top of page
evcharging-blog-banner-1920px-x-672px.jp

Search Results

325 items found for ""

  • Rolec and Wattif form strategic partnership to provide funded smart charging solutions

    NEWS EV Charging Rolec and Wattif form strategic partnership to provide funded smart charging solutions Chloe Sharp 20 November 2023 at 13:54:07 One of Europe’s leading electric vehicle chargepoint manufacturers, Rolec EV, has entered into a strategic partnership with end-to-end EV charging provider, Wattif EV, offeringboth of their customer bases with a sophisticated hardware solution paired with accessible funding options. Earlier this year, Wattif EV secured €50M from a leading Pan-European investment fund to underpin their strategy to become one of Europe’s leading destination charging providers. This new collaboration between Wattif EV and Rolec EV enables greater accessibility for landowners to install EV charging on their property and provides Wattif EV with a more diverse range of chargepoint hardware to further expand their offering. Wattif EV’s flexible net revenue sharing model provides businesses, local authorities and land-owners a fully scalable and cost-effective solution for the adoption of EV charging infrastructure and aims to make the uptake of zero-emission travel simple and low risk. When partnered with Rolec EV’s comprehensive range of hardware solutions, Wattif EV has the capacity to provide their service to businesses of varied size and structure to widen their offering and further improve the success of the Government’s net-zero initiatives over the coming years. Wattif EV will be making two funding options available to Rolec EV customers: Turnkey solution; a fully funded complete turnkey solution, including hardware, chargepoint installation, maintenance and software. Meaning no risk of investment for the business. Joint venture; Wattif EV will share the upfront capital cost. Wattif EV will take responsibility for installation, maintenance and operation but as equal partners, net revenue will be shared equally with the customer. Together, Rolec EV and Wattif EV are championing accessibility within the electric transport sector via Wattif EV’s unique funding solution, driving the sustainable travel movement through a combined philosophy of quality and affordability. Frankie Mellon, Sales Director at Rolec EV, had this to say: ‘We are delighted to announce that Rolec EV’s hardware has been approved to support the rollout of Wattif EV’s network throughout the UK and Ireland. As approved chargepoint supplier for Wattif EV, Rolec EV will provide a comprehensive range of funded charging solutions to be integrated with Wattif’s software, allowing Wattif EV to provide a fully turnkey solution to customers. Our collaboration with Wattif EV means that Rolec EV will now be able to provide a variety of funding options to our customer base, with a focus on making the adoption of electric vehicle infrastructure more accessible to the wider market.’ Steve Rees, Wattif Managing Director for the UK & Ireland, added: "Rolec's smart EV charging hardware, combined with Wattif's turnkey solution and funding options, is the perfect solution to enable everyone to install and operate EV charging in their car park. Improvements to charging infrastructure and access to charge points play a key role in EV adoption, the elimination of range anxiety and the achievement of legislative targets for 2030. Wattif EV UK is keen to address the EV charging demands across all sectors. Together as Rolec's approved funding provider, I know we have a very convincing proposition for both new and existing installations to be managed on smart charging networks. This partnership for Wattif EV provides Rolec clients and installers with turnkey funding models to help them on their route to net zero and transition to electric vehicle adoption." PREVIOUS NEXT Related Posts Rolec EV Named Official Charging Partner for Farnborough International Exhibition and Conference Centre Rolec and Monta join forces to deliver over 20,000 connected EV charge points in 2023 Rolec and Sinexcel partner up to bring affordable DC charging to the UK

  • Rolec wins Palm Islands Marinas

    Rolec wins Palm Islands Marinas Marina Services

  • 16 x pump-out pedestals in quick succession

    16 x pump-out pedestals in quick succession Marina Services

  • 3 reasons why your marina will benefit from EV charging.

    BLOG Marina Services 3 reasons why your marina will benefit from EV charging. ​ 12 December 2023 at 11:07:54 The future of transport is changing at a speed like never before, drivers are now opting for cleaner and greener modes of transport, with many choosing to drive an electric vehicle (EV). This is a worldwide phenomenon with EV uptake occurring on a daily basis, meaning that drivers require the facilities to recharge their vehicles in public spaces. Rolec design, manufacture and install a vast range of EV charging points, suitable for all locations, allowing EV drivers to recharge their vehicles with ease and excellence. Here are three reasons why offering EV charging to your visitors could be the best decision you’ve made… Additional Revenue Stream With Rolec’s state-of-the-art back office management system, EV Charge.Online, marina operators are able to control and manage user tariffs to suit each business requirement. Marina managers and operators are therefore capable of generating further income from offering EV charging as an additional service. EV Charge.Online also allows marina operators to adjust their tariffs to accommodate busy periods; for example, marinas could charge their visitors more for recharging during bank holidays, evenings and or weekends. Numerous marinas have noticed a return on investment within months of installing Rolec’s EV charging points at their destinations and continue to generate further income as the demand for electric vehicles increases. Visitor Retention Those who drive an electric vehicle are known to be conscious about whether a destination offers EV charging or not. If a destination does offer the facilities to recharge electric vehicles, EV drivers are more likely to visit that destination as opposed to destinations that do not offer EV charging. Offering your visitors the ability to recharge their vehicles is an effective method of maintaining visitors and creating a loyal customer base. If your EV driving visitors can recharge their electric vehicles at your destination, expect them to return! Green Credentials Almost every business around the world looks to create a better environment for the future and many are joining the EV revolution by either adopting a fleet of electric vehicles or implementing EV charging infrastructure across their outdoor settings. By deploying EV charging points at your marina or waterfront destination positions your business at the forefront of its industry in being advocates of a better environment. Whilst doing this, situating EV charging points at your destination can also encourage employees and non-EV driving visitors to adopt an electric vehicle for a cleaner and green environment. Simply put, installing EV charging points at your marina indicates that you are doing your part and have a commitment to ensuring a greater environment for the future of the planet. For more on EV charging for your marina or waterfront destinations, visit: www.rolecserv.com/marina-ev-charging PREVIOUS NEXT Related Posts Supporting UK Marinas Attract Visitors from Far and Wide 30 Years with Rolec Marina. Major Movements in the Middle East for Rolec Marina.

  • Sales Support > Charging at Home

    Home Site Structure Support Site Structure Does your WallPod:EV HomeSmart support smart/green charging? Sales Support Charging at Home Does your WallPod:EV HomeSmart support smart/green charging? Absolutely! With the award winning ev.energy app, the WallPod:EV HomeSmart can automatically charge your electric vehicle during off-peak hours, allowing you to benefit from cheaper charging, whilst also earning reward points towards free coffee and Amazon vouchers. Just make sure that you have enabled ‘smart charging’ on your driver app Learn more about the WallPod:EV HomeSmart and charging on the go with the ev.energy App: www.rolecserv.com/charging-on-the-go 10 February 2022 Last updated: Related Support How does the WallPod:EV HomeSmart connect to the network? What other benefits does the WallPod:EV HomeSmart provide? Do you offer a smart electric vehicle charging point for the home? Are Rolec’s EV charging points compatible with all EVs?

  • EV Charging | Rolec Services Ltd

    ENQUIRE NOW FULLY FUNDED EV charging solutions for workplaces Find out more... Home Site Structure Caravan Hook-Ups Site Structure Site Structure Caravan Products EV Charging WORKPLACES Support your employees’ transition to driving an electric vehicle With electric vehicles becoming more and more popular, your caravan/holiday park destination requires electric vehicle charging points to accommodate for all of your visitors. Rolec manufacture, design and install Europe’s largest range of EV charging points, providing a solution for all budgets and requirements. Why choose ROLEC EV charging solutions? Eligible for grant funding Compatible with all EVs & PHEVs Dedicated account managers Manufactured in the UK Nationwide installation & maintenance Bespoke chargepoint branding service Seamlessly charging workplace vehicles across the nation 1/1 Case studies: Flat owner-occupiers and people living in rented properties Next Enabling you to manage and operate your own charging network Monta gives your business the flexibility it needs to adapt to the growing needs of the modern EV driver. Stop wasting time and resources on EV charging management. Monta gives you full control over employee charging needs while automating and streamlining repetitive admin work. Set different pricing Manage chargepoints on an individual level and decide pricing for different groups. Smart charging Set chargepoint to only charge at times when conditions are met, such as low electricity price, low CO2, or high amount of renewable energy. Scalable solution Add or remove chargepoints and users through our platform. You can scale up and down as you please. Load balancing Static, Dynamic or True Dynamic options to distribute the electricity in a smart way. No need to buy expensive extra ampere. Sponsored chargepoint Employees can charge at home on their company account, thereby avoiding the need to receive money on slow intervals. LEARN MORE Other preferred back-office management & mobile app partners include: + many more EV funding for caravan parks FULLY FUNDED Electric vehicle charging solutions for your caravan and holiday parks Did you know that 90% of EV drivers will seek out destinations that have chargepoints over those that do not? Funded turnkey s olutions Wattif EV are a funding solution provider covering the cost of chargepoint installation, purchase, maintenance, and software. This means you can build EV charging infrastructure without any risk of investment for your business. Find out more... ENQUIRE NOW Government grants Did you know that your UK business could save up to £14,000 on the installation of electric vehicle charging points? Find out more... ENQUIRE NOW Generate Additional Revenue Offer pay-to-charge solutions to chargepoint users and generate additional revenue. Using our flexible pricing model, drivers can charge their vehicles at a cost that suits your business requirements. Get your destination known Put your caravan/holiday park destination on the map by catering for the increasing number of EV drivers on the road. Offering the facilities to recharge is an effective way of generating greater footfall. Environmental Responsibility In a world where protecting the environment is pivotal. Deploying electric vehicle charging points at your caravan/holiday park destination shows that your business is encouraging environmental change whilst increasing green credentials. This in turn generates better air quality whilst encouraging employees and visitors to drive cleaner and greener vehicles. Loyalty & Customer Retention If your destination offers EV charging, chances are, electric vehicle drivers are likely to return, knowing that they can recharge conveniently. Situating electric vehicle charging points at your destination will provide peace of mind for drivers, providing them with confidence to return. Can’t find what you are looking for, or have a question? Give us a call on +44 (0) 1205 724 754 CONTACT US EV CHARGEPOINT PRODUCT RANGES WALLPOD LEARN MORE ZURA LEARN MORE QUBEV Smart LEARN MORE SECURICHARGE LEARN MORE BASICCHARGE LEARN MORE QUANTUM LEARN MORE AUTOCHARGE LEARN MORE ULTRACHARGE 160 LEARN MORE

  • EV Fleet Management and Prototype Testing

    CASE STUDY EV Fleet Management and Prototype Testing Jaguar Land Rover approached Rolec EV to provide a solution which could fulfil their current and future EV charging requirements across various production facilities throughout the UK. SCOPE Design and install an EV charging network that allows staff and customers to be issued with an RFID key fob enabling them to use JLR charging points across multiple sites. All charging activity to be reported via GPRS to the JLR back office for analytic feedback and monitoring purposes. SOLUTION Design and installation of Rolec’s EV GroupManager system in conjunction with Rolec AutoCharge:EV pedestals and SecuriCharge:EV wall units, providing a future proof and expandable charging network that can be deployed throughout the UK. PREVIOUS NEXT Jaguar Land Rover

  • Rolec Data Processing Addendum

    < Back Rolec Data Processing Addendum This Data Processing Addendum (this “Addendum ”) forms part of the written or electronic agreement between Rolec Services Ltd (“Supplier ”) and you (“You ” or “Your ”) for the products and/or solutions identified in the agreement (collectively, the “Services ”) with Supplier (the “Agreement ”). 1. Definitions. Capitalised terms used, but not defined, herein have the meanings set forth in the Agreement. As used in this Addendum, the following terms have the following meanings: 1.1. “Customer Data ” shall mean the data, information or material provided, inputted, or submitted by You or on Your behalf into the Services, which may include data relating to Your customers and/or employees or other individuals. 1.2. “Customer Personal Data ” means any Personal Data that is provided by You to Supplier and Processed by Supplier as Data Processor as part of Supplier’s provision of the Services to You. 1.3. “Data Controller ” means the natural or legal person, public authority, agency, or other body which, alone or jointly with others, determines the purposes and means of the Processing of Personal Data. 1.4. “Data Processor ” a natural or legal person, public authority, agency or other body which Processes Personal Data on behalf of the Data Controller. 1.5. “Data Protection Laws ” means all applicable UK and/or EU laws and regulations governing the use or processing of Personal Data, including without limitation GDPR, UK GDPR and the Data Protection Act 2018. 1.6. “GDPR ” means EU General Data Protection Regulation 2016/679. 1.7. “Personal Data ” means any information relating to an identified or identifiable natural person (“Data Subject ”); an identifiable natural person is one who can be identified, directly or indirectly, in particular by reference to an identifier such as a name, an identification number, location data, an online identifier or to one or more factors specific to the physical, physiological, genetic, mental, economic, cultural or social identity of that natural person. 1.8. “Privacy Notice ” means Supplier’s privacy notice issued to you, or published on its websites, which may be amended by Supplier from time to time. 1.9. “Processing ” means any operation or set of operations which is performed on Personal Data or on sets of Personal Data, whether or not by automated means, such as collection, recording, organisation, structuring, storage, adaptation or alteration, retrieval, consultation, use, disclosure by transmission, dissemination or otherwise making available, alignment or combination, restriction, erasure or destruction and “Process ”, “Processed ” and “Processes ” shall be construed accordingly. 1.10. “Supervisory Authority ” means an independent public authority which is established under applicable European Union member state law and which concerns itself with the Processing of Personal Data. 1.11. “UK GDPR ” means the GDPR as it forms part of the laws of England and Wales, Scotland and Northern Ireland by virtue of Section 3 of the European Union (Withdrawal) Act 2018. 2. Interpretation. Where there is any inconsistency between the terms of this Addendum and any other terms of the Agreement, the terms of this Addendum shall take precedence. 3. Supplier as Data Processor 3.1. For the purposes of the Agreement, the parties agree that You are the Data Controller with respect to Customer Personal Data and as Data Controller, You have sole responsibility for its legality, reliability, integrity, accuracy and quality. 3.2. You warrant and represent that: 3.2.1. You will comply with and will ensure that Your instructions for the Processing of Customer Personal Data will comply with the Data Protection Laws; 3.2.2. You are authorised pursuant to the Data Protection Laws to disclose any Customer Personal Data which You disclose or otherwise provide to Supplier regarding persons other than You; 3.2.3. You will where necessary, and in accordance with the Data Protection Laws, obtain all necessary consents and rights and provide all necessary information and notices to Data Subjects in order for: (i) You to disclose the Customer Personal Data to Supplier; (ii) Supplier to Process the Customer Personal Data for the purposes set out in the Agreement; (iii) Supplier to disclose the Customer Personal Data to: (a) Supplier’s agents and service providers; (b) law enforcement agencies; (c) any other person in order for Supplier to meet any of its legal obligations, including statutory or regulatory reporting; and (d) any other person who has a legal right to require disclosure of the information, including where the recipients of the Customer Personal Data are outside the EEA. 3.3. During the term of the Agreement, Supplier warrants and represents that it: 3.3.1. shall comply with the Data Protection Laws applicable to Supplier while such Customer Data is in Supplier’s control; 3.3.2. when acting in the capacity of a Processor, shall only Process the Customer Data: (i) as is necessary for the provision of the Services and the performance of Supplier’s obligations under the Agreement; or (ii) otherwise on Your written instructions. 4. Data Controller Obligations 4.1. To the extent that a party acts as a data controller each party shall comply with the provisions of this paragraph 4. The respective roles in this paragraph 4 apply whether either party receives the Personal Data from the other, their representatives, or directly from data subjects (as relevant). 4.2. Each party agrees to comply with Data Protection Law in connection with its own processing of the Personal Data. 4.3. The Supplier shall process the Personal Data only for the purposes of performing its obligations or exercising its rights under or in connection with the Agreement. 4.4. Each of the parties will in its capacity as data controller of the Personal Data, use reasonable endeavours to: 4.4.1. Notify the other promptly upon becoming aware of any actual or suspected security incident; and 4.4.2. Promptly provide the other with all the information in its/their possession or control in relation to the security incident and assist the other to seek to mitigate the effects of the security incident, comply with the Data Protection Law and adhere to guidance issued by the Information Commissioner’s Office (ICO) with regard to security breach management and reporting and not make any announcement or publish or broadcast any information about the security incident (other than to the ICO and/or data subjects as required by Data Protection Law) or authorise or permit the same except after having notified the other of its intention to do the same. 4.5. At the end of the engagement between the parties, or on a party’s instructions, each party shall return or destroy (at the other party’s election) all Personal Data provided by the other. 5. Processing of Customer Personal Data. When Processing Customer Personal Data, the Supplier shall comply with the following provisions: 5.1. Generally. Supplier shall: 5.1.1. taking into account the nature of the Processing, assist You by appropriate technical and organisational measures, insofar as this is reasonably possible, for the fulfilment of Your obligation to respond to requests from individuals for exercising Data Subjects’ rights; 5.1.2. taking into account the nature of the Processing, and the information available to it, provide reasonable assistance to You in ensuring compliance with Your obligations relating to: (i) notifications to Supervisory Authorities; (ii) prior consultations with Supervisory Authorities; (iii) communication of any breach to Data Subjects; and (iv) privacy impact assessments. 5.2. Personnel. Supplier shall: 5.2.1. take reasonable steps to ensure the reliability of any personnel who may have access to the Customer Personal Data; 5.2.2. ensure that access to the Customer Personal Data is strictly limited to those individuals who need to know and/or access the Customer Personal Data for the purposes of the Agreement; and 5.2.3. ensure that persons authorised to Process the Customer Personal Data have committed themselves to confidentiality or are under an appropriate statutory obligation of confidentiality. 5.3. Security and Audit. 5.3.1. Supplier shall implement and maintain technical and organisational security measures appropriate to the risks presented by the relevant Processing activity to protect the Customer Personal Data against unauthorised or unlawful Processing and against accidental loss, destruction, damage or disclosure. Such measures shall, as a minimum, meet the standards required by Data Protection Laws. 5.3.2. Supplier has in place and shall maintain appropriate technical and organisational measures to ensure a level of security appropriate to the risk, including, but not limited to: (i) the pseudonymisation and encryption of personal data; (ii) the ability to ensure the ongoing confidentiality, integrity, availability and resilience of processing systems and services; (iii) the ability to restore the availability and access to personal data in a timely manner in the event of a physical or technical incident; and (iv) a process for regularly testing, assessing and evaluating the effectiveness of technical and organisational measures for ensuring the security of the processing. 5.3.3. Supplier has and shall maintain and enforce an information security management program (“Security Program”) which contains appropriate administrative, physical, technical and organisational safeguards, policies and controls. 5.4. Data Breach. Supplier shall notify You if it becomes aware of a breach of security leading to the accidental or unlawful destruction, loss, alteration, unauthorised disclosure of, or access to the Customer Personal Data arising from any act or omission of Supplier or its sub- processors. 5.5. Transfer of Personal Data 5.5.1. You acknowledge that the provision of the Services may require the Processing of Customer Personal Data by sub-processors in other territories. Supplier shall not transfer Customer Personal Data outside the United Kingdom to a sub-processor where such transfer is not subject to: (a) an adequacy decision (in accordance with Data Protection Laws); (b) appropriate safeguards (in accordance with Data Protection Laws); or (c) binding corporate rules (in accordance with Data Protection Laws), without Your prior written consent. 5.6. Return and Deletion. At Your option, Supplier shall delete or return all Customer Personal Data to You at the end of the provision of the Services and delete all existing copies of Customer Personal Data unless Supplier is under a legal obligation to require storage of that data or Supplier has another legitimate business reason for doing so. 5.7. Use of Sub-Processors. 5.7.1. You agree that Supplier has general authority to engage third parties, partners, agents or service providers, including its Affiliates, to Process Customer Personal Data on Your behalf in order to provide the applications, products, services and information You have requested (“Approved Sub-Processors ”), subject to such Approved Sub-Processors being included on the Supplier’s list of standard sub-processors at https://www.rolecserv.com/rolec-smart-solutions/sub-processors . Supplier shall not engage a sub-processor to carry out specific Processing activities which fall outside the general authority granted above without Your prior specific written authorisation and, where such other sub-processor is so engaged, Supplier shall ensure that the same obligations set out in this Addendum shall be imposed on that sub-processor. 5.7.2. Supplier shall be liable for the acts and omissions of its Approved Sub-Processors to the same extent Supplier would be liable if performing the services of each Approved Sub-Processor directly under the terms of this Addendum. 5.8. General 5.8.1. The provisions of this Addendum shall survive termination of the Agreement. RODPAED-V01-R2 Rolec Data Processing Addendum Previous Next

  • Rolec Leisure Services wins Major Spanish Contract

    Rolec Leisure Services wins Major Spanish Contract Caravan Hook-Ups

  • OZEV Grant Funding | Rolec Services Ltd

    Government grant funding options Home Site Structure EV Charging Site Structure OZEV Grant Funding Homes and businesses can benefit from huge savings when purchasing EV chargepoints The Office for Zero Emissions (OZEV) provides grant funding schemes for both homes and businesses. You could be eligible to save thousands of pounds in this government incentive to increase the number of electric vehicle charging points across the UK. This is our breakdown of what's available. So who's eligible, and what savings can be made? Flat owner-occupiers and people living in rented properties Next Workplace Charging Scheme for state-funded education institutions Next Landlords, social housing providers and property factors Next EV chargepoint grant for landlords Next EV infrastructure grant for residential car parks Next EV chargepoint grants for businesses, charities and public sector organisations Next EV infrastructure grant for staff and fleets Next Workplace Charging Scheme (WCS) Next EV chargepoint grant for flat owner-occupiers and people living in rented properties The EV chargepoint grant for flat owner-occupiers and people living in rented properties provides funding towards the cost of installing electric vehicle smart chargepoints at domestic properties across the UK. It replaced the Electric Vehicle Homecharge Scheme (EVHS) on 1st April 2022. Up to £350 * Up to 75% of the cost to buy and install a chargepoint, £350 per grant. ​ ​ ​ Who can claim the grant: ​ Homeowners who live in flats. People living in rental accommodation (flats and single-use properties). ​ ​ To be eligible for the grant, you must: Have dedicated off-street parking. Own, lease or have the use of a qualifying vehicle. Not have already claimed the grant (either the EV chargepoint grant or the previous EVHS grant) for your EV. If you live in Scotland, you may be eligible for an additional grant of up to £300** through the Energy Saving Trust (EST). This is on top of the £350 OZEV grant. View full OZEV eligibility HOME CHARGING ENQUIRY *Subject to OZEV Ts & Cs EVHS EV chargepoint grants for landlords, social housing providers and property factors To assist landlords with providing EV charging to their tenants, the government has developed two OZEV grants. The EV chargepoint grant for landlords and the EV infrastructure grant for residential car parks. These grants have been designed to save landlords thousands of pounds on infrastructure and installing EV chargers. OZEV Property Factors EV chargepoint grant for landlords ​ Up to £70,00 0 * per y ear Up to 75% of the cost to buy and install an EV chargepoint, limited to £350 per grant. Each financial year, landlords can receive up to: • 200 grants for residential properties • 100 grants for commercial properties ​ These can be across several properties and installations or for one propert y.​ ​ To be eligible for the grant, you must: Building owners (including landlords and social housing providers and property factors). • single-unit residential properties, such as flats and houses • multi-unit residential prop erties, such as apartment blocks • commercially-let units View full OZEV eligibility RESIDENTIAL CHARGING ENQUIRY *Subject to OZEV Ts & Cs EV infrastructure grant for residential car parks ​ Up to £900,000 * per year A grant of up to £30,000 per building or estate. Limited to 30 grants per financial year. You must install infrastructure for a minimum of 5 private off-street parking spaces, with at least one working chargepoint. Up to £850 grant funding is available per bay (£500 per parking bay provisioned with charging infrastructure, plus an additional £350 per parking bay with a EV chargepoint). ​ If more chargepoints are needed in addition to those provided by this grant, then the EV chargepoint grant for landlords may be used. ​ ​ To be eligible for the grant, you must: Landlords or other entity who rents, leases or manages properties in the UK. • multi-unit residential properties, such as apartment blocks View full OZEV eligibility RESIDENTIAL CHARGING ENQUIRY *Subject to OZEV Ts & Cs OZEV Landlords OZEV Residential EV chargepoint grants for businesses, charities and public sector organisations The UK government has some of the most ambitious targets in the world for reducing carbon emissions and backed them up with substantial grants for electric car charging installations. There are two OZEV grants available to workplaces, the Workplace Charging Scheme (WCS) and the EV infrastructure grant for staff and fleets. OZEV Businesses EV infrastructure grant for staff and fleets ​ Small to medium business enterprises (SMEs) can also access the EV infrastructure grant for staff and fleets alongside the WCS grant, helping them install the infrastructure they need for chargepoints, now and in the future. Both grants can be used at the same site, but not for the same charging points. ​ Up to £75,000 * A grant is capped at £15,000 per building, or 75% of installation costs. Up to £850 grant funding is available per bay (£500 per parking bay provisioned with charging infrastructure, plus an additional £350 per parking bay with a working EV chargepoint). Chargepoints installed must be exclusively for staff or fleet use. You must install infrastructure for a minimum of 5 private off-street parking spaces, with at least one chargepoint. Businesses can claim up to 5 grants (only one grant per site that the business owns, leases or rents). ​ ​ To be eligible for the grant, you must: SMEs with up to 249 employees. View full OZEV eligibility FLEET CHARGING ENQUIRY *Subject to OZEV Ts & Cs OZEV Fleets Workplace Charging Scheme (WCS) ​ Up to £14,000 * The grant covers up to 75% of the total cost to purchase and install EV chargepoints. Up to £350 is available per socket. Max. of 40 sockets across all sites per applicant. Chargepoints must be used by staff or fleet only. Except for charities and small accommodation businesses, your guests and visitors may use the chargepoints. ​ ​ Who can claim the grant: ​ Workplaces Small accommodation businesses (inc. Hotels, B&Bs, Holiday Lets & Campsites) Charities ​ ​ Please note, if your home is your registered workplace with Companies House or HMRC, you may be eligible for the grant. ​​ View full OZEV eligibility WORKPLACE CHARGING ENQUIRY *Subject to OZEV Ts & Cs OZEV WCS Workplace Charging Scheme for state-funded education institutions ​ Up to £100 ,000 * The grant covers up to 75% of the total cost to purchase and install EV chargepoints. Up to £2 500 is available per socket. Max. of 40 sockets across all sites (this includes any applications made previously through the Workplace Charging Scheme). ​ ​ Who can claim the grant: ​ State-funded schools and education institutions in England, Wales, Scotland and Northern Ireland. If your institution is in the Channel Islands or the Isle of Man, it is not eligible ​ ​ Please note, if you want to open your chargepoints to the public and charge for usage, you will need to ensure you comply with the Public Chargepoint Regulations 2023 and associated guidance . ​​ View full OZEV eligibility WORKPLACE CHARGING ENQUIRY *Subject to OZEV Ts & Cs OZEV Institutions

Can’t find what you are looking for, or have a question?
Give us a call on +44 (0) 1205 724 754

bottom of page