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Carbon Sequestration in Agriculture

Explore how Australia, Canada, the EU, and the US approach carbon sequestration in agriculture within the Kyoto Protocol framework. Understand the challenges, negotiations, and policies influencing their institutional responses.

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Carbon Sequestration in Agriculture

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  1. Carbon Sequestration in Agriculture Institutional Responses to the Kyoto Protocol in Australia, Canada, the European Union and the United States

  2. Collaboration • Linda M. Young – Montana State • Alfons Weersink – University of Guelph • Murray Fulton – U of Saskatchewan • B. James Deaton – University of Guelph

  3. Institutional response • Why economic institutions emerged the way they did… • One question: the EU has a carbon market but does not support carbon sequestration in agriculture, while US lacks a viable carbon market but has limited support for carbon sequestration in agriculture

  4. Inclusion of LULUFC in KP Ratification of the KP Policies Supporting Agricultural Sequestration

  5. Possible Explanations Include: • Carbon sequestration opportunities • - perfect information? • 2. Interest Group Pressure: Industry, Agricultural, Environmental • 3. Institutional Inertia

  6. Inclusion of Sinks- LULUCF • Hotly debated: whether or not to include sinks in the KP • Rate of sequestration one problem • Another with potential release • Fear: granting credits not achieving real reductions • EU: emissions reductions – not sequestration • Baselines: in calculation of baselines? • Not in all countries inventories • Credits but not in baselines also problematic

  7. EU: advocate for “real” reductions • Environmental groups strong • Climate Action Network “continues to have fundamental concerns about the use of sinks under the KP…” and want a variety of guarantees, about biodiversity, no monoculture, social assessments and etc. • Agricultural interests not advocates • Eventual compromise – internal disagreement

  8. US, Canada and Australia all favored sinks • US: undaunted by concerns about measuring and monitoring; unbalanced to ignore activities that remove carbon; comprehensive accounting to protect existing reservoirs • Could account for ½ US reduction commitments!

  9. Australia’s position contradictory • Favored the inclusion of sinks • But actually, a net emitter in the land change category • Rate of land clearing 40%> revegetation • Forestry provided an emission offset of 5% national emissions • Comparative advantage not the only factor here

  10. KP - put off the issue • In 2001 Marrakesh Accords – guidelines for LULUFC • Parties can receive credit for carbon sequestered through revegetation and cropland management in excess of 1990 levels. • If land use included in their inventory, must account for both emission and sink activity during the commitment period

  11. Negotiation of KP • Conducted with a belief that they might be bound • Australian government never supportive • Use of sinks: reductions at least cost • Information may not have been perfect • Industry groups – support as least cost • Agriculture – support as service provider

  12. Ratification of the KP • EU and Canada have ratified it • Clinton administration negotiated • Bush won’t ratify • Voluntary limits • Australia: never supportive; not ratified

  13. EU Carbon Market • Began operation in 2005 • Limits emissions from 12,000 plants in six industries • Can trade with other EU firms • Linked to CDM and Joint Implementation • Restrict use of imported credits • Will not trade LULUFC activities

  14. Canada • GOC consultations domestic trading scheme – operational 2006 • LFEs have emission targets • Can purchase offsets • Also (unlike EU) from carbon sinks ag and forestry • GOC limited the price of carbon credits –CA$15/t

  15. United States • Some companies have purchased credits • Idaho example • Chicago Climate Exchange • Industry/municipal members↓emissions • Limited trades • Iowa Farm Bureau

  16. Australia • No domestic trading program • Reviewing new federal program to replace uncoordinated state programs • NSW Electricity Benchmark Scheme • Sydney Futures Exchange

  17. Registries/Inventories • Discussed in the paper • Important to establish baselines, for reductions to count against however, • A morass of details – • Effectiveness determined by how well they • meeting international standards • US case – credit towards future limits

  18. Why Governments Might Support Carbon Sequestration • Achieve commitments at least cost • Favored by industry and agricultural interest groups • Environmental groups – US , EU • Support producer income • Achieve other environmental goals

  19. Perhaps not least cost for EU & CA • KP: rules, protocols still being devised • EU: busy with new institutions • NAPS, connection of JI and CDM • Ag seq. – lots of additional infrastructure • Canada: same, but more thought into role of agricultural sequestration • Have to meet unfinished int. standards

  20. US Carbon Sequestration Programs • While KP rejected, • agricultural sequestration not completely • Embraced on a low level • EQUIP and CRP • Multitude of bills in Congress • Not developing/meeting international standards

  21. EU • No market demand • CAP also limited demand • Treaty of Amsterdam • CAP 2000 • Still little in way of sequestration activities

  22. Comparative Advantage and Stance • New studies revise estimates • First hypotheses – EU lacked comparative advantage

  23. Canada • Environmental objectives not income support policy • GHG Mitigation program – cut emissions • Identify and encourage sequestration • Development of computer simulation models

  24. Australia • Only sequestration through trees • Little potential for sequestration through crops – and salinity more pressing

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