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Prof Brendan Mackey, PhD Fenner School of Environment & Society

IUCN Commission on Environmental Law Conference on Climate Change Law and Governance in South Asia – BRICs Law and Policy Dialogue on Climate Change, Sustainable Energy & Biodiversity Venue: Auditorium, India International Centre Annex, Lodhi Estate New Delhi August 20-21 st , 2010

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Prof Brendan Mackey, PhD Fenner School of Environment & Society

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  1. IUCN Commission on Environmental Law Conference on Climate Change Law and Governance in South Asia – BRICs Law and Policy Dialogue on Climate Change, Sustainable Energy & Biodiversity Venue: Auditorium, India International Centre Annex, Lodhi Estate New Delhi August 20-21st, 2010 Carbon offsets and carbon market implications for private sector: Scientific and ethical perspectives on risk assessment for carbon offset investments Prof Brendan Mackey, PhD Fenner School of Environment & Society College of Medicine, Biology and Environment Source of images: http://cdm.unfccc.int/contest/09/pc09_top25.html

  2. Four sources of carbon offset financing • Clean Development Mechanism (CDM) 2. Reducing Emissions from Deforestation and Degradation (REDD) 4. National (Regional) Mitigation Policies (e.g. cape & trade scheme) 3. Voluntary Carbon Offset Schemes e.g. The CDM allows emission-reduction (or emission removal) projects in developing countries to earn certified emission reduction (CER) credits, each equivalent to one tonne of CO2. These CERs can be traded and sold, and used by industrialized countries to a meet a part of their emission reduction targets under the Kyoto Protocol.The justification for ‘offsetting is that it stimulates sustainable development and emission reductions, while giving industrialized countries (or coorporations) some flexibility in how they meet their emission reduction limitation targets

  3. CDM (LULUCF), & REDD provide opportunities for public and private, formal and informal carbon offset investments in ‘AFOLU’ projects Source: Karan Capoor and Philippe Ambrosi (2009) STATE AND TRENDS OF THE CARBON MARKET 2009. The World Bank, Washington DC

  4. So far, China has lion share of CDM investment… Source: Karan Capoor and Philippe Ambrosi (2009) STATE AND TRENDS OF THE CARBON MARKET 2009. The World Bank, Washington DC

  5. …and only 0.1% CDM investments in AFOLU

  6. …Because risks are considered high 1. Risks of mitigation perverse outcomes ‘…concerns about permanenceof reductions, accuracy of monitoring and about “flooding the market” continued to keep LULUCF assets outside the EU ETS, as well as the proposed AU ETS and NZ ETS. Meanwhile, even governments, which have the ability to use a limited amount of LULUCF, have barely acquired any of these assets…’ (Capoor and Ambrosi 2009) 2. Risks of sustainable livelihoods perverse outcomes e.g. where carbon offset projects harm local communities e.g. through loss of ecosystem services fromland conversion or water diversion 3. Risks of biodiversity perverse outcomes e.g. where carbon offset projects result in loss of wildlife habitat

  7. How minimize risks of carbon offset AFOLU projects? These risks apply whatever the scheme (CDM, REDD, National C&T, Voluntary) Solution: factor in (i) what sciencesays we need to do & (ii) what ethicssays we should do, in arriving at climate change policies and measures. But, there are limits to extent risks can be dealt with in UNFCCC CoP decisions (i.e. international law) as there is pressure to exclude ‘non-climate change issues’ (!)

  8. What is ethics saying we should do? Acting ethically requires that we give due consideration to the impact of and potential for harm from our actions on ‘others’ for whom we are morally responsible. In the context of climate change, the ‘actions’ are mitigation policies and measures and the ‘others’ include the greater community of life (people in all nations, future generation, and ultimately other species). • The UNFCCC contains ethical principles which Parties have a legal obligation to consider when negotiating policies and measures (principles are echoed and expanded on by Earth Charter, UDHR, UNDRIP): • The prevention principle • The precautionary principle • The right to sustainable development • The ecological integrity principle • The recognition of common and differentiated responsibilities and capacities These principles can be used to frame evaluation of whether carbon offset projects may result (or are resulting) in perverse outcomesw.r.t. mitigation, sustainable livelihoods, and biodiversity

  9. What is science saying we to do? Approaches zero ~30K yr The life-time in the atmosphere of the air-borne fraction of a pulse of fossil fuel C02 is about 300 years for the first 75% and many thousands for the remaining 25% The black curve shows the ‘pulse-decay’ function which captures the overall carbon dynamics of the Bern global carbon circulation model. Sources: Prentice et al. (2001) IPCC TAR Chapter 3; Archer et al. Annu. Rev. Earth Planet (2009)

  10. The corollary is that… 1. A carbon offset project should be treated as a ‘once only’ and ‘forever’ activity. If it not, then the mitigation value of the project should be proportionally reduced 2. If the offset is an AFOLU project on previously cleared land, then ‘time since clearing‘ should be factored in as land clearing creates a carbon debt 3. There are tradeoffs as many human land uses cause land carbon emissions, deplete ecosystem carbon stocks, and prevent the accumulation of dense organic carbon stocks Life-time in the atmosphere of the air-borne fraction of a pulse of fossil fuel C02. The black curve shows the ‘pulse-decay’ function which captures the overall carbon dynamics of the Bern global carbon circulation model Source of images: Sarah Rees, ErnMainka, Brendan Mackey

  11. …and 4. Therefore, we can rank AFOLU offset activities in order of the long term mitigation benefit they provide: 1. Protection of primary forest (avoided emissions) 2. Ecological restoration of natural forests (repaying carbon debt) 3. More sustainable management of production semi-natural forests 4. Plantation forestry 5. Improved agricultural/agro-forestry practices (e.g. >soil C) With the mix of possible, feasible and appropriate land mitigation activities varying with national context and circumstances

  12. Elements of a risk management strategy for land carbon offset projects… • Theecosystem-based approachaddresses both the scientific and ethical imperatives • ‘Permanent’ in that ‘ecosystems are forever’ • Most dense and stable kind of carbon stocks • Both of which are derived from the resilience and adaptive capacity that biodiversity confers on ecosystems The Ecosystem(-based) Approach has been recognized by CBD and the special mitigation values of natural forest ecosystems is part of REDD negotiations Life-time in the atmosphere of the air-borne fraction of a pulse of fossil fuel C02. The black curve shows the ‘pulse-decay’ function which captures the overall carbon dynamics of the Bern global carbon circulation model

  13. Elements of a risk management strategy for land carbon offset projects… • 2. Co-benefits are a primary not a secondary consideration • If a carbon offset project does not generate co-benefits then it will probably causeperverse outcomes (mitigation, sustainable livelihoods, biodiversity), potentially resulting in liabilities for the investor Health of People & Communities Carbon Offset Project Decision Healthy Planet & Sustainable Ecosystems Figure adapted from: Stephen Boyden, 2008, Our place in nature: past, present and future

  14. UNFCCC CoP as a ‘law making body’ !? Figure sourced from Mackey B. et al. (in prep.) In the carbon confusion post-Copenhagen, does the world needs a new universal policy instrument for land carbon emissions

  15. Future of KP (and thus CDM) and REDD subject to ongoing negotiations on texts: • Will safeguards against perverse outcomes be noted and if so specified as ‘requirements’ or ‘advisory? • Will the special mitigation qualities of ecosystems and biodiversity be recognized or lumped in with large scale industrial land uses such as plantations? • Will we get comprehensive AFOLU rules to cover all ecosystems, e.g. wetlands • Will there be enforceable penalties for non-compliance? What will the implications be of these decisions (new international climate change law) for carbon offset investments and their risk management?

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