This article presents the duties and powers of the President of the Energy
Regulatory Office as the national regulatory authority of Poland within the scope
of implementing the Third Energy Package. The article closely examines the
changes and omissions connected with implementing the regulations of the Third
Liberalization Package. Such implementation has not been fully executed. The
biggest shortages are visible in two fields: the realization of the aims of Articles 35 and 37 of Directive 2009/72/EC. Concerning Article 35 of the Directive, the changes
to the legal position of the President of URE (i.e., loosening his ties with the
sphere of governmental administration, something strongly advocated by negative
developments which have taken place in the legal and constitutional status of the
authority over the last six years) have not been implemented