Category: European Union

  • MIL-OSI China: Beijing to hold global digital economy conference

    Source: People’s Republic of China – State Council News

    The 2025 Global Digital Economy Conference will kick off on July 2 at the China National Convention Center in Beijing. 

    The event will foster deeper global collaboration and connectivity, according to a press briefing held on Monday. It will be the first time to be co-hosted by the United Nations Development Program. Meanwhile, overseas sessions will be held in Barcelona of Spain and Dubai of the UAE, while the conference will also build partnerships with the Mobile World Congress in Barcelona and a technology and culture festival in Germany. 

    The conference will feature 46 thematic forums covering emerging sectors such as AI integration, digital security, data, and digital healthcare. 

    A highlight of the event will be the release of the “Top 10 Benchmark Digital Economy Applications in Beijing,” along with a signature exhibition featuring debuts and launches of new technologies, products, and solutions. All these will showcase Beijing’s progress in becoming a benchmark city for the digital economy.

    Among the six main forums, the Data Elements Development Forum is expected to be another standout session. It will bring together domestic and international guests to explore key trends in the supply, circulation, application, and security of data – widely seen as a core driver of the digital economy. The forum will include innovation showcases, roundtables, and regional cooperation exchanges, according to Peng Xuehai, deputy director of Beijing Municipal Bureau of Administrative Service and Data Management.

    The conference serves as an international platform for digital cooperation, said Pan Feng, deputy director of the Beijing Municipal Cyberspace Administration. He said Beijing will use this opportunity to accelerate infrastructure upgrades, boost innovation in next-generation information technology, and promote the efficient circulation and use of data, further unleashing the power of information technology to drive economic and social development.

    MIL OSI China News

  • MIL-OSI United Kingdom: Crime contract for signature despatch to commence

    Source: United Kingdom – Executive Government & Departments

    News story

    Crime contract for signature despatch to commence

    The LAA will start to send contracts for signature to crime providers from 1 July.

    The ongoing cyber security incident means that we are unable to issue the contract for signature for online acceptance in CWA. Therefore, the contract documentation will be sent out via email from 1 July. This will take up to 3 weeks to complete.

    Why is it happening now?

    Full instructions on how to accept the contract will be provided in the covering letter. Once accepted the contract will be returned to the LAA to countersign. The contract will commence on 1 October.

    If you have not received your contract documentation by 21 July, please contact the LAA through the eTendering message board.

    Further information

    For full details of the procurement process please read the Application Guide which is available at Crime Contract 2025 Tender – GOV.UK (www.gov.uk)

    Updates to this page

    Published 24 June 2025

    MIL OSI United Kingdom

  • MIL-OSI United Kingdom: UK Government supports research into Ukraine soil pollution 

    Source: United Kingdom – Executive Government & Departments

    News story

    UK Government supports research into Ukraine soil pollution 

    Royal Agricultural University to benefit from Defra funding to research the impacts of pollution on Ukraine’s arable soil due to the war with Russia.

    New research into the impacts of war on Ukraine’s farmland is set to launch with £500,000 funding from Defra to the Royal Agricultural University.

    Farming Minister Daniel Zeichner today set out how this research will support Ukraine’s farmers – guardians of the breadbasket of Europe. The research will fund UK researchers to analyse the impact of the war on Ukrainian soil, establish bespoke facilities in Ukrainian laboratories, and train specialists in Ukraine.  

    Soil pollution caused by Russia’s illegal invasion is a pressing issue for Ukraine. Ukraine’s farmland has suffered significant damage from Russian bombardments and other war-related toxic pollutants, as heavy metals and chemicals are leached into the earth, leading to the degradation of soil health.  This damage to Ukraine’s soil presents real, and potentially long term, risks to the food production, yields and farmer safety.    

    This research is vital to understanding the impacts of this pollution, as well as potential solutions. It is crucial to help develop Ukraine’s capacity to analyse and address soil health in the long term, strengthening the food security of Ukraine and in turn global food security.       

    Daniel Zeichner, Minister for Food Security and Rural Affairs, said:    

    The UK’s support for Ukraine is ironclad.   

    This research is vital, helping Ukraine in understanding the impact the pollution from war has had on its soils and give them vital tools to recover farmland.  

    This funding forms part of our commitment in 100-year partnership with Ukraine to stand shoulder-to-shoulder with their farmers to deliver food production and environmental protection for the nation. 

    Professor Mark Horton, Pro Vice-Chancellor for Research and Enterprise at the Royal Agricultural University, said:  

    The war in Ukraine has severely damaged soil health across bombarded agricultural regions, threatening future food production and the country’s long-term recovery. This research will enhance Ukraine’s capacity to restore and manage its soils, laying an early groundwork for a more resilient, productive, and sustainable agriculture.  

    With this funding, the Royal Agricultural University will work closely with our Ukrainian partners to train local experts, establish state-of-the-art soil laboratories, and analyse thousands of soil samples across key farming regions.   

    These efforts are essential to building the tools and capacity Ukraine needs to safeguard its soil, ensure food security, and support national regeneration.

    The Royal Agricultural University will work with Ukraine’s Sumy National Agrarian University in training experts in the country, establishing soil analysis functions in laboratories, and analysing over 8,000 soil samples across five regions, including Sumy and Kherson.   

    This funding follows the launch of the UK’s Grain Verification Scheme, announced earlier this year alongside the 100 Year Partnership, to help track grain stolen from occupied areas of Ukraine.

    Updates to this page

    Published 24 June 2025

    MIL OSI United Kingdom

  • MIL-OSI United Kingdom: New projects use satellite data to drive public service innovation

    Source: United Kingdom – Government Statements

    Press release

    New projects use satellite data to drive public service innovation

    Five projects from across the UK will use satellite data to help transform the delivery of public services, thanks to new funding from the UK Space Agency.

    GHGSat C9, C10, and C11 launched in space. Credit: GHGSat

    The new projects bring innovative space companies together with public sector partners, ranging from local councils to government agencies. They will use a wealth of data from existing satellite networks to help monitor the safety of buildings and infrastructure, track animal and plant life, identify methane leaks and ensure farmers can access the right government support schemes.

    Over £2.5 million of funding, announced today (24 June) at the European Space Agency’s Living Planet Symposium 2025, in Vienna, comes after a joint call for proposals from the UK Space Agency and ESA’s InCubed2 programme, which was launched in July 2024.

    Harshbir Sangha, Director of Missions and Capabilities at the UK Space Agency, said: 

    By bringing together innovative space companies with public sector partners, we’re demonstrating that space technology delivers practical benefits here on Earth. From monitoring biodiversity to ensuring infrastructure safety, these initiatives show how satellite data can drive efficiency, sustainability and better decision-making.

    This investment reflects our commitment to establishing the UK as a global leader in space-enabled public services, creating a blueprint for how space technology can address some of our most pressing societal challenges.

    The projects  

    CORE: COrner Reflector Enabled Remote Sensing      

    Geospatial Ventures in Nottingham is developing a system that tracks tiny movements in buildings, bridges and other structures to spot potential safety issues early. The system uses special radar technology and artificial intelligence to constantly monitor infrastructure that might be difficult or expensive to check manually. This provides a safer, more efficient way to survey large sites without sending engineers to dangerous locations. 

    THICKET: a biodiversity mapping tool  

    AAC Clyde Space in Glasgow is creating a tool that helps farmers support wildlife on their land. Using their own constellation of satellites that frequently capture detailed images, the system will show farmers exactly what plants and animals are living on their land. This will help farmers make better decisions about sustainable farming and access government support schemes like the Sustainable Farming Incentive. 

    Government GHG service    

    GHGSat UK in London is developing an advanced analytics platform that turns satellite data about greenhouse gases into practical information the government can use for increased accountability across emitting organisations and tailored mitigation strategies. Their constellation of satellites, which trace the source of greenhouse gases directly to industrial facilities focuses particularly on methane, providing accurate data within hours of an emission to help the UK government make informed decisions about reducing these harmful gases. This supports the government’s goal to reach net-zero emissions by 2050. 

    FANTOM – Future Analytics    

    Earth-i in Guildford is building a system that creates useful environmental information from satellite images by developing novel indicators for environmental land monitoring. It will provide analytics directly to the Rural Payments Agency, which manages farming subsidies and environmental schemes. The service will help monitor land changes and support sustainable land management across the UK. 

    EO4Biodiversity 

    HR Wallingford in Oxfordshire is leading a project that uses satellite information to help improve plant and animal diversity. Working with multiple partners, including Water Resources South East, they’re developing ways to use Earth Observation data to track biodiversity changes over time. This will help landowners, developers and public bodies protect and enhance natural habitats and support the UK government’s biodiversity net gain requirements. 

    UKspace Executive Director, Colin Baldwin, said:  

    This investment into the application of satellite data into downstream services covering infrastructure, biodiversity, agriculture, methane emissions and sustainability is very welcome.

    For some time, we have been working with our members and through our committees to highlight how the space industry can bring immense value to the public sector, so we are very encouraged to see the Government recognising the opportunity. Several UKspace member companies are benefiting from this programme and we look forward to seeing their ideas being adopted into new and improved operational services.

    On Monday the Living Planet Symposium hosted a ceremonial signing of the ground segment development contract awarded to Telespazio UK for the TRUTHS mission, a UK-led climate mission developed with the European Space Agency. Under this agreement, Telespazio UK will be responsible for designing and developing the ground systems needed to receive, process, and distribute TRUTHS satellite data. Their role is vital to ensuring that this highly accurate climate data reaches scientists, policymakers, and organisations worldwide to support better climate monitoring and action. 

    The UK Space Agency is also due to launch a climate funding call, offering up to £300,000 in funding to help UK organisations develop new climate services using Earth Observation satellite data. These small grants, between £40,000 and £80,000 per project, are aimed at supporting early ideas that improve tools or services for tackling climate change, protecting nature, or helping society make more informed decisions for the planet.

    Space is identified as a frontier industry in the government’s new Industrial Strategy, launched earlier this week, where investment supports both economic growth and security. The Industrial Strategy is a 10-year plan to increase business investment and grow the industries of the future in the UK.

    Updates to this page

    Published 24 June 2025

    MIL OSI United Kingdom

  • MIL-OSI: NUCLIDIUM Presents Positive Phase 1 Results of its Novel PET Imaging Agent 61Cu-NuriPro™ at SNMMI 2025 Annual Meeting

    Source: GlobeNewswire (MIL-OSI)

    • 61Cu-NuriPro™ detected more lesions up to 4 hours post-administration in 50% of patients, not visualized by 18F-piflufolastat PET1,2
    • Dosimetry data highlight favorable tumor-to-background ratio with 61Cu-NuriPro™
    • 61Cu-NuriPro™’s 3.3 hours half-life allows for greater distribution range and later imaging after administration
    • Data presented on Monday, June 23 by Principal Investigator Dr. Gary Ulaner, MD, PhD at the SNMMI 2025 Annual Meeting in New Orleans

    Basel, Switzerland, June 24, 2025NUCLIDIUM AG a clinical-stage radiopharmaceutical company developing copper-based theranostics, today announced positive data from the Phase 1 clinical trial evaluating the company’s novel PET imaging agent, 61Cu-NuriProTM (61Cu-NODAGA-PSMA I&T) in patients with metastatic prostate cancer. These data were presented on June 23 at the Society of Nuclear Medicine & Molecular Imaging (SNMMI) 2025 Annual Meeting in New Orleans by Dr. Gary Ulaner, MD, PhD, Director of Molecular Imaging and Therapy at Hoag Family Cancer Institute and Principal Investigator for the trial. Dr. Ulaner highlighted 61Cu-NuriPro’s favorable safety, dosimetry profile and imaging characteristics in Prostate Specific Membrane Antigen (PSMA)-positive prostate cancer patients.

    The Phase 1 trial conducted at Hoag Molecular Imaging and Therapy Clinic evaluated the safety, dosimetry and preliminary diagnostic efficacy of 61Cu-NuriProTM in patients with metastatic prostate cancer, and was compared to 18F-piflufolastat. 61Cu-NuriPro™ demonstrated a safety profile comparable to clinically established PSMA tracers with a favorable imaging performance. Notably, 61Cu-NuriPro PET visualized additional lesions in 50% of the patients which were not seen on the 18F-piflufolastat PET, with favorable tumor-to-background ratios. The number of detected lesions on the 61Cu-NuriPro PET increased up to 4 hours after administration, highlighting the diagnostic benefits of 61Cu’s 3.3-hour half-life and high positron yield.

    “Accurate and reliable imaging remains essential in the management of prostate cancer. The Phase 1 results from 61Cu-NuriPro™ demonstrate not only a solid safety profile but also good imaging quality compared to standard-of-care,” said Dr. Gary Ulaner, MD, PhD, Director of Molecular Imaging and Therapy at Hoag Memorial Hospital Presbyterian and Principal Investigator of the trial. “These early data suggest strong potential for improving diagnostic performance and patient outcomes.”

    Leila Jaafar, PhD, CEO and Co-Founder of NUCLIDIUM added “These results further validate our first-in-class copper theranostics platform and the clinical promise of 61Cu-NuriPro™ as a potential best-in-class diagnostic. We are dedicated to rapidly advancing our portfolio of copper-based theranostic agents for a broader range of cancers, with a focus on safety, sustainability, and scalability.”

    61Cu-NuriProTM (61Cu-NODAGA-PSMA I&T) is the diagnostic component of NUCLIDIUM’s PSMA-targeted NuriProTM program2,3,4,5,6. The company’s second diagnostic, 61Cu-TraceNET™, targeting SSTR-positive tumors, is in a Phase 1/2a clinical trial in broncho-pulmonary, and gastroenterohepatic neuroendocrine tumors (BP- and GEP-NETs). The agent will be developed further for imaging in a subset of metastatic breast cancer patients. Clinical trials of two corresponding therapeutics, 67Cu-NuriPro™ and 67Cu-TraceNET™, are expected to start enrollment in early 2026.

    About NUCLIDIUM
    Nuclidium AG is a clinical-stage biotechnology company pioneering the development of next-generation copper-based radiopharmaceuticals for the diagnosis and treatment of cancer. Leveraging copper isotopes — Copper-61 for diagnostics and Copper-67 for therapeutics — Nuclidium is creating a differentiated platform with the potential to overcome existing limitations in radiotheranostics. With operations in Switzerland and Germany, the company combines innovative chemistry, deep clinical expertise, and strategic manufacturing capabilities to deliver scalable, accessible, and clinically superior theranostic solutions to patients worldwide. Nuclidium is committed to expanding the reach and efficacy of radiotheranostics, including addressing critical unmet medical needs in oncology and women’s health.

    For more information, please contact:

    NUCLIDIUM
    Leila Jaafar, CEO
    Email: info@nuclidium.com

    Investor/Media Contact NUCLIDIUM
    Trophic Communications
    Stephanie May
    Email: nuclidium@trophic.eu
    Phone: +49 171 1855682

    1 European Medicines Agency. Pylclari – International non-proprietary name: piflufolastat (18F), Assessment report-EMA/CHMP/279917/2023, https://www.ema.europa.eu/en/documents/assessment-report/pylclari-epar-public-assessment-report_en.pdf, accessed 20 June 2025

    2 FDA Approves Pluvicto/Locametz for Metastatic Castration-Resistant Prostate Cancer. J Nucl Med. May 2022;63(5):13n.

    3 Keam SJ. Piflufolastat F 18: Diagnostic First Approval. Mol Diagn Ther. Sep 2021;25(5):647-656. doi:10.1007/s40291-021-00548-0

    4 Heo YA, Jadvar H, Calais J, et al. Flotufolastat F 18: Diagnostic First Approval Appropriate Use Criteria for Prostate-Specific Membrane Antigen PET Imaging. Mol Diagn Ther. Jul 13; Jan 2023;63(1):59-68. doi:10.1007/s40291-023-00665-y10.2967/jnumed.121.263262

    5 Hennrich U, Eder M. [(68)Ga]Ga-PSMA-11: The First FDA-Approved (68)Ga-Radiopharmaceutical for PET Imaging of Prostate Cancer. Pharmaceuticals (Basel). Jul 23 2021;14(8)doi:10.3390/ph14080713

    6 Basaco Bernabeu T, Fani M, et al. 61Cu-PSMA–Targeted PET for Prostate Cancer: From Radiotracer Development to First-in-Human Imaging. JNM. Sep 2024, 65 (9) 1427-1434. doi: https://doi.org/10.2967/jnumed.123.267126

    The MIL Network

  • MIL-OSI: NUCLIDIUM Presents Positive Phase 1 Results of its Novel PET Imaging Agent 61Cu-NuriPro™ at SNMMI 2025 Annual Meeting

    Source: GlobeNewswire (MIL-OSI)

    • 61Cu-NuriPro™ detected more lesions up to 4 hours post-administration in 50% of patients, not visualized by 18F-piflufolastat PET1,2
    • Dosimetry data highlight favorable tumor-to-background ratio with 61Cu-NuriPro™
    • 61Cu-NuriPro™’s 3.3 hours half-life allows for greater distribution range and later imaging after administration
    • Data presented on Monday, June 23 by Principal Investigator Dr. Gary Ulaner, MD, PhD at the SNMMI 2025 Annual Meeting in New Orleans

    Basel, Switzerland, June 24, 2025NUCLIDIUM AG a clinical-stage radiopharmaceutical company developing copper-based theranostics, today announced positive data from the Phase 1 clinical trial evaluating the company’s novel PET imaging agent, 61Cu-NuriProTM (61Cu-NODAGA-PSMA I&T) in patients with metastatic prostate cancer. These data were presented on June 23 at the Society of Nuclear Medicine & Molecular Imaging (SNMMI) 2025 Annual Meeting in New Orleans by Dr. Gary Ulaner, MD, PhD, Director of Molecular Imaging and Therapy at Hoag Family Cancer Institute and Principal Investigator for the trial. Dr. Ulaner highlighted 61Cu-NuriPro’s favorable safety, dosimetry profile and imaging characteristics in Prostate Specific Membrane Antigen (PSMA)-positive prostate cancer patients.

    The Phase 1 trial conducted at Hoag Molecular Imaging and Therapy Clinic evaluated the safety, dosimetry and preliminary diagnostic efficacy of 61Cu-NuriProTM in patients with metastatic prostate cancer, and was compared to 18F-piflufolastat. 61Cu-NuriPro™ demonstrated a safety profile comparable to clinically established PSMA tracers with a favorable imaging performance. Notably, 61Cu-NuriPro PET visualized additional lesions in 50% of the patients which were not seen on the 18F-piflufolastat PET, with favorable tumor-to-background ratios. The number of detected lesions on the 61Cu-NuriPro PET increased up to 4 hours after administration, highlighting the diagnostic benefits of 61Cu’s 3.3-hour half-life and high positron yield.

    “Accurate and reliable imaging remains essential in the management of prostate cancer. The Phase 1 results from 61Cu-NuriPro™ demonstrate not only a solid safety profile but also good imaging quality compared to standard-of-care,” said Dr. Gary Ulaner, MD, PhD, Director of Molecular Imaging and Therapy at Hoag Memorial Hospital Presbyterian and Principal Investigator of the trial. “These early data suggest strong potential for improving diagnostic performance and patient outcomes.”

    Leila Jaafar, PhD, CEO and Co-Founder of NUCLIDIUM added “These results further validate our first-in-class copper theranostics platform and the clinical promise of 61Cu-NuriPro™ as a potential best-in-class diagnostic. We are dedicated to rapidly advancing our portfolio of copper-based theranostic agents for a broader range of cancers, with a focus on safety, sustainability, and scalability.”

    61Cu-NuriProTM (61Cu-NODAGA-PSMA I&T) is the diagnostic component of NUCLIDIUM’s PSMA-targeted NuriProTM program2,3,4,5,6. The company’s second diagnostic, 61Cu-TraceNET™, targeting SSTR-positive tumors, is in a Phase 1/2a clinical trial in broncho-pulmonary, and gastroenterohepatic neuroendocrine tumors (BP- and GEP-NETs). The agent will be developed further for imaging in a subset of metastatic breast cancer patients. Clinical trials of two corresponding therapeutics, 67Cu-NuriPro™ and 67Cu-TraceNET™, are expected to start enrollment in early 2026.

    About NUCLIDIUM
    Nuclidium AG is a clinical-stage biotechnology company pioneering the development of next-generation copper-based radiopharmaceuticals for the diagnosis and treatment of cancer. Leveraging copper isotopes — Copper-61 for diagnostics and Copper-67 for therapeutics — Nuclidium is creating a differentiated platform with the potential to overcome existing limitations in radiotheranostics. With operations in Switzerland and Germany, the company combines innovative chemistry, deep clinical expertise, and strategic manufacturing capabilities to deliver scalable, accessible, and clinically superior theranostic solutions to patients worldwide. Nuclidium is committed to expanding the reach and efficacy of radiotheranostics, including addressing critical unmet medical needs in oncology and women’s health.

    For more information, please contact:

    NUCLIDIUM
    Leila Jaafar, CEO
    Email: info@nuclidium.com

    Investor/Media Contact NUCLIDIUM
    Trophic Communications
    Stephanie May
    Email: nuclidium@trophic.eu
    Phone: +49 171 1855682

    1 European Medicines Agency. Pylclari – International non-proprietary name: piflufolastat (18F), Assessment report-EMA/CHMP/279917/2023, https://www.ema.europa.eu/en/documents/assessment-report/pylclari-epar-public-assessment-report_en.pdf, accessed 20 June 2025

    2 FDA Approves Pluvicto/Locametz for Metastatic Castration-Resistant Prostate Cancer. J Nucl Med. May 2022;63(5):13n.

    3 Keam SJ. Piflufolastat F 18: Diagnostic First Approval. Mol Diagn Ther. Sep 2021;25(5):647-656. doi:10.1007/s40291-021-00548-0

    4 Heo YA, Jadvar H, Calais J, et al. Flotufolastat F 18: Diagnostic First Approval Appropriate Use Criteria for Prostate-Specific Membrane Antigen PET Imaging. Mol Diagn Ther. Jul 13; Jan 2023;63(1):59-68. doi:10.1007/s40291-023-00665-y10.2967/jnumed.121.263262

    5 Hennrich U, Eder M. [(68)Ga]Ga-PSMA-11: The First FDA-Approved (68)Ga-Radiopharmaceutical for PET Imaging of Prostate Cancer. Pharmaceuticals (Basel). Jul 23 2021;14(8)doi:10.3390/ph14080713

    6 Basaco Bernabeu T, Fani M, et al. 61Cu-PSMA–Targeted PET for Prostate Cancer: From Radiotracer Development to First-in-Human Imaging. JNM. Sep 2024, 65 (9) 1427-1434. doi: https://doi.org/10.2967/jnumed.123.267126

    The MIL Network

  • MIL-OSI Economics: Lufthansa Group and ITA Airways harmonize benefits for status customers from 1 July 2025

    Source: Lufthansa Group

    The Lufthansa Group has reached an important milestone in the harmonization of status benefits: Frequent Travelers will be able to use the ITA Airways lounges from July 1, 2025 and thus benefit from an even more comprehensive lounge network. This will significantly expand the lounge network, especially for travel to and via Italy. Lufthansa Group customers will enjoy an even more seamless premium experience when traveling with the Group’s various airlines. Senators and HON Circle Members had already gained access to the ITA Airways lounges in March.

     

    Dieter Vranckx, Chief Commercial Officer of the Lufthansa Group, said:
    “The harmonization of our Frequent Traveler status benefits across the Lufthansa Group marks a significant step for our most loyal guests. It underlines our commitment to a first-class and seamless travel experience. By expanding lounge access and introducing additional privileges for Lufthansa Group status customers, we are offering more convenience and flexibility.”

    Marcus Frank, Vice President Loyalty at Lufthansa Group, adds:
    “The new benefits for our guests are part of our ongoing efforts to further improve our loyalty program and offer added value to our status customers.”

    The new benefits at a glance

    Extended lounge access: All status customers can relax in the lounges of Lufthansa Group Airlines and in the ITA Airways lounges in Milan, Rome and Catania. This significantly expands their available lounge network, especially at Italian airports.

    Further status benefits: Additional privileges for Frequent Travelers, Senators and HON Circle Members are offered on ITA Airways flights to ensure an even more seamless travel experience.

    All Lufthansa Group status passengers flying with ITA Airways benefit from priority check-in, additional baggage allowance and waiting list priority.

    Senators and HON Circle Members also enjoy priority boarding, fast lane access, accelerated baggage handling and free seat reservations.

     

    Benefits already implemented for passengers

    Since ITA Airways became the Lufthansa Group’s fifth network airline, the travel experience for the Group’s passengers has already been improved in several ways. Since February 2025, Miles & More members have been able to earn and redeem miles on all ITA Airways flights and earn Points, Qualifying Points and, in Business Class, HON Circle Points.

    In March, ITA Airways moved into Terminal 1 in Frankfurt and Terminal 2 in Munich, meaning that all Lufthansa Group network carriers now operate “under one roof” at all Lufthansa Group hubs. Since the 2025 summer timetable, customers have also benefited from a codeshare partnership with over 100 new connections within Europe. The new codeshare offers for long-haul flights from ITA Airways will be available from July 1, 2025. The planned entry of ITA Airways into the Star Alliance at the beginning of 2026 will mark another important milestone.

    MIL OSI Economics

  • MIL-OSI Africa: Egypt’s Minister of Petroleum to Spearhead Latest Bid Round at African Energy Week (AEW) 2025

    Karim Badawi, Egypt’s Minister of Petroleum and Mineral Resources, has joined the African Energy Week (AEW): Invest in African Energies 2025 conference – taking place September 29 to October 3 in Cape Town – as a speaker. His participation comes as the country advances its latest licensing round, seeking to increase production through fresh investment in offshore and onshore blocks. With the round set to close in the second half of 2025, Egypt is gearing up for accelerated growth across its upstream industry.

    Egypt’s latest licensing round was launched in March 2025, featuring 13 offshore and onshore blocks across key hydrocarbon regions. Available acreage includes seven undeveloped fields in the Mediterranean Sea, three offshore exploration blocks in the Gulf of Suez and three onshore exploration areas in the Western Desert. The bid round forms part of a broader strategy by the Ministry of Petroleum and Mineral Resources to attract new investment across the upstream sector and follows a previous 12-block round which closed in February 2025. During AEW: Invest in African Energies 2025, Badawi is expected to share insights into the impact these licensing rounds will have on the market.

    AEW: Invest in African Energies is the platform of choice for project operators, financiers, technology providers and government, and has emerged as the official place to sign deals in African energy. Visit http://www.AECWeek.com for more information about this exciting event.

    Egypt’s bold licensing strategy comes as the country strives to mitigate production decline and support the development of high-potential blocks. Under the leadership of the Ministry of Petroleum and Mineral Resources, the country has set a target of drilling 586 oil and gas wells by 2030 and is strengthening collaboration with international partners to realize this goal. Recent deals and exploration milestones align with this strategy, indicating a positive growth trajectory for the country’s upstream oil and gas sector.

    Egypt approved two transactions by Russian energy firm Lukoil in May 2025, covering exploration and production rights for acreage in the South Wadi El-Sahl region of the Eastern Desert and the Wadi El-Sahl area. Energy major ExxonMobil signed an MoU for a new operational framework in the Cairo and Masry offshore concession areas of the Mediterranean Sea while energy major Eni is spearheading a $26 billion investment strategy across three North African countries – including Egypt. In terms of drilling, Eni is preparing to drill two development wells at the Zohr gas field in 2025. ExxonMobil plans to drill a new offshore gas exploration well in the North Marakia Offshore Concession. The Egyptian Natural Gas Holding Company also plans to drill 17 exploratory and evaluation wells in 2025/2026, targeting acreage in the Delta and Mediterranean Sea. The company is investing $434 million in drilling activities.  

    Beyond exploration, Egypt is working toward scaling-up its production and export capacity to support growing demand in both regional and international markets. As one of Africa’s top gas producers, Egypt already plays an instrumental part in global supply chains, but upcoming projects stand to further consolidate its position as a global exporter. Turkey is deploying a floating storage and regasification unit (FSRU) to Egypt, which will provide LNG storage and regasification services to the country during peak demand periods in 2025. Another agreement was signed with energy infrastructure firm Höegh Evi for the supply of a FSRU, which will be situated at the Port of Sumed in Q4, 2026. The FSRU enhance the country’s regasification and export capacity. Meanwhile, energy major Chevron announced plans to conduct a seabed survey in the eastern Mediterranean, aiming to develop a pipeline that will transport gas from Cyprus’ Aphrodite field to processing facilities in Egypt. This will not only support regional gas monetization but cements Egypt’s role as a regional petroleum hub. Badawi’s insights at AEW: Invest in African Energies 2025 are expected to support both upcoming projects and efforts to integrate regional markets.

    “Egypt is not only assessing short-term production strategies but implementing initiatives that ensure long-term growth across the upstream oil and gas industry. Spearheaded by Minister Badawi, the country is advancing its bold licensing strategy, offering blocks that have the potential to transform the exploration and production space. This approach signals a strong commitment by the government to establish a globally-competitive and resilient energy sector in North Africa,” states Tomás Gerbasio, VP Commercial and Strategic Engagement, African Energy Chamber.

    Distributed by APO Group on behalf of African Energy Chamber.

    MIL OSI Africa

  • MIL-OSI Europe: Written question – Review of the Tobacco Excise Tax Directive – protecting specific production characteristics and Italy’s and Europe’s economic and cultural heritage – E-002391/2025

    Source: European Parliament

    Question for written answer  E-002391/2025
    to the Commission
    Rule 144
    Roberto Vannacci (PfE)

    The Commission intends to revise the Tobacco Excise Tax Directive[1] (Directive 2011/64/EU) to increase minimum rates and extend taxation to alternative products such as e-cigarettes and heated tobacco products.

    Commissioner Hoekstra’s statements would appear to be paving the way for an increase in tobacco excise duties across the board, with scant regard for the specific production methods, culture-specific features and consumption habits associated with the various categories of tobacco products.

    According to press sources, the revision of the directive will lead to exorbitant increases in excise duties in several Member States (+820% in Hungary, +494% in Luxembourg and +43% in Romania)[2].

    The proposal appears likely to aggravate disparities at European level, raising serious concerns for the single market and particularly penalising countries whose economies are integrated in the supply chain such as Italy – the EU’s leading producer of raw tobacco – which holds a 27% market share as the producer of a total of some 50 000 tonnes/year[3].

    This revision would compromise exports of high-quality Italy-made products, such as Tuscan cigars, by introducing a minimum excise duty of EUR 120 per thousand cigars or 40 % of the retail price.

    Can the Commission therefore say:

    • 1.How it intends to protect Italian and European tobacco producers, safeguarding the competitiveness and economic sustainability of their respective supply chains?
    • 2.What specific steps it will take to ensure that the revision does not compromise the integrity of the single market, avoiding distortions of competition between Member States?

    Submitted: 13.6.2025

    • [1] https://www.eunews.it/2025/05/16/tabacco-hoekstra-annuncia-una-proposta-di-aumento-delle-tasse-sui-nuovi-prodotti/.
    • [2] https://www.monetaweb.it/economia-politica/bruxelles-spegne-il-sigaro-toscano-la-tassa-occulta/.
    • [3] https://www.masaf.gov.it/flex/cm/pages/ServeBLOB.php/L/IT/IDPagina/3426#:~:text=L%27Italia%20%C3%A8%20il%20primo,Umbria%2C%20il%20Veneto%20e%20la.
    Last updated: 24 June 2025

    MIL OSI Europe News

  • MIL-OSI Europe: Text adopted – The United Kingdom accession to the Convention of 2 July 2019 on the Recognition and Enforcement of Foreign Judgments in Civil or Commercial Matters – P10_TA(2025)0138 – Thursday, 19 June 2025 – Strasbourg

    Source: European Parliament

    The European Parliament,

    –  having regard to Article 218 of the Treaty on the Functioning of the European Union (TFEU),

    –  having regard to Articles 24 and 29 of the Convention of 2 July 2019 on the Recognition and Enforcement of Foreign Judgments in Civil or Commercial Matters(1) (‘Judgments Convention’),

    –  having regard to the question to the Commission on the United Kingdom’s application to accede to the Lugano Convention on jurisdiction and the recognition and enforcement of judgments in civil and commercial matters(2) (O-000022/2021),

    –  having regard to the question to the Commission on the non-objection mechanisms in international conventions to which the European Union is a party (O-000042/2023),

    –  having regard to the question to the Commission concerning the United Kingdom’s accession to the Convention of 2 July 2019 on the Recognition and Enforcement of Foreign Judgments in Civil or Commercial Matters (O-000016/2025),

    –  having regard to Rules 142(5) and 136(2) of its Rules of Procedure,

    –  having regard to the motion for a resolution of the Committee on Legal Affairs,

    A.  whereas the statutory purpose of the Hague Conference on Private International Law (‘Hague Conference’) is to work for the progressive unification of the rules of private international law;

    B.  whereas the European Union became a party to the Hague Conference on 3 April 2007;

    C.  whereas the Judgments Convention facilitates the effective international circulation of judgments in civil or commercial matters by providing legal certainty and predictability to parties involved in cross-border transactions and clarity as to whether and to what extent a judgment will be recognised and enforced in another jurisdiction; whereas by ensuring the recognition and enforcement of foreign judgments, the Judgments Convention should enhance access to justice by reducing legal time frames, costs and risks in cross-border circumstances;

    D.  whereas pursuant to Article 24 of the Judgments Convention, any non-EU state can accede to the Convention; whereas such accession creates treaty relations between two contracting parties only if neither of them has notified the depositary that the accession must not have the effect of establishing treaty relations with the other; whereas such a notification must be submitted within a period of 12 months after the date on which the accession was notified;

    E.  whereas under the current practice, the Commission does not initiate a formal procedure in accordance with Article 218(6) TFEU for the conventions that contain a non-objection mechanism, but only informs the Council and Parliament of any third country’s request to accede to a given Hague instrument;

    F.  whereas, according to well-established case-law, an international agreement cannot affect the allocation of powers fixed by the Treaties, thus when at international level a silence procedure has been adopted to facilitate accession by third states should be of no consequence for the EU’s internal decision-making process;

    G.  whereas the European Union acceded to the Judgments Convention on 29 August 2022;

    H.  whereas the United Kingdom deposited its instrument of ratification to the Judgments Convention on 27 June 2024;

    I.  whereas if the Union accepts the United Kingdom’s accession to the Judgments Convention, it will enter into force on 1 July 2025 and be applicable between the two parties;

    1.  Welcomes the positive assessments made by the Commission with the aim of establishing treaty relations with the United Kingdom in the framework of the Judgments Convention;

    2.  Supports the accession of the United Kingdom to the Judgments Convention;

    3.  Reiterates that this resolution is without prejudice to the procedure set out in Article 218(6) TFEU, which should be followed in matters concerning the establishment of the EU position regarding accession by third states to the Hague Conference Conventions;

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

    (1) OJ L 187, 14.7.2022, p. 4.
    (2) OJ L 339, 21.12.2007, p. 3, ELI: http://data.europa.eu/eli/convention/2007/712/oj.

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  • MIL-OSI Europe: Text adopted – Electricity grids: the backbone of the EU energy system – P10_TA(2025)0136 – Thursday, 19 June 2025 – Strasbourg

    Source: European Parliament

    The European Parliament,

    –  having regard to the Treaty on the Functioning of the European Union, and in particular Article 194 thereof,

    –  having regard to the Commission communication of 8 July 2020 entitled ‘Powering a climate-neutral economy: An EU Strategy for Energy System Integration’ (COM(2020)0299),

    –  having regard to the Commission communication of 28 November 2023 entitled ‘Grids, the missing link – An EU Action Plan for Grids’ (COM(2023)0757),

    –  having regard to the Commission report of January 2025 entitled ‘Investment needs of European energy infrastructure to enable a decarbonised economy’(1),

    –  having regard to the Commission communication of 26 February 2025 entitled ‘Action Plan for Affordable Energy – Unlocking the true value of our Energy Union to secure affordable, efficient and clean energy for all Europeans’ (COM(2025)0079),

    –  having regard to the Commission communication of 26 February 2025 entitled ‘The Clean Industrial Deal: A joint roadmap for competitiveness and decarbonisation’ (COM(2025)0085),

    –  having regard to the Commission communication of 5 March 2025 entitled ‘Industrial Action Plan for the European automotive sector’ (COM(2025)0095),

    –  having regard to Regulation (EU) 2021/1153 of the European Parliament and of the Council of 7 July 2021 establishing the Connecting Europe Facility and repealing Regulations (EU) No 1316/2013 and (EU) No 283/2014(2) (the CEF Regulation),

    –  having regard to Regulation (EU) 2022/869 of the European Parliament and of the Council of 30 May 2022 on guidelines for trans-European energy infrastructure, amending Regulations (EC) No 715/2009, (EU) 2019/942 and (EU) 2019/943 and Directives 2009/73/EC and (EU) 2019/944, and repealing Regulation (EU) No 347/2013(3) (the TEN-E Regulation),

    –  having regard to Directive (EU) 2019/944 of the European Parliament and of the Council of 5 June 2019 on common rules for the internal market for electricity and amending Directive 2012/27/EU(4),

    –  having regard to Regulation (EU) 2019/943 of the European Parliament and of the Council of 5 June 2019 on the internal market for electricity(5),

    –  having regard to Directive (EU) 2023/2413 of the European Parliament and of the Council of 18 October 2023 amending Directive (EU) 2018/2001, Regulation (EU) 2018/1999 and Directive 98/70/EC as regards the promotion of energy from renewable sources, and repealing Council Directive (EU) 2015/652(6) (the Renewable Energy Directive),

    –  having regard to Directive (EU) 2024/1275 of the European Parliament and of the Council of 24 April 2024 on the energy performance of buildings(7),

    –  having regard to Directive (EU) 2024/1711 of the European Parliament and of the Council of 13 June 2024 amending Directives (EU) 2018/2001 and (EU) 2019/944 as regards improving the Union’s electricity market design(8),

    –  having regard to Regulation (EU) 2024/1747 of the European Parliament and of the Council of 13 June 2024 amending Regulations (EU) 2019/942 and (EU) 2019/943 as regards improving the Union’s electricity market design(9) (Electricity Market Design (EMD) Regulation),

    –  having regard to Regulation (EU) 2018/1999 of the European Parliament and of the Council of 11 December 2018 on the Governance of the Energy Union and Climate Action, amending Regulations (EC) No 663/2009 and (EC) No 715/2009 of the European Parliament and of the Council, Directives 94/22/EC, 98/70/EC, 2009/31/EC, 2009/73/EC, 2010/31/EU, 2012/27/EU and 2013/30/EU of the European Parliament and of the Council, Council Directives 2009/119/EC and (EU) 2015/652 and repealing Regulation (EU) No 525/2013 of the European Parliament and of the Council(10), which reflects the EU’s electricity interconnection targets,

    –  having regard to the Council conclusions on ‘Advancing Sustainable Electricity Grid Infrastructure’, as approved by the Transport, Telecommunications and Energy Council at its meeting on 30 May 2024,

    –  having regard to its resolution of 10 July 2020 on a comprehensive European approach to energy storage(11),

    –  having regard to its resolution of 19 May 2021 on a European strategy for energy system integration(12),

    –  having regard to the report of January 2023 by the EU Agency for the Cooperation of Energy Regulators (ACER) on electricity transmission and distribution tariff methodologies in Europe,

    –  having regard to the report of 19 December 2023 by ACER entitled ‘Demand response and other distributed energy resources: what barriers are holding them back?’,

    –  having regard to the report of April 2025 by the European Network of Transmission System Operators for Electricity (ENTSO-E) entitled ‘Bidding Zone Review of the 2025 Target Year’(13),

    –  having regard to Rule 55 of its Rules of Procedure,

    –  having regard to the report of the Committee on Industry, Research and Energy (A10-0091/2025),

    A.  whereas electricity grids are essential for the Union to achieve its clean energy transition and to deliver renewable energy while supporting economic growth and prosperity; whereas inefficiencies and lack of full integration negatively impact energy prices for consumers and companies;

    B.  whereas in light of the growing demand for electricity, significant investments and upgrades are required, along with regulatory oversight, to increase cross-border and national-level transmission capacity and modernise infrastructure, ensuring a decarbonised, flexible, more decentralised, digitalised and resilient electricity system;

    C.  whereas poor connectivity and grid bottlenecks are among the main reasons the EU cannot fully benefit from the significant installed capacities of wind and solar energy, thereby ensuring affordable prices for households and industry; whereas the lack of strong interconnection between regions with different natural and climatic characteristics leads to the overproduction of energy and administrative limitation on renewable production in some regions, while other regions are struggling with insufficient supply and high prices;

    D.  whereas transmission system operators (TSOs) are essential for integrating offshore renewable energy into the EU grid, in particular for those connected to more than one market; whereas, if TSOs fail to provide the agreed grid capacity, compensation should be paid to developers for lost export capacity, funded by congestion income; whereas such compensation should be shared fairly among TSOs and align with principles of non-discrimination and maximising cross-border trade; whereas this highlights the importance of maintaining a functioning interconnector backbone, as failures in interconnector capacity may result in costs for both producers and TSOs;

    E.  whereas Europe will only reach its decarbonisation objectives if there is a coordinated, pan-European approach to electricity system planning, connecting borders, sectors and regions;

    F.  whereas the planning of electricity transmission and distribution networks must be coordinated to ensure the effective development of the EU electricity system;

    G.  whereas the EU electricity grid was built for a 20th century economy based on centralised, fossil fuel-fired electricity generation, and must be modernised to meet the demands of a digitalised economy with increased levels of electrification and a higher share of decentralised and variable renewable energy sources;

    H.  whereas cross-border interconnectors, transmission and distribution grid infrastructure are critical for integrating renewables, reducing costs for European consumers and increasing the security of energy supply;

    I.  whereas distribution level grid projects are already eligible for funds under the Connecting Europe Facility – Energy (CEF-E); whereas, however, only a small share has been allocated to distribution grids under the most recent Projects of Common Interest (PCI) list; whereas CEF-E should better reflect the role of distribution grids for the achievement of EU energy and climate targets;

    J.  whereas ENTSO-E has calculated that cross-border electricity investment of EUR 13 billion per year until 2050 would reduce system costs by EUR 23 billion per year;

    K.  whereas the ‘energy efficiency first’ principle is a fundamental principle of EU energy policy and is legally binding; notes that the correct implementation of this principle will significantly reduce energy consumption, thereby lowering the need for investment in electricity grids and interconnectors;

    L.  whereas keeping the EU energy policy triangle of sustainability, security of supply and affordability in balance is key to a successful energy transition and to a reliable European energy system;

    M.  whereas energy network planning is a long-term process closely linked to investment stability;

    N.  whereas energy system flexibility needs are expected to double by 2030, in light of an increased share of renewables; whereas demand-side flexibility is therefore crucial for grid stability; whereas individual citizens, businesses and communities participating in the electricity market may bring manifold benefits to the grids, such as enhanced system efficiency, resilience, investment optimisation, improved social acceptance and lower energy costs; whereas serious delays and inconsistencies in implementing existing EU provisions on citizens’ energy, demand flexibility and smart network operations remain a concern;

    O.  whereas although recycling meets between 40 % and 55 % of Europe’s aluminium and copper needs, further measures to extend recycling capacity, waste collection and supply chain efficiency must be considered;

    P.  whereas the Commission and High Representative’s joint communication entitled ‘EU Action Plan on Cable Security’ highlights the importance of ensuring the secure supply of spare cable parts and the stockpiling of essential material and equipment;

    Q.  whereas the electricity system blackout experienced in the Iberian Peninsula and parts of France on 28 April 2025 illustrated, among other things, how important it is to increase the energy grid’s resilience by ensuring that it is well maintained, protected and balanced at all times, including through flexible system services and enhanced cross-border interconnections, to allow for an agile recovery in the event of system failure;

    R.  whereas national and regional level system operators hold important responsibilities, particularly in the area of energy supply security; whereas all tasks of a regulatory nature should be performed by regulatory agencies acting in the public interest; whereas, however, alongside these responsibilities, a strengthened role for regulators and ACER in the planning processes can contribute to addressing shortcomings, such as ENTSO-E’s current 10-year network development plan (TYNDP) grid planning, as identified in the grid monitoring report; whereas, while acknowledging the TSOs’ responsibilities in drawing up these scenarios, ACER’s early involvement in the drawing-up process could help to ensure that the guidelines for the drawing-up of the scenarios are followed in accordance with the TEN-E Regulation;

    S.  whereas interconnection development will contribute to further integrating the EU electricity market, which not only increases system flexibility and resilience, but also unlocks economies of scale in renewable electricity production;

    T.  whereas the energy workforce will need to increase by 50 % to deploy the requisite renewable energy, grid and energy efficiency technologies(14);

    U.  whereas small and medium-sized enterprises (SMEs) are the backbone of the EU’s economy, entrepreneurship and innovation, comprising 99 % of businesses, providing jobs to more than 85 million EU citizens and generating more than 58 % of the EU’s GDP;

    V.  whereas increasing decentralised electricity generation and demand response are important to reduce reliance on centralised production, which may be easily targeted by physical threats or cyberthreats, or compromised by climate-related events;

    1.  Calls on the Member States to fully explore, optimise, modernise and expand their electricity grid capacity, including transmission and distribution; considers electricity grids to be the central element in the EU’s transition to a competitive, net zero economy by 2050, one that is capable of accommodating high volumes of variable renewable energy technologies and/or evolving demand sources driven by increased levels of electrification and the advancement of digital technologies; notes the Member States’ prerogative to determine their own energy mix;

    2.  Calls on the Commission, the Member States, ACER, EU DSO Entity(15) and ENTSO-E(16) to implement the actions of the EU grid action plan, the action plan for affordable energy, the reform of the EU’s electricity market design and the Renewable Energy Directive without delay;

    3.  Points out that the completion of the EU’s energy market integration will save up to EUR 40 billion annually, and that a 50 % increase in cross-border electricity trade could increase the EU’s annual GDP by 0,1 %(17);

    Relevance of electricity grids for the European energy transition

    4.  Welcomes the Commission’s communication on grids(18); underlines the expected increase in electricity consumption of 60 % by 2030, the rising need to integrate a large share of variable renewable power into the grid, and the need for grids to adapt to a more decentralised, digitalised and flexible electricity system, including the optimisation of system operations and the full utilisation of local flexibility resources, demand response and energy storage solutions to complement wholesale markets and enhance grid resilience, resulting in an additional 23 GW of cross-border capacity by 2025 and a further 64 GW of capacity by 2030; notes that over 40 % of the Union’s distribution grids are over 40 years old and need to be updated(19);

    5.  Reiterates that, by 2030, the Union needs to invest around EUR375 to 425 billion in distribution grids, and, overall, EUR 584 billion, in transmission and distribution electricity grids(20), including cross-border interconnectors and the adaptation of distribution grids to the energy transition;

    6.  Notes with concern that in 2023 the costs of managing transmission electricity grid congestion in the EU were EUR 4,2 billion(21) and continue to rise, and that curtailment is an obstacle to increasing the share of renewable energy sources; notes that this figure does not include the distribution electricity grid; stresses that in 2023 nearly 30 TWh of renewable electricity were curtailed across several Member States due to insufficient grid capacity; further notes the sharp increase in annual hours of negative electricity prices, rising from 154 in 2018 to 1 031 as of September 2024(22), largely driven by grid congestion at borders, and the lack of sufficient storage, flexibility and demand response in the electricity market to temporally match variable renewable electricity supply with electricity demand; stresses that addressing these issues could help to absorb surplus supply, thereby maximising the use of existing grid infrastructure, but that existing market and regulatory frameworks often fail to provide adequate incentives for achieving this;

    7.  Highlights that a failure to modernise and expand the EU’s electricity grid, alongside the rapid deployment of the high volumes of variable renewable energy required to deliver on its targets, has and will continue to result in high levels of dispatch-down (instructions to reduce output); believes that the dispatch-down of renewables, caused by grid congestion and curtailment, represents an unacceptable waste of high-value renewable electricity and money; calls on the Commission, as part of its forthcoming European Grids Package, to set out an EU strategy to vastly reduce the dispatch-down of renewable electricity;

    8.  Highlights the role of smart grids in improving congestion management and optimising the electricity distribution of renewables; stresses their contribution to network flexibility by integrating digital tools that facilitate demand-side response and collective self-consumption; underlines that better grid management enhances energy resilience, reduces curtailments and secures supply during peak demand periods;

    9.  Highlights that the electricity grid infrastructure is a priority for achieving the EU’s strategic autonomy and its climate and energy targets; notes the Clean Industrial Deal’s commitment to electrification with a key performance indicator of a 32 % economy-wide electrification rate by 2030, which would necessitate a significant and continuous update and deployment of grids; regrets that delays in responding to requests for connection to grids result in a slower pace of electrification, even in Member States where generation from renewables is rapidly increasing;

    10.  Highlights, in particular, the crucial role that energy communities can play in supporting local economies; regrets that energy communities and smaller operators face disproportionate barriers to grid access and grid funding access due to regulatory hurdles and resource constraints; calls, therefore, on the Member States that are lagging behind in this regard to fully implement the Clean Energy Package, Fit for 55 and Renewable Energy Directive provisions, empowering citizens, municipalities, SMEs and companies to actively participate in the electricity market, in particular by developing enabling frameworks for renewable energy communities and the promotion of energy-sharing schemes; calls for grid-related EU and national level funding to take into account the specific needs of projects promoted by energy communities;

    Regulatory situation and challenges

    11.  Is convinced that regulatory stability is a key condition for unlocking private investments in the electricity grid and, where feasible, enabling the affordable electrification of the EU’s economy, and reiterates the need to implement already adopted legislation before assessing potential new reviews;

    12.  Underlines that integrated grid planning across sectors at local, regional, national and EU levels will lead to increased system efficiency and reduced costs; calls, therefore, on the Commission and on the Member States to work towards integrated planning and to ensure that electricity network development plans are aligned with the 2021-2030 national energy and climate plans (NECPs) for all voltage levels; notes that a strengthened governance framework would help to ensure alignment between grid development plans and national and EU level policy objectives; recognises that, while the Member States are required to report on their contributions to EU targets through the NECPs, there is currently no equivalent obligation on TSOs to systematically report at EU level;

    13.  Underlines that the TEN-E Regulation and the Projects of Common Interest (PCI) and Projects of Mutual Interest (PMI) are powerful tools in the development of the Union’s cross-border energy infrastructure; regrets the shortcomings in the current TYNDP for European electricity infrastructure, which results in investment interests falling short of cross-border needs(23), and that grid planning does not fully leverage cross-border and cross-sectoral savings(24); further regrets delays regarding to the completion of PCIs; urges the Commission to introduce more coordinated, long-term cross-sectoral planning to deliver the related savings and benefits across the EU; highlights that such coordinated planning could better inform cost sharing of infrastructure across the Member States; notes that, although the TEN-E Regulation enables smart electricity grid projects with a cross-border impact to obtain PCI status, even if such projects do not cross a physical border, the PCI list in 2023 included only five such projects; strongly believes, therefore, that the PCI process needs to be strengthened, simplified and streamlined for more clarity and transparency; calls on the Member States to fully complete the PCIs; calls on the Commission to urgently propose a targeted revision of the TEN-E Regulation in order to (1) introduce a robust planning process that combines system operators’ responsibilities with a strengthened role for ACER by mandating ACER to request amendments to the scenarios and the TYNDP, (2) ensure scenarios are drawn up in line with the decarbonisation agenda and enable easier access for smart electricity grid projects, and (3) introduce a simplified application process for small and medium-sized distribution system operators (DSOs);

    14.  Emphasises that network planning is a long-term process closely linked to investment stability; proposes, therefore, extending the time frame for network development plans to 20 years; highlights that grid investment is urgently required by the EU’s competitive agenda and should not be delayed;

    15.  Additionally notes that the EU will continue to have strong electricity links with its neighbouring countries and therefore believes the Commission should enhance such cooperation with neighbouring countries through PMIs with non-EU countries, as provided for in the TEN-E Regulation;

    16.  Strongly emphasises that CEF-E has proven to be the crucial instrument for co-financing cross-border energy infrastructure and insists on its continuation; welcomes the inclusion of offshore electricity grid projects in the Commission’s most recent allocation of grants under CEF-E;

    17.  Considers the lack of detailed, reliable and comparable data on national and EU grid planning an obstacle to more efficient grids; calls therefore on the Member States to thoroughly implement the relevant provision in the Electricity Directive(25), in particular Article 32, and to encourage smaller DSOs to apply this Article’s provision;

    18.  Welcomes the EU DSO Entity’s report on good practices on Distribution Network Development Plans(26) (DNDPs), which calls on the Member States to include cost-benefit analyses in their DNDPs, in order to evaluate investment opportunities; urges the Commission to develop guidelines based on this report, in cooperation with the EU DSO Entity, to harmonise and increase transparency of national development planning for distribution grids, to publish a European overview of the DNDPs and to require all transmission and distribution operators to provide energy regulators with the necessary data about their current and future grid hosting capacity information and grid planning, to enable energy regulators to properly scrutinise grid planning; calls on the Member States to implement Article 31(3) of Directive 2024/1711, which requests grid operators to publish information on the capacity available in their area of operation, in order to ensure transparency and enable stakeholders to make informed investment decisions; calls on the Commission to develop a centralised online repository for all transmission plans and DNDPs;

    19.  Highlights the significant risk posed by curtailment to the viability of renewable energy investment, especially considering that many Member States fail to compensate market participants for curtailed electricity volumes, despite the requirements set out in Articles 12 and 13 of Regulation (EU) 2019/943; regrets the lack of transparency, availability and data granularity regarding curtailed renewable energy volumes and congestion management costs;

    20.  Highlights the value of putting clear metrics in place to measure whether the EU is on track to deliver the grid expansion and reinforcements needed to meet its 2050 objectives; notes that such metrics could include reductions in renewable energy curtailment, lower grid development costs relative to the amount of capacity delivered, increases in the efficient use of existing infrastructure, a reduction in losses and lower raw material intensity;

    21.  Notes the work done by ENTSO-E and the EU DSO Entity on harmonised definitions of available grid hosting capacity for system operators and to establish an Union-wide overview thereof; believes that national regulatory authorities (NRAs) could benefit from clear legislative provisions as to how Member States can prioritise grid connections, so as to abandon the ‘first-come, first-served’ principle; therefore asks the Commission to amend Article 6 of Directive (EU) 2019/944 on the internal market for electricity, as part of the implementation review that the Commission must complete by 31 December 2025, and to consequently introduce transparent priority connection criteria to be chosen and further defined by the Member States for (1) generation connection, such as quality and maturity of the project, level of commitment, contribution to decarbonisation, social value, and for (2) consumer connection, such as quality and maturity of the project, level of commitment, contribution to decarbonisation, public interest or its strategic and/or social value, and grid optimisation; calls on the NRAs and the Member States to provide clear prioritisation rules according to their local and national specificities to allow the ‘first-come, first-served’ approach to be abandoned by disincentivising applications for connection that are not substantiated by a solid project, that are speculative or where the developer cannot show sufficient commitment to the realisation of a project;

    22.  Underlines that improved cross-border interconnections offer substantial cost-saving potential at the system level, with annual reductions in generation costs estimated at EUR 9 billion up to 2040, while requiring annual investments of EUR 6 billion in cross-border infrastructure and storage capacity;

    23.  Regrets that some Member States did not achieve the 10% interconnection target by 2020 and urges them to strive to achieve the current 15% interconnection target for 2030, as set out in Regulation (EU) 2018/1999, since interconnection capacity is crucial for the functioning of the EU’s internal electricity market, leading to significant cost savings at system level and decreasing generation costs by EUR 9 billion annually to 2040(27); regrets that the 32 GW of cross-border capacity needed by 2030 remains unaddressed(28); deplores the delays and uncertainties regarding several interconnection projects; calls, therefore, on the Commission to propose, by June 2026 at the latest, a binding interconnection target for 2036 based on a needs assessment; stresses the need for cooperation with non-hosting Member States and for the EU and its neighbouring countries to be involved in negotiations, in order to ensure the projects’ finalisation;

    24.  Highlights the need to accelerate permitting procedures for electricity infrastructure; stresses that grid expansion should not be delayed by lengthy permitting procedures or excessive reporting requirements; therefore welcomes the positive progress made regarding provisions adopted in the latest revision of the Renewable Energy Directive, specifically Article 16f thereof, and the Emergency Regulation on Permitting(29) to accelerate, streamline and simplify permit-granting procedures for grid and renewable energy projects, especially the principle of public overriding interest for grid projects; notes, however, that some of the Member States have not seen a material improvement in project permitting timelines, despite the ambitious frameworks set out at EU level; therefore urges the Member States to implement these measures without delay and calls on the Commission to closely monitor the implementation of the Renewable Energy Directive, and regularly assess if revised permitting provisions are sufficient to deliver on the EU’s objectives; additionally calls on the Commission to set out guidelines for the Member States to include a principle of tacit approval in their national planning systems, as described in Article 16a of the Renewable Energy Directive; stresses that reinforcing administrative capacity, including through adequate staffing of planning and permitting authorities, will accelerate permitting procedures;

    25.  Encourages the Member States to draw up plans to designate dedicated infrastructure areas for grid projects, as outlined in Article 15e of the Renewable Energy Directive; stresses that such plans are essential to account for local specificities and ensure respect for protected areas; emphasises that these plans should be closely coordinated with the designation of acceleration areas for renewables, to ensure a streamlined, efficient and integrated approach to energy infrastructure development;

    26.  Notes that often documents need to be submitted in paper form; calls on the Member States to increase the digitalisation of these processes in order to accelerate permitting procedures; calls on the Commission and the Member States to revise all EU legislation relevant to permitting, such as the Environmental Impact Assessment Directive(30), with a view to introducing mandatory digital application, submission and processing requirements;

    27.  Highlights the importance of public acceptance and public engagement when developing new grid projects and calls on the Commission to develop a set of best practices to be shared among the Member States in this regard; highlights the critical importance of effective communication with citizens and communities regarding grid projects and reinforcement; notes that local-level support can help to accelerate the delivery of critical infrastructure and thus meet national and EU level objectives; urges the swift implementation of the EU’s pact for engagement with the electricity sector and coordination with national signatories (TSOs, DSOs, NRAs) to guarantee early, meaningful and regular public participation in grid projects;

    28.  Calls for the convening of a TAIEX(31) Group on Permitting within the forthcoming European Grids Package to support the Member States in addressing administrative bottlenecks, enhancing regulatory capacity and accelerating project approvals through the sharing of best practices and cross-border coordination;

    29.  Welcomes the initiatives announced under the Action Plan for Affordable Energy; recommends that the Commission extend the ‘tripartite contract for affordable energy for Europe’s industry’ to smaller energy producers, including energy communities, SMEs and businesses, leveraging flexibility and demand response, and link the outcome of these cooperation structures with grid planning processes at national and EU level, in order to optimise planning, investment and grid utilisation from the outset;

    30.  Highlights the need for improvements to be made to the public procurement framework, in order to tackle the challenges to grid operators regarding supply chains; therefore welcomes the Commission communication on the Clean Industrial Deal and the announcement by the Commission of a forthcoming review of the Public Procurement Directives(32); stresses public procurement’s potential for the continued development of a strong EU manufacturing supply chain for electricity grid equipment, software and services; encourages the Commission to promote resilience, sustainability and security in public procurement procedures for grid operators; advocates for greater consistency between EU regulations on public procurement; calls on the Commission to adapt EU rules on public procurement with a view to harmonising and simplifying functional tendering specifications, in order to ramp up the production capacities of grid components;

    31.  Believes that adequate standardisation and common technical specifications are necessary for achieving economies of scale, and to speed up technological development; considers, additionally, that it is essential to ensure the right level of standardisation so that manufacturers’ capacity to innovate is not reduced;

    32.  Reiterates the need to consider new business models between equipment manufacturers and operators, such as long-term framework agreements that encourage the shift from one-off ‘grid projects’ to sustained and structured ‘grid programmes’, which result in more predictable planning for grid technology manufacturers; calls for the streamlining of tendering processes for the provision of grid equipment and services;

    33.  Stresses that this forthcoming revision of the Public Procurement Directives will allow the inclusion of sustainability, resilience and European preference criteria in EU public procurement processes for strategic sectors, in line with the provisions set out in Article 25 of Regulation (EU) 2024/1735(33); calls for grids and related technologies to be explicitly recognised as strategic sectors, to ensure their eligibility under the revised framework; underlines that strengthening European preference in public procurement processes is essential for reducing the EU’s dependence on non-EU suppliers, enhancing supply chain security, and fostering a resilient EU industrial base capable of supporting the energy transition; welcomes the introduction by the European Investment Bank (EIB) of a ‘Grids Manufacturing Package’ to support the European supply chain with at least EUR 1,5 billion in counter-guarantees for grid component manufacturers; calls for further similar financial instruments to be developed to provide long-term investment certainty and to accelerate the scaling-up of European production capacity;

    Financing

    34.  Notes that over the past five years, global investment in power capacity has increased by nearly 40 %, while investment in grid infrastructure has lagged behind; notes that estimates of investment that the EU will need to make in its grid over the 2025-2050 period range from EUR 1 950 billion to EUR 2 600 billion(34);

    35.  Observes with concern that the budget allocated under CEF-E has been insufficient to expedite all PCI and PMI categories; notes that with a EUR 5,84 billion budget for 2021-2027, the programme has restricted capacity and may struggle to keep pace with investment needs; calls on the Commission and the Member States to significantly increase the CEF-E envelope and the percentage of CEF-E funds dedicated to electricity infrastructure as a separate adequate resource, when proposing the next multiannual financial framework (MFF), and to ensure that projects both at the distribution and at the transmission levels with an EU added value are eligible for budget allocated under CEF-E; encourages the Commission to further explore co-financing possibilities between CEF-E and the Renewable Energy Financing Mechanism;

    36.  States that EU funding is predominantly allocated to transmission grids with relatively insignificant allocations to distribution grids, despite their significant role in the EU energy transition, demonstrated by the fact that, between 2014 and 2020, CEF-E funded around EUR 5,3 billion worth of projects, of which around EUR 1,7 billion went to transmission grids and EUR 237 million to smart distribution grids; notes that the last PCI list only contained five smart electricity projects;

    37.  Deeply regrets that, whereas regional funds such as the Cohesion Fund, the European Regional Development Fund or the Recovery and Resilience Facility provide for grid investments in principle, in practice they are underutilised for grid projects; regrets also that the evaluation criteria applied to the assessment of projects submitted in response to the EU Innovation Fund’s calls for proposals prevent funding for the demonstration and manufacturing of grid technologies; calls on the Commission and the Member States to ensure that a proportionate amount of such funding is also spent on grid investment;

    38.  Calls on the Member States to simplify access to the EU funds managed by the Member States for grid operators, for instance through the establishment of a one-stop-shop in those Member States in which a large share of DSOs are of a small or medium size;

    39.  Calls on the Commission to propose a dedicated funding instrument, such as one based on revenues from the market-based emission reduction scheme, to allow the Member States to support decentralised and innovative grid projects with a clear EU added value, including smaller projects, ensuring its effective use by the Member States for these purposes;

    40.  Emphasises the need for regulatory frameworks to attract private investment and ensure cost-reflective tariffs, in addition to public funding mechanisms;

    41.  Is convinced that anticipatory investments and forward-looking investments will help to address grid bottlenecks and prevent curtailment; points out that the EMD Regulation sets out regulatory elements for anticipatory investments but lacks a harmonised definition and implementation across the Union; calls on the Member States to swiftly implement the aforementioned provisions of the EMD Regulation and remove national legal barriers, on NRAs to remove barriers as regards regulatory incentives and disincentives, and on the Commission to urgently provide guidance regarding the approval of anticipatory investments, as announced in its Action Plan for Grids(35); believes that further harmonisation in this respect might be beneficial; calls for detailed cost-benefit analyses and scenario-based planning to assess the likelihood of future utilisation, and recommends a two-step approval process for projects with a higher risk level by first approving smaller budgets for studies or planning, followed by a second approval for the more costly steps, in order to reduce the risk of stranded assets;

    42.  Acknowledges that grid investments from capital markets can be incentivised by providing market-oriented conditions, such as suitable rates of return and a robust regulatory framework; emphasises that the EU and the Member States should encourage private investments by providing risk mitigation tools or Member State guarantees; calls on the Commission and the EIB to further strengthen financing and de-risking initiatives and tools, such as counter-guarantees, to support additional electricity grid expansion and modernisation at affordable rates for system operators; emphasises the relevance of ensuring that the EU’s electricity grid is financed and therefore owned by public and private capital only from EU actors, or previously screened non-EU investors, in view of the criticality of the infrastructure;

    43.  Underlines that, while investment decisions should be guided by efficiencies, including energy and cost efficiency, investments should not only be focused on capital expenditure, and that investments optimising, renewing and modernising the existing infrastructure should be equally considered; therefore welcomes Article 18 of the EMD Regulation, which calls for tariff methodologies to give equal consideration to capital and operational expenditure, and remunerate operators to increase efficiencies in the operation and development of their networks, including through energy efficiency, flexibility and digitalisation; calls on the Commission and the Member States to thoroughly implement its provisions and to focus on ensuring fair and timely compensation to system operators for the costs borne by them;

    44.  Notes that the electrification of the EU economy, where technically and economically feasible, would help to drive down network tariffs by spreading the costs across a wider range of users; highlights, therefore, the importance of ensuring that the development of the future network is fully aligned with demand projections driven by increases in the level of electrification; is concerned by experts’ forecasts of network tariff increases of around 50% to 100% by 2050(36); stresses, therefore, the need for instruments and incentives that support grid operators in efficiently managing available grid capacity, including through procuring flexibility services, with a view to reducing imminent grid investment needs; highlights that flexible connection agreements, flexible network tariffs and local flexibility markets contribute to grid efficiency; invites NRAs to promote these flexible tariffs that allow consumers to easily react to price signals while shielding vulnerable households and businesses from price peaks; calls on the Commission and the Member States to actively address bottlenecks in tariffs, connection fees and regulations to facilitate cross-border and offshore hybrid grid investment;

    45.  Calls on the Member States to implement the relevant EU legal framework to unlock demand-side flexibility by accelerating the deployment of smart meters, enabling access to data from all metering devices and ensuring efficient price signals, to allow industries and households to optimise their consumption and reduce their electricity bills, and at the same time help reduce operational costs and the need for additional grid investment;

    46.  Stresses that the relaxation of network tariffs and certain charges, which could have the effect of lowering electricity prices, as proposed in the Affordable Energy Action Plan, has to be accompanied by a plan to replace the sources of the funds needed for grid investment with alternatives, in order to avoid facing underinvestment of the grids in the future;

    47.  Highlights the importance of minimising the additional costs on consumers’ bills resulting from the investments required to deliver the grid modernisation and expansion needed to meet the EU’s climate and competitiveness goals; asks the Commission to work with the Member States to develop a coordinated set of best practices for investments and equitable network tariff composition, with a strong emphasis on increasing transparency and removing non-energy related charges from the tariffs;

    48.  Points out that transmission infrastructure and availability of cross-zonal capacities are vital for an integrated market and for the exchange of low-marginal cost renewable energies, while respecting system security; notes that the EMD Regulation sets a minimum 70 % target of capacities available for cross-zonal trade by 2025 but Member States are far from reaching it; therefore urges the Member States and their TSOs to speed up their efforts to maximise cross-zonal trading opportunities, to ensure an efficient internal electricity market, appropriate investment decisions and renewable energy integration; regrets that achieving this target has often resulted in re-dispatch costs; notes that existing cost sharing mechanisms, such as cross-border cost allocation (CBCA), inter-transmission system operator (TSO) compensation and re-dispatching cost sharing, are limited and difficult to implement, which does not encourage cross-border investments, such as in offshore grids; calls on the Commission to holistically review and improve these mechanisms to ensure that they reflect the shared benefits of infrastructure and address the diversity of electricity flows, whether internal or cross-border, including a fair and balanced cost-benefit sharing mechanism for cross-border infrastructure projects that is based on objective criteria;

    49.  Takes note of the report of April 2025 by ENTSO-E on potential alternative bidding zone configurations based on location marginal pricing simulations provided by TSOs;

    Grid-enhancing technologies, digitalisation, innovative solutions and resilience

    50.  Underlines that grid-enhancing technologies, digital solutions, ancillary services and data management technologies, as well as smart energy appliances, often leveraging artificial intelligence, can significantly increase the efficiency of existing grid capacities and maximise the use of existing assets, reducing the requirement for new infrastructure, for instance by providing real-time information on energy flows; therefore insists that these technologies and innovative solutions must be explored; urges NRAs to incentivise TSOs and DSOs to rely more on such technologies, weighing up the costs and benefits of their use versus grid expansion and by using remuneration schemes based on benefits rather than costs, and to benchmark the TSOs and DSOs on their uptake of such technologies; invites the Commission to further promote such innovative technologies when assessing projects that apply for EU funding;

    51.  Welcomes the work accomplished by ENTSO-E and the EU DSO Entity in developing the TSO/DSO Technopedia(37) so far, and calls on the Commission to mandate the biannual updating of the Technopedia to accurately reflect the technology readiness levels (TRLs) of technologies included;

    52.  Urges the Commission and the Member States to further enable and increase the digitalisation of the European electricity system, enabling the optimisation of the operation of its power system and reducing pressure on the supply chain; underlines that data sharing and data interoperability are essential for grid planning and optimisation; encourages the Member States, the NRAs, the EU DSO Entity and ACER to continue to accelerate their work on the monitoring system based on indicators measuring the performance of smart grids (‘smart grid indicators’), as set out in the Electricity Directive;

    53.  Stresses the urgent need to enhance the security of critical electricity infrastructure, including interconnectors and subsea cables at risk of sabotage, and increase its resilience to extreme weather events, climate change and physical and digital attacks; highlights the need to strengthen cooperation at national, regional and EU levels;

    54.  Stresses the growing risk of coordinated cyberattacks targeting the EU’s entire electricity network; recalls the importance of the rapid implementation of cybersecurity and other related network codes and the related legislation, such as the NIS 2 Directive(38) and the Cybersecurity Act(39), and encourages the Commission to correct, in upcoming legislative reviews, the status of physical grid equipment, including remotely controllable grid equipment, such as inverters, which is currently not held to a high enough cybersecurity standard, especially in cases where the manufacturer is required, under the jurisdiction of a non-EU country, to report information on software or hardware vulnerabilities to the authorities of that non-EU country; calls for enhanced EU level cooperation between all parties to strengthen preparedness and resilience; considers that NRAs should acknowledge the costs incurred by operators in adopting cybersecurity and resilience measures, and provide incentives for investments pertaining to increasing the resilience of the energy infrastructure to cyberthreats, and physical and hybrid threats, including climate adaptation measures;

    55.  Underlines the need to step up efforts to protect existing and future critical undersea and onshore energy infrastructure; considers that the EU should play a broader role in preventing incidents that threaten this infrastructure, in promoting surveillance and in restoring any damaged infrastructure using state of the art technologies; calls on the Commission and the Member States to find solutions to increase the protection and resilience of critical infrastructure, including solutions to financing such measures and technologies;

    56.  Recognises that new high-voltage electricity grid projects provide a multifunctional and cost-efficient opportunity to integrate additional security measures (i.e. sensors, sonar, etc.) and environmental solutions (i.e. bird deflectors, fire detectors, nature corridors, etc.) if planned in a holistic manner; asks the Commission to develop guidelines for NRAs to ensure that initial grid project planning is carried out and financed with these elements in mind;

    57.  Urges the Commission, DSOs and TSOs to develop an EU-owned Common European Energy Data Space, based on technical expertise and practice utilising the available data(40) and based on a common set of rules ensuring the secure, transparent portability and interoperability of energy data, where harmonised data is safely managed, exchanged and stored in the EU; stresses that this Common European Energy Data Space should facilitate data pooling and sharing through appropriate governance structures and data sharing services, supporting critical energy operations including transmission and distribution; underlines that European TSOs, DSOs and other previously screened electricity grid actors must be able to securely and smartly operate the grid, optimising its use by integrating flexibility and innovative technologies, in line with key principles of interoperability, trust, data value and governance; notes that data exchange arrangements must also take into account interactions with non-EU parties;

    58.  Recognises the potential of flexibility as a necessary tool for optimising system operations, maintaining the stability of the system and empowering consumers by incentivising them to shift their consumption patterns; stresses the importance of implementing appropriate measures to guarantee efficient price signals that incentivise flexibility, including from all end-consumers, and ensuring that all resources contribute to system security, including by accelerating the deployment of smart meters, smart energy-efficient buildings, and enabling access to data from all metering devices; asks NRAs to recognise flexibility innovations and pilot projects in the system, insofar as these do not negatively impact the grid’s overall balance and stability, in order to continue incentivising innovation;

    59.  Calls on NRAs to work closely with TSOs and DSOs to assess the flexibility potential, and needs of the national systems in current and future planning, taking into consideration the presence of industry, large consumers, large generators and storage; highlights in particular the critical role that storage assets, including long-duration electricity storage, capable of providing up to 100 hours of electricity, can play in providing congestion management services to the grid; notes that in order to provide these essential system services, investors in storage assets require stable, long-term revenue models, similar to the way in which support schemes have successfully provided revenue certainty for renewable generation assets;

    Supply chain, raw materials and the need for skills

    60.  Notes with concern that global growth in the demand for grid technologies has put pressure on supply chains and the availability of cables, transformers, components and critical technologies; highlights the findings in the February 2025 International Energy Agency report, ‘Building the Future Transmission Grid’(41), that it now takes two to three years to procure cables and up to four years to secure large power transformers, and that average lead times for cables and large power transformers have almost doubled since 2021;

    61.  Is concerned about the long lead times for many grid technology components and remains determined to maintain European technology leadership in grid technology, emphasising the need for innovation to develop, demonstrate and scale European high-capacity grid technologies and innovative grid-enhancing technologies;

    62.  Stresses that critical and strategic raw materials are essential for grid infrastructure, with aluminium and copper demand set to rise by 33 % and 35 % respectively by 2050(42); takes note of the Commission decision recognising certain critical raw materials projects as strategic projects under the Critical Raw Materials Act(43), in order to secure access to these key materials and diversify sources of supply; calls on the Commission and the Member States to enhance recycling, and support strategic partnerships and trade agreements to this end;

    63.  Highlights the need to strengthen grid supply chains to increase the supply of grid technologies at affordable costs, and thereby limit the costs borne by consumers via network charges; calls for a strategic approach to acquiring energy technologies, components or critical materials related to grids, in order to avoid developing dependencies on single suppliers outside of the EU;

    64.  Believes that holistic, coordinated, long-term grid planning across the entire European energy system is needed to solve the supply chain capacity bottleneck, and that such planning provides manufacturers with essential transparency and predictability for adequately planning manufacturing capacity increases; considers that such planning must be reliable and enable new business models, such as long-term framework agreements and capacity reservation contracts;

    65.  Urges the maximum standardisation of key electricity grid equipment, insofar as is technically possible, via a joint technical assessment by the Commission, DSOs, TSOs and industry, covering all voltage levels in order to scale up production, lower prices and delivery times, and promote the interoperability of systems;

    66.  Stresses the urgent need to address labour shortages in the energy sector; notes that the Commission has projected that the energy workforce needs to significantly increase in order to deploy renewable energies, upgrade and expand grids, and manufacture energy efficiency, grid and other relevant technologies; regrets the shortages of electrical mechanics and fitters reported in 15 of the Member States, increasing the staffing needs of DSOs and TSOs; highlights that the energy workforce must grow by 50 % by 2030 to support the deployment of renewables(44), grid expansion and energy efficiency, with an estimated 2 million additional jobs required in electricity distribution by 2050; calls for training, upskilling and reskilling initiatives, prioritising grid-related skills to close skills gaps; welcomes university-business partnerships and targeted EU skills academies for strategic sectors, including grids; encourages DSOs and TSOs to diversify their workforce, including by increasing women’s participation;

    67.  Reiterates that the Member States and the EU should cooperate to adapt the relevant skills programmes and develop best practices to fulfil the growing skills demand across all educational levels, with a strong emphasis on encouraging gender balance in the sector;

    68.  Highlights the crucial role of SMEs and EU businesses in supplying the technology sector for the electricity grid; points out the need to access affordable electrification, limiting the costs related to the supply chain and ensuring a skilled workforce;

    Offshore

    69.  Acknowledges the strategic relevance of offshore development in delivering the EU’s objectives of energy autonomy, increased use of renewable energy, a resilient and cost-effective electricity system and climate neutrality by 2050; stresses the importance of fully utilising the potential of Europe’s five sea basins for offshore energy generation; highlights the particular significance of the North Seas (covering the geographical area of the North Seas, including the Irish and Celtic Seas), which offer favourable conditions and the highest potential, with an agreed target of 300 GW of installed offshore generation capacity by 2050 within the framework of the North Seas Energy Cooperation; welcomes the progress made in this regard; emphasises the need to develop a meshed offshore grid, including hybrid interconnectors, particularly in the North Seas, to fully harness offshore potential and improve electricity market integration; calls on the Commission and the Member States to strengthen regional cooperation on grid planning and energy cooperation across all sea basins with the EU’s neighbouring countries, in particular the UK and Norway, specifically in offshore wind energy development and the planning and manufacturing of electricity grids;

    70.  Highlights the need for a stable and predictable regulatory framework that ensures the most optimal trading arrangements to provide the required investor confidence to support the development and interconnection of offshore grid and offshore wind projects, ensuring market efficiency and efficient cross-border flows, including with non-EU countries; underlines the necessity of strengthening national grids where required to maximise the benefits of offshore energy; acknowledges that combining offshore transmission with generation assets (offshore hybrids) will be an integral part of an efficient network system, as this comes with several advantages for the European energy system but still lacks the right regulatory framework to incentivise necessary investment;

    Cooperation with non-EU countries

    71.  Calls on the Member States to increase cooperation and coordination with like-minded non-EU countries such as Norway and the UK; recalls that the development of electricity infrastructure to harness the offshore wind potential of the North Seas is a shared priority for both the EU and the UK;

    72.  Highlights the need for a pragmatic and cooperative approach to EU-UK electricity trading; calls on the Commission to work closely with the UK administration to agree on a mutually beneficial trading arrangement that strengthens security of supply and the pathway to net zero for both jurisdictions; additionally, believes that efficiencies of trading arrangements can be improved further; calls on the Commission to engage with its UK counterparts constructively on this matter;

    Outermost regions

    73.  Stresses the unique challenges faced by the EU’s outermost regions and other areas not connected to the European electricity grid; highlights their reliance on imports and high vulnerability to electricity blackouts and extreme climate hazards; notes the importance of developing resilient and autonomous energy systems through local grid development and cleaner energy production; calls on the Commission to address these regions’ specific needs in the European Grids Package and to propose additional financial support to improve the autonomy of their energy systems, and address their lack of interconnection and absence of broader grid connection benefits;

    o
    o   o

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

    (1) European Commission: Directorate-General for Energy, Artelys, LBST, Trinomics, Finesso, A. et al., Investment needs of European energy infrastructure to enable a decarbonised economy – Final report, Publications Office of the European Union, 2025.
    (2) OJ L 249, 14.7.2021, p. 38, ELI: http://data.europa.eu/eli/reg/2021/1153/oj.
    (3) OJ L 152, 3.6.2022, p. 45, ELI: http://data.europa.eu/eli/reg/2022/869/oj.
    (4) OJ L 158, 14.6.2019, p. 125, ELI: http://data.europa.eu/eli/dir/2019/944/oj.
    (5) OJ L 158, 14.6.2019, p. 54, ELI: http://data.europa.eu/eli/reg/2019/943/oj.
    (6) OJ L, 2023/2413, 31.10.2023, ELI: http://data.europa.eu/eli/dir/2023/2413/oj.
    (7) OJ L, 2024/1275, 8.5.2024, ELI: http://data.europa.eu/eli/dir/2024/1275/oj.
    (8) OJ L, 2024/1711, 26.6.2024, ELI: http://data.europa.eu/eli/dir/2024/1711/oj.
    (9) OJ L, 2024/1747, 26.6.2024, ELI: http://data.europa.eu/eli/reg/2024/1747/oj.
    (10) OJ L 328, 21.12.2018, p. 1, ELI: http://data.europa.eu/eli/reg/2018/1999/oj.
    (11) OJ C 371, 15.9.2021, p. 58.
    (12) OJ C 15, 12.1.2022, p. 45.
    (13) European Network of Transmission System Operators for Electricity (ENTSO-E), ‘Bidding Zone Review of the 2025 Target Year’, April 2025, https://eepublicdownloads.blob.core.windows.net/public-cdn-container/clean-documents/Network%20codes%20documents/NC%20CACM/BZR/2025/Bidding_Zone_Review_of_the_2025_Target_Year.pdf.
    (14) Commission communication of 5 March 2025 entitled ‘The Union of Skills’ (COM(2025)0090).
    (15) The EU DSO Entity is a technical expert body and association of distribution system operators (DSOs) mandated by the Electricity Market Regulation (2019/943/EU) to promote the functioning of the electricity market and to facilitate the energy transition.
    (16) The European Network of Transmission System Operators for Electricity (ENTSO-E) is the association for the cooperation of European transmission system operators (TSOs).
    (17) International Monetary Fund (IMF), IMF Staff Background Note on EU Energy Market Integration, 16 January 2025, as included in the Council background note of 17 January 2025 on EU energy market integration: https://data.consilium.europa.eu/doc/document/ST-5438-2025-INIT/en/pdf.
    (18) Commission communication of 28 November 2023 entitled ‘Grids, the missing link – An EU Action Plan for Grids’ (COM(2023)0757).
    (19) ibid.
    (20) ibid.
    (21) ACER 2024 Market Monitoring Report, ‘Transmission capacities for cross-zonal trade of electricity and congestion management in the EU’, 3 July 2024.
    (22) ACER 2024 Market Monitoring Report, ‘Key developments in EU electricity wholesale markets’, 20 March 2024.
    (23) ACER 2024 Monitoring Report, ‘Electricity Infrastructure development to support a competitive and sustainable energy system’, 16 December 2024, p. 17.
    (24) ibid.
    (25) Directive (EU) 2019/944 of the European Parliament and of the Council of 5 June 2019 on common rules for the internal market for electricity and amending Directive 2012/27/EU (OJ L 158, 14.6.2019, p. 125, ELI: http://data.europa.eu/eli/dir/2019/944/oj).
    (26) EU DSO Entity, ‘DSO Entity’s identified good practices on Distribution Network Development Plans’, 1 July 2024.
    (27) ACER 2024 Monitoring Report, ‘Electricity Infrastructure development to support a competitive and sustainable energy system’, 16 December 2024.
    (28) Commission communication of 28 November 2023 entitled ‘Grids, the missing link – An EU Action Plan for Grids’ (COM(2023)0757).
    (29) Council Regulation (EU) 2022/2577 of 22 December 2022 laying down a framework to accelerate the deployment of renewable energy (OJ L 335, 29.12.2022, p. 36, ELI: http://data.europa.eu/eli/reg/2022/2577/oj).
    (30) Directive 2011/92/EU of the European Parliament and of the Council of 13 December 2011 on the assessment of the effects of certain public and private projects on the environment (OJ L 26, 28.1.2012, p. 1, ELI: http://data.europa.eu/eli/dir/2011/92/oj).
    (31) TAIEX is the Technical Assistance and Information Exchange instrument of the Commission. It supports public administrations with regard to the transposition, implementation and enforcement of EU legislation as well as facilitating the sharing of EU best practices.
    (32) Directive 2014/24/EU of the European Parliament and of the Council of 26 February 2014 on public procurement and repealing Directive 2004/18/EC (OJ L 94, 28.3.2014, p. 65, ELI: http://data.europa.eu/eli/dir/2014/24/oj).
    (33) Regulation (EU) 2024/1735 of the European Parliament and of the Council of 13 June 2024 on establishing a framework of measures for strengthening Europe’s net-zero technology manufacturing ecosystem and amending Regulation (EU) 2018/1724 (OJ L, 2024/1735, 28.6.2024, ELI: http://data.europa.eu/eli/reg/2024/1735/oj).
    (34) ACER 2024 Monitoring Report, ‘Electricity Infrastructure development to support a competitive and sustainable energy system’, 16 December 2024, p. 30.
    (35) Commission communication of 28 November 2023 entitled ‘Grids, the missing link – An EU Action Plan for Grids’ (COM(2023)0757).
    (36) ACER 2024 Monitoring Report, ‘Electricity Infrastructure development to support a competitive and sustainable energy system’, op. cit.
    (37) EU DSO Entity, ‘Implementation of Action 7 in the EU Action Plan for Grids: DSO/TSO Technopedia, ENTSO-E & DSO Entity’, 18 December 2024.
    (38) Directive (EU) 2022/2555 of the European Parliament and of the Council of 14 December 2022 on measures for a high common level of cybersecurity across the Union, amending Regulation (EU) No 910/2014 and Directive (EU) 2018/1972, and repealing Directive (EU) 2016/1148 (NIS 2 Directive) (OJ L 333, 27.12.2022, p. 80, ELI: http://data.europa.eu/eli/dir/2022/2555/oj).
    (39) Regulation (EU) 2019/881 of the European Parliament and of the Council of 17 April 2019 on ENISA (the European Union Agency for Cybersecurity) and on information and communications technology cybersecurity certification and repealing Regulation (EU) No 526/2013 (Cybersecurity Act) (OJ L 151, 7.6.2019, p. 15, ELI: http://data.europa.eu/eli/reg/2019/881/oj).
    (40) European Commission: Directorate-General for Energy, Fraunhofer Institute for Systems and Innovation Research ISI, Guidehouse, McKinsey & Company, TNO, Trinomics, Utrecht University, Berkhout, V., Villeviere, C., Bergsträßer, J., Klobasa, M., Regeczi, D., Dognini, A., Singh, M., Stornebrink, M., Hülsewig, T., Seigeot, V., Lenzmann, F.Breitschopf, B., Common European Energy Data Space, Publications Office of the European Union, 2023.
    (41) International Energy Agency, ‘Building the Future Transmission Grid – Strategies to navigate supply chain challenges’, February 2025, https://iea.blob.core.windows.net/assets/a688d0f5-a100-447f-91a1-50b7b0d8eaa1/BuildingtheFutureTransmissionGrid.pdf.
    (42) KU Leuven, Eurometaux, ‘Study quantifies metal supplies needed to reach EU’s climate neutrality goal’, 25 April 2022, https://www.eurometaux.eu/media/hxdhepyp/press-release-study-quantifies-metal-supplies-needed-to-reach-eu-s-climate-neutrality-goal.pdf.
    (43) Regulation (EU) 2024/1252 of the European Parliament and of the Council of 11 April 2024 establishing a framework for ensuring a secure and sustainable supply of critical raw materials and amending Regulations (EU) No 168/2013, (EU) 2018/858, (EU) 2018/1724 and (EU) 2019/1020 (OJ L, 2024/1252, 3.5.2024, ELI: http://data.europa.eu/eli/reg/2024/1252/oj).
    (44) Commission communication of 5 March 2025 entitled ‘The Union of Skills’ (COM(2025)0090).

    MIL OSI Europe News

  • MIL-OSI Europe: Text adopted – Case of Ahmadreza Djalali in Iran – P10_TA(2025)0133 – Thursday, 19 June 2025 – Strasbourg

    Source: European Parliament

    The European Parliament,

    –  having regard to its previous resolutions on the Islamic Republic of Iran,

    –  having regard to Rules 150(5) and 136(4) of its Rules of Procedure,

    A.  whereas Swedish-Iranian national Dr Ahmadreza Djalali, a specialist in emergency medicine and a scholar at Belgium’s Vrije Universiteit Brussel and Italy’s Università del Piemonte Orientale, was arrested on 24 April 2016 by the Iranian security forces;

    B.  whereas Djalali was sentenced to death on spurious espionage charges in October 2017 following a grossly unfair trial based on a confession extracted under torture; whereas the sentence was upheld by Iran’s Supreme Court on 17 June 2018;

    C.  whereas Djalali has been denied adequate medical care despite the severe deterioration in his physical health and the risk to his life, including a recent heart attack at Evin prison; whereas Iran has continued to threaten to implement his death sentence;

    D.  whereas hundreds of individuals have already been executed in 2025 and at least 972 were executed in 2024, a 14 % increase on 2023;

    E.  whereas the Iranian Government refuses to recognise Djalali’s Swedish citizenship;

    F.  whereas this case is part of a systematic pattern of unlawful detentions and hostage diplomacy by the Iranian regime;

    1.  Calls on Iran to immediately release Dr Djalali along with all political prisoners currently being detained; calls on Iran to put a moratorium on executions and to abolish the death penalty;

    2.  Strongly condemns Djalali’s sham trial and the Iranian authorities’ brutal treatment of him, amounting to torture and ill treatment, as he was subjected to months of interrogation in solitary confinement, and then sentenced to death;

    3.  Urges Iran to provide Djalali, whose health is deteriorating, with immediate and unrestricted access to necessary specialised medical care at an external hospital; urges Iran, furthermore, to provide Djalali with legal representation and legal defence, and allow him regular contact with his family;

    4.  Calls on Sweden and other relevant Member States and the European External Action Service to intensify diplomatic efforts and adopt targeted measures in response to Iran’s continued detention of EU nationals, including Cécile Kohler, Jacques Paris and others, as part of its hostage diplomacy and in violation of international law;

    5.  Reiterates its call on the Council to designate the Islamic Revolutionary Guard Corps a terrorist organisation and extend EU sanctions to all those responsible for taking EU nationals hostage and for mass executions of opposition voices and other human rights violations;

    6.  Demands that Iran grant full access to UN human rights mechanisms, including the Special Rapporteur, and the EU’s full support and increase support for civil society organisations;

    7.  Emphasises that EU-Iran engagements must be founded on tangible progress on democracy, the rule of law, human rights and the release of all political prisoners;

    8.  Asks the VP/HR to raise Djalali’s case publicly and in all engagements with her Iranian counterparts;

    9.  Instructs its President to forward this resolution to the Government of Iran, the VP/HR, the Commission, the Member States and the United Nations.

    MIL OSI Europe News

  • MIL-OSI Europe: Text adopted – Media freedom in Georgia, particularly the case of Mzia Amaglobeli – P10_TA(2025)0132 – Thursday, 19 June 2025 – Strasbourg

    Source: European Parliament

    The European Parliament,

    –  having regard to its previous resolutions on Georgia,

    –  having regard to Rules 150(5) and 136(4) of its Rules of Procedure,

    A.  whereas Mzia Amaglobeli, a journalist and co-founder of Batumelebi and Netgazeti outlets, was arrested during pro-European protests on 12 January 2025 and faces four to seven years in prison for a provoked incident involving a police officer;

    B.  whereas the adoption of draconian legislation – such as the Foreign Agents Registration Act (FARA) and amendments to the Law on Broadcasting, Code of Administrative Offences and Law on Grants – constitutes a dangerous acceleration of democratic backsliding and deliberate authoritarian strategy by Georgian Dream to silence critical voices in civil society and independent media and persecute the political opposition;

    C.  whereas the authorities have virtually annihilated remaining independent media outlets in the country; whereas the public information space is fully dominated by pro-government media, spreading Russian-style propaganda and anti-European disinformation;

    D.  whereas in Mzia Amaglobeli’s case, the authorities ignored procedural safeguards, imposed pre-trial detention without a clear legal basis, contested by the Public Defender, and assigned a presiding judge lacking qualifications in criminal law; whereas she is being punished for exposing corruption and reporting on election fraud during the 2024 elections;

    E.  whereas she reportedly suffered inhumane treatment and undertook a 38-day hunger strike;

    F.  whereas Estonia and Lithuania have imposed personal sanctions on Georgian judges and police officers linked to Mzia Amaglobeli’s case;

    1.  Demands Mzia Amaglobeli’s immediate and unconditional release and the withdrawal of all charges against her, and denounces her politically motivated arrest and prosecution;

    2.  Strongly condemns the Georgian Dream regime’s systemic assault on democratic institutions, political opposition, independent media, civil society and judicial independence;

    3.  Expresses deep concern over arbitrary detentions and the harassment of, and violence against, journalists in Georgia, including smear campaigns, legal persecution, abuse and gender-based violence in detention; calls for independent investigations and urges the authorities to immediately end intimidation and ensure journalists’ safety and freedom;

    4.  Urges the Georgian authorities to release all political prisoners and other illegally detained persons without delay, including activist Mate Devidze, opposition leaders Zurab Japaridze, Nika Melia and Nika Gvaramia, and former President Mikheil Saakashvili, and denounces the violent abduction of UNM Chair Tina Bokuchava’s husband and the reported threats to her children’s safety;

    5.  Calls for the immediate repeal of all repressive legislation, the restoration of democracy, and full protection of media freedom and civil liberties;

    6.  Calls for the EU to step up support for Georgia’s independent media and civil society following the entry into force of the FARA, and monitor ongoing trials;

    7.  Regrets the persistent inaction of the Council, Member States and Commission and reiterates its repeated call on Member States to impose bilateral sanctions against Georgian Dream leaders and officials responsible for democratic backsliding;

    8.  Expresses concern about the latest wave of assaults on NGOs, through the demand by some state institutions, such as the Anti-Corruption Bureau, to provide detailed financial, legal and operational information for the last one and a half years within three working days; underscores that this demand is unfeasible by design and as such risks paralysing the work of targeted organisations and suspending their activities;

    9.  Instructs its President to forward this resolution to the Council, the Commission, the governments and parliaments of the Member States, the Council of Europe, the OSCE, President Zourabichvili, and the self-appointed authorities of Georgia.

    MIL OSI Europe News

  • MIL-OSI United Kingdom: Somerset pig farmer counts the cost of slurry pollution

    Source: United Kingdom – Executive Government & Departments

    Press release

    Somerset pig farmer counts the cost of slurry pollution

    Pig slurry overflowed from the store, got into surface water drains and then the stream.

    Slurry escaped from the store and polluted a nearby stream.

    • James Mitchell built an illegal slurry lagoon which overtopped causing pollution
    • The avoidable incident occurred as pig slurry escaped into the Oake Stream nearby
    • The experienced farmer pleaded guilty to the offences and was fined a total of £5,065, including costs

    A Taunton pig farmer has been prosecuted by the Environment Agency for allowing slurry to escape from an illegally constructed slurry lagoon causing pollution of the Oake Stream in Somerset.

    James Mitchell, of Hillcommon in Taunton, Somerset appeared before Taunton Magistrates Court on Wednesday, 18 June 2025. Mr Mitchell pleaded guilty to two offences and was fined £500 with a £200 surcharge and was ordered to pay £4,365 in investigation costs after the District Judge gave him full credit for his guilty pleas. The fine was based on his means as disclosed to the court and he was given 12 months to pay.

    The court heard that the agency visited Orchard farm in 2021, at James Mitchell’s request. The agency identified a slurry lagoon that had been constructed without prior notification and with no details on how it had been correctly sized or engineered.

    The visit had been arranged to discuss proposed grant funding for roofing work which it was hoped would reduce the pollution risk. The agency had no objections to roofing work being completed on the condition that the slurry store was made compliant.

    Pollution in stream traced to Orchard Farm

    On 9 November 2023, the Environment Agency received a report of pollution in the Oake Stream. Officers traced the source of the pollution to Orchard Farm where pig slurry was found overflowing from the slurry store and entering a soakaway which is connected to the surface water drainage network.

    Mitchell cooperated with the investigating officers and prevented further slurry entering the drains by initially building an earth bank which was later reinforced with additional clay.  

    At a follow-up visit in December 2023, Environment Agency officers noted that the construction of the roof, originally discussed in 2021 was underway. These works were completed by January 2024.

    David Womack, of the Environment Agency, said:

    James Mitchell is an experienced farmer and was made fully aware of his responsibilities and the laws regarding slurry storage, having contacted us before this needless incident occurred.

    Regulations on how to properly construct slurry stores and the need to notify the agency prior to constructing any new slurry store have been in place for more than 30 years. All farmers need to be aware of their legal responsibilities to prevent pollution events like this from happening.

    We won’t hesitate to take action against those who cause pollution having failed to take on board our advice and guidance. I’d strongly advise those who need advice or who think that their slurry storage facilities are too small or a pollution risk to contact us as we would prefer to prevent this type of incident from occurring in the first place.

    The Environment Agency provides specialist advice to help farmers assess their existing slurry storage facilities to reduce pollution risk and to ensure the environment is properly protected.

    Guidance for farmers on appropriate slurry storage is available: Storing silage, slurry and agricultural fuel oil – GOV.UK

    Background

    James Mitchell was charged with the following offences:

    • On or before 9 November 2023, James Mitchell caused or permitted a water discharge activity, namely a discharge of pig slurry, into Oake Stream, except under and to the extent authorised by an environmental permit. Contrary to Regulation 38(1)(a) and Regulation 12(1)(b) of the Environmental Permitting (England and Wales) Regulations 2016.

    • James Mitchell, on or before 9 November 2023 at Orchard Farm, Hillcommon, Taunton, Somerset, TA4 1DW failed to store slurry in a slurry storage system which satisfied the requirements of Schedule 2 (6) (3) (c) of the Water Resources (Control of Pollution) (Silage, Slurry and Agricultural Fuel Oil) (England) Regulations 2010 in that there is the need to provide at least 750 millimetres of freeboard in the case of a tank with walls made of earth and 300 millimetres of freeboard in all other cases. Contrary to Regulation 10 (1) and 4 (1) of the Water Resources (Control of Pollution) (Silage, Slurry and Agricultural Fuel Oil) (England) Regulations 2010.

    Updates to this page

    Published 24 June 2025

    MIL OSI United Kingdom

  • MIL-OSI United Kingdom: UKEF unveils new strategic financing for industrial growth

    Source: United Kingdom – Executive Government & Departments

    Press release

    UKEF unveils new strategic financing for industrial growth

    Up to £13 billion of direct lending will be used to help boost British exports across key industrial sectors as part of new growth measures spearheaded by UK Export Finance (UKEF).

    • Multi-billion-pound direct lending by UK Export Finance will help boost orders for British exporters across key industrial sectors, including defence

    • Export credit agency to introduce new product to secure critical minerals supply and plans to legislate to increase its statutory commitment limit to support even more businesses

    • New measures announced as part of Industrial Strategy published yesterday

    Through its Direct Lending Facility, UKEF – the government’s export credit agency – provides loans to overseas buyers, allowing them to finance the purchase of capital goods and services from UK suppliers.

    Outlined in the Industrial Strategy, UKEF now has greater flexibility of direct lending powers to support all eight Industrial Strategy sectors, from clean industries and life sciences to advanced manufacturing and defence.

    The £13 billion marks a £3 billion uplift in UKEF’s facility. Of this £13 billion, at least £3 billion will be used to stimulate defence exports, demonstrating the growing importance of this sector to economic and national security.

    Recent direct lending deals include a £18.8 million equivalent loan for an Angolan clean water project delivering up to approximately £6.8 million of supply contracts for British exporters, and a £23 million equivalent loan to Iraq’s Ministry of Interior to purchase 62 UK-made fire-fighting vehicles.

    Business Secretary Jonathan Reynolds said:

    UKEF plays an instrumental role in delivering our Industrial Strategy – providing the essential support that British businesses need to compete internationally.  

    By unlocking export opportunities and supporting innovation across key sectors through mechanisms like direct lending, UKEF is helping to drive sustainable economic growth, create highly skilled jobs and strengthen Britain’s place as a go-to trading partner.  

    Our commitment to backing British exporters forms a vital part of this government’s Plan for Change which will raise living standards in every part of UK.

    Following on from the announcement of UKEF’s Critical Minerals Supply Finance product in the Autumn Statement, the department is going further to secure industry access to critical minerals by launching a new loan guarantee scheme for UK-based suppliers that sell critical minerals, or products that contain critical minerals, to UK exporters.  

    UKEF also plans to legislate to have its statutory commitment limit – the entire amount of support that the department can have on its books at any one time – increased which will enable it to support more businesses of all sizes across the UK. The department will review its operating mandate to consider taking on a broader trade and investment finance remit.

    To encourage growth at a local level, the department plans to expand its network of 24 local export finance managers to give focus on city regions and clusters where key sectors have a presence. Export finance managers provide free and impartial guidance to businesses on their export finance needs.

    UK Export Finance CEO Tim Reid added:

    UKEF is well positioned to drive exports across high-impact industry sectors and create economic growth. We look forward to playing a key role in driving delivery of the Industrial Strategy, using our increased capacity and flexible product range.

    Backed by our comprehensive five-year business plan that will reach businesses of all sizes across every region and nation of the UK, we’re laying the extra foundations to enable thousands more British businesses to take their products and services to global markets.

    The measures are announced ahead of UKEF’s 2024/25 annual report & accounts which will be published shortly. The results are expected to show it was a record-breaking year for the department.

    It will build on the results of the 2023/24 financial year in which UKEF provided over £8.8 billion of support to 650 businesses of all sizes and types, supported up to 41,000 jobs in communities around the whole UK and the contribution of up to £3.3 billion to the overall economy.

    Contact 

    Media enquiries:

    Updates to this page

    Published 24 June 2025

    MIL OSI United Kingdom

  • MIL-OSI United Kingdom: Landscape improvements for Perry Park completed

    Source: City of Birmingham

    Published: Monday, 23rd June 2025

    As part of the Legacy Project for the Alexander Stadium and Perry Park the council’s in-house landscape architects have worked with local residents on the design of new facilities for the park.

    Construction of the play area was completed and opened to the public in early March and now the remaining landscape improvement works around the stadium and Perry Park have finished.

    These include boundary treatments to secure the park, planting of 151 trees to improve the biodiversity for the local area, creation of new swales and drainage connection to improve the drainage for the whole park, activation of transport mall as a sports and recreation area when not in use for spectators, the creation of a new footpath crossing on Church Road for vehicular entrance during events and improving the path network around the park for better access for all.

    Cllr Majid Mahmood, cabinet member for environment and transport, said: “The whole park looks amazing, I’m really proud of the hard work by our landscape team and the input from local residents. It is important that the park addresses the needs of the community whilst also reflecting the Commonwealth Games theme and legacy.

    “It is great to see new trees planted, improving the biodiversity of the area, along with a great play area and other facilities, which has become a really popular focal point for the community.”

    The improvements are set to provide the local community and visitors alike with access to green spaces and high-quality facilities for sport and recreation all year round.

    MIL OSI United Kingdom

  • MIL-OSI: Stabilization Notice – Pre- stab – Webuild

    Source: GlobeNewswire (MIL-OSI)

    24 th June 2025

    Not for distribution, directly or indirectly, in or into the United States or any jurisdiction in which such distribution would be unlawful.

    WEBUILD Spa 

    Pre-stabilisation Period Announcement

    BNP Paribas (contact: Stanford Hartman telephone: 0207 595 8222 hereby gives notice, as Stabilisation Coordinator, that the Stabilisation Manager(s) named below may stabilise the offer of the following securities in accordance with Commission Delegated Regulation EU/2016/1052 under the Market Abuse Regulation (EU/596/2014).

    The securities:1  
    Issuer: Webuild Spa
    Guarantor (if any): [insert name]
    Aggregate nominal amount: EUR  tba
    Description:  x  per cent Notes due 3 July 2031
    Offer price: TBA 
    Other offer terms: [complete or delete as applicable]
    Stabilisation:  
    Stabilisation Manager(s) BAML/BNPP/GS/HSBC/INTESA/JPM NATIXIS /UNICRET
    Stabilisation period expected to start on: 24 June 2025
    Stabilisation period expected to end on: 2 August 2025
    Existence, maximum size and conditions of use of over‑allotment facility: The Stabilisation Manager(s) may over‑allot the securities to the extent permitted in accordance with applicable law.
    Stabilisation trading venue: [Over the counter (OTC)] [insert venue name] [To be confirmed]

    In connection with the offer of the above securities, the Stabilisation Manager(s) may over‑allot the securities or effect transactions with a view to supporting the market price of the securities during the stabilisation period at a level higher than that which might otherwise prevail. However, stabilisation may not necessarily occur and any stabilisation action, if begun, may cease at any time. Any stabilisation action or over‑allotment shall be conducted in accordance with all applicable laws and rules.

    This announcement is for information purposes only and does not constitute an invitation or offer to underwrite, subscribe for or otherwise acquire or dispose of any securities of the Issuer in any jurisdiction.

    This announcement and the offer of the securities to which it relates are only addressed to and directed at persons outside the United Kingdom and persons in the United Kingdom who have professional experience in matters related to investments or who are high net worth persons within Article 12(5) of the Financial Services and Markets Act 2000 (Financial Promotion) Order 2005 and must not be acted on or relied on by other persons in the United Kingdom.

    In addition, if and to the extent that this announcement is communicated in, or the offer of the securities to which it relates is made in, the UK or any EEA Member State before the publication of a prospectus in relation to the securities which has been approved by the competent authority in the UK or that Member State in accordance with Regulation (EU) 2017/1129 (the “Prospectus  Regulation”) (or which has been approved by a competent authority in another Member State and notified to the competent authority in the UK or that Member State in accordance with the Prospectus Regulation), this announcement and the offer are only addressed to and directed at persons in the UK or that Member State who are qualified investors within the meaning of the Prospectus Regulation (or who are other persons to whom the offer may lawfully be addressed) and must not be acted on or relied on by other persons in the UK or that Member State.

    This announcement is not an offer of securities for sale into the United States. The securities have not been, and will not be, registered under the United States Securities Act of 1933 and may not be offered or sold in the United States absent registration or an exemption from registration. There will be no public offer of securities in the United States. 

    The MIL Network

  • MIL-OSI Video: 2025 NATO Summit: President von der Leyen’s Opening Statement

    Source: European Commission (video statements)

    On 24 June 2025, European Commission President Ursula von der Leyen makes her opening statement at the 2025 NATO Summit.

    NATO Allies will take decisions in The Hague, the Netherlands to make NATO a stronger, fairer and more lethal Alliance. We live in a more dangerous world, and this is a critical moment for our security. Allies are coming together to reinforce their cooperation and their commitment to NATO.

    Follow live events and access media content here:
    https://audiovisual.ec.europa.eu/en/

    Stay updated — follow us on X: https://x.com/EC_AVService

    Follow us on:
    -X: https://twitter.com/EU_Commission
    -Instagram: https://www.instagram.com/europeancommission/
    -Facebook: https://www.facebook.com/EuropeanCommission
    -LinkedIn: https://www.linkedin.com/company/european-commission/
    -Medium: https://medium.com/@EuropeanCommission

    Check our website: http://ec.europa.eu/

    https://www.youtube.com/watch?v=aBSmVhGQKs0

    MIL OSI Video

  • MIL-OSI Video: UK Asteroids and planetary defence – Science, Innovation and Technology Committee

    Source: United Kingdom UK Parliament (video statements)

    The Science, Innovation and Technology Committee will hold a one-off evidence session, on Asteroids and planetary defence at 9.45am, on Tuesday 24 June following a 15 minute innovation showcase.

    The session will highlight the current climate, science and research on asteroids. The session will focus on what they are, technological advancement of detection, composition benefits.

    The Committee will hear from experts in each of these fields and explore progress.  Additionally, the session will look at the scientific advancements, examine the national and international policy response in a global emergency and future focus areas.

    https://www.youtube.com/watch?v=uTiniEvSzic

    MIL OSI Video

  • MIL-OSI United Kingdom: David Mitchell convicted for covering road with potatoes and silt

    Source: United Kingdom – Executive Government & Departments

    Press release

    David Mitchell convicted for covering road with potatoes and silt

    Huge loss of soil from potato field costs farmer over £40,000 for polluting river, with potatoes and silt escaping into the road.

    The run-off soil was ankle deep and caused severe issues on the road.

    • Potato and silt mudslide polluted nearby watercourse and shut local roads.
    • David Mitchell, an experienced farmer, was fully aware of his obligations to reduce risk to the local environment.
    • Fines, costs and compensation for this incident totalled over £40,000.

    A Taunton potato farmer has been prosecuted by the Environment Agency for causing silt, soil and potatoes to escape from a field and seriously pollute a tributary of the River Tone in Somerset.

    The judge found that the pollution was so significant in that it would take a winter of normal water flow to wash the sediment away. 

    David Mitchell, of Hillcommon in Taunton, Somerset appeared before Taunton Magistrates Court on 18 June 2025. Mr Mitchell pleaded guilty to an offence of causing silt laden water from a field under his control at Combe Florey to enter a stream on two occasions in August and again on September 2022.

    He was given full credit for his guilty plea by the District Judge and fines and compensation were ordered to be paid within 12 months. He was ordered to pay a total of £9,078 in fines and costs based on his means as disclosed to the court. The court heard that other clean up, equipment purchases and compensation to the landowner, already paid by Mr Mitchell, have totalled over £35,000.

    River hit hard by run-off sediment

    On 7 September 2022, an Environment Agency officer identified a sediment pollution to the Back Stream watercourse in Combe Florey. A considerable length of the bed of the watercourse was found to be covered, bank to bank, in a thick layer of sediment. The investigating officer traced the pollution to a large field close to the railway bridge in Combe Florey where soil had run off the field down onto the A358 and into the Back Stream.

    The field had been rented that year by Mitchell to grow potatoes, which had not yet been harvested when the pollution occurred. Thunderstorms and wet weather conditions resulted in the loss of an estimated 50-100 tonnes of soil from the field.

    Large numbers of potatoes could be seen in the watercourse and along the edge of the roadside, along with the significant quantities of silt and mud. The busy A358 had to be closed on two occasions for the Highways Agency to clear drains and remove tonnes of soil from the road. 

    The soil deposited under the railway bridge was so deep it prevented vehicles from being able to use the A358. Mr Mitchell agreed to pay compensation of £1,128.10 to a motorist for their losses as a result of this incident.

    A considerable length of the Back Stream watercourse’s river bed in Combe Florey was covered, bank to bank, in a thick layer of sediment.

    Road closed by similar incident month earlier

    The Environment Agency investigations revealed that there had also been an earlier incident in August 2022 which had also closed the A358. Following the initial incident in August, Mitchell, an experienced potato grower, was provided with silt fencing along with guidance and advice paid for by the Somerset Rivers Authority. Only a small section of fencing was used and this was not installed according to the guidance given by advisors.

    A small number of hay bales and a soil bund had also been installed at the bottom of the field in an attempt to prevent further soil from leaving the field. It was also established that the potatoes had mainly been planted up and down the sloping field which significantly increased the risk of soil erosion and run off.

    David Womack, of the Environment Agency, said:

    David Mitchell had control and custody of the land he rented up until the point of harvest and was therefore responsible for the land management practices.

    He chose to grow a high-risk crop on a sloping field with light soils. As an experienced potato farmer he should have identified the risks of using this field and taken reasonable steps to prevent large scale soil loss.

    No formal risk assessment and no adequate precautions to prevent soil loss had been taken. This made it highly likely that soil erosion and environmental damage would occur in even moderate rainfall conditions.

    The Environment Agency expects that all farmers need to be aware of their legal responsibilities to prevent pollution events like this from happening. Farmers renting their fields for the growing of high risk vegetables should ask prospective tenants what they intend to grow and ask to see their risk assessments and soil management plans to ensure they don’t also potentially become liable for such incidents.

    Guidance for farmers is available: The Reduction and Prevention of Agricultural Diffuse Pollution (England) Regulations 2018

    Background

    David Mitchell was charged with the following offences:

    • On or before 7 September 2022 David Mitchell did knowingly cause or permit an unpermitted water discharge activity, namely the discharge of poisonous, noxious or polluting matter, namely silt laden water from a field under his control at Combe Florey, Somerset into inland fresh waters, namely Back Stream.

    Updates to this page

    Published 24 June 2025

    MIL OSI United Kingdom

  • MIL-OSI United Kingdom: Local Government 2024-25 Provisional Outturn and 2025-26 Budget Estimates

    Source: Scottish Government

    An Official Statistics Publication.

    The Chief Statistician has released figures on 2024-25 provisional outturn and 2025-26 budget estimates for revenue and capital expenditure on services provided by local authorities.

    In 2024-25, net revenue expenditure on local authority services was provisionally reported as £15,760 million in 2024-25 and budgeted as £16,239 million for 2025-26.

    This is an increase of 6.8% (£1,002 million) in 2024-25, compared to the net revenue expenditure figure of £14,758 million seen in 2023-24. However, much of this increase can be attributed to the baselining of £950.9 million into the General Revenue Grant, which switched this funding away from the category of specific grants. As Net Revenue Expenditure measures general funding and the use of Council’s own reserves, funding more money via the General Revenue Grant leads to a corresponding rise in Net Revenue Expenditure.

    General fund net revenue expenditure is estimated to increase by a further 3.0% (£479 million) in 2025-26.

    Education and Social Work continue to be the services with highest net revenue expenditure in both 2024-25 and 2025-26. These services account for around 81% of general fund net revenue expenditure.

    Local authorities reported provisional general funding of £16,394 million in 2024-25, and budgeted for £17,358 million of general funding in 2025-26.

    General Fund reserves (including Harbour Accounts) at 31 March 2025 were provisionally reported as £2,771 million, and budgeted to be £2,625 million at 31 March 2026. For context, General Fund reserve balances (including Harbour Accounts) were £1,584 million on 31 March 2020. Therefore, whilst reserve balances remain above pre-pandemic levels for Scotland, these are being brought down.

    Capital expenditure across local authorities was provisionally reported as £4,479 million in 2024-25, and budgeted as £5,035 million in 2025-26. An increase of 1.6% in capital expenditure for Education is expected from 2024-25 to 2025-26, reflecting the roll out of the Learning Estate Investment Programme.

    The main sources of capital financing are grants & contributions and borrowing. Borrowing is expected to increase to £2,395 million in 2024-25, and then to £3,021 million in 2025-26. In 2024-25 and 2025-26, in-year borrowing is anticipated to remain as the primary source of capital financing.

    Total external debt was provisionally reported as £22,916 million in 2024-25, and budgeted as £25,696 million in 2025-26, with local authorities continuing to remain under-borrowed.

    Background

    The Local Government 2024-25 Provisional Outturn and 2025-26 Budget Estimates publication summarises the 2024-25 provisional outturn and 2025-26 budget estimates for revenue and capital services provided by local authorities. This data is collected from local authorities annually via the Provisional Outturn and Budget Estimates (POBE) statistical return.

    Further information on Local Government Finance statistics publications and data collections can be found on the Scottish Government website.

    These statistics have been produced in accordance with the Code of Practice for Statistics.

     

    MIL OSI United Kingdom

  • MIL-OSI United Kingdom: Quarterly Housing Statistics in the year to end of March 2025

    Source: Scottish Government

    An Accredited Official Statistics Publication for Scotland.

    There was an 11% decrease in all sector housebuilding starts and a 4% decrease in completions between 2023-24 and 2024-25 (financial year ending March)

    In the 12 months ending March 2025, there were 19,288 all sector homes built and 15,053 all sector new builds started. All sector completions (-4%) and starts (-11%) were lower than the previous 12 months.

    The private sector built 14,798 homes and the social sector built 4,490 homes. In terms of starts, building work on 11,902 was started by the private sector and 3,151 homes by the social sector.

    Excluding 2020-21 (where Covid-19 impacted housebuilding) private sector led completions were similar to the previous financial year and starts the lowest since the 2012-13 financial year. In the social sector, completions were the lowest since 2016-17 and starts the lowest since 2012-13.

    In terms of the Affordable Housing Supply Programme, in 2024-25, there were 4,775 approvals, 5,424 starts, and 7,444 completions of affordable homes. The number of completions were down by 22% (-2,070 homes) compared to 2023-24. Approvals and starts also decreased by 31% (-2,167 homes) and 21% (-1,471 homes) between 2023-24 and 2024-25 (year ending March).

    These statistics are used to inform progress against Scottish Government affordable housing delivery target to deliver 110,000 affordable homes by 2032, of which at least 70% will be for social rent and 10% will be in rural and island communities. By 2024-25, 28,537 affordable homes have been completed towards the target. These completions consist of 21,937 (77%) homes for social rent, 4,087 (14%) for affordable rent, and 2,513 (9%) for affordable home ownership.

    Background

    Housing statistics quarterly update: new housebuilding and affordable housing supply – gov.scot

    Background information including Excel tables and explanatory information on data sources and quality can be found in the Housing Statistics webpages.

    Official statistics are produced in accordance with the Code of Practice for Statistics.

    MIL OSI United Kingdom

  • MIL-OSI United Kingdom: Recorded Crime in Scotland, 2024-25

    Source: Scottish Government

    An Accredited Official Statistics Publication for Scotland

    Scotland’s Chief Statistician today released Recorded Crime in Scotland, 2024-25.

    Between 2023-24 and 2024-25:

    There was little change in crimes recorded by the police in Scotland, decreasing by less than 1%, from 299,790 to 299,111. The recording of crime remains below the position immediately prior to the pandemic (2019-20) and down 51% from its peak in 1991.

    There was little change in Non-sexual crimes of violence, decreasing by less than 1%, from 71,473 to 71,170. Common assault (down less than 1%) makes up the clear majority (83%) of all non-sexual crimes of violence recorded in 2024-25.

    Sexual crimes increased by 3%, from 14,484 to 14,892. These crimes are now at the second highest level seen since 1971, the first year for which comparable groups are available.

    There was little change in Crimes of dishonesty, decreasing by less than 1%, from 111,054 to 110,913. The recording of these crimes is back to the level seen immediately prior to the pandemic (in 2019-20) and down 74% from the peak in 1991.

    Damage and reckless behaviour crimes decreased by 6%, from 41,129 to 38,738. The recording of these crimes is now at the lowest level seen since 1976.

    Crimes against society increased by 3% from 61,650 to 63,398. Most of these crimes relate to crimes against public justice (42%) or drug possession (32%).

    Offences recorded by the police in Scotland collectively increased by 1%, from 174,073 to 175,919. This included increases in Miscellaneous offences (up 1%) and Road traffic offences (up 1%), whilst Antisocial offences changed very little, increasing by less than 1%.

    Police recorded cyber-crime in Scotland

    This bulletin also includes an estimate of how many cyber-crimes (i.e. crimes committed using the internet) were recorded in Scotland during 2024-25.

    In 2024-25, an estimated 14,120 cyber-crimes were recorded by the police in Scotland. This was a decrease of 2,770 crimes (or 16%)  when compared to the estimated volume for 2023-24 (16,890). Levels also remain significantly above the pre-pandemic year of 2019-20 (with 7,710 cyber-crimes).

    We estimate that cyber-crimes accounted for at least 5% of total recorded crime in 2024-25, including 27% of Sexual crimes, 7% of Crimes of dishonesty and 3% of Non-sexual crimes of violence.

    Official Statistics on Clear up rates

    In addition to the Accredited Official Statistics on police recorded crimes and offences, this bulletin also presents Official Statistics on crimes and offences cleared up by the police in 2024-25.

    In 2024-25 the clear up rate was 56.0%, up from 54.1% in 2023-24. Crimes against society (93.8%), Non-sexual crimes of violence (68.4%) and Sexual crime (56.9%) continued to have higher clear up rates in 2024-25 than Crimes of dishonesty (35.1%) and Damage and reckless behaviour (31.0%).

     

    Background

    1. The full statistical publication can be accessed at: Recorded Crime in Scotland, 2024-25 – gov.scot
    1. Contraventions of Scottish criminal law are divided for statistical purposes into crimes and offences. ‘Crime’ is generally used for the more serious criminal acts. The less serious termed ‘offences’, although the term ‘offence’ may also be used in relation to serious breaches of criminal law. The distinction is made only for statistical reporting purposes and the ‘seriousness’ of the offence is generally related to the maximum sentence that can be imposed.
    1. Further information on Crime and Justice statistics within Scotland can be accessed at: Crime and justice statistics – gov.scot (www.gov.scot)
    1. Accredited Official and Official Statistics are produced by professionally independent statistical staff – more information on the standards of Official Statistics in Scotland can be accessed at: Statistics and research – gov.scot (www.gov.scot)

    MIL OSI United Kingdom

  • MIL-OSI United Kingdom: Scotland ‘remains a safe place to live’

    Source: Scottish Government

    Constance responds as serious assault and attempted murder fall to lowest level since 1977.

    Recorded crime has more than halved since 1991, according to newly-published official statistics.

    The Recorded Crime in Scotland 2024-25 bulletin shows that total crime remains at similar levels to 2023-24, with a small reduction in the headline figure.

    Levels of non-sexual crimes of violence have also dipped slightly over the year and continue to be 23% lower than in 2006-07 – with serious assault and attempted murder now at their lowest level since 1977.

    There was a 6% decrease in 2024-25 in recorded incidents of damage and reckless behaviour – now at its lowest level since 1976, with vandalism down 73% from 2006-07.

    The detection of overall crime by police has increased, with clear-up rates rising to 56%.

    The recording of crimes of dishonesty are now at pre-pandemic levels and down 74% from the peak in 1991, however there was has been a 16% rise in shoplifting.

    There was a rise in recorded sexual crimes (up 3%), with rape and attempted rape up by 15%. A quarter of these crimes were reported at least one year after they had occurred.

    Justice Secretary Angela Constance said:

    “These figures show that Scotland continues to be safe place to live with reported crime falling by more than half since 1991. This comes on the back of the flagship Scottish Crime and Justice Survey which also showed people feel safer in their communities.

    “Violent crime is down significantly in the past 20 years, with serious assaults and homicide levels at record lows. However, we cannot afford to be complacent and I have been consistently clear that any instance of violence is one too many. That is why we are taking a wide range of actions to prevent, reduce and tackle violence, with more than £6 million funding invested over the past three years.

    “I am concerned these figures also show a rise in reported sexual crimes. Multiple factors will lie behind this and our action to tackle sexual offending includes increasing confidence in the justice system so more victims come forward, improving support for victims and modernising the law on sexual offences.

    “I also recognise the significant harm and disruption caused by retail crime, which is why we have made £3 million available in this year’s Budget for Police Scotland to work with the retail sector to help tackle this issue.

    “This year we will invest £4.2 billion across the justice system including a record £1.64 billion for policing – an increase of £70 million on 2024-25.

    “As part of the Scottish Government’s broader package to tackle violence, we have increased funding to the Scottish Violence Reduction Unit from £1.17 million last year to over £1.2 million this year. Projects supporting young people at risk of being drawn into criminal activities, under the Cashback for Communities programme, will receive up to £26 million over the next three financial years.”

    Background

    Full statistical publication Recorded Crime in Scotland, 2024-25

    MIL OSI United Kingdom

  • MIL-OSI Russia: Senior CCP Official Visits UK

    Translation. Region: Russian Federal

    Source: People’s Republic of China in Russian – People’s Republic of China in Russian –

    Source: People’s Republic of China – State Council News

    LONDON, June 24 (Xinhua) — Yuan Jiajun, member of the Political Bureau of the Communist Party of China Central Committee and secretary of the CPC Chongqing Municipal Committee, led a party delegation to the United Kingdom from June 22 to 23 at the invitation of the British government.

    Yuan Jiajun met with UK National Security Adviser Jonathan Powell, attended a roundtable meeting between leading Chinese (Chongqing) and British enterprises, and held talks with Nicholas Lyons, Lord Mayor of the City of London, and Sherard Cowper-Coles, Chairman of the China-UK Business Council, among others.

    Yuan Jiajun said that China is willing to work with the UK to maintain the positioning of the two countries as strategic partners, further strengthen dialogue and cooperation, consolidate strategic ties, deepen political mutual trust, jointly respond to challenges, and continuously expand practical cooperation in economy and trade, science and technology, people-to-people and cultural exchanges, local affairs and other fields, so as to jointly promote stable and mutually beneficial China-UK relations.

    Chongqing is willing to leverage its strengths of industrial base, comprehensive hub role and megacity status to deepen exchanges and cooperation with the UK in areas such as smart manufacturing, trade and logistics, financial services and urban governance, making contributions to the further development of China-UK relations, he said.

    The British side said that UK-China relations are of strategic significance, and cooperation between the two sides is conducive to world peace and development. The UK is willing to expand exchanges with China, deepen cooperation in such fields as economy and trade, science and technology, investment, education, and jointly safeguard multilateralism and the free trade system. –0–

    MIL OSI Russia News

  • MIL-OSI New Zealand: New Zealand’s ties with Netherlands reaffirmed

    Source: New Zealand Government

    Prime Minister Christopher Luxon has met with the Dutch Prime Minister Dick Schoof, to mark 60 years of diplomatic representation between New Zealand and the Kingdom of the Netherlands.

    “The Netherlands is one of New Zealand’s oldest and closest friends. Our people share strong bonds, enriched by the 150,000 New Zealanders who have Dutch heritage,” Mr Luxon says.

    “In our discussions, Prime Minister Schoof and I reaffirmed our commitment to global peace and security, pledged to increase bilateral trade and investment, and promote further innovation between our researchers.”

    The Netherlands is one of New Zealand’s top export destinations within the EU.

    “The Netherlands is crucial to New Zealand’s economic growth. Our exports have grown by 24 percent since last year,” Mr Luxon says.

    “It is New Zealand’s greatest source of foreign direct investment from the EU, and it is also a base for many Kiwi businesses in Europe.”

    Mr Luxon will now attend the NATO Summit in the Hague. 

    A joint statement from Mr Luxon and Mr Schoof is attached.

    MIL OSI New Zealand News

  • What is NATO’s new 5% defence spending target?

    Source: Government of India

    Source: Government of India (4)

    NATO leaders are expected to endorse a big new defence spending target at an alliance summit in The Hague on Wednesday, as demanded by U.S. President Donald Trump.

    Here are some key questions and answers about the new target.

    WHAT ARE NATO LEADERS EXPECTED TO APPROVE?

    They are expected to agree that NATO members should spend 5% of their economic output – or Gross Domestic Product (GDP) – on core defence and broader defence and security-related investments.

    That’s a hefty increase on the current goal of 2%, which was approved at an alliance summit in Wales in 2014. But the new target will be measured differently.

    NATO members will be expected to spend 3.5% of their GDP on core defence such as troops and weapons – the items currently covered by the old 2% target.

    They will also be expected to spend a further 1.5% of GDP on broader defence and security-related investments – such as adapting roads, bridges and ports for use by military vehicles, and on cyber-security and protecting energy pipelines.

    HOW BIG A LEAP WILL THIS BE FOR NATO COUNTRIES?

    Very big for a lot of them.

    Twenty-two of NATO’s 32 member countries spent 2% of GDP or more on defence last year.

    As a whole, alliance members spent 2.61% of NATO GDP on defence last year, according to a NATO estimate. But that number masks big differences in spending among members.

    Poland, for example, spent more than 4% of its GDP on defence, making it the biggest spender. At the other end of the spectrum, Spain spent less than 1.3%.

    WHEN ARE NATO COUNTRIES EXPECTED TO HIT THE TARGET?

    They will be expected to meet the target by 2035. The targets could also be adjusted when they are reviewed in 2029.

    HOW MUCH MORE CASH ARE WE ACTUALLY TALKING ABOUT?

    It’s hard to say exactly how much extra cash NATO members would have to spend, not least because it will depend on the size of their economies for years to come.

    Also, NATO does not currently measure spending on the new broader category of defence and security-related investments – so there is no baseline measurement to go by.

    But NATO countries spent over $1.3 trillion on core defence in 2024, up from about a trillion a decade earlier in constant 2021 prices. If NATO states had all spent 3.5% of GDP on defence last year, that would have amounted to some $1.75 trillion.

    So, hitting the new targets could eventually mean spending hundreds of billions of dollars more per year, compared with current spending.

    WHY ARE NATO COUNTRIES INCREASING SPENDING NOW?

    Russia’s continued war in Ukraine, concerns about a possible future threat from Russia, and U.S. pressure have led many European capitals to boost investment in defence and plan to increase it even further over the coming years.

    “Russia could be ready to use military force against NATO within five years,” NATO Secretary-General Mark Rutte said earlier this month.

    Europe is also preparing for the possibility that the U.S. under President Donald Trump will decide to withdraw some of its troops and capabilities from Europe.

    “America can’t be everywhere all the time, nor should we be,” U.S. Defense Secretary Pete Hegseth said earlier this month.

    WHAT WILL THE NEW MONEY BE SPENT ON?

    NATO this month agreed on new capability targets for its members – the types of troops, military units, weapons and equipment that NATO says they should possess to defend themselves and the alliance.

    Those targets are classified but Rutte said after they were approved that the alliance needed to invest more in areas including “air defence, fighter jets, tanks, drones, personnel, logistics and so much more”.

    IS EVERYONE ON BOARD?

    Not quite. Spanish Prime Minister Pedro Sanchez says his country can meet its military capability targets by spending just 2.1% of GDP.

    His government approved the draft summit statement with the new spending target but made clear it does not intend to spend that much. NATO officials say Sanchez does not have an opt-out – Spain’s spending will be tracked and if it’s not investing enough to meet the military targets, it will need to improve.

    Some countries that have signed up to the targets may also not meet them, diplomats and analysts expect. But publicly, they have insisted they are committed.

    WHERE WILL THE MONEY COME FROM?

    Every NATO country will decide on its own where to find the cash to invest more in defence and how to allocate it.

    The European Union has moved to try to make it easier for capitals to spend on defence.

    The EU is allowing members to raise defence spending by 1.5% of GDP each year for four years without any disciplinary steps that would normally kick in once a national deficit is above 3% of GDP.

    EU ministers last month also approved the creation of a 150-billion-euro arms fund using joint EU borrowing to give loans to European countries for joint defence projects.

    Some European countries are pushing for EU joint borrowing to fund grants – rather than loans – for defence spending. But they have met resistance from fiscally conservative countries including Germany and The Netherlands.

    HOW DOES THE NATO TARGET COMPARE TO OTHER COUNTRIES’ DEFENCE SPENDING?

    NATO allies dedicate a much smaller share of their economic output to defence than Russia but, taken together, they spend significantly more cash than Moscow.

    Russia’s military spending rose by 38% in 2024, reaching an estimated $149 billion and 7.1% of GDP, according to the Stockholm International Peace Research Institute.

    China, the world’s second-largest military spender, dedicated an estimated 1.7% of GDP to military expenditure last year, according to SIPRI.

    HOW DOES DEFENCE SPENDING COMPARE TO GOVERNMENT SPENDING IN OTHER AREAS?

    In NATO countries, defence tends to make up a small portion of national budgets.

    Military spending accounted for 3.2% of government spending in Italy, 3.6% in France and 8.5% in Poland in 2023, according to SIPRI data. In Russia that year, military expenditure made up nearly 19% of government spending.

    (Reuters)

  • MIL-OSI United Kingdom: Home testing kits for lifesaving checks against cervical cancer

    Source: United Kingdom – Executive Government & Departments 2

    Press release

    Home testing kits for lifesaving checks against cervical cancer

    Government to offer home-testing kits as part of the cervical screening programme under its upcoming 10 Year Health Plan.

    • Under screened women to be offered convenient HPV self-sampling kits under new 10 Year Health Plan 
    • Home kits offered to those who have missed their invite, making care more convenient and supporting our shift from treatment to prevention
    • New initiative builds on NHS’ personalised approach to cervical screening

    Women and people with a cervix* across England who haven’t come forward for vital health checks will be offered home-testing kits as part of the cervical screening programme under the upcoming 10 Year Health Plan.

    The ground-breaking initiative aims to revolutionise cervical cancer prevention rates by tackling deeply entrenched barriers that keep some women away from potentially life-saving screenings, including a fear of discomfort, embarrassment, cultural sensitivities and the struggle to find time for medical appointments.  

    Women who have rarely or have never attended their cervical screening will be offered a self-sample kit to complete at home. They are then sent out in discreet packaging and returned via pre-paid mail in the local post box.  

    Participation in cervical cancer screening currently sits at just 68.8% – well below the NHS England target of 80%. This means over 5 million women in England are not up to date with their routine check-up**. But experts believe this targeted approach could increase participation in the screening programme that saves approximately 5000 lives a year across England.   

    The initiative is part of the government’s upcoming 10 Year Health Plan – due to be published in the coming weeks – which sets out how government plans to tackle the challenges facing the health service and build an NHS that is fit for the future by doing more to prevent ill health in the first place.

    Health and Social Care Secretary Wes Streeting said:   

    These self-sampling kits represent healthcare that works around people’s lives, not the other way around. They put women firmly in control of their own health, ensuring we catch more cancers at their earliest, most treatable stages.

    Our 10 Year Health Plan will fundamentally reform the NHS, shifting focus from treating illness to preventing it before it starts.

    We know the earlier cancer is diagnosed the better the chances are of survival. By making screening more convenient, we’re tackling the barriers that keep millions of women from potentially life-saving tests.

    The self-testing kits, which detect human papillomavirus (HPV), a group of viruses that can lead to cervical cancer, allow women to carry out this testing in the privacy and convenience of their own homes.  

    Michelle Kane, NHS Director of Screening, said:

    There are a number of reasons that stop some women taking up the offer of screening and we hope the introduction of self-testing will encourage more women to take up this life-saving test in a way that works for them.

    I’d encourage anyone who gets an invite for a cervical screening, either from their local GP practice or the NHS App, to attend and if you have any worrying symptoms, please contact your GP. It could save your life.

    The programme specifically targets those groups consistently missing vital appointments, with younger women, ethnic minority communities facing cultural hurdles, people with a disability and LGBT+ people all set to benefit. 

    Anyone testing positive for HPV through self-sampling will be encouraged to attend a clinician-taken follow-up cervical screening test to check for cervical cell changes. 

    Athena Lamnisos, Chief Executive, Eve Appeal, said:

    There are so many different reasons why those who are eligible aren’t responding to their cervical screening invitation letter.

    HPV self-testing will be a step change for some. Being able to do the test in their own time and following simple instructions is what many people want and need. Ensuring that the under-screened and never screened know about this new test is vital for Eve.

    As the leading gynae cancer prevention charity, we know how vital it is to address health inequalities and make sure that everyone knows that this test is available to them and why it’s important.

    Michelle Mitchell, Chief Executive of Cancer Research UK, said: 

    Screening is a powerful tool to prevent cervical cancer and save lives, but we know it isn’t always easy for everyone to take part. For some, the test may seem uncomfortable, embarrassing, or simply hard to fit into their lives. That’s why we welcome the UK government’s decision to roll out cervical cancer home screening kits in England – to help remove barriers and make cervical screening more accessible.

    The gold standard way to test for HPV is still a sample taken by a clinician and this will be suitable for most people. But beating cervical cancer means beating it for everyone, and this move helps to bring us closer to that goal.  It’s important to remember that cervical screening is for people without symptoms so, if you notice any unusual changes for you, do not wait for a screening invitation – speak to your doctor.

    This approach builds on the NHS’ recent announcement to make cervical cancer screening more personalised. From July, women aged 25-49 who test negative for HPV in a clinician-taken test will be invited for their next test in five years, rather than three, following a recommendation by the UK National Screening Committee. The programme is in line with major clinical evidence that shows if a person tests negative for HPV they are extremely unlikely to go on to develop cervical cancer within the next decade. Anyone whose sample indicates the presence of HPV will continue to be invited to more frequent screenings.  

    Digital invitations and reminders for cervical screening were also recently rolled out as part of the NHS App’s ‘ping and book’ service to make screenings even more convenient, boost uptake and save lives.  

    Through our Plan for Change, the government is cutting waiting times for cancer patients with 99,000 extra patients having had cancer diagnosed or ruled out since July than in the previous year. In February, the highest ever proportion of patients had a diagnosis or an all clear within four weeks.

    Dr Anita Lim, Chief Investigator of the YouScreen trial and Visiting Senior Research Fellow, King’s College London:

    This is a significant step forward for cervical cancer prevention and brings us closer to the NHS goal of eliminating the disease by 2040. The YouScreen trial, which provided self-sampling HPV kits to under-screen women in London, demonstrated that self-sampling could reach people who find it difficult to attend traditional screening – including those from diverse and underserved populations.

    It’s hugely positive to see this now reflected in national policy, helping more people get protected from this highly preventable cancer.

    Gem, who was diagnosed with cervical cancer in 2015, said:

    My cervical cancer was picked up during a routine screening by my GP. I was referred for surgery to remove the cancer cells, as well as lymph nodes from my abdomen and pelvis.

    It took me about six weeks to recover, and because it was caught early and hadn’t spread, I was told at my follow-up appointment that I was cancer-free and didn’t require further treatment.

    I’ve been cancer-free for years now, but I still live with the aftermath of my diagnosis. I hope that one day we live in a world where cervical cancer is eliminated. With advances in vaccines and screening, I believe that day is getting ever closer.

    For many, though, there are barriers to attending screening. Our everyday lives are busy juggling jobs, family life, and more, which can make attending appointments difficult. But feelings of embarrassment, fear, or unease can also prevent people from going.

    Making it easier for people to access screening they can do at home removes some of those barriers and will, I’m sure, save lives.

    If I hadn’t attended screening when I did, I’m certain I would have been facing a very different outcome. I will always be thankful that I went when I did and now try to use my experience to help others.

    ENDS  

    Updates to this page

    Published 24 June 2025

    MIL OSI United Kingdom

  • MIL-OSI Security: Two arrested in Hounslow stabbing murder investigation

    Source: United Kingdom London Metropolitan Police

    Detectives investigating the murder of a man in Hounslow have arrested two men.

    Police were called at 14:21hrs on Sunday, 22 June to reports of a stabbing in Hanworth Road, near the junction with School Road.

    Officers responded with paramedics from the London Ambulance Service.

    A 22-year-old man was treated for stab wounds before being taken to hospital where he sadly later died. His next of kin are being supported by specialist officers.

    Two men, aged 27 and 37, were arrested on suspicion of murder on Monday, 23 June.

    They remain in custody for questioning.

    Superintendent James Rawlinson from the local neighbourhood policing team, said:

    “We are aware of the effect this horrendous incident has had on the local community, and have designated officers on reassurance patrols, to answer questions that you may have.

    “Residents will continue to see increased police presence whilst this investigation remains ongoing.

    “I encourage anyone who has information but may not have contacted police yet to get in touch and assist with this investigation.

    “If you think you might have caught any dash cam or mobile phone footage, please upload it here.

    “Please rest assured we are working at pace on this investigation, which is ongoing.

    “As is stands, we maintain that though the incident took place outside the Hounslow Muslim Centre, there is nothing to suggest a link to the venue.

    “Our thoughts, as always, remain with the family and friends of the victim at this incredibly difficult time.”

    Anyone who can assist the investigation team is asked to call 101 quoting 4387/22Jun or contact the independent charity Crimestoppers on 0800 555 111 to remain anonymous.

    MIL Security OSI

  • MIL-OSI: Bitget and Saturnia Design to Host Bitget Elite Day in Budapest, Exploring the Future of Blockchain and User-Centric Innovation

    Source: GlobeNewswire (MIL-OSI)

    BUDAPEST, Hungary, June 24, 2025 (GLOBE NEWSWIRE) — Bitget, the leading cryptocurrency exchange and Web3 company is partnering with Saturnia Design, an acclaimed product design studio, to host Bitget Elite Day—a high-impact event bringing together key voices from Europe’s blockchain and crypto space. The event will take place at one of Budapest’s most iconic historical landmarks – Fisherman’s Bastion, on June 27, 2025.

    Set against the backdrop of a rapidly evolving market,the event will explore a bold and timely question: “Will crypto still exist in 10 years – and can blockchain survive without it?” The event aims to spark high-level dialogue on the future of blockchain technology beyond the price charts—examining how regulation, innovation, and product design can shape the next chapter of the Web3 movement.

    The panel, moderated by Mike Vitez, Co-Founder of Saturnia Design, will feature respected figures from the European blockchain space, including policy experts, founders, technologists, and Bitget’s own leadership. This diverse lineup reflects the growing maturity of Europe’s blockchain ecosystem.The conversation will focus on blockchain’s long-term value, how it can evolve beyond speculation, and what builders must do to ensure lasting adoption.

    “User experience is at the heart of meaningful adoption,” said Vugar Usi Zade, COO of Bitget. “Bitget is built to scale, but we’re also built to be understood. As crypto reaches a wider audience, clarity and usability become essential. Bitget Elite Day is our way of contributing to that evolution—bringing together the voices and minds shaping Web3 in Europe,” he added.

    Bitget’s collaboration with Saturnia Design reflects this shared commitment to human-centered innovation. Known for translating complex blockchain products into intuitive, accessible interfaces, Saturnia has supported over 50 projects globally and is deeply rooted in Hungary’s fast-growing Web3 ecosystem.

    “The future of crypto depends on trust, and trust begins with clarity,” said Mike Vitez, Co-Founder of Saturnia Design. “By co-hosting this event with Bitget, we want to open up space for thoughtful, honest discussion—and help shape an industry where product design plays a key role in how value is created and sustained,” added Vitez.

    Bitget Elite Day reinforces Bitget’s broader strategy of expanding its presence across Europe, not just through growth, but by investing in dialogue, community, and product quality. The event is set to be a landmark moment for bringing product thinking, policy insight, and user experience into one room—where the future of blockchain can be discussed on its own terms. It is a rare opportunity to engage with Europe’s leading crypto minds in an elegant rooftop setting—where sharp insights, refined conversation, and complimentary drinks come together to shape the future of Web3.

    About Bitget

    Established in 2018, Bitget is the world’s leading cryptocurrency exchange and Web3 company. Serving over 120 million users in 150+ countries and regions, the Bitget exchange is committed to helping users trade smarter with its pioneering copy trading feature and other trading solutions, while offering real-time access to Bitcoin price, Ethereum price, and other cryptocurrency prices. Formerly known as BitKeep, Bitget Wallet is a world-class multi-chain crypto wallet that offers an array of comprehensive Web3 solutions and features including wallet functionality, token swap, NFT Marketplace, DApp browser, and more.
    Bitget is at the forefront of driving crypto adoption through strategic partnerships, such as its role as the Official Crypto Partner of the World’s Top Football League, LALIGA, in EASTERN, SEA and LATAM market, as well as a global partner of Turkish National athletes Buse Tosun Çavuşoğlu (Wrestling world champion), Samet Gümüş (Boxing gold medalist) and İlkin Aydın (Volleyball national team), to inspire the global community to embrace the future of cryptocurrency.

    For more information, visit: Website | Twitter | Telegram | LinkedIn | Discord | Bitget Wallet
    For media inquiries, please contact: media@bitget.com

    About Saturnia Design

    Saturnia Design is an independent design studio working closely with Web3 teams to build clear, functional, and thoughtful digital products. Founded by Reka Szijj and Mike Vitez, the studio has shaped over 50 products across three continents, always focusing on strong foundations, real user needs, and close collaboration. In a space often defined by speed and noise, Saturnia offers structure and clarity — helping founders translate complex ideas into interfaces that feel simple, even when simple and natural. Their work spans early-stage validation, UX/UI design, and iterative product refinement across DeFi, crypto tooling, and infrastructure — supporting the teams building what comes next.

    For more information, visit: Website | Twitter

    Risk Warning: Digital asset prices may fluctuate and experience price volatility. Only invest what you can afford to lose. The value of your investment may be impacted and it is possible that you may not achieve your financial goals or be able to recover your principal investment. You should always seek independent financial advice and consider your own financial experience and financial standing. Past performance is not a reliable measure of future performance. Bitget shall not be liable for any losses you may incur. Nothing here shall be construed as financial advice.

    A photo accompanying this announcement is available at https://www.globenewswire.com/NewsRoom/AttachmentNg/44df31cf-8d08-446f-a2c3-3ae5c3b327bf

    The MIL Network