, urging the Member States to enhance competitiveness and foster productivity through improved access to funding for businesses, reduced administrative burdens, and public and private investment in areas of EU common priorities, which include (i) a fair green and digital transition, (ii) social and economic resilience including the European pillar of social rights, (iii) energy security, and (iv) the build-up of defence capabilities;

    9. Welcomes the Commission’s recommendation that, when defining fiscal strategies, euro area Member States should aim to improve the quality and efficiency of public expenditure and public revenue, which are essential for ensuring the sustainability of public finances, while minimising detrimental and distortive impacts on economic growth; stresses that this could be achieved by, among other things, increasing European coordination and reducing tax avoidance and tax evasion; welcomes the Draghi report’s conclusion that a coordinated reduction of labour income taxation for low- to middle-income workers is needed to promote EU competitiveness; recalls the Member States’ competence in tax policy; invites the Member States to redirect the tax burden from income to less distortive tax bases;

    10. Highlights the need to create fiscal buffers to address fiscal sustainability challenges, ensuring sufficient resources for investment and for dealing with potential future shocks and crises; stresses the importance of promoting competitive, sustainable and inclusive growth in supporting long-term fiscal stability and resilience;

    Economic prospects for the EU

    11. Expresses concern that, according to the Commission’s autumn 2024 economic forecast, EU GDP is expected to grow by 0.9 % (0.8 % in the euro area) in 2024, by 1.5 % (1.3 % in the euro area) in 2025 and by 1.8% (1.6% in the euro area) in 2026; recalls that these figures reflect a gradual recovery, but also limited economic expansion compared to previous economic cycles; notes that the economic outlook for the EU remains highly uncertain, with risks more likely to negatively affect economic growth;

    12. Notes that the public debt ratio is projected to increase to 83.0 % in the EU and 89.6 % in the euro area in 2025 and to 83.4 % in the EU and 90 % in the euro area in 2026, when the output gap will be virtually closed both in the EU and in the euro area, and that this is higher than the levels in 2024 (82.4 % for the EU and 89.1 % for the euro area);

    13. Recalls that developments in public debt ratios vary from country to country; points out that policy uncertainty and geopolitical risks can contribute significantly to increasing the cost of borrowing on the financial markets for the Member States; notes that unsustainable debt levels could undermine economic stability and decrease the Member States’ economic resilience and capacity to respond to crises; highlights that in 2024 and 2025, 11 euro area Member States are expected to have debt ratios above the Treaty reference value of 60 %, with 5 remaining above 100 %;

    14. Notes that according to the Commission’s 2024 autumn economic forecast, the general government deficit in the EU and the euro area is expected to decline to 3.1 % and 3 % of GDP, respectively, in 2024, and to decrease further to 3 % and 2.9 % of GDP in 2025 and 2.9 % and 2.8 % of GDP in 2026; stresses that 10 EU Member States are expected to post a deficit above the Treaty reference value of 3 % of GDP in 2024; points out that this number will remain stable in 2025, and that in 2026, most Member States are forecast to have weaker budgetary positions than before the pandemic (2019), with 9 of them still posting deficits of above 3 %;

    15. Notes that eight Member States have excessive deficits; recalls that the Council has taken remedial action and calls on the Member States concerned to take steps to reduce excessive deficits while minimising the socio-economic impact; recalls the importance of consistency in applying the excessive deficit procedure to the Member States;

    16. Notes that according to the Commission’s autumn 2024 economic forecast, inflation is projected to fall from 2.6 % in 2024 to 2.4 % in 2025 and 2 % in 2026 in the EU, and from 2.4 % in 2024 to 2.1 % in 2025 and 1.9 % in 2026 in the euro area; recalls that although this reduction is a positive development, core inflation remains relatively high, which points to persistent inflationary pressures; notes that fiscal policy, while safeguarding fiscal sustainability, can support monetary policy in reducing inflation, and should provide sufficient space for additional investments and support long-term growth;

    17. Notes that the Commission has not been able to present the Annual Sustainable Growth Survey, the Alert Mechanism Report, the draft euro area recommendation and the draft joint employment report at the same time;

    18. Observes that according to the Commission’s 2025 Alert Mechanism Report, in-depth reviews will be prepared in 2025 for the nine countries that were identified as experiencing imbalances or excessive imbalances in 2024, while another in-depth review should be undertaken for another Member State, as it presents particular risks of newly emerging imbalances;

    19. Underlines that housing is directly interconnected with the macroeconomic imbalances in the euro area, with damaging implications for economic resilience, dynamism and social progress and for regional and intra-EU mobility; is concerned that in some Member States, house prices are likely to increase and may become hard to curb in the absence of a holistic strategy;

    Revised EU economic governance framework and its effective implementation

    20. Recalls that the reform aims to make the framework simpler, more transparent and more effective, with greater national ownership and better enforcement, while differentiating between Member States on the basis of their individual starting points, representing a step forward in ending the ‘one-size-fits-all’ approach in view of the country-specific fiscal sustainability considerations embodied in the net expenditure path; recalls, furthermore, that the reform aims to strengthen fiscal sustainability through gradual and tailor-made adjustments complemented by reforms and investments and to promote countercyclical fiscal policies;

    21. Acknowledges that the new fiscal rules provide greater flexibility and incentives linked to the investments and national reforms required to address the economic, social and geopolitical challenges facing the EU; acknowledges that financial resources and contributions from national budgets differ from one Member State to another; welcomes the fact that the net expenditure indicator excludes all national co-financing in EU-funded programmes, providing increased fiscal space for Member States to invest in the EU’s common priorities, as laid down in Regulation (EU) 2024/1263, thus helping to strengthen synergies between the EU and national budgets, thereby reducing fragmentation and increasing the overall efficiency of public spending in some areas, such as defence;

    22. Highlights that the debt sustainability analysis (DSA) plays a key role in the reformed EU fiscal rules; is of the opinion that the discretionary role of the Commission in the DSA requires the relevant assessments to be fully transparent, predictable, replicable and stable; calls on the Commission to address possible methodological improvements, such as assessing spillover effects between Member States, and to duly inform Parliament in this regard;

    23. Notes the Commission’s inconsistent application of the fiscal rules framework in the past, and the Member States’ uneven compliance with the rules; stresses that it is essential for the new framework to ensure the equal treatment of the Member States; affirms that a successful framework relies heavily on proper, transparent and effective implementation from the outset, while taking into account the Member States’ starting points and the individual challenges they face; takes note of the changes introduced in the new framework to improve the credibility of the financial sanctions regime;

    24. Encourages the Member States to align the technical definition of their national operational indicator to the European primary net expenditure indicator;

    25. Emphasises the role of Parliament and of independent fiscal authorities in the EU’s economic governance framework; underlines the discretionary power of the Commission in developing the medium-term fiscal-structural plans; emphasises the need for increased scrutiny of the Commission by Parliament and by the European Fiscal Board, as envisioned in Regulation (EU) 2024/1263, and for an increase in the flow of information towards Parliament to enable its effective oversight;

    National medium-term fiscal-structural and budgetary plans

    26. Notes that not all Member States were able to submit their national medium-term fiscal-structural and draft budgetary plans on time; notes that, as a result of general elections and the formation of new governments, five Member States have not yet submitted their national medium-term fiscal-structural plans and two Member States have not yet submitted their draft budgetary plans, while one Member State has not submitted its draft budgetary plan for other unspecified reasons; calls on these Member States to submit the relevant plans as soon as possible; underlines that the timely submission of these plans is a precondition for the effective implementation and credibility of the new rules; reaffirms the importance of the timely submission of draft budgetary plans to translate commitments outlined in fiscal plans into concrete policies following approval of the national medium-term fiscal-structural plans;

    27. Recalls that the reforms and investments outlined in the national medium-term fiscal-structural plans should align with the EU’s common priorities as laid down in Regulation (EU) 2024/1263; emphasises that, under the new framework, the Commission should pay particular attention to these priorities when assessing the national medium-term fiscal-structural plans;

    28. Acknowledges that 21 of the 22 national medium-term fiscal-structural plans that have been reviewed so far received a positive evaluation; notes that the new framework allows Member States to use assumptions that differ from the Commission’s DSA if these differences are explained and duly justified in a transparent manner and are based on sound economic arguments in the technical dialogue with the Member States; observes, however, that in the plans submitted by five Member States, the Commission found insufficiently justified inconsistencies and deviations from the DSA framework in macroeconomic assumptions related to potential GDP and/or the GDP deflator; stresses that such deviations and risks of backloading could potentially threaten future fiscal sustainability; notes that in the plans submitted by three Member States, the Commission acknowledges a concentration of the fiscal adjustment towards the end of the period; calls on the Commission to ensure that any such concentration of the adjustment meets the requirements set out in the regulation and calls on it to prevent procyclical policies;

    29. Takes note of the fact that only seven Member States have sought an opinion from their relevant independent fiscal institution, which provides an important additional scrutiny dimension; notes with caution that some independent fiscal institutions gave a negative opinion on their Member State’s national fiscal plan; stresses that nine Member States did not meet their obligation to conduct political consultations with civil society, social partners, regional authorities and other relevant stakeholders prior to submitting their national plans; further regrets the fact that several Member States have not involved their national parliaments in the approval process for the plans and have not reported whether the required consultations with national parliaments took place as laid down in the new framework;

    30. Observes that five Member States have requested an extension of the adjustment period; emphasises that any such extension should be based on a set of investment and reform commitments that, taken all together, improve the potential growth and resilience of the economy, support fiscal sustainability, address the EU’s common priorities and the relevant CSRs and have been assessed as meeting the conditions outlined in the regulation for such an extension; notes that the reforms and investments used to justify this extension rely considerably on reforms already approved under the RRF; highlights the importance of and need for reforms and investments that contribute positively to the potential GDP growth of the Member States; calls on the Commission to effectively evaluate ex post the impact of agreed investments and reforms in terms of supporting fiscal sustainability, enhancing the growth potential of the economy, addressing the EU’s common priorities and the CSRs and ensuring the required level of nationally financed public investment;

    31. Notes the Commission’s assessment that only 8 of the 17 draft budgetary plans presented are in line with fiscal recommendations stemming from the national medium-term fiscal-structural plan; regrets the fact that 7 plans were assessed as not being fully in line with the recommendations, 1 as non-compliant and 1 as at risk of not being in line with the recommendations; is concerned that six Member States have presented draft budgetary plans with annual or cumulative expenditure growth above their prescribed ceilings;

    Fiscal stance and the role of fiscal policy in the provision of European public goods

    32. Notes the Commission’s projection that the implementation of the revised governance framework is expected to lead to a reduction of the primary structural balance for the euro area as a whole of 0.5 % of GDP in 2024 and 0.25 % of GDP in 2025; notes the Commission’s assessment that this is in line with the process of enhancing fiscal sustainability and support the ongoing disinflationary process as economic uncertainty remains high; notes that GDP growth will continue to support fiscal consolidation throughout the EU; calls for fiscal policies that restore stability while promoting innovation, industrial competitiveness and long-term economic growth; stresses the need to create additional fiscal space to tackle future challenges and potential crises while preserving a sufficient level of investment to support and foster sustainable and inclusive growth, industrialisation and prosperity for all;

    33. Considers that the effective implementation of the fiscal rules, although necessary, is not in itself sufficient to achieve the optimal fiscal stance at all times and ensure a high standard of living for all Europeans; notes that the fiscal stance is still projected to differ greatly from one Member State to another in 2025; calls on the Commission to explore ideas for a mechanism that helps ensure that the cyclical position of the EU as a whole is appropriate for the macroeconomic outlook at all times;

    34. Recalls that, according to the Commission, the fiscal drag in 2025 will be partly offset by a slight expansion in investment, financed both by national budgets and by RRF grants and other EU funds; emphasises the RRF’s role in addressing EU investment needs, noting that it will expire by the end of 2026, which might lead to a decrease in public investment in common European priorities;

    35. Calls on the Commission to initiate discussions on addressing the significant investment gap in the EU and to reduce borrowing costs, strengthen financial stability and enable strategic investments in line with the EU’s objectives and for the provision of European public goods, such as defence capabilities to match needs in a context of growing threats and security challenges; calls for full use to be made of the efficiency gains that may stem from the provision of European public goods at EU scale through the effective coordination of investment priorities among Member States; believes that this framework, where appropriate, should be strengthened by EU-level investment instruments and tools designed to minimise the cost for EU taxpayers and maximise efficiency in the provision of European public goods;

    36. Recalls that any EU funding must be accompanied by robust controls ensuring transparency, accountability and the efficient use of funds, so as to avoid unjustified increases in public spending;

    37. Encourages the Member States to promote investment spending that produces a positive rate of return; acknowledges the Draghi report’s assessment that around four fifths of productive investments will be undertaken by the private sector in the EU, while public investment will also play a catalysing role; welcomes the Commission initiative to propose a competitiveness fund under the new multiannual financial framework and calls on it to make full use of financial guarantees to leverage private investment; stresses that the Member States must step up their efforts, in particular budgetary efforts, to accelerate innovation, digitalisation, education, training and decarbonisation, to strengthen European competitiveness and to reduce dependencies;

    Country-specific recommendations

    38. Notes that the share of ‘fully implemented’ CSRs has dropped from 18.1 % (in the period 2011-2018) to 13.9 % (in the period 2019-2023); recalls that implementing CSRs, including with regard to the efficiency of public spending, is a key part of ensuring fiscal sustainability and addressing macroeconomic imbalances; advocates a more efficient implementation of the CSRs and the relevant reforms; calls for ways of increasing the share of ‘fully implemented’ CSRs to be explored; calls on the Commission to link the CSRs more closely to the respective country reports; calls for the impact of reforms and the progress towards reducing identified investment gaps to be evaluated; calls for greater transparency in the preparation of CSRs;

    39. Reiterates, in this regard, that CSRs should be enhanced by focusing on a limited set of challenges, in particular specific Member States’ structural challenges and the EU’s common priorities, with a view to promoting sound and inclusive economic growth, enhancing competitiveness and macroeconomic stability, promoting the green and digital transitions and ensuring social and intergenerational fairness;

    40. Recalls the Member States’ commitment to address, in their national fiscal plans, the relevant CSRs in both their economic and social dimensions, as expressed under the European Semester; notes that the Commission has found unaddressed CSRs in the national fiscal plans;

    41. Highlights the importance of the CSRs in tackling the longer-term drivers of fiscal sustainability, including the sustainability and proper provision of public pension systems, the healthcare and long-term care systems in the face of demographic challenges such as ageing populations, and preparedness for adverse developments, including climate-change-related physical risks; stresses the relevance of CSRs in addressing the stability of the housing market in order to contribute to the economic resilience of the EU;

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    42. Instructs its President to forward this resolution to the Council and the Commission.

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