Comment se conformer pour ce code
Revu par l'équipe AutoCBAM — mis à jour 2026-04-28.
Methodology guide -- CN 7213 (hot-rolled wire rod, in coils)
Wire rod is the input to downstream wire-drawing. CN 7213 is dominated by Turkish, Ukrainian and Egyptian EAF mini-mills, which makes it an unusually clean CBAM picture: the EU 1.88 t/t default is conservative; verified EAF data typically reports 0.4-0.7 t/t direct.
Step 1 -- request EAF verification first. Most Turkish mills (Çolakoğlu, Habaş, Kroman) are EAF route. The case for using verified data over the EU default is strongest here -- your CBAM bill drops 70%+ in many shipments.
Step 2 -- understand Türkiye's carbon pricing landscape. Türkiye does not yet have national ETS coverage for steel (target 2026-2027). Until coverage is in force, no Article 9 deduction is available for Turkish-origin wire rod. Watch for legislative updates -- once coverage is announced, document the per-tonne carbon cost and submit with annual declarations.
Step 3 -- handle Egyptian and Ukrainian sources. Egyptian mills (Ezz Steel, Beshay Steel) are EAF or DRI-EAF; both are low-emission relative to BF-BOF. Ukrainian wire rod is mixed BF-BOF / EAF; case-by-case verified data is required.
Step 4 -- allocate correctly for multi-product mills. Many wire rod producers also make rebar (CN 7214) on the same site. Physical allocation by mass output is the default; if your supplier offers a different allocation method, demand justification documented per Reg. 2025/2621 Annex IV.
Step 5 -- factor downstream wire-drawing into your scope. If you import wire rod and draw it into wire (CN 7217) inside the EU, only the imported wire-rod mass owes CBAM. Wire-drawing emissions are EU-side; covered (or not) by EU ETS depending on installation size.
Step 6 -- track scrap-content claims carefully. Some EAF mills claim very low emissions based on 100% scrap inputs. Confirm the scrap-mix percentage in the verifier report; pure scrap-based output is rare in practice.