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The Old Paradigm

Water Charge Instruments for Environmental Management in Latin America: from Theoretical to Practical Issues France Country Case José Gustavo FERES, Céline NAUGES and Alban THOMAS thomas@toulouse.inra.fr INTER-AMERICAN DEVELOPMENT BANK REGIONAL POLICY DIALOGUE. The Old Paradigm.

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The Old Paradigm

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  1. Water Charge Instruments for Environmental Management in Latin America: from Theoretical to Practical Issues France Country Case José Gustavo FERES, Céline NAUGES and Alban THOMAS thomas@toulouse.inra.fr INTER-AMERICAN DEVELOPMENT BANK REGIONAL POLICY DIALOGUE

  2. The Old Paradigm • No integrated water management approach • Separate treatment of users categories • Separate approach to quantity and quality aspects in water regulation • Environmental policy based on command-and-control mechanisms • Not adapted to the context of growing conflicts related to water availability and water quality

  3. The 1964 Water Act • Principles: • Decentralization • Integrated approach to water-related problems • Planning • Participatory decision-making process

  4. The New Approach to Water Management Policy • Institutional Arrangements • River basin as basic management unit • River Basin Committees (RBCs) • Water Agencies (WAs)

  5. RBCs Consultative bodies “Water Parliaments” composed by Water users Governmental representatives Stakeholders WAs Executive branches Financing of private and municipal investment projects intended to reducing pollution and increasing water availability River Basin Committees and Water Agencies

  6. Water Charges • Objectives • Financing investments defined in the working program established by WA and approvd by RBCs • Induce water use efficiency • Who pays ? • Farmers (minor, just some animal breeding activities) • Households • Industrialists • Two components • Water withdrawal • Effluent emission

  7. Water charge design process

  8. Institutional barriers RBC composition Insufficient knowledge available to WAs with respect to water environment, external costs and consumer behavior Legal barriers Dubious juridical nature of water charge Institutional and legal barriers

  9. Implementation Path • First period: 1967 – 1992 • Low water charge levels, to ease acceptability • Second period: mid-nineties • Higher water charge levels, to correct for discrepancies between environmental objectives and actual achievements of WA policy • Enforcement of the “polluter pays” principle • Third period: late nineties to the present • Account for socio-economic consequences of household price increases • Incorporation of a larger part of the agriculture sector in the water charge system

  10. Environmental Outcomes • Significative reduction in industrial and domestic pollution levels • Failure to control for agriculture emissions and to modify use patterns, since a majority of farmers are not incorporated in the water charge system

  11. Institutional and legal factors • Agricultural water pollution charges • Difficulties in the implementation, since subsidies granted by WA could come into conflict with European agricultural subsidy policies. • Separation between WA and environmental agencies • Lack of information sharing between WA (responsible for water charges) and environmental agencies (in charge of regulation enforcement)

  12. Public Debate & Political Acceptability • Weight of water charges are gaining in importance, and so are complaints by residential water users • Residential users are the main contributors to the WA budget, while being at the same time the less favored stakeholders in the system

  13. Subsidies and charges 1992-1996 (in million French Francs)

  14. Subsidies and loans allocation(in million French Francs)

  15. Subsidies and Loans Allocation • Problematic issues • Small agents are not targeted by WA, who prefers to direct subsidies toward large users or polluters • Absence of project managers prevents WA’s intervention, making difficult the implementation of non-source pollution control measures

  16. Major Drawbacks • Farmers • Virtually exempted from the water charge system (except for some animal breeding activities) • Not charged for nitrogen and pesticide pollution

  17. Residential users • Water charges do not give an accurate price signal • Effluent emissions charge is not based on real consumption but on expected total water consumption • Cost-recovery and political constraints • Cost recovery ceilings limit price incentives • Residential users are more reluctant to new water charge increases • Industrial users • Lack of transparency and equity in the effluent emission charge system

  18. Recommendations • Role of WA • Co-owned company or a public organism committed to environmental objectives ? • Design of the charge • Clear guidelines for the computation of the effluent emission charge • Need of a continuous evaluation process to analyze the effects of the charge system on uses and on the environment

  19. User information • Need for more transparency and information to promote efficient water use. Especially for residential users, since they do not gain directly from rebates, exemptions and subsidies • Strengthening of residential users’ participation on RBCs

  20. Creation of a national water committee • Goals • Coordinate efforts among regulatory instances (WA, regional directions for industry and environment) • Definition of environmental objectives at the national level, especially to implement European directives • Centralize data collection, process and analysis

  21. Towards a sustainable implementation path • Two-stage implementation path • First stage: Simplified water charges, to allow users to become familiar with the charge system • only a subset of major pollutants being considered for taxation • just most important users being charged • Second stage: widening of the charge system • Set of pollutants is widening up to cover other important substances, including non-point source pollution • Unit charges are gradually increased depending on final environmental objectives

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