Erhvervsudvalget 2021-22
L 199
Offentligt
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Unit C2 – Public Procurement
[email protected]
Date: 6. juli 2021
Case: OK-21/06684-4
Ref: /paj
Questions regarding the use of labels in public procurement
The Danish Government has launched a new strategy "Green Procurement
for a Green Future - Strategy for green public procurement”. According to
the strategy, a greener public procurement shall contribute to achieving the
target of reducing Denmark's greenhouse gas emissions by 70 per cent in
2030. As part of the strategy, it will be mandatory for government procure-
ment officers to choose eco-labelled products for some product groups.
Against this background, we have a few questions regarding the interpre-
tation of article 43(1)(a) of Directive 2014/24/EU. We hope that you can
elaborate on and possibly clarify the meaning of the conditions in question.
It is our understanding that article 43(1)(a) contains two cumulative condi-
tions for label requirements. 1) the label requirements must be linked to the
subject-matter of the contract (hereafter the first condition) and 2) the label
requirements must be appropriate to define characteristics of the works,
supplies or services that are the subject-matter of the contract (hereafter the
second condition).
In respect of 2), it is our understanding that “label requirements appropriate
to define characteristics” can be understood in the same way as technical
specifications under article 42(1) i.e. that the technical specification shall
lay down the characteristics required of a works, service or supply.
This gives rise to the following questions:
1) Does the Commission agree that label requirements under article
43(1)(a) may contain criteria as defined in article 42 regarding tech-
nical specifications? And in that case:
a) May label requirements also include criteria referring to the spe-
cific process or method of production or provision of the requested
works, supplies or services or to a specific process for another
stage of its life cycle even where such factors do not form part of
their material substance provided that they are linked to the sub-
ject-matter of the contract and proportionate to its value and its
objectives, cf. the definition in article 42?
Danish Competition and
Consumer Authority
Carl Jacobsens Vej 35
DK-2500 Valby
Tlf.
+45 41 71 50 00
CVR-nr. 10 29 48 19
EAN-nr. 5798000018006
[email protected]
www.kfst.dk
MINISTRY OF INDUSTRY, BUSINESS
AND FINANCIAL AFFAIRS
L 199 - 2021-22 - Endeligt svar på spørgsmål 32: Spm. om at oversende Konkurrence- og Forbrugerstyrelsens spørgsmål om anvendelsen af miljømærker som krav i offentlige udbud og Kommissionens besvarelser af disse, til erhvervsministeren
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or
b) Shall requirements that are “appropriate to define characteristics”
instead be understood as requirements only concerning the “mate-
rial substance” of the work, product or service?
2) Does the second condition in article 43(1)(a) mean that labels must
only contain criteria consistent with the definition of technical specifi-
cations in article 42?
3) If “no” to question 2, what is then the implication of the second con-
dition in article 43(1)(a)? That is, how is “appropriate to define char-
acteristics” to be understood and how does the effect from the second
condition differ from the resulting effect of the first condition? And
can you provide us with some examples of label requirements con-
sistent with the second condition but which are not technical specifi-
cations as defined in article 42?
4) If “yes” to question 2:
a) Does that mean that label requirements may include criteria re-
garding for example the CO2 emission in the production process,
but not certain social criteria such as wage levels of production
workers or workers safety measures?
b) In this case, how should the reference to specific environmental,
social or other characteristics and the permission to require spe-
cific labels in either the technical specifications, the award criteria
or the contract performance conditions in article 43 be under-
stood?
We will be looking forward to hear your answers to the above-mentioned
questions.
Thank you in advance.
Yours sincerely
Mette Rose Skaksen
Deputy Director General
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