COMMISSION DECISION (EU) 2024/2549
of 29 November 2023
on State aid SA.57543 and SA.58342 (2020/NN) (ex 2020/N), implemented by the Kingdom of Denmark and the Kingdom of Sweden for Scandinavian Airlines System AB
(notified under document C(2023) 8356)
(Text with EEA relevance)
1.
PROCEDURE
2.
DETAILED DESCRIPTION OF THE MEASURE
2.1.
Objective of the Measure
2.1.1.
The containment measures adopted by Denmark and Sweden as a response to the COVID-19 pandemic
2.1.2.
The impact of the COVID-19 pandemic and the related containment measures on SAS’ activities
2.1.3.
SAS’ equity and liquidity needs to face the COVID-19 pandemic
2.1.3.1.
Cost-savings initiatives decided by SAS to mitigate the impact of the COVID-19 pandemic
2.1.3.2.
State aid granted to SAS in the context of the COVID-19 pandemic
2.1.3.3.
SAS’ financial needs for equity and liquidity
2.1.4.
Role of SAS for the Danish and Swedish economy
2.1.5.
Absence of alternatives to the recapitalisation measure
Aid scheme |
Description of the measure |
Explanations of Sweden on the inadequacy/insufficiency of the measure |
Loan guarantee scheme to undertakings affected by the COVID-19 pandemic |
The measure provided aid in the form of guarantees on loans not exceeding SEK 75 million (approximately EUR 6,8 million) per company. Higher loan amounts might be permitted in exceptional cases but only up to a maximum of SEK 250 million (approximately EUR 22,7 million)). |
The maximum aid amount that could be granted under that scheme was insufficient to ensure SAS’ viability. SAS also needed capital to strengthen its equity and could therefore not rely exclusively on loans. |
Loan guarantee scheme to airlines affected by the COVID-19 pandemic |
The measure provided aid in the form of State guarantees for new loans to certain airlines with a Swedish license to ensure they had sufficient liquidity. |
SAS could not obtain a loan on the market under that aid scheme (recital (78)). |
Rent rebate for tenants affected by the COVID-19 pandemic |
The scheme provided aid (maximum EUR 800 000 ) to cover rent rebates agreed by landlords and undertakings active in durable consumer goods (with the exclusion of internet trade), hotels, restaurants, and certain other activities with a focus on customer relations in the context of the COVID-19 pandemic. |
The aid scheme was inappropriate to cover SAS’ liquidity and capital need, and the amount provided was manifestly insufficient. |
Compensation scheme for undertakings faced with turnover losses due to the COVID-19 pandemic |
The measure provided aid (up to EUR 800 000 ) for the losses incurred by undertakings due to the COVID-19 pandemic outbreak and the related restrictive measures in June and July 2020. |
The aid scheme only covered a loss of turnover for a limited period of time. In addition, the aid amount provided was manifestly insufficient to address SAS’ financial needs. |
Aid scheme |
Description of the measure |
Explanations of Denmark on the inadequacy/insufficiency of the measure |
Credit facility and tax deferrals linked to VAT and payroll tax |
The measure provided aid in the form of both tax deferrals and credit facility to alleviate the liquidity constraints for the most vulnerable undertakings, with a particular focus on SMEs for a total budget of EUR 130 million. |
The measure was not appropriate to address SAS’ financial situation, as the aid only covered tax deferrals and credit facilities. In addition, the aid was granted principally to SMEs, and its amount was limited. |
Compensation scheme for undertakings affected by closure of borders and travel restrictions |
The measure provided aid to undertakings in the travel and tourism-related sectors fulfilling certain eligibility conditions. |
The maximum aid amount that could be granted under the scheme (EUR 8 million per company) was insufficient to ensure SAS’ viability. |
2.2.
Outline of the different components of the Measure
2.3.
Form of the Measure
2.4.
Legal basis
2.5.
Granting authority and administration of the Measure
2.6.
Budget and duration of the Measure
2.7.
Beneficiary
2.8.
Implementation of the Measure
2.8.1.
The equity instrument
2.8.1.1.
Directed issue
2.8.1.2.
Rights Issue
2.8.2.
The hybrid capital instrument
2.8.3.
Conversion of the Existing Hybrid Notes and Bonds
2.8.4.
Governance conditions and prevention of undue distortions of competition
2.8.5.
Exit strategy of Denmark and Sweden
2.9.
Cumulation of State aid
2.10.
Monitoring and reporting
2.11.
Grounds for opening the formal investigation procedure
3.
COMMENTS FROM DENMARK AND SWEDEN
3.1.
The Measure already provides an appropriate remuneration and exit incentives for Denmark and Sweden
3.2.
Other comments on the opening decision
4.
COMMENTS FROM INTERESTED PARTIES
4.1.
Comments from SAS
4.1.1.
The Measure already provides an appropriate remuneration and exit incentives for Denmark and Sweden
4.1.2.
SAS was not able to find financing on the markets at affordable terms
4.2.
Comments from Ryanair
4.2.1.
Lawfulness of the Measure
4.2.2.
The Measure does not comply with Articles 18, 49 and 56 TFEU and Article 15 of Regulation (EC) No 1008/2008
4.2.3.
The eligibility criteria were not satisfied for SAS to obtain the Measure (point 49 of the Temporary Framework)
4.2.3.1.
The Commission did not duly justify that, without the Danish and Swedish’ intervention, SAS would go out of business or face serious difficulties to maintain its operations
4.2.3.2.
The Commission did not establish that it was in the common interest to intervene
4.2.3.3.
SAS was able to find financing on the markets at affordable terms
4.2.3.4.
The Commission relied on erroneous data to assess compliance with point 49(d) of the Temporary Framework
4.2.4.
The Measure is neither appropriate nor the least distortive alternative to competition (point 53 of the Temporary Framework)
4.2.5.
The Measure is not proportionate and the amount of the recapitalisation exceeds the minimum needed to ensure viability (point 54 of the Temporary Framework)
4.2.5.1.
Alleged misapplication of the Temporary Framework
4.2.5.2.
Alleged manifest error of assessment regarding the calculation of the amount of the aid
4.2.6.
The Measure does not ensure appropriate remuneration for and the exit of Denmark and Sweden (section 3.11.5 of the Temporary Framework)
4.2.6.1.
The equity instrument provides neither a step-up mechanism nor a comparable alternative (points 61 and 62 of the Temporary Framework)
4.2.6.2.
The hybrid capital instrument does not sufficiently remunerate Sweden and Denmark (points 65 and 66 of the Temporary Framework)
4.2.7.
The Measure does not prevent undue distortions of competition (point 72 of the Temporary Framework)
4.2.8.
The Commission cannot waive the prohibition of non-mandatory coupon payments (point 77 of the Temporary Framework)
4.2.9.
The Commission does not require the notification of a restructuring plan in time (point 85 of the Temporary Framework)
5.
COMMENTS FROM DENMARK AND SWEDEN ON INTERESTED PARTIES’ COMMENTS
5.1.
An interim recovery of the aid is not justified
5.2.
It was in the common interest to intervene in favour of SAS
5.3.
The Measure complies with articles 18, 49 and 56 TFEU
5.4.
Compliance with points 61 and 62 of the Temporary Framework
6.
ASSESSMENT OF THE MEASURE
6.1.
Existence of State aid
6.2.
Lawfulness of the State aid
6.3.
Compatibility of the State aid
6.3.1.
Eligibility and entry conditions
6.3.1.1.
Compliance with point 49(a) of the Temporary Framework
6.3.1.2.
It is in the common interest to intervene
6.3.1.3.
Compliance with point 49(c) of the Temporary Framework
6.3.1.4.
Compliance with point 49(d) of the Temporary Framework
6.3.2.
Types of recapitalisation measures
6.3.3.
Amount of the recapitalisation (point 54 of the Temporary Framework)
6.3.3.1.
Public support limited to the minimum needed to restore SAS’ capital structure
Total COVID-19 recapitalisation |
14 250 |
Equity position without recapitalisation (31.10.2021) |
– 10 024 |
A. Equity position (31.1.2020)(191) |
4 433 |
B. Expected equity position after recap (31.10.2021) |
4 226 |
Proportionality indicator I: B – A ≤ 0 |
– 207 |
C. Net Debt/Equity Ratio (31.1.2020)(192) |
4,75 |
D. Net Debt/Equity Ratio after recap (31.10.2021) |
6,81 |
Proportionality indicator II: C – D ≤ 0 |
– 2,06 |
6.3.3.2.
Public support limited to the minimum needed to ensure the viability of SAS
6.3.3.3.
Sensitivity analysis
6.3.3.4.
Conclusion
6.3.4.
Remuneration and exit of the State
6.3.4.1.
Remuneration of the equity instruments and exit of the States
6.3.4.1.1. Entry price
6.3.4.1.2. Step-up mechanism
6.3.4.1.3. Exit of the State
6.3.4.2.
Remuneration of the hybrid capital instruments and exit of the State
Type of recipient |
1st year |
2nd year |
3rd year |
4th year |
5th year |
6th year |
7th year |
8th year and after |
Large enterprises |
250 bps |
350 bps |
350 bps |
500 bps |
500 bps |
700 bps |
700 bps |
950 bps |
Hybrids Notes |
1st year |
2nd year |
3rd year |
4th year |
5th year |
6th year |
7th year |
8th year and after |
NSHN1 (SEK 5 billion) |
340 bps |
440 bps |
440 bps |
590 bps |
590 bps |
790 bps |
790 bps |
1 040 bps |
NSHN2 (SEK 1 billion) |
440 bps |
540 bps |
540 bps |
690 bps |
690 bps |
890 bps |
890 bps |
1 140 bps |
6.3.4.3.
Conclusion
6.3.5.
Governance and prevention of undue distortions of competition
6.3.5.1.
Compliance with point 72 of the Temporary Framework
6.3.5.1.1. Identification of the relevant markets
6.3.5.1.2. Overview of the relevant airports
6.3.5.1.3. Criteria for the assessment of SAS’ market power at the relevant airports
6.3.5.1.3.1. Market shares in terms of flights and seats as indicators of existing competitive structures
6.3.5.1.3.2. Barriers to expansion or entry
6.3.5.1.3.3. Slot holdings and congestion rates as indicators of potential competitive structures
6.3.5.1.3.4. Conclusion
6.3.5.1.4. Application of the criteria for the assessment of SAS’ market power at the relevant airports
6.3.5.1.4.1. Assessment of SAS’ market power at Copenhagen airport
IATA Season |
SAS’ average slot holding |
SAS’ three highest slot holdings |
Airport’s average congestion rate |
Airport’s three highest congestion rates |
Summer 2019 |
16 % |
32 % (hour band: 5:00-5:59 UTC) 32 % (hour band: 6:00-6:59 UTC) 30 % (hour band: 14:00-14:59 UTC) |
43 % |
73 % (hour band: 6:00-6:59 UTC) 72 % (hour band: 5:00-5:59 UTC) 70 % (hour band: 17:00-17:59 UTC) |
Winter 2019/2020 |
14 % |
34 % (hour band: 6:00-6:59 UTC) 32 % (hour band: 7:00-7:59 UTC) 28 % (hour band: 16:00-16:59 UTC) |
37 % |
67 % (hour band: 7:00-7:59 UTC) 64 % (hour band: 18:00-18:59 UTC)% 63 % (hour band: 19:00-19:59 UTC) |
6.3.5.1.4.2. Assessment of SAS’ market power at Stockholm Arlanda airport
IATA Season |
SAS’ average slot holding |
SAS’ three highest slot holdings |
Airport’s average congestion rate |
Airport’s three highest congestion rates |
Summer 2019 |
16 % |
30 % (hour band: 6:00-6:59 UTC) 29 % (hour band: 5:00-5:59 UTC) 29 % (hour band: 12:00-12:59 UTC) |
36 % |
59 % (hour band: 13:00-13:59 UTC) 58 % (hour band: 6:00-6:59 UTC) 58 % (hour band: 15:00-15:59 UTC) |
Winter 2019/2020 |
14 % |
32 % (hour band: 16:00-16:59 UTC) 28 % (hour band: 6:00-6:59 UTC) 27 % (hour band: 7:00-7:59 UTC) |
31 % |
62 % (hour band: 7:00-7:59 UTC) 56 % (hour band: 16:00-16:59 UTC)% 52 % (hour band: 19:00-19:59 UTC) |