Title: NGERS and CPRS Implications for Councils
1NGERS and CPRS Implications for Councils
Newcastle City Council identifying Councils
obligations and exposure to NGERS the CPRS
Karen Toirkens
2Newcastle City Councils landfill operations a
snapshot
- Operations commenced at Summerhill Waste
Management Centre (off Minmi Road, Wallsend) in
1995. - Currently receives approx. 220,000 tonnes of
waste p.a. - Currently licensed to dispose waste until 2015.
- Permission to continue operations until 2030
currently being sought. - Initially estimated annual emissions at gt 100,000
tonnes CO2-e - Emissions from Councils previous operations at
Astra Street are not covered by the scheme (i.e.
site closed prior to 30 June 2008 cut-off stated
in the White Paper). - Have been extracting and flaring landfill gas
from the mixed solid waste cells since 2005.
3Understanding our liabilities the journey so far
- Sought legal advice in December 2008 following
the release of the White Paper to better
understand - the relevant aspects of the White Paper
- if the Summerhill WMC would be included in the
CPRS - what NCC should do in preparation for the CPRS.
- Significant penalties for non-compliance,
including - Civil penalties for corporations of up to
220,000 - Civil penalties for a CEO (or equivalent
officers) of a corporation of up to 220,000.
4Major difference exclusion of legacy emissions
- Legacy emissions those emissions from waste
already deposited in the landfill prior to Scheme
commencement. - Future emissions those emissions arising from
waste yet to be deposited i.e. waste received
following Scheme commencement. - Previously, legacy emissions counted towards
participation threshold, but permits didnt have
to be acquired for them until 2018. - Legacy emissions still count towards reporting
obligations and the threshold under NGERs, but no
longer apply to emission liabilities. - The exclusion of legacy emissions reduces cost
liability considerably however, still need to
ensure gate fees fully reflect future emissions
so that post-closure obligations can be met.
5Methane v Carbon Dioxide
- Landfill gas is generated from organic matter,
therefore the net greenhouse impact of the carbon
dioxide emitted following decomposition is
considered to be zero. - However, methane (CH4) has 21 times the global
warming potential of carbon dioxide (CO2) i.e.
it has a net additional impact on atmospheric
greenhouse gases.
6Methane v Carbon Dioxide
- i.e. one tonne of methane 21 tonnes CO2-e
CH4
7Are we a Constitutional corporation?
- Confusion between CPRS reporting requirements
under NGERS - Confirmation with internal legal team
- Section 220 of the Local Government Amendment
(Legal Status) Act 2008 No 92 defines the Legal
Status of a Council as - A council is a body politic of the State with
perpetual succession and the legal capacity and
powers of an individual, both in and outside the
State. - A council is not a body corporate (including a
corporation). - A council does not have the status, privileges
and immunities of the Crown (including the State
and the Government of the State). - A law of the State applies to and in respect of a
council in the same way as it applies to and in
respect of a body corporate (including a
corporation).
8Is our landfill covered?
- Based on draft CPRS legislation, persons
(including local governments) that have
operational control over a landfill emitting
25,000 t CO2-e p.a. or above will be liable under
the CPRS and will have to report under NGERS from
Scheme commencement. - To avoid waste displacement from covered to
uncovered sites, this threshold will be reduced
to 10,000 t CO2-e p.a. where a landfill is within
a prescribed distance (yet to be determined) from
another landfill accepting similar waste. - The participation threshold will return to 25,000
t CO2-e or more, 10 years after the site closes.
9- Source www.renewableaustralia.com
10Estimation of landfill emissions
11(No Transcript)
12NGERs methods for estimating landfill emissions
- Method 1 uses a Tier 2 First Order Decay model
developed by the Intergovernmental Panel on
Climate Change (IPCC) in 2006. Involves the use
of IPCC default methane generation constants (k
values) for climate zones. - Method 2 involves measuring gas flows and
development of a site specific methane generation
constant (k) - Method 3 involves measuring gas flows in
conformance with a USEPA method and development
of a site specific methane generation constant
(k).
13What is a methane generation constant?
- A methane generation constant (k) determines the
rate at which organic matter decays, and hence,
the rate at which methane is generated. - k-values are dependent on site-specific factors
such as moisture content of the waste, which is
affected by things such as local climatic
conditions and landfilling practices. - The k-value used is extremely sensitive in
determining the amount of methane generated.
14Evaluation of emissions at Summerhill WMC
- NCC engaged a consultant to evaluate emissions
from Summerhill WMC in accordance with Method 1
guidelines and direct methane emissions
measurement at the landfill site. - The study was undertaken when legacy emissions
were included under the CPRS. - It was assumed that landfilling continues at the
site to 2030. - Flux chamber tests were undertaken at 51
locations across the surface of the mixed solid
waste landfill in November 2008 to - determine the total emission of methane from the
landfill - compare this to the Method 1 estimate
- determine the capture efficiency of the existing
landfill gas extraction system.
15Evaluation of emissions at Summerhill WMC
16Possible explanations for the discrepancy
- The composition of the waste mix adopted in the
NGERs Method 1 model is based on NSW waste
audits, and is different to the actual
composition at Summerhill WMC. - The k-values used in the NGERS model are too high
for the site.
17Next steps
- Council is now considering undertaking fieldwork
at the site to determine a site specific k-value
in order to use Method 2 of the NGER methods to
determine methane emissions at the site. - This approach could reduce Councils liability
under the proposed CPRS. - A financial strategy will need to be developed to
cover any liability costs and to ensure that
future costs are reflected in disposal fees so
that post-closure obligations can be met. - An understanding of acquiring permits will also
be required.
18Questions welcome
- Karen Toirkens
- Environment and Climate Change Services
- Newcastle City Council
- 4974 2549
- ktoirkens_at_ncc.nsw.gov.au