2026年5月21日
Publication series – 86 / 85 观点
With the planned amendment to the Building Electromobility Infrastructure Act (GEIG), the legislator is significantly tightening the requirements for charging and cabling infrastructure for electric vehicles. In addition to new-build and renovation projects, larger existing buildings will also come under greater scrutiny from 2027 onwards. Companies with office, retail, logistics or other non-residential buildings should incorporate this development into their site and investment planning at an early stage to avoid retrofitting and compliance risks.
The GEIG has been in force since 2021 and transposes key provisions of the EU Energy Performance of Buildings Directive (EPBD) into German law. The aim is to systematically expand charging infrastructure in and around buildings, thereby promoting charging at home and at work. It specifically addresses:
Against this background, the Federal Ministry for Economic Affairs and Energy (BMWE) has presented a draft bill to amend the Building Energy Act, GEIG and other regulations. The draft is currently undergoing inter-ministerial consultation; a consultation with industry associations is taking place in parallel. In terms of content, it builds on the key points already communicated regarding the ‘Building Modernisation Act’ (GModG) and serves to implement the amended EPBD, including its requirements for sustainable mobility.
The GEIG currently regulates the provision of the following in buildings:
and links the obligations to:
The obligations are generally directed at the property owners. Exceptions are provided for in certain circumstances (including predominantly owner-occupied non-residential buildings of SMEs).
The requirements are backed by provisions for fines; breaches can be punished with substantial fines.
The GEIG amendment essentially pursues three objectives:
The draft introduces the concept of ‘smart charging’ for the first time. According to this, smart charging occurs when the intensity of the current supplied to the battery is dynamically adjusted on the basis of electronically transmitted information.
In concrete terms, this means:
Newly installed or replaced charging points should provide this technology as standard. For businesses, this is not merely a compliance issue but also influences the selection of hardware and backend systems, as well as integration into energy management and smart meter structures.
Stricter requirements for cable and pre-cabling infrastructure
The draft makes it clear that, in future, the cable infrastructure must be dimensioned in such a way that the legally prescribed number of charging points can be used simultaneously and efficiently. It is therefore no longer simply a matter of providing individual empty conduits, but of a viable overall concept (grid connection, sub-distribution, space reserves, etc.).
In addition, the role of pre-cabling is being strengthened: some parking spaces are to be equipped not only with empty conduits, but with pre-installed cable routes extending right up to the vicinity of the parking space. This is intended to enable the subsequent installation of further charging points in a cost-effective manner.
The planned changes to parking space thresholds and equipment quotas are particularly relevant in practice. Both residential and non-residential buildings will be required to install a certain number of charging points and corresponding pre-cabling from a lower number of parking spaces than previously.
This marks a shift in the system: from isolated ‘symbolic charging points’ to a comprehensive infrastructure designed to realistically reflect the rise of electric mobility.
In addition to new builds and major renovations, larger existing buildings will also face stricter requirements from 1 January 2027. Additional requirements are planned for buildings with a high number of parking spaces, such as:
Details may still change during the legislative process; however, it is clear that the legislator no longer wishes to limit larger building stocks to isolated minimum requirements alone.
Even under the current legal framework, businesses should check:
Violations may not only result in fines but can also lead to delays in building permit and acceptance processes and trigger warranty or liability issues internally.
In view of the planned tightening of regulations on 1 January 2027, a strategic approach is recommended:
In the transaction environment, GEIG compliance is increasingly becoming a separate point of review:
The amendment to the GEIG will significantly tighten the regulatory framework for charging infrastructure on buildings and present new challenges, particularly for companies with larger car parks. At the same time, forward-looking planning opens up opportunities to integrate charging infrastructure sensibly into mobility and energy concepts, thereby realising competitive advantages.
Companies would be well advised to closely monitor the legislative process, review existing and planned projects at an early stage, and develop tailored strategies in good time for the planning, financing, operation and contractual structuring of the charging infrastructure.
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