Transcript Document

Environmental Reform
Climate Change Update
VCEDA Annual Business Outlook Conference
October 15, 2010
Sharon Rubalcava
Alston + Bird
Are you concerned about your
company’s ability to comply
with AB 32?
25%
1.
2.
3.
4.
25%
25%
2
3
25%
Yes
No
Not Sure
Does Not Apply
1
4
Are you delaying decisions about
whether to expand your business in
California due to uncertainty over AB
32 and its future effects?
25%
1.
2.
3.
4.
25%
25%
2
3
25%
Yes
No
Not Sure
Does Not Apply
1
4
Overview
• Greenhouse gases and their sources
• AB 32 and ARB regulations
• Proposition 23
• Federal regulation of greenhouse gases
What are Greenhouse Gases?
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Carbon dioxide (CO2)
Methane
Nitrous oxide
Hydrofluorocarbons
Perfluorocarbons
Sulfur hexafluoride
Sources of GHG Emissions (CA)
2004
AB 32 and ARB Regulations
Global Warming Solutions Act of 2006
(AB 32)
• Reduce GHG to 1990 levels by 2020
• California Air Resources Board (CARB) to
promulgate regulations
The Baseline/Target
(MMTCO2e/year)
• Estimated 1990 inventory:
427
• 2002-2004 average emissions:
469
• Projected 2020 emissions
from “business as usual”:
596
• Reductions required:
169
• 30% reduction below “business as usual”
Early Action Measures
•44 measures
•Projected reductions of
43MMTCO2e/yr
•Adopted regulations to be
enforceable by January 2010
ARB Scoping Plan
• Energy efficiency programs
• Renewables portfolio standard
• California cap-and-trade program (linked to
Western Climate Initiative)
Cap and Trade
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Electricity generation
Large industrial sources
Transportation fuels (by 2020)
Commercial and residential NG (by 2020)
Cap and Trade Program
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Enforceable cap beginning 2012
Cap declines to 2020
State distributes “allowances”
Limited use of offsets
Proposed for adoption by end of 2010
Proposition 23
Proposition 23
Add H&SC §38600
• (a) From and after the effective date of this measure, Division
25.5(commencing with section 38500) of the Health and Safety
Code is suspended until such time as the unemployment rate in
California is 5.5% or less for four consecutive calendar quarters.
• (b) While suspended, no state agency shall propose, promulgate,
or adopt any regulation implementing Division 25.5(commencing
with section 38500) and any regulation adopted prior to the
effective date of this measure shall be void and unenforceable
until such time as the suspension is lifted.
Effect of Prop. 23*
• Would suspend AB 32 for years
– Since 1970, only 3 periods when unemployment less than 5.5% for 4
quarters
• Would “likely suspend” cap and trade, LCFS, renewable
energy goals, and AB 32 fees
• Would “probably not” suspend new vehicle standards,
solar roof programs, SB 375, or energy efficiency
standards
* Legislative Analyst Analysis
Issues with CA AB 32 Program
• Can CA businesses comply and remain in business?
– CA businesses already most energy efficient
– Energy costs substantially higher
– Added costs of production may not be able to be passed on to
consumers
– Loss of jobs at crucial time
Issues with CA AB 32 Program
• Will only CA businesses be required to reduce GHG?
– Federal legislation uncertain
– Other state programs being delayed
• Cap and trade
– Allocation or auction of credits?
– If businesses must buy credits, will they have any money for
projects to reduce GHG?
• How will CA spend the money if credits are auctioned?
Will it be used to reduce GHG or go to the general
fund?
Issues with CA AB 32 Program
• If you can’t reduce your GHG emissions should
you be able to buy offsets (reductions created
elsewhere)?
– Should there be any limit on amount of offsets?
– Should there be geographical limits?
– Are offset creation procedures too onerous/time
consuming?
– Can offsets from other programs be used?
Issues with CA AB 32 Program
• Leakage -- If CA businesses fail, will GHG emissions
increase as demand is met by production at less efficient
facilities elsewhere?
• Will there be sufficient tools in place to monitor the
effect of the program on our economy so that
corrections can be made if necessary?
– Energy/fuel costs and availability
– Employment data
Federal Regulation of GHG
Federal Climate Change Legislation
• House -- Waxman-Markey (American Clean
Energy and Security Act) passed June 26, 2009
• Senate -- Kerry-Lieberman (American Power
Act)
• Legislation highly unlikely this year
• Long term prospects unclear
Federal Regulation of GHG
• Reporting of GHG emissions
• Vehicle emission standards
• Permits for stationary sources
GHG Reporting Requirements
• Fossil fuel burning facilities with GHG > 25,000
tpy
• Reporting begins in 2011
• Also, upstream fuel suppliers and GHG other
than CO2
Regulation of Vehicle GHG Emissions
• EPA and DOT National Highway Traffic Safety
Administration adopt Light-Duty Vehicle Rule
– Cars and light duty trucks
– Tailpipe standards/fuel efficiency
– Model years 2012 - 2016
• EPA beginning rulemaking for 2017-2025 model
years (heavy duty trucks and light-duty vehicles)
Permits for Stationary Sources
• Existing Clean Air Act PSD program for new
“major” sources and modifications to existing
sources will be applied to GHG-emitting sources
• PSD permits must consider GHG beginning
January 2, 2011 (BACT = energy efficiency)
Title V Permits
• Jan. 2, 2011 – Sources requiring permits for nonGHG emissions must include GHG regulations
• July 1, 2011 -- GHG >100,000 tpy must get
permit (~550 sources not otherwise required to
have a Title V permit)
• Phase 3 – Rulemaking to consider permits for
sources > 50,000 tpy
Environmental Review of New Projects
• Many new projects being challenged for failure to
analyze GHG emissions and effect of climate change on
the project (e.g. effect of sea rise, severe climate)
• NEPA – CEQ Guidance (projects with “meaningful
emissions” must do a climate change analysis)
• CEQA
– Numerous challenges to EIRs
– Court decisions require review, including quantification
– Guidance documents by state and local agencies
What does it all mean?
• California and other states are leading the nation in the
absence of federal legislation
• All sectors of the CA economy will be affected
• Energy efficiency will be key – costs of energy will
increase
• Planning will be crucial to identify and reduce your
company’s carbon emissions
Sharon Rubalcava
Alston + Bird
333 S. Hope St. 16th Floor
213.576.1105
[email protected]