Chiffres des marchés de l’électromobilité - Avril 2026
04 mai 2026
Le mardi 23 juin 2026 se tiendra la 14ème édition du Colloque de l'Union Française de l'Electricité à Paris !
Je participe
2035: a milestone that cannot be compromised. As sectors powering the shift to decarbonised mobility, we call on the French and European decision-makers to preserve the CO₂ Standards for cars and vans in full. The upcoming review must safeguard the regulation and its milestones; any attempt to dilute the targets would threaten Europe’s path to climate neutrality in transport[1].
European institutions must stay the course. A clear, ambitious and predictable regulatory framework for the CO₂ standards is the only way to secure Europe’s industrial leadership and competitiveness, ensure the EU’s energy sovereignty and achieve our climate commitments. While Europe hesitates, other major economies move swiftly toward electrification: China achieved 47% EV market share in total while the EU stands at 24%. More recently, EV sales represented 42% of the market share in Vietnam and 30% in China (H1 2025)[2].
Backtracking would undermine Europe’s climate credibility and weaken its position in the global automotive market. Maintaining the 2035 target sends a strong and necessary signal that Europe intends to lead the electric future while protecting its industrial and energy interests.
The CO₂ standards regulation has proven to be one of the EU’s most effective tools to decarbonise the light vehicle fleet, providing the regulatory certainty needed for the industry to confidently invest in the development of zero-emission vehicles (ZEVs). This framework has already delivered tangible results: according to the European Environment Agency (EEA), CO₂ emissions from new passenger cars fell by 28% between 2019 and 2023, largely driven by the surge in electric vehicle sales. Battery electric vehicle (BEV) registrations grew by 34% in the first half of 2025 compared to the same period in 2024[3].
Rolling back on these commitments would not only halt this progress but also severely undermine industry confidence, jeopardising years of investment planning for the whole electromobility ecosystem. Between 2021 and 2023 €265 billion of investments in EV, battery and charging investments were announced[4]. The 2020 target itself triggered €60 billion of EV value-chain investment in Europe in 2019[5].
We also urge the Commission not to include additional flexibilities, such as on multi-years averages for target compliance. Such flexibilities would allow more high-emitting vehicles on the road and weaken the decarbonisation pathway. Instead, the regulatory framework should prioritise the deployment of electric vans, which already represent the most cost-effective option for consumers[6].
Investments must prioritise BEVs, which are most efficient technology in terms of GHG emissions reduction[7], air pollution mitigation, energy efficiency, and costs for the consumers and the energy system[8]. For instance, e-fuel vehicles require four times more primary energy than BEVs to travel the same distance[9], and PHEVs emit on average 73% more GHG emissions than BEVs over their full life cycle[10]. In this context, reopening the Regulation in terms of the technologies for the decarbonisation of light vehicles would go against the latest technical and economical analysis.
Insufficient demand in BEVs remains a barrier to fleet electrification, mainly due to high upfront costs for households. Ambitious supply-side regulation must be accompanied by measures to support demand and ensure affordability, especially for low-income households. In France, for instance, social leasing significantly contributed to reaching a new record in EVs market share in October 2025, standing at 24%[11].
To boost BEV demand, we call for:
Europe cannot afford delay or hesitation. Keeping the 2035 target intact is the only way to stay competitive, sovereign and credible.
Press contact: The Union of the French Electricity
Rudy Cluzel – Deputy Delegate General | Public Affairs and Communication – rudy.cluzel@ufe-electricite.fr – +33 (0) 6 58 22 96 14
Déclaration en amont de la révision des normes de CO₂ des voitures et camionnettes par la Commission européenne
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