Title: Public inputs on the baseline standard
1Public inputs on the baseline standard
- Axel Michaelowa
- UNFCCC Practitioners Workshop
- Standards for baseline scenario identification
and baseline emissions calculation - Bonn, March 4, 2011
2Overview of submitters
Ref. Submitter Affiliation Country
1 Jiwan Acharya Asian Development Bank Multinational organization
2 Ambachew F.Admassie Ethan Bio-Fuels Ltd. Ethiopia
3 Werner Betzenbichler DOEs and Independent Entities Association Multinational organization
4 Bruce Brook Lihir Gold Limited Australia
5 Ana Carnal Zero Emissions Technologies Spain
6 Henry Derwent IETA Multinational organization
7 Stephan Hoch Albert-Ludwigs-Universität Freiburg Germany
8 Dessalegne Messfin DNA Ethiopia Ethiopia
9 Klaus Oppermann World Bank Multinational organization
10 Gareth Philips Project Developer Forum Multinational organization
11 Karun Hriday Sharma Green Positive Consultants India
3Overview of comments
- Comments are rather critical, with most
commentators opposing the tools in their current
form - Comments relate to
- Purpose of tools
- Structure of tools
- Some comments are off scope
- Default grid emissions factor for grids in LDCs /
below certain per capita energy supply - CDM EB accountability for rule inconsistencies
4Purpose of tools
- So far, tools treated specific aspects of
methodologies - New tools want to generalize the baseline
section of all baseline methodologies. - Are tools mandatory or optional?
- Most commentators prefer the latter
- Project developers could use own approach, if it
is more accurate - Are the tools applied as package or can one pick
and choose?
5Purpose of tools
- Are the tools independent methodologies or do
they serve as guidance on meth development? - Commentators prefer the latter
- Approved methodologies override tools as per the
hierarchy of decisions and the tools thus could
just be seen as guidance - Well-established guidance could be superseded
- All existing methodologies would have to be
revised - Generally, comments stress inconsistencies
between existing methodologies / guidance
documents and the tools
6Structure of tools
- Very (incredibly) complex
- Fear that transaction costs of project developers
increase instead of decreasing - Hurdle to recruit qualified auditors for DOEs
- Improve language and presentation
- Flow diagrams
- Annexes
- New terminology not always necessary
7Tool for baseline identification
- Tool addresses definition of project
alternatives and treatment of suppressed demand - Introduces concept of five Methodological
Approaches for Baseline Setting (MABS) - Commentators want to limit new terminology or at
least get an unambiguous definition - General feeling that MABS 1 and 2 cannot be
separated for all project types
8Tool for baseline identification II
- Treatment of suppressed demand is generally seen
as too conservative - delivery of goods supply to cover previously
suppressed demand should not be treated as
capacity expansion - assumption that historical consumption will first
be displaced by other activities is problematic - Commentators have difficulty with the
requirement to prove that developers would /
would not invest in an alternative
9Tool for baseline calculation
- Tool specifies approaches for benchmark setting
- Commentators call for
- better guidance on how to choose between
historical/actual emissions and the benchmark - coverage of greenfield plants
- special treatment of LDCs
10Tool for baseline calculation
- Commentators call for substantiation of
- choice of the number of 10 facilities for the
definition of the relevant area - global level for the industrial gas benchmark
- differentiation of stringency level of benchmarks
across MABS - Continuation of suppressed demand should be
covered - Term benchmark needs to be defined
11Tool for determination of most attractive
alternative
- Defines alternative scenarios to the CDM
projects, for which a barrier and then an
investment analysis is done - Some commentators do not see a need for this
tool, as additionality tool is available - Terminology problems
- Project under way
- Criteria for area expansion if less that 10
comparable facilities are available
12Tool for determination of most attractive
alternative
- Restriction of barrier analysis to those
barriers really relevant for the project - One comment heavily opposes investment analysis
for all relevant alternatives due to excessive
cost for project developers - compare the most profitable ways of increasing
production - country or regional-level studies on marginal
production cost increase provided by the EB in a
top-down fashion
13Options to improve the tools
- Tool for baseline identification include series
of flowcharts explaining - Choice of MABS
- Treatment of suppressed demand
- Concept of MABS
- MABS 1 Use of baseline instead of project
efficiency might be appropriate in some cases - MABS 2 Delete option without initial investment,
or engage in a discussion whether behavioural
changes should be included in the CDM
www.perspectives.cc michaelowa_at_perspectives.cc
14Options to improve the tools II
- Concept of MABS (contd.)
- MABS 1 Use of baseline instead of project
efficiency might be appropriate in some cases - MABS 2 Delete option without initial investment,
or engage in a discussion whether behavioural
changes should be included in the CDM - MABS 2 vs MABS 5 could overlap as energy
efficiency improvement inevitably leads to a
reduction of the emissions intensity of an output
www.perspectives.cc michaelowa_at_perspectives.cc
15Options to improve the tools III
- Concept of MABS (contd.)
- MABS 3 should not exclude new industrial
facilities they could be covered by a benchmark
stringent enough to prevent perverse incentives - GHG use avoidance related to cover gas
alternatives does structurally not fit into MABS
3, it would better fit into MABS 4, as the cover
gas avoided will not be produced. MABS 3 also
generally caps the CER production level without
assessing the incentives for production increases - Gas flaring reduction should belong to MABS 5
www.perspectives.cc michaelowa_at_perspectives.cc
16Options to improve the tools IV
- Concept of MABS (contd.)
- Gas pipeline leak reduction is not covered by any
MABS - Mobile sources should not be excluded, as they
can be covered by MABS 1 and 2 - Disaggregation of projects into components can
be cumbersome combinations of MABS might be
necessary - Explain why combination of MABS 1 and 2 is not
allowed for greenfield plants
www.perspectives.cc michaelowa_at_perspectives.cc
17Options to improve the tools V
- Clarify why it is required to check whether
project developers would invest in the absence of
the CDM project - Change sequence of paras 17-22, clarify that para
20 only applies to greenfield projects - Make clear that this check is required to prevent
exclusion of all fossil power plant projects (AM
0029, ACM 0013) that would otherwise have to
apply a benchmark under MABS 5 that they could
not beat - Discuss openly about suppressed demand
www.perspectives.cc michaelowa_at_perspectives.cc
18Options to improve the tools VI
- Tool for baseline emissions calculation
- All equations that determine baseline fuel or
energy use contain a multiplicative term dividing
project by baseline efficiency. It only makes
sense if the project technology is less efficient
than the baseline technology - Consider spatial instead of administrative
geographic delineation of markets - Benchmark stringency should differentiated
according to common practice in host country and
techno-economical optimum of each project type
www.perspectives.cc michaelowa_at_perspectives.cc
19Summary
- Tools are a commendable attempt to increase the
consistency of baseline setting - Stakeholders need for substantial revisions
- Optional character of the tools preferred
- Key challenges relating to the tools
- disaggregation of projects into components,
- evaluation whether a project developer will
invest in the absence of the CDM project - coverage of suppressed demand
- stringency of benchmarks
www.perspectives.cc michaelowa_at_perspectives.cc