Title: STATE ENVIRONMENTAL POLICY ACT SEPA AND CLIMATE CHANGE
1STATE ENVIRONMENTAL POLICY ACT (SEPA) AND CLIMATE
CHANGE
- Washington States Efforts and
- Implications for Ports
- Ann K. Farr T.C. Richmond
- WPPA Consultant GordonDerr LLP
2Court cases
- Legal challenges to failure to consider GHG
emissions--EIS as driver - Decisions in other states
- Similar challenges in WA
3California et al. v. NHTSA, 508 F.3d 508 (9th
Circuit 2007)
- Does NEPA require consideration of climate change
impacts? YES - Involved challenged to CAFÉ standards for light
trucks, minivans, and pickups - NHTSA determined no EIS needed--court disagreed
4California et al. v. NHTSA NTHSA required to
consider greenhouse gas emissions
- CAFÉ standards impact climate change by impacting
GHG emissions - U.S. transportation sector is 6 of worlds
emissions, and light trucks are significant
portion of that
5Other Flaws in NHTSAs Environmental Review
- Cumulative impacts analysis insufficient failure
to look at past, present, and future actions - Standards decreased growth of emissions, but
still resulted in overall increase of emissions - End result NHTSA needed to prepare EIS to
consider climate change impacts
6California v. San Bernardino County
- Challenge to Countys general plan which governs
growth and development for next 25 years
7County settled case in 2007
- Update general plan to include GHG reduction plan
- Inventory existing GHG sources and determine
baseline emissions from those sources - Project 2020 emissions and set an emission
reduction target - Conduct environmental review of general plan
update and GHG reduction plan
8MOU between CA, LA , and Port - 2007
- State of CA, City of LA, and Port of LA establish
partnership for GHG reductions - GHG Inventories
- Solar Power project
- Environmental Impact Reports
- Evaluate and adopt all project-level mitigation
measures it determines feasible
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10 GHG laws passed in WA in 2008
- Â
- SSB 6309 DISCLOSURE--NEW VEHICLES
- The Department of Ecology (Ecology) must develop
and implement a GHG disclosure labeling program
for new passenger cars, light duty trucks, and
medium duty passenger vehicles offered for sale
beginning with the 2010 model year. - E2SHB 2815 GHG Limits and Other studies and
Actions
11E2SHB 2815
- Â Sets limits on GHG emission to achieve
state-wide reductions - to 1990 levels by 2020
- to 25 percent below 1990 levels by 2035
- to 50 percent below 1990 levels by 2050, or 70
percent below the state's expected GHG emissions
that year.
12E2SHB 2815 (continued)
- December 1, 2008
- GHG Reduction Plan to the Legislature
- Regional multisector market-based system to limit
reduce GHG emissions - Final recommendations of the Governor's Climate
Advisory Team (CAT) - Recommendations to assist state, regional,
local entities in achieving VMTs - In 2010, that the State must report total GHG
emissions for the preceding two years, and totals
in each major source sector. - Â By 2020, the state will increase the number of
clean energy jobs to 25,000.
13CLIMATE ADVISORY TEAM (CAT)
- Climate Advisory Team formed in 2007 under
executive order - Consisted of more than 200 stakeholders, chaired
by CTED and Ecology - Interim Report 12 recommendations to reduce
greenhouse gas emissions. Report at
http//www.ecy.wa.gov/climatechange/2008CAT_overvi
ew.htm
14CLIMATE ACTION TEAM (CAT 2)
- Implementation workgroups (IWGs)
- SEPA
- Energy Efficiency and Green Building
- Transportation
- Beyond Waste
- Forest Sector
- Agricultural Sector
- Plus, a GMA advisory committee
15OVERVIEW OF SEPA IWG (Implementation Working
Group)
16CAT-2 CREATED SEPA IWG
- Fundamental Assumption SEPA already requires
review of climate change impacts for nonexempt
project and non-project proposals. - Letter from Ecology Director
- Membership Cities, Counties, WSDOT, Business,
Academics, Environmental groups, and Legal
Technical and Architect Consultant
17SEPA IWG
The goal of the SEPA IWG to provide guidance
to state agencies, local governments, and the
private sector on how to analyze, disclose, and
mitigate climate change impacts under SEPA.
18Assignment of SEPA IWG
- Avoid policy by litigation
- Clarify SEPA requirements for review and
mitigation of, and adaptation to climate change
impacts. - Identify methods of measuring, mitigating, and
adapting - Provide clear guidance to lead agencies that
applies to a wide range of SEPA actions, both
project and non-project, EIS/MDNS/DNS - 2. Develop recommendations to CAT by end of
September
19TWO KINDS OF CLIMATE CHANGE IMPACTS
- Greenhouse Gas (GHG) Emissions Impacts
- Emissions
- Sinks
- Impacts
- Combined Impacts of Proposals and Changing
Environmental Conditions Resulting from Climate
Change - Vulnerability Impacts
- E.g., proposed road that will be submerged by
rising sea level
20Impacts on Atmospheric Greenhouse Gas
Concentrations from Project/Plan
Net Emissions
Project/Plan (e.g., construction of airport,
adoption of city plan)
Climate Change
Impacts on Natural and Built Environment Related
to Project/Plan (e.g., impact of submerged
roadway on traffic or water quality
Project/Plan Outcomes (e.g., houses,
transportation, infrastructure, etc.)
Changes in Natural Environment from Climate
Change (e.g., sea level rise, reduced snowpack)
21- Actions subject to SEPA Climate Change Analysis
- Project Actions
- Public and private
- Projects Housing, Retail, Marine facilities,
Airport improvements, Roads - Non-Project Actions
- State agency regulations or program
- Regional Transportation Plan
- Comprehensive plan (Port, local govt.)
- Local subarea plan
- Local development regulations
Non-Project SEPA Review Project SEPA Review
22POTENTIAL AREAS OF CLARIFICATION
- Exemptions
- SEPA Checklist
- Threshold Determinations
- Specific Standard of Significance
- EIS Analysis of Climate Change Impacts
- Mitigation
- Planned Actions
- RCW 43.21C.240 Functional Equivalence
23ANTICIPATED SEPA RESOURCES RECOMMENDATIONS
- Guidance and tools for measuring and disclosing
GHG impacts for project and non-project actions
under SEPA, including a revised checklist and
clear direction on methodologies for measuring
emissions and making SEPA threshold
determinations - Guidance or recommendations regarding possible
approaches to mitigating GHG impacts for state
agencies and local governments (project and
non-project actions)
24ANTICIPATED SEPA RESOURCES RECOMMENDATIONS
(cont.)
- Recommendations for using incentives and
disincentives related to SEPA to promote climate
friendly non-project and project actions and - Recommendations on adaptive approaches -related
to the changing environmental conditions
predicted to occur over time as a result of
climate change.
25FOCUS / PRIORITY AREA(S)(From SEPA IWG Status
Report)
- The SEPA IWG has identified and will focus on
three interrelated areas of SEPA compliance and
implementation - Work area Bucket 1 Procedural measurement
and disclosure of climate change impacts, - Work area Bucket 2 Substantive mitigation
of, and adaptation to, climate change impacts,
and - Work area Bucket 3 Leveraging SEPA to
encourage climate friendly development
26BUCKET 1 MEASUREMENT DISCLOSURE
- GHG Emissions
- What Nonexempt Project and Non-Project Actions
- Scope Direct, Indirect, Lifecycle
- Causation / Accountability
- Double Counting Problem
- Gross or Net Emissions?
- Measurement Tools
- Applicable to wide range of SEPA actions
27BUCKET 1 MEASUREMENT DISCLOSURELEVELS OF
SEPA REVIEW
MDNS
DS
DNS
EIS
MITIGATION
Specific GHG Standard of Significance?
28Sources of Emissions Being Considered
- Direct Emissions
- Direct Construction
- On-Site Mobile Sources and Company Owned VMT.
- Stationary Sources and Direct Facility Emissions
- Fugitive Emissions
- Direct Agricultural Emissions
- Forestry Conversion and other land or Aquatic
Vegetation Disturbance - Direct emissions from maintenance activities
- Indirect Emissions
- Off-Site Extraction of Purchased Materials
- Off-site Processing of Purchased Materials
- Transportation of purchased materials by Non
Company Owned Transport - Employee Commute VMT
- Other Indirect VMT
- Purchased electricity
- Water Use and Off-Site Wastewater Disposal.
- Off-Site Solid Waste
- Off-Site End-use emissions from use of
proponents products sold to others
29BUCKET 1 Use of Measurement Threshold
Determination Standard?
- A state GHG standard for significance?
- Use of a safe harbor for statewide
consistency - Guidance or standard?
- Ease of measurement?
- Percentage vs volume standards advantages
disadvantages - Direct linkage to statewide reduction standards?
- Definition and relationship to BAU
30What is significant?
- WAC 197-11-794 definition a reasonable
likelihood of more than a moderate adverse impact
on environmental quality - Key considerations include severity or intensity
of impact, context (affected environment) and
likelihood of occurrence - Direct, indirect and cumulative impacts must be
considered
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32BUCKET 2MITIGATION UNDER SEPA
- RCW 43.21C.060 lead agency can condition or deny
an action under a substantive SEPA policy - Any conditions/mitigation required by a lead
agency must be to mitigate for impacts identified
in environmental documents - See also WAC 197-11-660 for substantive SEPA
requirements
33BUCKET 2 TWO KEY QUESTIONS
- HOW MUCH MITIGATION SHOULD BE REQUIRED?
- WHAT KINDS OF MITIGATION SHOULD BE REQUIRED?
34BUCKET 2 Sequencing Mitigation Projects
- Avoid impacts
- Minimize impacts (reduce GHG emissions)
- Compensate for impacts (purchase of offsets)
35Example Mitigation Strategies
- Conserve green space
- Low impact high density development
- Minimize impervious areas
- Recycled building materials
- Construction Demolition waste recycling
- Energy efficient design and operations
- Use alternative fuels
- Reduce employee/tenant trips
- Efficient heating and lighting design
- Expand sinks wetlands, aquatic, vegetated
areas - Port GHG Reduction Plan or Strategy
36Bucket 3 Leveraging SEPA
- Expanded exemptions for climate friendly
development - Upfront SEPA i.e. analysis done at planning
level for a region or subarea - Mitigation incentives e.g. green construction
disincentives - Should some exemptions be redefined?
37Update on SEPA IWG
- Final Meeting September 30th
- Recommendations to CAT on issues from the 3
buckets. - Possible product formats
- Statutory Amendments
- WAC Amendments
- Guidance
- Policy Expanded exemptions for climate friendly
development
38Update on SEPA IWG (contd)
- Possible recommended products
- List of emissions sources
- Criteria for making decisions about what to
measures - Measurement tools
- Mitigation Options
- Measurement Case Studies/Examples
- Analysis of Threshold Determination Options
- Analysis Matrix (of all of above)
- Incentives for Climate Friendly Development
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40Practical Issues and Strategies
- Disclose GHG impacts in SEPA analysis
- Regulatory agency permit conditioning likely
under SEPA substantive authority - Track and participate in regional planning
strategies for GHG reduction - Develop port-based strategies
- Fuel efficiency, alternative energy sources
- Green building standards
- Offset Mitigation planning expansion of green
spaces, wetlands, aquatic areas
41Legal strategies
- Contact jurisdiction
- Use King County and City of Seattle checklists
and mitigations as guide even if proposal in a
different jurisdiction - http//www.metrokc.gov/permits/info/site/ClimateCh
ange.aspxSEPA - http//www.seattle.gov/dpd/Planning/GreenhouseGas/
Overview/ - Track CAT Legislation and WAC amendment
- Ecology Climate Change website
http//www.ecy.wa.gov/climatechange/index.htm
42STATE ENVIRONMENTAL POLICY ACT (SEPA) AND CLIMATE
CHANGE
- Washington States Efforts and
- Implications for Ports
- Ann K. Farr T.C. Richmond
- WPPA Consultant GordonDerr LLP