Title: Greenhouse Gas Pilot
1Greenhouse Gas Pilot
- Debrief of Outcomes
- August/ September 2006
2Outline
- Background
- CoAG decision
- Pilot Outcomes
- Your Say
- Questions
3What is the Greenhouse Pilot?
- Aim Examine GHG reporting disclosure by
industry with a critical focus on the issues
associated with using NPI - Led by Victoria, in conjunction with all States
and Territories, comprises 2 work streams - Strategic Issues Stream (policy issues)
- Practical Implementation Stream
- (data collection presentation)
- Draft position paper
- Consultation
- Final position paper
- 25 companies, 70 sites across Aust
- Data available at EPA website
- Report on 2004/05 data collection soon on EPA
website
www.epa.vic.gov.au/air/greenhouse_pilot/default.as
p
4The NPI NEPM Variation
- At its meeting in July 2005, EPHC agreed to
initiate the NPI NEPM variation process - A draft NEPM and Impact Statement has been
prepared - Major issues under consideration are
- Greenhouse gases
- Transfers of waste
- Review of substances and thresholds
- Other changes include name change (National
Emissions Inventory) and removal of Aquaculture
exclusion - GHG issue has been informed by Victorias
Greenhouse Pilot
5Background other processes
- Joint EPHC/MCE groups (PWG/TWG) tasked with
investigating - Streamlining reporting burden (of various
programs) through a common web reporting point
(TWG) - Options for a national mandatory reporting
requirement (PWG) - NEPC foreshadowed NPIs potential role in above
by agreeing to initiate NEPM Variation mid-2005
6COAG Decision 14 July 2006
- Jurisdictions have been directed to pursue
national purpose-built legislation for emissions
and energy reporting and report back to COAG by
December 2006 - As a result all EPHC work on GHG has been halted,
pending the above - Should national purpose-built legislation not be
agreed at December COAG the NPI becomes a valid
fallback position - CoAGs communiqué at
- www.coag.gov.au (p.9)
7COAG Decision 14 July 2006
- Climate Change
- In relation to energy and greenhouse gas
emissions reporting, COAG agreed that a single
streamlined system that imposes the least cost
and red tape burden is the preferable course of
action. To this end - COAG agreed that Senior Officials report back to
COAG in December 2006 with a proposal for
streamlining emissions and energy reporting in
line with the above objectives. The report
should be based on the preparation of national
purpose-built legislation to provide for
cost-effective mandatory reporting and disclosure
at the company level at the earliest practicable
date. The report will also need to include
advice on timing, thresholds and governance
arrangements - COAG also agreed that the National Pollutant
Inventory (NPI) would not be used as a vehicle
for reporting greenhouse gas emissions and that
no further work be undertaken by the Environment
Protection and Heritage Council on incorporating
greenhouse gas emission reporting in the NPI
pending finalisation of the above report and
- COAG further agreed that every effort should be
made to reach agreement on a national
purpose-built legislation by December 2006.
States and Territories reserved the right to use
the NPI if the Commonwealth, States and
Territories failed to reach agreement on national
purpose-built legislation at COAGs next meeting.
8Pilot Outcomes
- Final Position Paper
- Issues investigation
- Analysis of costs and benefits of proposal
- The Pilot (NEPM) Proposal
- Report Findings from data collection and
disclosure
www.epa.vic.gov.au/air/greenhouse_pilot/default.as
p
9What would an NPI NEI with GHG look like?
The Pilot (NEPM) Proposal
- Disclosed alongside other emissions?
10What would an NPI NEI with GHG look like?
- Displayed as a local emission?
11What would an NPI NEI with GHG look like?
- Report greenhouse gas emissions to Greenhouse
Challenge and NPI separately?
12What would an NPI NEI with GHG look like?
- Mandatory reporting of GHG emissions and energy
data - Thresholds applied at a company level of 25,000
tonnes of greenhouse gas in CO2-e pa, or
production/consumption of 100 terajoules of
energy annually new threshold Category 4 - Data reported to Government at the facility
level and public disclosure at the company level - GHG emissions from off-site transport
attributable to a company is reported - Diffuse (aggregated) emission estimates included
as is currently the case
13What would be reported?
- Direct emissions of 6 Kyoto gases CO2, CH4, N2O,
HFCs, PFCs, SF6 - Indirect emissions (CO2e indirect) from
electricity use on site - Electricity use in TJ or MWh, type and quantity
of fuel (not public) - Emission reduction activities (tonnes CO2-e
abated and actions implemented) (voluntary) - Industry comment (voluntary)
- All at facility level
- Head office type facility for purposes of
reporting emissions such as company-wide fleet
emissions or aggregating a number - of small sites
14How would this data be displayed?
15How will reporting occur?
- Streamlining of emissions information is
important - Best case single reporting system for all
emissions collection programs (GHG, NPI
combustion gases and other NPI emissions) - Next best single reporting system for GHG
reporting?
- Next best flexible reporting for GHG, enabling
reporter choice between reporting via AGOs
OSCAR or NPI, depending on their reporting
demographic
16Flexible Reporting System
DEH disclosure website
Data subset for NPI to DEH (once approved by
jurisdiction)
Jurisdictional NPI team via (NRT)
OSCAR If NPI (GHG) then set facility level
reporting
Data assessment in OSCAR
GHG Y/N?
10
90
- GCP Reporter current NPI Reporter
Current NPI Reporter only
17Impacts of a Varied NEPM
- Industry Summary of costs and benefits
25kt threshold 2.5M elec. bill
18Impacts of a Varied NEPM
- Government Summary of costs and benefits
19Impacts of a Varied NEPM
- Community Summary of costs and benefits
20Strength of proposal
- Low costs (existing frameworks, minimal
additional effort for reporters to report GHG) - Short implementation timeframes
- Consistency with current program
- Pre-existence of confidentiality safeguards
- International PRTR precedents
- Opportunity to be flexibly implemented without
impeding streamlining work of TWG - Modification of existing program - least red tape
21Pilot Findings policy stream
- The NPI is a suitable mechanism for reporting
and disclosure of greenhouse gas emissions in
Australia. With existing frameworks in place this
can be done relatively quickly and at low cost to
government and business. There are clear
international precedents with NPI-equivalent
programs throughout the UK and Europe currently
including greenhouse gases.
22Pilot Findings practical stream
- 25 companies, 70 sites successfully provided data
for 2004/05 - Proposed implementation model, in particular its
flexible approach, was supported. This support
ranged from strong to cautious, to near
ambivalence. - Very low effort to report to pilot (average 3
hours per site) - No reports from the Pilot companies themselves,
or from EPA Victorias experience, of negative
consequences of disclosing this data.
23How to have your say
- Submissions on all aspects of draft NEPM
variation impact statement welcome - Details about making a submission on EPHC website
(www.ephc.gov.au) - Written submissions should be sent to
- Ms Monina Gilbey
- Project Officer
- NEPC Service Corporation
- Level 5, 81 Flinders Street
- Adelaide SA 5000
- Email mgilbey_at_ephc.gov.au
- Or, to EPA Victoria Greenhouse Pilot team
-
- Pilot_at_epa.vic.gov.au
24Questions
25(No Transcript)