As part of operating the EU ETS Registry and the Lithuanian Emission Trading Registry, also in accordance to Article 44-48 of the Decision 13/CMP.1 Annex E, the Environmental Projects Management Agency under the Ministry of Environment of the Republic of Lithuania is obliged to make the following non-confidential information publicly available:
📌 13/CMP.1 Annex II paragraph 45 – the information concerning the accounts opened in Lithuanian Emission Trading Registry, account types, account holders and contact persons is displayed in the tables below:
All information held in the Lithuanian part of the Emission Trading Registry, including the holdings of all accounts and all transactions made, is considered confidential for any purpose other than the implementation of the requirements of the European Registry Regulation 389/2013 and (EU) 2019/1122.
📌 13/CMP.1 Annex II paragraph 46 – the information concerning Joint Implementation (JI) projects registered in the EU ETS Registry is listed bellow:
|Title of the Project||Reference to Project Related Information|
|Rudaiciai Wind Power Park Project||Official UNFCCC information|
|Benaiciai Wind Power Project||Official UNFCCC information|
|Nitrous Oxide Reduction Project at GP Nitric Acid Plant in AB Achema Fertilizer Factory||Official UNFCCC information|
|Sudenai and Lendimai Wind Power Joint Implementation Project||Official UNFCCC information|
|Lapes Landfill Gas Utilization and Energy Generation||Official UNFCCC information|
|Achema UKL-7 Plant N2O Abatement Project (0089)||Official UNFCCC information|
|Liepynes Wind Power Park Joint Implementation Project||Official UNFCCC information|
Currently, no Article 6 (Joint Implementation) project is reported as conversion to an Emission Reduction Unit (ERUs) under Article 6 project.
Registered Joint Implementation (JI) projects:
In accordance with the requirements of Annex A to Decision 13/CMP.1, all information about Article 6 projects, which received ERUs during the years 2008-2011, can be found in the table below:
📌 13/CMP.1 Annex II paragraph 47 – the information concerning Lithuania’s assigned amount, Kyoto Protocol units and EUAs held in the accounts as well as transactions performed with Kyoto Protocol units is available in the Standard Electronic Format (SEF):
Overview of the 1st Commitment Period 2008-2012
📌 13/CMP.1 Annex II paragraph 48 – the information on legal entities authorized by the Party to hold ERUs, CERs, AAUs and/or RMUs under its responsibility:
Information regarding annual verified emissions and surrendered EAU equal to or greater than its verified emissions as pursuant to Article 12(2a) of Directive 2003/87/EC:
For more information, please refer to the EUTL website.
Concerning the publication of confidential information, all information held in the Lithuanian Emission Trading Registry, including the holdings of all accounts and all transactions made, shall be considered confidential for any purpose other than the implementation of the requirements of the European Registry Regulation 389/2013 and (EU) 2019/1122.
Concerning the processing of information and personal data, Article 107 of the European Registry Regulation 389/2013 stipulates:
1. The central administrator and Member States shall ensure that the Union Registry, the EUTL and other KP registries only store and process the information concerning the accounts, account holders and account representatives as set out in Table III-I of Annex III, Tables VI-I and VI-II of Annex VI, Table VII-I of Annex VII and Table VIII-I of Annex VIII.
2. No special categories of data as defined in Article 8 of Directive 95/46/EC and Article 10 of Regulation (EC) No. 45/2001 shall be recorded in the Union Registry, the EUTL or other KP registries.
3. The central administrator and Member States shall ensure that only personal data related to transactions that transfer Kyoto units are transferred to the ITL.
INFORMATION ON PROCESSING PERSONAL DATA
Since the General Data Protection Regulation (GDPR) came into force on 25th May 2018, the Environmental Project Management Agency under the Ministry of Environment of the Republic of Lithuania is obliged to ensure better protection of the personal information of individuals having access to the Lithuanian Emission Trading Registry.
📌 What is important to know about the storage and management of personal data?
Performing the functions delegated by the legislation, the Environmental Project Management Agency processes personal data mainly for the purpose of opening a new account and updating the account information. More detailed information on what personal data is collected, registered and processed is accessible here.
Personal data, as defined by the GDPR legislation, will be retained for five years after the Union Registry has no more business relation with the natural person. After five years, this data will be stored in a form that is accessible only to the central administrator of the Union Registry and can be used only for crime investigation purposes. After this extended period of time, the personal data will be removed from the Union Registry.
However, if account holders wish to make their contact information (telephone numbers and the email address) public, they must submit the national administrator a request. This data will then be published on the public website of the EUTL.
Additional information is available in the European Commission’s specific Privacy statement for users of the EU ETS Registry.
GENERAL REQUIREMENTS FOR THE SUBMISSION OF DOCUMENTS
Documents must be submitted by electronic communication means (signed with a valid e-signature) allowing identifying the provider of the registry data and ensuring the protection of the text of the documents or submitted directly to the headquarters of the Environmental Projects Management Agency, by ordinary or registered mail.
📌 Contact details for the Lithuanian Emission Trading Registry:
The Environmental Projects Management Agency
Labdarių str. 3
01120 Vilnius, Lithuania
📧 E-mail: firstname.lastname@example.org