Stay in the know
We’ll send you the latest insights and briefings tailored to your needs
On 3 April 2020, the European Commission adopted the first amendment to its Temporary Framework on the application of EU State aid rules in the context of the COVID-19 outbreak (the original version of which is covered in more detail in our previous article.
The amendment allows further liquidity support measures (tax / social security contribution deferrals), additional wage subsidies to protect employment and measures designed to accelerate the R&D, testing and production of products necessary to fight COVID-19 (such as vaccines, medical equipment, protective material, or disinfectants).
As a general point, the Temporary Framework does not provide an exemption from the requirement for Member States to notify State aid measures and obtain Commission approval. It does, however, set out certain types of measures that the Commission will consider as “compatible with the internal market” and should be able to approve very rapidly upon notification. Indeed, since the adoption of the Temporary Framework on 19 March 2020, over 40 “aid schemes” notified by a variety of Member States have been approved by the Commission.
The amendment extends the Temporary Framework by providing for five additional types of aid measures: 2 types of measures that seek to support those businesses that are particularly affected by COVID-19 and 3 types of measures supporting the development of products to fight COVID-19, namely:
In addition to introducing new measures, the amendment also further relaxes / clarifies the liquidity support measures covered in the original Temporary Framework. In particular, the liquidity support aid of up to €800,000 per undertaking can now also be granted in the form of guarantees on loans covering 100% of the risk, zero-interest loans, or equity (in addition to direct grants, tax and payment advantages and repayable advances covered previously).
It should be noted that like the liquidity support measures under the original Temporary Framework, the first two categories of measures above – the tax / social security contribution deferrals and wage subsidies – are approved under the less common legal basis of Article 107(3)(b) TFEU (aid to remedy serious disturbance in the economy of a Member State).
In contrast, the three categories of measures supporting products to combat COVID-19 fall within the much more familiar and orthodox legal basis of Article 107(3)(c) TFEU (aid for development of certain economic activities or areas). In line with how the compatibility assessment is generally approached under Article 107(3)(c), these measures use the well-known concepts of incentive effect, eligible costs and aid intensities. That said, the substance of the measures remains unusual, which is, of course, understandable given the circumstances. In particular:
The contents of this publication are for reference purposes only and may not be current as at the date of accessing this publication. They do not constitute legal advice and should not be relied upon as such. Specific legal advice about your specific circumstances should always be sought separately before taking any action based on this publication.
© Herbert Smith Freehills 2024
We’ll send you the latest insights and briefings tailored to your needs