{"id":7125,"date":"2024-07-01T13:32:00","date_gmt":"2024-07-01T10:32:00","guid":{"rendered":"https:\/\/www.fpe.ro\/?p=7125"},"modified":"2024-11-19T11:55:37","modified_gmt":"2024-11-19T09:55:37","slug":"regulamentul-ue-2024-1787-al-parlamentului-european-si-al-consiliului-privind-reducerea-emisiilor-de-metan-in-sectorul-energetic","status":"publish","type":"post","link":"https:\/\/www.fpe.ro\/en\/regulamentul-ue-2024-1787-al-parlamentului-european-si-al-consiliului-privind-reducerea-emisiilor-de-metan-in-sectorul-energetic\/","title":{"rendered":"Regulation (EU) 2024\/1787 of the European Parliament and of the Council on the reduction of methane emissions in the energy sector"},"content":{"rendered":"<p>In July 2024, Regulation 1787 was adopted to reduce methane emissions in the energy sector, with provisions impacting both EU oil, gas and coal production and imports. Given the large number of existing wells in Romania, this new act is of increased importance for the Romanian energy sector, which will have to mobilize significant sums to comply with the new requirements.<\/p>\n\n\n\n<h4 class=\"wp-block-heading\">Background. Why is it necessary to reduce methane emissions?<\/h4>\n\n\n\n<p>According to&nbsp;<a href=\"https:\/\/eur-lex.europa.eu\/legal-content\/RO\/TXT\/HTML\/?uri=OJ:L_202401787&amp;qid=1721329094523#d1e857-1-1\">Regulation<\/a>, methane (CH4) is second only to carbon dioxide (CO2) in terms of global contribution to climate change, responsible for 1\/3 of the current warming. The amount of CH4 in the global atmosphere has increased sharply over the last decade.<\/p>\n\n\n\n<p>Assessments by the UN's Intergovernmental Panel on Climate Change (IPCC) have shown that deep cuts in anthropogenic methane emissions are needed by 2030 to limit global warming to 1.5\u00b0C. Methane has a shorter atmospheric half-life than CO2, 10-12 years compared to hundreds of years, but its greenhouse effect over a 20-year period is more than 80 times more significant than that of CO2.<\/p>\n\n\n\n<p>In its 2020 report on air quality in Europe, the European Environment Agency stated that methane is a precursor gas of tropospheric ozone and contributes to air pollution. So tackling methane emissions would also improve the protection of human health.<\/p>\n\n\n\n<p>According to the Regulation, reducing methane emissions by 45 % by 2030, based on available specific measures and additional measures in line with the UN Sustainable Development Goals, could avoid 0.3\u00b0C of global warming by 2045.<\/p>\n\n\n\n<figure class=\"wp-block-image aligncenter size-full\"><img loading=\"lazy\" decoding=\"async\" width=\"1500\" height=\"841\" src=\"https:\/\/www.fpe.ro\/wp-content\/uploads\/2024\/11\/reducerea-emisiilor-de-metan-in-sectorul-energetic-fpe-4.jpg\" alt=\"\" class=\"wp-image-7126\" srcset=\"https:\/\/www.fpe.ro\/wp-content\/uploads\/2024\/11\/reducerea-emisiilor-de-metan-in-sectorul-energetic-fpe-4.jpg 1500w, https:\/\/www.fpe.ro\/wp-content\/uploads\/2024\/11\/reducerea-emisiilor-de-metan-in-sectorul-energetic-fpe-4-300x168.jpg 300w, https:\/\/www.fpe.ro\/wp-content\/uploads\/2024\/11\/reducerea-emisiilor-de-metan-in-sectorul-energetic-fpe-4-1024x574.jpg 1024w, https:\/\/www.fpe.ro\/wp-content\/uploads\/2024\/11\/reducerea-emisiilor-de-metan-in-sectorul-energetic-fpe-4-768x431.jpg 768w\" sizes=\"auto, (max-width: 1500px) 100vw, 1500px\" \/><\/figure>\n\n\n\n<h4 class=\"wp-block-heading\">Main sources of methane released into the atmosphere<\/h4>\n\n\n\n<p>About 60 % of global methane emissions are anthropogenic (man-made). The highest emissions come from the production and use of fossil fuels (between a \u00bc and 1\/3) waste (1\/4) and agriculture (1\/2), especially intensive agriculture.<\/p>\n\n\n\n<p><a href=\"https:\/\/eur-lex.europa.eu\/resource.html?uri=cellar:06d0c90a-5d91-11ec-9c6c-01aa75ed71a1.0021.02\/DOC_1&amp;format=PDF\" target=\"_blank\" rel=\"noreferrer noopener\">Most cost-effective methane emission reductions can be achieved in the energy sector<\/a>. Data from the Union's greenhouse gas inventory show that methane emissions from coal mines are the largest single source of methane emissions from the Union's energy sector. In 2019, direct emissions from the coal sector accounted for 31 % of total methane emissions, a level almost equal to the 33 % of direct methane emissions from oil and fossil gases combined.<\/p>\n\n\n\n<h4 class=\"wp-block-heading\">Some provisions of the new Regulation<\/h4>\n\n\n\n<ul class=\"wp-block-list\">\n<li>It applies to the reduction of methane emissions from upstream oil and gas exploration and exploitation, inactive wells, temporarily shut-in wells and permanently shut-in and abandoned wells, from the gathering and processing of fossil gas, from the transportation, distribution and underground storage of gas and from liquefied natural gas (LNG) facilities.<\/li>\n<\/ul>\n\n\n\n<p>It also applies to active underground coal mines and surface coal mines, as well as to closed or abandoned underground coal mines.<\/p>\n\n\n\n<ul class=\"wp-block-list\">\n<li>Rules on the accurate measurement, monitoring, reporting and verification of methane emissions in the oil, gas and coal sectors, as well as on the reduction of such emissions, including through leak detection and release investigation and removal (LDAR) and restrictions on venting and flaring, while ensuring the protection of workers from methane emissions, should be addressed through an appropriate Union legal framework. The rules laid down in this Regulation should increase transparency regarding fossil energy imports into the Union and contribute to a wider uptake of methane mitigation solutions worldwide. A 20-year and a 100-year time horizon should be used for the global warming potential.<\/li>\n\n\n\n<li>The Regulation recognizes that compliance with the obligations arising from this Regulation may require investments by regulated entities and that the costs of such investments should be taken into account when setting tariffs, subject to efficiency principles.<\/li>\n\n\n\n<li>In view of the strong effect of greenhouse gas emissions, venting should be prohibited except in emergencies or malfunctions, or during certain specific events where venting to some extent is unavoidable and strictly necessary. In order to ensure that operators do not use equipment designed for venting, technological standards should be adopted to allow the use of lower emission alternatives.<\/li>\n\n\n\n<li>Flaring shall be considered to be routine flaring where it is carried out during the normal process of oil, gas and coal exploitation in the absence of an adequate number of facilities or geology to enable the gas produced to be re-injected, used on site or shipped to a market. Routine flaring should be prohibited. Flaring should be permitted where it is the only alternative to venting and where venting is not prohibited. Eliminating routine coals flaring would also increase the availability of natural gas for gas markets. Venting is more damaging to the environment than flaring because the gas released typically contains high levels of methane, whereas flaring oxidizes the methane to CO2, which has a lower global warming potential. Therefore, if no other option is available, peat burning should be preferred to venting to the atmosphere.<\/li>\n\n\n\n<li>Re-injection or on-site use of methane or shipment of methane to a market should always be preferable to venting to the atmosphere or burning at a stack.<\/li>\n\n\n\n<li>Emissions of methane from inactive wells, temporarily closed wells and permanently closed and abandoned wells pose health, safety and environmental risks. Therefore, monitoring, including quantification and, where pressure monitoring equipment is available, pressure monitoring, and reporting obligations should continue to apply and those wells and well sites should be permanently shut down, reclaimed and decontaminated, as appropriate.<\/li>\n<\/ul>\n\n\n\n<figure class=\"wp-block-image aligncenter size-full\"><img loading=\"lazy\" decoding=\"async\" width=\"1500\" height=\"1000\" src=\"https:\/\/www.fpe.ro\/wp-content\/uploads\/2024\/11\/reducerea-emisiilor-de-metan-in-sectorul-energetic-fpe-3.jpg\" alt=\"\" class=\"wp-image-7127\" srcset=\"https:\/\/www.fpe.ro\/wp-content\/uploads\/2024\/11\/reducerea-emisiilor-de-metan-in-sectorul-energetic-fpe-3.jpg 1500w, https:\/\/www.fpe.ro\/wp-content\/uploads\/2024\/11\/reducerea-emisiilor-de-metan-in-sectorul-energetic-fpe-3-300x200.jpg 300w, https:\/\/www.fpe.ro\/wp-content\/uploads\/2024\/11\/reducerea-emisiilor-de-metan-in-sectorul-energetic-fpe-3-1024x683.jpg 1024w, https:\/\/www.fpe.ro\/wp-content\/uploads\/2024\/11\/reducerea-emisiilor-de-metan-in-sectorul-energetic-fpe-3-768x512.jpg 768w, https:\/\/www.fpe.ro\/wp-content\/uploads\/2024\/11\/reducerea-emisiilor-de-metan-in-sectorul-energetic-fpe-3-900x600.jpg 900w\" sizes=\"auto, (max-width: 1500px) 100vw, 1500px\" \/><\/figure>\n\n\n\n<h4 class=\"wp-block-heading\">Coal mines<\/h4>\n\n\n\n<ul class=\"wp-block-list\">\n<li>When they cease operation and are closed or abandoned, coal mines continue to emit methane, referred to as \"abandoned mine methane\" (AMM). These methane emissions usually occur at well-defined point sources such as ventilation shafts or overpressure vents. With increasing climate ambition and a shift in energy production towards lower carbon energy sources, there is a risk that MMA emissions could increase at Union level. It is estimated that even 10 years after closure, non-flooded coal mines continue to emit methane at levels reaching about 40 % of the emissions at closure. Therefore, Member States should conduct inventories of closed underground coal mines and abandoned underground coal mines where operations ceased after August 3, 1954, and the responsible party identified should be required to install devices to measure methane emissions.<\/li>\n\n\n\n<li>In order to reduce methane emissions from active coal mines, Member States should be allowed to introduce incentive schemes for the reduction of methane emissions, subject to the applicable State aid rules. Such schemes could, in particular, incentivize investments in capturing and injecting methane into the grid and the reduction of methane emissions from ventilation shafts and coke oven firing. Member States should be allowed to introduce specific systems of taxes and charges to facilitate investments in the reduction of methane emissions, inter alia, as part of State aid schemes aimed at the decommissioning of coal mining capacity, subject to the applicable State aid rules.<\/li>\n\n\n\n<li>Existing best mitigation practices to reduce methane emissions should be allowed in closed or abandoned coal mines, such as the development of geothermal and thermal energy storage projects in flooded coal mines, the use of hydropower applications in non-flooded coal mines, capture of methane emissions through degasification, the use of safety-relevant degasification devices, the use of mine gas for power generation or mine water ponding, and other possible uses.<\/li>\n<\/ul>\n\n\n\n<figure class=\"wp-block-image aligncenter size-full\"><img loading=\"lazy\" decoding=\"async\" width=\"1500\" height=\"655\" src=\"https:\/\/www.fpe.ro\/wp-content\/uploads\/2024\/11\/reducerea-emisiilor-de-metan-in-sectorul-energetic-fpe-2.jpg\" alt=\"\" class=\"wp-image-7128\" srcset=\"https:\/\/www.fpe.ro\/wp-content\/uploads\/2024\/11\/reducerea-emisiilor-de-metan-in-sectorul-energetic-fpe-2.jpg 1500w, https:\/\/www.fpe.ro\/wp-content\/uploads\/2024\/11\/reducerea-emisiilor-de-metan-in-sectorul-energetic-fpe-2-300x131.jpg 300w, https:\/\/www.fpe.ro\/wp-content\/uploads\/2024\/11\/reducerea-emisiilor-de-metan-in-sectorul-energetic-fpe-2-1024x447.jpg 1024w, https:\/\/www.fpe.ro\/wp-content\/uploads\/2024\/11\/reducerea-emisiilor-de-metan-in-sectorul-energetic-fpe-2-768x335.jpg 768w\" sizes=\"auto, (max-width: 1500px) 100vw, 1500px\" \/><\/figure>\n\n\n\n<h4 class=\"wp-block-heading\">Imports<\/h4>\n\n\n\n<ul class=\"wp-block-list\">\n<li>Importers of crude oil, natural gas and coal into the Union should be required to provide the relevant competent authorities with information on measures relating to the measurement, reporting, verification and mitigation of methane emissions undertaken by exporters to the Union and by third country producers, in particular on the application of regulatory or voluntary measures to control methane emissions by third country producers supplying crude oil, natural gas or coal, such as LDAR surveys or measures to control and restrict venting and flaring events.<\/li>\n\n\n\n<li>In addition, the Commission should establish a global methane emissions monitoring tool to provide information on the occurrence, scale and location of high methane events from energy sources and a rapid response mechanism to address supergenerating emission events occurring inside or outside the Union.<\/li>\n\n\n\n<li>The new contracts that Union importers conclude for the supply of crude oil, natural gas or coal should reinforce the adoption in third countries of rules for monitoring, reporting and verifying methane emissions equivalent to those laid down in this Regulation.<\/li>\n<\/ul>\n\n\n\n<h4 class=\"wp-block-heading\">Detect and eliminate emissions<\/h4>\n\n\n\n<ul class=\"wp-block-list\">\n<li>By 5 May 2025 for existing sites and within six months from the date of commencement of operations for new sites, operators shall submit to the competent authorities a leak detection and elimination program (hereinafter referred to as \"LDAR program\").<\/li>\n\n\n\n<li>The repair or replacement of the components referred to in paragraph 8 shall take place immediately after detection. If the repair cannot be carried out immediately after the finding, an attempt shall be made to carry out the repair as soon as possible and not later than 5 days after the finding; the repair shall be completed within 30 days after the finding.<\/li>\n\n\n\n<li>Where methane emissions are detected in inactive wells, temporarily closed wells or permanently closed and abandoned wells, Member States or the Party responsible pursuant to paragraph 8 shall take all necessary measures available to them for the decontamination, recovery and permanent closure of the well in question, as appropriate, where technically feasible and taking into account the environmental impact of the work necessary to reduce methane emissions accordingly.<\/li>\n\n\n\n<li>Without prejudice to Directive 2008\/56\/EC and Directive 2013\/30\/EU, competent authorities may decide to exempt offshore oil and gas wells located in a water depth greater than 700 meters from the requirements set out in paragraph 3 or 9 of this Article if robust evidence can be provided that the climate impact of potential methane emissions from those wells is very likely to be negligible.<\/li>\n\n\n\n<li>By 5 August 2026, the Commission shall establish a global tool for monitoring methane emitters based on satellite data and data input from several certified data providers and services, including from the Copernicus component of the Union Space Programme established by Regulation (EU) 2021\/696. For this purpose, the Commission may use existing international tools or frameworks, where available.<\/li>\n\n\n\n<li>The Global Methane Monitoring Tool shall be publicly available and shall provide regular updates, at least on the occurrence, magnitude and location of high methane events from energy sources inside and outside the Union.<\/li>\n<\/ul>\n\n\n\n<h4 class=\"wp-block-heading\">What is the situation in Romania?<\/h4>\n\n\n\n<p>According to\u00a0<a href=\"https:\/\/asociatiaenergiainteligenta.ro\/regulamentul-european-privind-reducerea-emisiilor-de-metan-in-sectorul-energetic-poate-creste-insecuritatea-energetica-si-saracia-energetica-a-romaniei\/\" target=\"_blank\" rel=\"noreferrer noopener\">Intelligent Energy Association<\/a>, Romania has numerous objectives that fall under this new regulation:<\/p>\n\n\n\n<ul class=\"wp-block-list\">\n<li>In its 166 years of oil and gas extraction, Romania has drilled some 54,615 wells, of which 10,701 are currently active and 43,914 inactive.<\/li>\n<\/ul>\n\n\n\n<p>It also built 2,250 technological facilities for oil and gas production, including:<\/p>\n\n\n\n<ul class=\"wp-block-list\">\n<li>around 110 gas compressor stations<\/li>\n\n\n\n<li>about 50 gas compressors other than those in compressor stations<\/li>\n\n\n\n<li>around 400 gas measuring and regulating stations (SRMs), which are the interface with TRANSGAZ and the gas distribution operators, and measuring panels (PMs)<\/li>\n\n\n\n<li>about 50 gas drying stations<\/li>\n\n\n\n<li>15 gas stripping stations<\/li>\n<\/ul>\n\n\n\n<p>Numerous field production manifolds, MPSKIDs (automated metering points), steam and hot water boiler batteries, G2P (gas-fired power generation) and CHP (gas-fired combined heat and power) units have also been built. These installations will be covered by the Energy Sector Methane Emission Reduction Regulation, including programs such as LDAR (gas leak detection and remediation), MRV (measuring, reporting and verification of gas leakage) and setting limits for flaring and stack venting.<\/p>\n\n\n\n<p>According to the website\u00a0<a href=\"https:\/\/www.reportereconomic.ro\/index.php\/business-news\/item\/23-analiza-ce-mine-de-carbune-mai-functioneaza-in-romania\" target=\"_blank\" rel=\"noreferrer noopener\">Economic Reporter<\/a>In the early 1990s, Romania had 464 coal and other mineral mines. By 2004, production had been stopped in 344 of the most unprofitable mines; 82 of these were closed and contracts were signed for the closure and greening of 191 others. At national level, in 2008 the closure of 85 mining targets was approved, in addition to the 462 that had been closed between 1998-2006. In addition, between 2005 and 2012, 23 mines and mining companies were successfully closed under the project for mine closure and environmental and socio-economic regeneration.<\/p>\n\n\n\n<p>Study\u00a0<a href=\"https:\/\/asociatiaenergiainteligenta.ro\/analiza-impactului-propunerii-de-regulament-european-privind-metanul-asupra-industriei-extractive-de-titei-si-gaze-din-romania\/\" target=\"_blank\" rel=\"noreferrer noopener\"><strong>Analysis of the impact of the proposal for a European Methane Regulation on the Romanian oil and gas extractive industry<\/strong><\/a>The report by Dumitru Chis\u0103lit\u0103 - Oil and Gas Legal Expert for Romania\/European Extra-Judicial Oil and Gas Expert Agreed by the Association of European Experts in Paris and Mihaela B\u0103l\u0103nescu - Technical Expert of the United Nations Framework Convention on Climate Change (UNFCCC) for the verification of national greenhouse gas emission inventories, regarding an earlier version of the Regulation, highlights some aspects related to the implications that this new law has on Romania:<\/p>\n\n\n\n<ul class=\"wp-block-list\">\n<li>Installations that are built in the open system will no longer be allowed after the regulation enters into force, which does not even provide an exemption for countries with tens of thousands of wells and production facilities, as is the case in Romania.<\/li>\n\n\n\n<li>Taking into account the large number of oil and gas extraction facilities that would need to be replaced in Romania, the design capacity, construction and erection, the time needed to obtain permits and authorizations, it would take at least 10 years to fulfill such an obligation and costs billions of euros.<\/li>\n\n\n\n<li>The significant decrease of methane emissions in the period 1989 - 2020 in Romania demonstrates the responsible behavior of operators in the oil and gas production sector who have made their contribution even in the absence of any Regulation on methane emissions and have made sustained efforts to gradually invest in production infrastructure to eliminate the risks of greenhouse gas emissions at a sustainable level.<\/li>\n\n\n\n<li>The maximum estimated fugitive methane emissions from inactive\/abandoned wells is 0.96 kt CH4\/yr, which is 0.1 % of the national methane emissions, below the methane measurement error.<\/li>\n\n\n\n<li>Given the estimated costs to be spent in the oil and gas extraction sector to comply with this Regulation, these amounts will affect the feasibility of exploitation in certain fields, the additional costs arising from the implementation of the measures proposed by this draft Regulation having the effect of reducing investment in the actual extraction and production activity.  As a consequence, the period of exploitation of the deposits will be reduced and thus the annual quantities of hydrocarbons extracted in Romania will be reduced by approx. 161TPTP7T, increasing hydrocarbon imports into Romania.<\/li>\n\n\n\n<li>The impact of the EU Regulation on end-consumer prices is as follows:<\/li>\n\n\n\n<li>household consumers - the increase in the price to the household consumer compared to the current price paid by the household consumer is estimated to be 6%, but with an increase in the impact on the State Budget by approx. 0.9 billion lei in 2024 and by approx. 0.22 bn in Q1 2025. After April 1, 2025, when the law no longer foresees the existence of a price cap, the price paid to the population will be up to 31% higher.<\/li>\n\n\n\n<li>Non-domestic consumers with consumption below 50,000 MWh\/year - for most consumers there will be no price increase compared to the current price. There will be an increase in the impact on the State Budget by approx. 2.77 billion lei \/ 2024 and by approx. 0.69 bn in Q1 2025. After April 1, 2025, when the law no longer provides for a price cap, the price paid will be up to 31% higher.<\/li>\n\n\n\n<li>Non-domestic consumers with consumption above 50.000 MWh\/year - there will be a price increase of up to 31% .<\/li>\n<\/ul>\n\n\n\n<p><strong>Source:<\/strong><\/p>\n\n\n\n<ul class=\"wp-block-list\">\n<li><a href=\"https:\/\/eur-lex.europa.eu\/legal-content\/RO\/TXT\/HTML\/?uri=OJ:L_202401787&amp;qid=1721329094523#d1e857-1-1\" target=\"_blank\" rel=\"noreferrer noopener\">eur-lex.europa.eu<\/a><\/li>\n\n\n\n<li><a href=\"https:\/\/eur-lex.europa.eu\/resource.html?uri=cellar:06d0c90a-5d91-11ec-9c6c-01aa75ed71a1.0021.02\/DOC_1&amp;format=PDF\" target=\"_blank\" rel=\"noreferrer noopener\">eur-lex.europa.eu<\/a><\/li>\n\n\n\n<li><a href=\"https:\/\/asociatiaenergiainteligenta.ro\/regulamentul-european-privind-reducerea-emisiilor-de-metan-in-sectorul-energetic-poate-creste-insecuritatea-energetica-si-saracia-energetica-a-romaniei\/\" target=\"_blank\" rel=\"noreferrer noopener\">asociatiaromaniainteligenta.ro<\/a><\/li>\n\n\n\n<li><a href=\"https:\/\/www.reportereconomic.ro\/index.php\/business-news\/item\/23-analiza-ce-mine-de-carbune-mai-functioneaza-in-romania\" target=\"_blank\" rel=\"noreferrer noopener\">reportereconomic.ro<\/a><\/li>\n\n\n\n<li><a href=\"https:\/\/asociatiaenergiainteligenta.ro\/analiza-impactului-propunerii-de-regulament-european-privind-metanul-asupra-industriei-extractive-de-titei-si-gaze-din-romania\/\" target=\"_blank\" rel=\"noreferrer noopener\">asociatiaromaniainteligenta.ro<\/a><\/li>\n<\/ul>","protected":false},"excerpt":{"rendered":"<p>In July 2024, Regulation 1787 was adopted to reduce methane emissions in the energy sector, with provisions impacting both the EU's production of oil, natural gas, and coal, as well as imports. Given the large number\u2026<\/p>","protected":false},"author":2,"featured_media":7129,"comment_status":"open","ping_status":"open","sticky":false,"template":"","format":"standard","meta":{"footnotes":""},"categories":[33,30],"tags":[],"class_list":{"0":"post-7125","1":"post","2":"type-post","3":"status-publish","4":"format-standard","5":"has-post-thumbnail","7":"category-articole","8":"category-noutati"},"aioseo_notices":[],"_links":{"self":[{"href":"https:\/\/www.fpe.ro\/en\/wp-json\/wp\/v2\/posts\/7125","targetHints":{"allow":["GET"]}}],"collection":[{"href":"https:\/\/www.fpe.ro\/en\/wp-json\/wp\/v2\/posts"}],"about":[{"href":"https:\/\/www.fpe.ro\/en\/wp-json\/wp\/v2\/types\/post"}],"author":[{"embeddable":true,"href":"https:\/\/www.fpe.ro\/en\/wp-json\/wp\/v2\/users\/2"}],"replies":[{"embeddable":true,"href":"https:\/\/www.fpe.ro\/en\/wp-json\/wp\/v2\/comments?post=7125"}],"version-history":[{"count":1,"href":"https:\/\/www.fpe.ro\/en\/wp-json\/wp\/v2\/posts\/7125\/revisions"}],"predecessor-version":[{"id":7130,"href":"https:\/\/www.fpe.ro\/en\/wp-json\/wp\/v2\/posts\/7125\/revisions\/7130"}],"wp:featuredmedia":[{"embeddable":true,"href":"https:\/\/www.fpe.ro\/en\/wp-json\/wp\/v2\/media\/7129"}],"wp:attachment":[{"href":"https:\/\/www.fpe.ro\/en\/wp-json\/wp\/v2\/media?parent=7125"}],"wp:term":[{"taxonomy":"category","embeddable":true,"href":"https:\/\/www.fpe.ro\/en\/wp-json\/wp\/v2\/categories?post=7125"},{"taxonomy":"post_tag","embeddable":true,"href":"https:\/\/www.fpe.ro\/en\/wp-json\/wp\/v2\/tags?post=7125"}],"curies":[{"name":"wp","href":"https:\/\/api.w.org\/{rel}","templated":true}]}}