As regards point (c), in order to avoid misinterpretations and unnecessary administrative costs and burden, the whol
e of Title V should apply from 1 January 2015 except as regards the application of the sCMO Regulation. Currently, the text of Art. 115(c) provides that only Chapter II of Title V (i.e. IACS) would apply from 1 January 2015, but other provisions, such as Art. 60-67 on general principles on checks, would apply already in 2014.As regards point (d), to make it possible to compare data and results, the monitoring and evaluation of the CAP (Art. 110) should apply from 16 October 2015 (i.e. after the CAP reform).As regards the tr
...[+++]ansparency provisions (Art. 110a - 110d), Art. 110c of HZ Regulation states that the farmers have to be informed about the publication of their names, municipalities, support amounts etc.
As regards point (c)xxx Currently, the text of Art. 115(c) provides that only Chapter II of Title V (i.e. IACS) would apply from 1 January 2015, but other provisions, such as Art. 60-67 on general principles on checks, would apply already in 2014.As regards point (d), to make it possible to compare data and results, the monitoring and evaluation of the CAP (Art. 110) should apply from 16 October 2015 (i.e. after the CAP reform).As regards the transparency provisions (Art. 110a - 110d), Art. 110c of HZ Regulation states that the farmers have to be informed about the publication of their names, municipalities, support amounts etc.