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AGRICULTURAL SOIL CARBON SEQUESTRATION VERIFICATION

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Conversion of cropland to permanent grass: Credit of 1.0 ton/ac/year ... Total and percent of no-till and grass acres meeting program requirements ... – PowerPoint PPT presentation

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Title: AGRICULTURAL SOIL CARBON SEQUESTRATION VERIFICATION


1
AGRICULTURAL SOIL CARBON SEQUESTRATION
VERIFICATION
  • SWCS, Show-Me Chapter of Missouri
  • Jefferson City, Missouri
  • Fall Forum
  • October 29, 2008

2
SES Verification
  • SES is a natural resources and environmental
    consulting firm
  • Core business is providing consulting services to
    the agribusiness community
  • Based in Merriam, Kansas
  • Verifying acres for Chicago Climate Exchange
    (CCX) since 2003
  • Verified close to 400,000 acres, primarily in 10
    Midwestern and Great Plains States

3
Purpose
  • Verification serves as the fundamental basis to
    secure information about contracted agricultural
    practices that result in carbon sequestration,
    and assurance that these practices are being
    followed.
  • Verification is integral to the validity of
    carbon equity trading and the financial
    transactions between providers and purchasers of
    equity credits.

4
Cropland Practices to be Verified
  • Acres have to be considered croppable by the
    Farm Service Agency (FSA)
  • Minimum tillage Credit of 0.6 ton/ac/year
  • No-till
  • Strip-till
  • Not ridge-till
  • Conversion of cropland to permanent grass Credit
    of 1.0 ton/ac/year
  • Conservation reserve program (CRP)
  • Farmers own conversion because of forage or
    other needs

5
Minimum Tillage
  • Must not disturb more than 30 percent of the row
    width
  • Eligible implements No-till planter or drill,
    rolling harrows, subsoil ripper with at least
    24-in spacing, anhydrous ammonia applicator, low
    disturbance manure injector
  • Ineligible implements Moldboard plow, chisel
    plow, offset disk, tandem disk, field cultivator

6
Cropland Conversion to Grassland
  • Had to be croppable acres
  • Permanent pasture or rangeland is not eligible
  • Had to be seeded after January 1, 1999
  • Must show paperwork of seeding date
  • CRP contract
  • FSA-578 form
  • Seeding dates on NRCS seeding plan
  • Farmers seeding records or receipts

7
Verification Process
  • Randomly select 10 percent of the acres from an
    aggregators pool of contracts annually.
  • Not feasible to field verify every acre every
    year.
  • Aggregator sends SES a spreadsheet randomly
    select from this list.
  • Typically choose 12 to 13 percent of the acres
    for a cushion in case of missing paperwork or
    access issues to fields.

8
Verification Paperwork from Aggregator
  • Signed contract
  • Contact information for farmer
  • Enrollment worksheet
  • FSA maps showing enrolled fields with acreage
  • FSA-578 forms
  • CRP contracts

9
Field Verification
  • All field verification (and general premise of
    program) is practice-based or management-based.
    In other words the verification is based on
    visual observations of management practices.
  • No soil sampling or other direct measurements are
    involved. This would be cost-prohibitive.
  • Management-based verification /acre
  • Soil sampling /acre

10
Field Verification (Continued)
  • Ensure we have all necessary paperwork from
    aggregator
  • Contact the farmer ahead of time
  • This is a courtesy call
  • Farmer does not have to be present, but can ride
    around with us if he wants to
  • Attempt to visit every enrolled field

11
Field Verification (Continued)
  • Confirm acreage by comparing FSA maps to visual
    observations in the field
  • Confirm crop type
  • Assess evidence of tillage practices
  • Look for old residue
  • Look for indicators of soil disturbance
  • Collect GPS reading of point-of-entry to the
    field
  • Collect digital photograph of overview of field
    and close-up of soil surface conditions (if
    necessary)

12
Verification Timing
  • Majority is done in the spring
  • (April 1-June 30) around planting season
  • Allows easier view of entire fields
  • Easier access to fields
  • Timing matches opportunity for farmer to till
    fields
  • Lesser amount done in fall after harvest

13
Verification Report
  • SES prepares a verification report for each
    aggregators pool of contracts
  • Verification report sections
  • Introduction
  • Methodology
  • Summary which includes a summary table and a
    discussion of all contracts with discrepancies
  • Conclusions
  • Summary spreadsheet

14
Verification Report (Continued)
  • Verification Summary Table
  • Total no-till and grass acres field verified
  • Total and percent of no-till and grass acres
    meeting program requirements
  • Total and percent of no-till and grass acres not
    meeting program requirements
  • Contract specific discrepancies The report notes
    specific fields and acreage that had anomalies
    (e.g., tillage).

15
Overall Program Performance
  • Conformance rates for no-till have typically been
    95 to 100 percent, with a mean of about 98
    percent.
  • Conformance rates for grassland conversion have
    been more variable and slightly lower at 75 to
    100 percent, with a mean of about 90 percent.
  • Conformance rates for grassland conversion
    usually are lower in the early pools of contracts
    because of confusion about land eligibility.

16
Common Non-Conformance Issues for No-Till
  • Tilled end rows because of compaction
  • Tillage to fix storm event damage
  • Often these two types of tillage account for less
    than 3 of a field which Aggregator considers De
    Minimus
  • Tillage to fix rutting caused by wet conditions
    at harvest or from manure applications
  • Tillage necessary because of compaction or
    rutting caused by cattle grazing stalks
  • Tillage necessitated because of change in
    cropping practices (e.g., corn after corn)

17
Common Interpretation Issues for No-Till
  • Eligibility of specific implements Must not
    disturb more than 30 of the row-width. If in
    doubt, take a picture of field and send to
    Aggregator.
  • Ridge-till is not allowed
  • Continuous low-residue crops (e.g., soybeans or
    cotton) are not allowed
  • Biomass removal of annual crops (e.g., corn
    silage, burning wheat stubble) is not allowed.
    Only lose that years credit.

18
Common Interpretation Issues for No-Till
(Continued)
  • Fallow acres. Fallow is defined as at least a
    12-month period without a crop sometimes
    difficult to interpret with winter wheat and a
    row crop in a rotation. Would not receive
    credits for that year that field is fallowed or
    a prevented planting situation (flooding).
  • Alfalfa hay Although a perennial crop, receives
    a no-till credit because most stands only last
    4-6 years.

19
Common Non-Conformance Issues for Grassland
Conversion
  • Acres were seeded prior to 1999
  • Can still be confusing when examining CRP
    contracts regarding exact seeding dates and land
    use prior to CRP contract.
  • Acres were in permanent pasture, never farmed
    therefore, not considered croppable

20
Common Interpretation Issues for Grassland
Conversion
  • Alfalfa/grass mix 50 grass considered grass
    credit 50 alfalfa considered no-till credit
  • Re-seeding or renovating old CRP or pasture
    Since it was already in grass, not eligible for
    grass credit.
  • Haying, grazing, or burning restrictions There
    are none unless it has been abused to the point
    that weeds, not grass, are the dominant
    vegetation or significant bare ground.

21
Unresolved Interpretation Issues for Land Use
Change
  • Old grass Cropland that was seeded to grass
    prior to 1999. Currently, ineligible for
    enrollment. Growing interest in crediting at a
    no-till rate.
  • CRP brought back into no-till crop production
    Currently not eligible for no-till crediting rate
    because already in grass. Turns into a policy
    debate because want to incentivize farmers not to
    till the CRP land if brought back into production
    (i.e., emission-avoidance credit).
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