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DNV: Ban on discharge of water from open loop EGCSS in coastal waters of north-west Europe

DNV highlights that 16 OSPAR contracting parties have agreed to phase out discharge from EGCSs in coastal waters of European north-east Atlantic and urged shipowners to prepare for stricter regulations.

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Classification society DNV on Thursday (24 July) published a Technical and Regulatory News highlighting that 16 OSPAR contracting parties have agreed to phase out discharge from EGCSs in coastal waters of the European north-east Atlantic. 

Restrictions on open loop discharge are to take effect from 1 July 2027, and closed loop discharge from 1 July 2029:

What has been agreed by OSPAR?

OSPAR is the Convention for the Protection of the Marine Environment of the North-East Atlantic, and it is the mechanism by which 15 governments and the EU cooperate to protect

the marine environment of the region. The OSPAR contracting parties are Belgium, Denmark, Finland, France, Germany, Iceland, Ireland, Luxembourg, the Netherlands, Norway, Portugal, Spain, Sweden, Switzerland, the UK and the EU.

Shipping is under growing scrutiny for the environmental impact of vessel discharge water from Exhaust Gas Cleaning Systems (EGCSs). The discharge of wash water from EGCSs shall be banned in inland waters and port areas of OSPAR member states, following the road map below:

  • 1 July 2027: ban on open loop discharge
  • 1 July 2029: ban on all discharge.

Contracting parties can delay the implementation by three years. OSPAR further recommends extending the ban to the territorial waters (12 nm) in general, and, scheduled for 2027. A Working Group will review if this recommendation should be turned into a regulation mandatory to implement. 

The OSPAR Convention covers the north-east Atlantic. An extension of the ban to include the Mediterranean Sea will be up to Spain and France to decide. Denmark, Finland and Sweden have already enacted discharge regulations starting on 1 July 2025 from open-loop scrubbers covering their territorial waters (12 nm), which also include the Baltic Sea.

How to comply in OSPAR ports?

Ships that can operate their EGCS in zero-discharge mode should not have any issues with the upcoming ban on discharge water. However, holding tank capacity may limit operational flexibility for many ships.

Ships equipped with an open loop or hybrid EGCS without any holding tank capacity should plan for a zero-discharge upgrade ahead of the relevant compliance deadlines. If upgrading to a more advanced hybrid or zero-discharge configuration is not feasible, switching over to compliant fuel while in port areas remains the only viable compliance option.

Statutory re-approval of modified EGCSs

Any modification to an approved EGCS requires amendments and approval of the relevant statutory documents and, where applicable, MED certification. Since conversion to hybrid mode affects system performance in terms of both air and water emissions, the latest scrubber guideline – MEPC.340(77), effective from 1 June 2022 – should be applied for statutory re-approval. Considering the significant changes introduced in this guideline compared to earlier revisions, upgrading older EGCSs to hybrid mode may also require additional system updates, including revisions of all related statutory documentation. Please see the DNV news on Update to the 2021 Guidelines for Exhaust Gas Cleaning Systems (“Scrubber Guideline”) for major differences between MEPC.259(68) and MEPC.340(77).

Change of manufacturer

There may be several reasons for engaging a different company to carry out a scrubber modification project than the one that originally designed and installed the EGCS. As much as this scenario is possible from the perspective of statutory approval, it has some consequences, especially considering document approval and MED certification:

If alteration approval follows the same scrubber guideline as the initial approval, revising the entire set of statutory documents may be avoided by preparing expressive addendums to the original document. If the EGCS needs to be re-approved according to MEPC.340(77), all statutory documents need to be revised by the manufacturer in charge and submitted for approval.

For installations subject to MED certification, a new application needs to be submitted. MED regulations only allow one single applicant for a complete EGCS. Consequently, the new applicant is taking over legal responsibility for the entire modified system. MED certification is usually applied for by the EGCS maker, who also needs to issue an EU Declaration of Conformity confirming fulfilment of the requirements relating to the product.

Recommendations

Shipowners with vessels trading in the north-east Atlantic and relying on open loop scrubbers for SOx emissions compliance should prepare for stricter discharge water regulations. In addition to switching to compliant fuel, upgrading to a hybrid scrubber system with a zero-discharge option could offer a practical alternative. Ensure that your modified system complies with the latest revision of the scrubber guidelines, MEPC.340(77).

 

Photo credit: DNV
Published: 29 July, 2025

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ECA

VPS examines North-East Atlantic ECA on current bunker fuel mix and testing

Impact of this new ECA, will not only affect bunker fuel selection and testing, but it will also require a review of, voyage planning, bunker procurement and scrubber strategy, amongst others.

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Steve Bee, Group Marketing and Strategic Projects Director, and Emilian Buksak, Decarbonisation Advisor of marine fuels testing company VPS, on Wednesday (8 April) highlighted MEPC 84 approved a new emission control area (ECA) covering the North-East Atlantic Ocean, with agreements reached on adopted amendments to MARPOL Annex VI. 

The new ECA, which will become the world’s largest emission control area, will be implemented on 1st September 2027

In a recent article, VPS outlined how VPS testing, data, CEM systems and advisory services can support vessels in both their operational and compliance challenges associated with this new ECA:

The recent International Maritime Organisation’s (IMO), Maritime Environmental Protection Committee (MEPC) meeting in London, had its main focus on setting binding greenhouse gas emission reduction targets for the global shipping sector. In keeping with the Committee’s continuing drive to decarbonise shipping and reduce the pollutant emissions from the global fleet, one major outcome from the MEPC-84 meeting was the approval of a new emission control area (ECA) covering the North East Atlantic Ocean, with agreements reached on adopted amendments to MARPOL Annex VI.

This new ECA, which will become the world’s largest emission control area, will be implemented on 1st September 2027, with the ECA requirements taking effect on 1st September 2028. It will cover the territorial seas and exclusive economic zones of Greenland, Iceland, the Faroe Islands, Ireland, the United Kingdom, France, Spain and Portugal, extending up to 200 nautical miles from their baselines:

VPS examines North-East Atlantic ECA impact on current bunker fuel mix and testing

A key advantage of the new NE Atlantic ECA is that it will close the gap between the existing ECAs in the North and Baltic Sea, plus the Mediterranean, creating an almost continuous zone of reduced shipping emissions. It will also connect to the newly approved ECAs in the Canadian Arctic and Norwegian Sea, which are scheduled for implementation in 2026 and 2027 respectively. Together these ECAs will cover almost half of all Arctic coastal waters, improving air quality, by reducing SOx, NOx and Particulate Matter (PM), protecting  public health, and reducing the environmental impacts from shipping.

The sulphur limit for the marine fuels allowed to be burnt within this new ECA will reduce from the current 0.50% to 0.10%. This will force vessels to use either effective abatement technology (scrubbers), or alternatively burn marine distillates, ultra-low-sulphur fuels (ULSFOs), or biofuels with a sulphur content of less than 0.10%.

Without doubt this new ECA will cause a significant change to the current fuel mix, probably on an even greater scale than was witnessed with the introduction of the Mediterranean ECA back in May 2025.  The fuel mix in the Mediterranean Pre-ECA implementation was,  53% VLSFO, 28% HSFO, 16% MGO, 2% ULSFO and 1% Biofuels. But from the 1st May 2025, the fuel mix changed to, 30% VLSFO, 29% HSFO, 30% MGO, 8% ULSFO and 4% Biofuels.  

So, in terms of actual tonnage, the Mediterranean ECA witnessed a decrease in VLSFOs by 23%, whilst MGO usage increased by 107%. At the same time, ULSFO and biofuels supply increased 4-fold.

Regarding fuel quality within the Mediterranean post-ECA implementation, MGO off-specification rates increased to 4%. However, the most worrying off-specification rates were for ULSFOs which saw a 10-times increase from 2% to 20% from the start of the ECA, with the main off-specification parameters being pour point, sulphur, TSP, CCAI, water and viscosity.

Therefore, it is fair to assume we’ll witness a similar dramatic fuel mix change upon the implementation of the NE Atlantic ECA, with possibly similar fuel off-specification issues, highlighting the continuing need for proactive fuel testing to protect vessels, crew and the environment.

Whilst the focus on fuel quality is essential, the multi-pollutant nature of this new ECA, covering SOx, PM and NOx, also brings the role of continuous emissions monitoring increasingly to the fore. Therefore, a further consideration relating to the impact of this new ECA relates to vessel newbuilds and the stricter NOx Tier III requirements. For newbuilds subject to the stricter NOx Tier III requirements, compliance depends not only on engine certification at delivery, but on demonstrating that exhaust after-treatment systems, typically Selective Catalytic Reduction (SCR) or Exhaust Gas Recirculation (EGR), continue to perform as designed throughout the service life of the vessel.

For scrubber-equipped ships, real-time SO₂ measurement provides the operational evidence of equivalency that Port State Control inspections increasingly expect to see. Plus, for vessels operating under multiple overlapping regulatory regimes, including the new NE Atlantic ECA, EU MRV, EU ETS and FuelEU Maritime, continuous emissions monitoring via the VPS EMSYS CEM system delivers a single, verified source of emissions data that can be applied across all of them.

As noted by DNV in their MEPC 84 technical and regulatory update, the newly adopted IMO measurement guidelines can also be used for determining actual methane and nitrous oxide under the EU ETS and FuelEU Maritime, confirming the direct route from IMO-recognised measurement to EU compliance reporting.

At an operational level, the new ECA will introduce considerable complexity in the way fuel consumption is attributed across voyage segments, with VLSFOs burnt outside the zone and compliant fuels inside, all of which carry implications for consumption reporting, charterparty allocation and EU MRV alignment. VPS Maress can provide the underlying fuel and energy data into one auditable platform, helping crews manage the operational complexity that the new ECA introduces, including voyage segmentation, fuel changeover and emissions accounting, plus providing the consolidated data foundation that feeds existing EU MRV and IMO DCS reporting obligations. 

VPS PortStats via the VPS Verisphere eco-system, (VeriSphere | VPS), further supports bunker procurement planning with port-by-port intelligence on compliant fuel availability and price spreads. Such intelligence and insights, will prove particularly valuable in the months immediately following 1st September 2028, when the supply pressure on 0.10% sulphur fuels is likely to peak.

Regarding the more strategic decisions ahead, including Tier III engine selection for newbuilds, retrofit feasibility for existing tonnage, and charterparty clauses allocating the ECA fuel cost premium between owners and charterers, VPS Advisory Services can provide the integrated commercial and technical perspective needed to navigate this transition with confidence.

Therefore, its clear the impact of this new ECA, will not only affect the choice of fuel to be burnt onboard and its subsequent quality testing, but it will also require a review of, voyage planning, bunker procurement, scrubber strategy, engine certification, compliance documentation and charterparty exposure.

Related: DNV on IMO MEPC 84: Revisiting Net‑Zero Framework

 

Photo credit: VPS
Published: 14 May, 2026

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Scrubbers

No open-loop EGCS with HSFO bunker fuel allowed in Saudi Arabian ports

Use of HSFO with an Open-Loop Exhaust Gas Cleaning System at 0.5% or 0.1% sulphur mode setting is prohibited until further notice for the ships entering Saudi Arabian ports, says GAC.

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Aramco: Ras Tanura Port, Eastern Province of Saudi Arabia, on the Arabian Gulf.

The use of High Sulphur Fuel Oil (HSFO) with an Open-Loop Exhaust Gas Cleaning System (EGCS) at 0.5% or 0.1% sulphur mode setting is prohibited until further notice for the ships entering Saudi Arabian ports, according to GAC Hot Port News on Wednesday (3 December). 

All ships entering Aramco ports shall comply with one of the following options:

  • Use compliant fuel oil (≤ 0.50% m/m Sulphur, or ≤ 0.10% when operating in ECAs, if applicable).
  • Operate the EGCS in Closed-Loop mode (or Hybrid system in Closed mode), with strict prohibition on the discharge of wash water into the sea.

 

Photo credit: Aramco
Published: 8 December, 2025

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Bunker Fuel

Equatorial navigates through sanctions and green transition amid shifting bunkering landscape

Shipowners’ demand for ‘cheapest compliant fuel’ suggests a potentially more competitive and shrinking market for LSFO, forecasts Choong Sheen Mao, COO at Equatorial.

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Equatorial navigates through sanctions and green transition amid shifting bunkering landscape

Singapore-based physical bunker supplier Equatorial Marine Fuel Management Services Pte Ltd (Equatorial) is adapting to a dynamic global bunker market shaped by regulatory shifts, geopolitical tensions, and the push for decarbonisation, states its Chief Operating Officer.

Choong Sheen Mao was amongst panellists of the Bunker Sellers Panel at IBIA Annual Convention 2025 in Hong Kong on Tuesday (18 November) when he shared a significant trend of shipowners increasingly opting for high sulphur fuel oil (HSFO) paired with scrubbers, driven by the pursuit of the “cheapest compliant fuel”.

Despite a narrowing spread between high and low sulphur fuels – from approximately USD 125 to USD 80, and occasionally below USD 70 – shipowners continue to see long-term investment returns from scrubbers. This shift suggests a potentially more competitive and shrinking market for low sulphur fuel oil (LSFO).

“Geopolitical instabilities, particularly armed conflicts, sanctions and trade wars, are creating considerable market distortions. These instabilities lead to supply disruptions, cargo rerouting, and impact bunker prices,” added Choong.

“Compliance has become a paramount concern, with recent substantial fines underscoring the risks involved. The current economic slowdown, compounded by sanctions and self-sanctioning, presents a ‘double pain’ for the market.

“The market’s daily volatility is also heavily influenced by global politics, making it challenging to assess without a deep understanding of geopolitical events.”

To ensure marine fuel quality, Equatorial emphasises managing its own supply chain and operating its own fleet of bunkering vessels, allowing for direct control from delivery to the customer, he stated.

This approach prioritises transparency and security, fostering long-term relationships where quality issues can be collaboratively addressed. Knowledge sharing, especially concerning parameters from new bunker fuel testing methods such as Gas Chromatography Mass Spectrometry (GC-MS), is also deemed crucial.

Supporting the transition to alternative marine fuels, while acknowledging the uncertainty surrounding the dominant future fuel, Equatorial has strategically invested in IMO Type 2 chemical tankers capable of handling methanol, biofuel, and conventional bunker fuels.

“Biofuel is identified as the most effective short-term solution, offering favourable pricing and operational costs compared to other green alternatives,” explained Choong.

“However, challenges include feedstock availability and potential export quotas from key producing nations like China.

“The adoption of alternative marine fuels necessitates a closer, more collaborative relationship between buyers and sellers.

“This involves detailed discussions on specific fuel specifications beyond standard ISO requirements, extensive lab sampling, and long-term commitments from both parties, particularly given the absence of a liquid hedging market for biofuels.

“Collaboration across safety, quality, and commercial aspects is essential for the successful implementation of bio bunker fuels to the future maritime market.”

 

Photo credit: International Bunker Industry Association
Published: 1 December, 2025

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