The European Commission’s proposal to revise how emissions are calculated for imported electricity under the Carbon Border Adjustment Mechanism represents one of the most consequential regulatory shifts yet for non-EU power exporters. For Serbia, whose electricity system sits at the intersection of coal legacy, large hydro assets and emerging renewables, the change fundamentally alters how its power exports will be priced, verified and perceived by EU markets starting 1 January 2026.
Until now, CBAM treatment of imported electricity has been based on an assumption that has worked systematically against countries like Serbia. Default emission values were effectively anchored to fossil-fuel benchmarks, regardless of whether the exporting system included substantial low-carbon generation. In practice, this meant that Serbian electricity exported to the EU was treated as if it were predominantly coal-based, even though hydro generation has long accounted for a significant share of domestic output and exports during certain periods of the year. The result was a carbon cost disconnected from physical reality.
The Commission now openly acknowledges this distortion. In its proposal, it states that existing rules do not adequately reflect decarbonisation efforts outside the EU and that the methodology must change. The implications for Serbia are immediate, technical and strategic.
At the core of the reform is a shift in how default emission factors are calculated. Instead of relying on emission factors derived only from fossil-fuel generation, future default values would be based on the overall emission intensity of all electricity generation sources in the exporting country. For Serbia, this is a structural reclassification rather than a marginal adjustment. The country’s electricity mix combines lignite-fired thermal plants with a substantial hydro fleet and a growing base of wind and solar capacity. While lignite remains dominant in marginal dispatch, the system-average carbon intensity is meaningfully lower than a pure coal benchmark.
Once the revised methodology applies, Serbian electricity exports that rely on default values will no longer be treated as fully fossil-based. Instead, they will be assessed against a national average that reflects hydro, renewables and thermal generation combined. This alone reduces CBAM exposure per exported megawatt-hour, even before any additional reporting or verification effort is made.
For electricity traders and utilities, this matters because CBAM costs are directly embedded into cross-border power pricing. Lower assumed emissions translate into lower carbon costs, improving price competitiveness of Serbian exports into neighbouring EU markets. In a region where price spreads are often narrow and driven by marginal differences, this methodological correction has real commercial impact.
However, the more profound change lies not in the revised default values, but in the Commission’s decision to relax and adjust the conditions for reporting actual emissions from electricity. Under the existing CBAM framework, using actual emission data has been theoretically possible but practically inaccessible for most non-EU exporters. The requirements around tracing electricity flows, attributing generation sources, aligning dispatch data and securing EU-acceptable verification have created a barrier so high that default values were, in effect, unavoidable.
The proposal explicitly aims to change that. By making recourse to actual emission data easier in practice, the Commission is opening the door to differentiated treatment of electricity exports based on verifiable carbon performance. For Serbia, this introduces a completely new dimension to power exports: segmentation.
Instead of all exported electricity being treated uniformly, Serbia can now credibly distinguish between different categories of power. System-average exports can rely on improved default values. Hydro-backed or renewable-backed exports can be supported by actual emissions data approaching zero. Electricity supplied under specific contracts to export-oriented industrial facilities can be documented as low-carbon input electricity, reducing CBAM exposure not only for power exporters but also for Serbian manufacturers selling goods into the EU.
This shift transforms electricity from a passive CBAM cost into an active CBAM mitigation instrument.
The implications for Elektroprivreda Srbije and Serbian power traders are substantial. Under the old logic, there was little incentive to invest in granular emissions accounting for electricity exports, because the regulatory payoff was uncertain and the administrative burden excessive. Under the new regime, credible emissions data becomes an economic asset. Hydro plants, renewable portfolios and clean dispatch periods gain direct monetary relevance in cross-border trade.
Seasonality plays an important role here. Serbia’s hydro generation peaks during spring and early summer, coinciding with periods when electricity exports to the EU often increase. Under the revised CBAM approach, these export windows can be monetised more effectively if actual emissions data is available and accepted. Instead of being averaged out or ignored, clean generation becomes visible in carbon accounting.
The reform also affects Serbia’s position as a regional electricity hub. Although framed as a rule for electricity imports into the EU, CBAM effectively reshapes cross-border power flows throughout South-East Europe. Serbia frequently acts as both exporter and transit country, with flows into Hungary, Romania, Bulgaria and Croatia. From 2026 onward, lower default emission factors and the possibility of using actual data will influence dispatch decisions, trading strategies and even congestion management outcomes.
For industrial exporters, the implications are equally important. Serbian producers of CBAM-covered goods such as steel, aluminium, cement and chemicals face carbon costs not only from their direct process emissions but also from the electricity they consume. If electricity supplied to these facilities can be documented as low-carbon under the revised CBAM electricity rules, the embedded emissions of exported goods decline accordingly. This directly improves competitiveness of Serbian industrial exports into the EU.
In this sense, electricity decarbonisation and electricity data governance become part of industrial policy rather than purely energy policy. The reform aligns incentives across sectors: cleaner electricity supports cleaner exports, and cleaner exports face lower CBAM liabilities.
None of this happens automatically. The Commission’s proposal creates opportunity, but capturing it requires institutional readiness. Serbia will need to establish credible national electricity emission factors that EU importers and verifiers are willing to accept. Grid-level emissions data must be transparent, consistent and auditable. Hourly or sub-hourly generation tracking will be required at least for major hydro and renewable plants. Independent third-party verification aligned with EU expectations becomes essential.
Without these elements, Serbian exporters will continue to rely on default values, even if those defaults are improved. The real upside lies in moving beyond defaults altogether.
There is also a timing dimension that should not be underestimated. The revised rules apply to electricity imported as of 1 January 2026. That leaves a limited window for regulatory alignment, technical preparation and market communication. Countries that are ready early will shape how EU traders, utilities and banks interpret and price electricity carbon risk. Those that are late will be assessed conservatively, regardless of their actual generation mix.
For Serbia, the reform quietly reinforces a strategic truth that has often been overlooked. The country is not simply a coal-heavy legacy producer facing inevitable CBAM penalties. It is a mixed system with meaningful low-carbon capacity, geographic relevance and export optionality. Under the old CBAM electricity rules, that reality was largely invisible. Under the new proposal, it becomes actionable.
This does not eliminate CBAM risk for Serbia. Lignite remains a dominant part of the system, and marginal emissions will continue to matter. But the regulatory lens is finally being adjusted to reflect system reality rather than worst-case assumptions. That alone reshapes the economic calculus.
From 2026 onward, electricity exports from Serbia will no longer be judged solely by what they are not — an EU-compliant system — but increasingly by what they actually are. Whether that regulatory correction translates into sustained economic advantage depends less on Brussels and more on Belgrade: on data, verification, governance and the willingness to treat electricity transparency as strategic infrastructure.
Elevated by cbam.engineer

