Dokumendiregister | Siseministeerium |
Viit | 5-4/51-4 |
Registreeritud | 28.11.2024 |
Sünkroonitud | 29.11.2024 |
Liik | Sissetulev kiri |
Funktsioon | 5 EL otsustusprotsess ja rahvusvaheline koostöö |
Sari | 5-4 Rahvusvaheliste suhete ja välislepingute alane kirjavahetus (AV) |
Toimik | 5-4/2024 |
Juurdepääsupiirang | Avalik |
Juurdepääsupiirang | |
Adressaat | AIRLINES FOR EUROPE |
Saabumis/saatmisviis | AIRLINES FOR EUROPE |
Vastutaja | Janek Mägi (kantsleri juhtimisala, sisejulgeoleku asekantsleri valdkond, piirivalve- ja rändepoliitika osakond) |
Originaal | Ava uues aknas |
1
SiM info
Saatja: Sebastian Loerke <[email protected]>
Saatmisaeg: kolmapäev, 27. november 2024 17:37
Adressaat: Sebastian Loerke
Teema: Aviation industry's recommendations for a phased roll-out of the Entry/Exit System
Manused: Aviation industry's recommendations on a phased EES roll-out.pdf
TÄHELEPANU! Tegemist on väljastpoolt asutust saabunud kirjaga. Tundmatu saatja korral palume linke ja faile mitte avada!
Dear Commissioner Brunner, dear Home Affairs Ministers of the Schengen space, dear Transport Ministers,
On behalf of the trade associations representing the global aviation sector, we are hereby sharing with you our
recommendations for a successful phased implementation of the Entry/Exit System (EES).
The aviation industry strongly supports the Schengen Council’s announcement of 10 October 2024 that the
Entry/Exit System (EES) will be implemented in a phased manner. Through the attached suggestions, our
industry wishes to share its view on how to ensure the successful phased implementation of the EES.
We remain at your disposal should you wish to further discuss the attached recommendations.
Best regards,
Sebastian Loerke
SEBASTIAN LOERKE Policy Manager Tel: +32 490 42 47 95 [email protected] ································································ AIRLINES FOR EUROPE Rond-Point Schuman 6, B-1040 Brussels EU Transparency Register: 807912421050-91 www.a4e.eu
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Page 1 of 5
Phased Roll Out of the Entry/Exit System (EES)
The Aviation Industry’s Recommendations
On behalf of the trade associations representing the global aviation sector operating in
Europe, we welcome the Schengen Council’s announcement of 10 October 2024 to
implement the Entry/Exit System (EES) in a phased manner. This decision aligns with
the industry’s longstanding recommendation for a gradual EES rollout to serve the
interests of all stakeholders, including travellers, governments and the industry.
We understand that the European Commission and Member States are now developing
the framework for this approach. Given the implications of the EES for air carriers,
airports and European connectivity, the aviation industry is committed to supporting this
process. As such, this document outlines our recommendations for an effective and
successful EES implementation. Many of these recommendations have already been
shared with the Commission and Member States through written communications and
industry meetings. However, we find it timely to summarise and reiterate them at this
stage, in the hope that they can be reflected in the new framework being developed.
Executive Summary
The aviation industry is asking the European Commission and Member States to take the
following criteria into consideration for the entry into operation of the EES:
• EES central system
✓ A reliable, stable and thoroughly tested EU central system is an indispensable
prerequisite before the launch of EES.
• Phased approach
✓ Progress through the phases should only occur once the previous phase is stable
and operating smoothly.
✓ The ability to revert to earlier phases, or to pause after full rollout should be
available in case operations are compromised, i.e. precautionary measures.
✓ No phase should coincide with peak periods, such as holidays or summer, but
should instead occur during times when any disruptions can be managed
effectively by airport and airline operations.
✓ Carriers' EES-related obligations are to be effective only for the EES full rollout.
• Additional tools and innovation
✓ The App for third-country nationals will play a pivotal role in mitigating EES
impact.
✓ The optimization of border automation tools will be essential, including for transit
passengers (e.g. ABCs, technology to avoid double-verification at the border)
Page 2 of 5
1. Border Crossing Points
a) Scope, Threshold and Duration of the Phased Rollout shall be clearly defined.
The aviation industry suggests the following framework for EES rollout,
considering that biometric enrolment constitutes the major bottleneck of the
system:
Period Capture of biometric data Comments
Pre- start of
operations (test)
No capture of biometric data At selected BCP, pre-defined
time slots, and progressively
extending it to all BCP.
Start of operations Visa holders only The capture of the biometric data
of these travellers is facilitated
by the information already
captured and contained in their
visa
Increased scope 1
(6-9 months after
start)
Visa holders + list of additional
categories of TCN to be
determined
Additional categories of TCN to
be agreed by the European
Commission and the Member
States
Increased scope 2
(12-18 months
after increased
scope 1)
All TCN
Should alternative frameworks be explored, industry consider that the length of
the initial roll out of EES should be at least 12-18 months.
b) Evaluation Mechanism: An evaluation mechanism should be established,
involving the industry, to assess the effectiveness of the initial rollout, allowing
for adjustments or extensions if needed before the full rollout.
c) Additional Tools: Member States should have the flexibility to deploy additional
mechanisms during both the phased and full rollout, including:
o Fallback procedures to manage excessive waiting times at the border.
o Expanded implementation of the pre-registration app for TCN, aiming to
enrol more Member States each year (currently limited to around 3).
o Measures to avoid double-verification at the border shall be in place,
covering both manual booths and ABC gates before operations begin.
o As for the pre-registration app for TCNs, we recommend to strengthen its
functionalities by adding features that are essential for streamlining
passenger flow, such as identifying the passenger's status in advance (e.g.,
first entry or multiple entry). We also strongly encourage Member States to
make use of it as soon as possible, but in any case, before the full rollout of
the EES.
Above mechanism and tools should consistently be in place before and after the full
roll out.
Page 3 of 5
d) Minimising Burden on Member States: The rollout should minimise
administrative burdens on Member States.
e) Consolidated Information Plan: If a harmonised phased rollout is not possible
across Member States, the EU should establish a plan to provide industry with
consolidated information on each Member State’s EES implementation plan, at
least three months before the EES launch. Given the scale of EES, individual
outreach to each Member State is impractical for both industry stakeholders and
Member States.
2. Harmonization of EES Roll Out Across Member States
a) Coherent framework: The industry supports a standardised framework for
criteria, thresholds and phases, to ensure a uniform application across all
Member States, balancing the impact on entry and exit border crossings. A lack of
harmonisation will seriously jeopardize the benefits of a phased rollout.
3. Carriers Obligations
a) Temporary relief from Article 13 (3) Requirements: Until full EES
implementation, carriers should be exempt from their obligations on Article
13 (3) of Regulation (EU) 2017/2226 which mandates the use the carrier
interface to verify whether travellers who hold a short-stay visa issued for one or
two entries have already used the number of entries authorised by their visa.
However, carrier obligations stipulated in Article 26 of the CISA remain
unchanged.
b) Liability Relief: Carriers should be also exempt from liabilities associated to
EES related obligations and to the related penalties derived from the Convention
implementing the Schengen agreement (CISA) and Council Directive 2001/51/EC,
imposed by Member States according to the national law transposing this
Directive, before the full roll out.
c) Carrier Interface Testing: After the EES gradual launch and before its full roll
out, carriers and at their own initiative, should be given the possibility to keep
testing the carrier interface.
4. Communication to Travellers and Industry
a) Robust Communication Campaign: A comprehensive communication
campaign is essential for both for passengers and transport operators.
This should include signage at border crossing points and materials for carriers to
distribute to passengers. The campaign must begin at least six months prior to
the EES launch.
5. Legal Instrument for Clarity and Certainty
a) Clear Legal Framework: All elements from points 1 to 4 should be codified in a
legal instrument that will govern the phased roll out of the EES. Clarity is
essential for all stakeholders before EES implementation begins.
6. Timeline
a) Avoid Peak Periods: No phase of the EES rollout should coincide with traffic
peak periods at all destinations to minimise disruptions.
Page 4 of 5
7. Additional Pre-requisites for an Effective EES Rollout
Precautionary measures to avoid overload situations should generally continue for at
least another 12 months after full load has been reached.
a) System Stability and End-to-End Testing: Issues affecting the stability of
the central EES system and the lack of comprehensive end-to-end testing by
Member States must be resolved before any rollout.
b) Adequate Staffing at Border Crossing Points: BCPs should be sufficiently
staffed prior to the EES implementation.
c) 24/7 Carrier Support Line: The Commission and/or relevant EU agencies, must
establish a 24/7 default phone support to carriers, to be in place for the EES
full rollout. The lack of this basic functionality for carriers to assist travellers has
been consistently requested by the industry. Should it remain unaddressed, this
would be to the detriment of the traveller experience and our operations. We
hope the EES roll out will help to address it.
d) Exemption for Air Crew, including deadheading and positioning, without
Crew Member Certification: The Commission and/or Member States shall
provide, in a harmonized manner, a solution ensuring that air crew members
that do not hold a Crew Member Certificate (CMC), are not impacted at
the time of the EES full roll out.
e) ABC Availability for Eligible TCNs: The current offering of Automated
Border Control (ABC) to existing eligible TCNs, even on their first border
crossing point, shall be secured before EES is launched.
The aviation industry urges the European Commission and Member States to consider
these recommendations in their ongoing assessment and decision making regarding the
set-up of the EES phased rollout. We remain committed to supporting this process to
ensure a smooth implementation.
We strongly believe these measures will help mitigate the impact of the EES, avoiding
disruptions at border crossing points that could negatively impact European border
security, the passenger experience, the transport sector and the reputation of the
European regulators. We thank you for your continued support and commitment to
working hand in hand with the industry.
27 November 2024
Page 5 of 5
About A4A (Airlines for America) Airlines for America (A4A) advocates on behalf of its members to shape crucial policies and measures that promote safety,
security and a healthy U.S. airline industry. We work collaboratively with airlines, labor, Congress, the Administration and
other groups to improve aviation for the traveling and shipping public.
Annually, commercial aviation helps drive $1.25 trillion in U.S. economic activity and more than 10 million U.S. jobs. A4A
vigorously advocates on behalf of the American airline industry as a model of safety, customer service and environmental
responsibility and as the indispensable network that drives our nation’s economy and global competitiveness. Current members
are: Alaska Airlines, American Airlines, Atlas Air, Delta Air Lines, FedEx Express, Hawaiian Airlines, JetBlue Airlines, Southwest
Airlines, United Airlines and UPS; Associate member: Air Canada.
About A4E (Airlines for Europe)
Launched in 2016, Airlines for Europe (A4E) is Europe’s largest airline association, based in Brussels. The organisation
advocates on behalf of its members to help shape EU aviation policy to the benefit of consumers, ensuring a continued safe
and competitive air transport market. With more than 720 million passengers carried each year, A4E members account for
more than 70 per cent of the continent’s journeys, operating more than 3,000 aircraft and generating more than EUR 130
billion in annual turnover. Members with air cargo and mail activities transport more than 5 million tons of goods each year to
more than 360 destinations either by freighters or passenger aircraft. Current members include Aegean, airBaltic, Air France-
KLM Group, Cargolux, easyJet, Finnair, Icelandair, International Airlines Group (IAG), Jet2.com, Lufthansa Group, Norwegian,
Ryanair Holdings, Smartwings, TAP Air Portugal, TUI and Volotea. In 2019, A4E was named “Airline & Aviation Business
Development Organisation of the Year” by International Transport News.
About Association of Asia Pacific Airlines (AAPA)
The AAPA is the trade association for scheduled international airlines based in the Asia-Pacific region. The AAPA permanent
secretariat is headquartered in Kuala Lumpur, Malaysia with international representation in Brussels and Washington, D.C.
Collectively, the region’s airlines represent over one-third of global passenger and air cargo traffic, and thus play a leading role
in the ongoing development of global aviation.
About Airports Council International (ACI EUROPE)
ACI EUROPE is the European region of Airports Council International (ACI), the only worldwide professional association of airport operators. ACI EUROPE represents over 500 airports in 55 countries. Our members facilitate over 90% of commercial
air traffic in Europe. In response to the Climate Emergency, in June 2019 our members committed to achieving Net Zero
carbon emissions for operations under their control by 2050, without offsetting.
About the Latin American and Caribbean Air Transport Association (ALTA)
ALTA is a non-profit organization dedicated to helping the air transport industry in Latin America and the Caribbean. We
collaborate with governments to make air travel safer, more efficient, and eco-friendly. We promote teamwork to benefit the
entire region, such as boosting the economy, creating jobs, improving connectivity, and supporting social growth. Our member
airlines carry over 80% of passengers in the region, highlighting aviation's crucial role in the region's development.
About IATA (International Air Transport Association)
The International Air Transport Association (IATA) is the trade association for the world’s airlines, representing some 330
airlines or 80% of total air traffic. We support many areas of aviation activity and help formulate industry policy on critical
aviation issues.
About the National Airlines Council of Canada (NACC)
The National Airlines Council of Canada represents Canada’s largest national and international passenger air carriers: Air
Canada, Air Transat, Jazz Aviation LP and WestJet. It promotes safe, sustainable, accessible and competitive air travel by
advocating for the development of policies, regulations and legislation to foster a world-class transportation system. Pre-
pandemic our members collectively carried over 80 million passengers annually, directly employed over 60,000 people and
served as a critical component of Canada’s overall air transport and tourism sector, which supported more than 630,000 jobs
Nimi | K.p. | Δ | Viit | Tüüp | Org | Osapooled |
---|---|---|---|---|---|---|
Urgent recommendations for the successful implementation of the EES | 25.09.2024 | 1 | 5-4/51-3 | Sissetulev kiri | sisemin | AIRLINES FOR EUROPE |
Declaration of Readiness for the entry into operation of the EES | 26.07.2024 | 3 | 5-4/64-1 🔒 | Sissetulev kiri | sisemin | Eesti alaline esindus Euroopa Liidu juures |
Preparations for the launch of the Entry/Exit System - Transport Industry Statement: Urgent Action Needed ahead of the EES Implementation | 02.07.2024 | 1 | 5-4/51-2 | Sissetulev kiri | sisemin | AIRLINES FOR EUROPE |
Growing Concerns Regarding Entry/Exit System (EES) Implementation | 17.05.2024 | 3 | 5-4/51-1 🔒 | Sissetulev kiri | sisemin | Airports Council International/ACI EUROPE |
Ühispöördumine: Entry/Exit System (EES) | 22.01.2024 | 119 | 5-4/6-1 🔒 | Sissetulev kiri | sisemin | International Air Transport Association (IATA) |
Letter regarding the implementation of regulation EU 2226/2017 | 10.02.2023 | 465 | 5-4/15-1 🔒 | Sissetulev kiri | sisemin | International Air Transport Association (IATA) |
Estonian situation with SIS Recast implementation | 22.12.2022 | 515 | 5-4/66-2 | Sissetulev kiri | sisemin | EL Komisjon |
Entry/Exit System (EES) | 09.12.2022 | 528 | 5-4/27-4 🔒 | Sissetulev kiri | sisemin | ACI EUROPE |
Estonian situation with SIS Recast implementation | 10.11.2022 | 557 | 5-4/66-1 | Väljaminev kiri | sisemin | EL Komisjon |
Effective start of operations of the Entry/Exit System - aviation associations letter | 12.07.2022 | 678 | 5-4/27-3 🔒 | Sissetulev kiri | sisemin | ERA (European Regions Airline Association) |
Start of operations of the Entry/Exit System | 18.05.2022 | 733 | 5-4/27-2 🔒 | Sissetulev kiri | sisemin | ACI EUROPE (Airports Council International) |
Effective start of operations of the Entry/Exit System - aviation associations letter | 10.05.2022 | 741 | 5-4/27-1 🔒 | Sissetulev kiri | sisemin | AIRLINES FOR EUROPE |