SUSTAINABILITY ASSESSMENT AND CLIMATE CHANGE OCTOBER 22, 2012.

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Presentation transcript:

SUSTAINABILITY ASSESSMENT AND CLIMATE CHANGE OCTOBER 22, 2012

OVERVIEW Limitations of Environmental Assessment –Climate Change as example Sustainability Assessment (The Gibsonian Approach) Sustainability Assessments by CEAA Panel Reviews CEAA 2012 and Sustainability Assessment

ENVIRONMENTAL ASSESSMENT LIMITATIONS Narrow focus on significance of adverse environmental effects Inattention to major environmental issues such as climate Ineffective cumulative effects assessment Failure to learn from experience Weak political commitment Trend to restrict application, scope and openness under the guise of streamlining

EA LIMITATIONS: CLIMATE CHANGE AND GHG EMISSIONS Kearl Oil Sands Mine $5 - 8 billion project by Imperial Oil 3.7 million tonnes of CO2 per year (comparable to 800,000 cars annually) 0.5% of Canada’s GHG emissions Joint Panel Review: GHG emissions would have no significant adverse effects on global climate Federal Court required Panel justify how an emissions-based regulatory approach would address GHGs issue

EA LIMITATIONS: CLIMATE CHANGE AND GHG EMISSIONS Other panel reviews (Joslyn North, Mackenzie Gas) have adopted same approach and reached same conclusion Project GHG emissions have no significant adverse effects on global climate Does this approach miss the point? Mackenzie Gas Project Panel took analysis further, applied sustainability approach to GHG emissions

SUSTAINABILITY CHALLENGE Humans using 50% more of biosphere’s carrying capacity than can be sustained Demands on biosphere still rising billion humans lack material basics for reliable nutrition, health, opportunity Most benefits are going to the already comfortable These problems deeply interconnected

SUSTAINABILITY CHALLENGE WWF Living Planet Report 2010, p.7

SUSTAINABILITY CHALLENGE Number of Undernourished People in World

SUSTAINABILITY CHALLENGE “Human and ecological well-being are effectively interdependent. Under all the layers of artifice and ingenuity, humans are ultimately and unavoidably dependent on biospheric conditions that are friendly to human life” Robert Gibson p. 173

OBJECTIVES OF SUSTAINABILITY ASSESSMENT Decisions must aim to avoid trend toward deeper unsustainability Projects, plans, policies, programs must make net positive contribution to a desirable and durable future Must exceed merely avoiding and mitigating adverse environmental effects

BASIC INSIGHTS OF SUSTAINABILITY ASSESSMENT Comprehensive, including socio-economic and biophysical, short and long-term Precaution because systems are complex, predictions uncertain, surprise likely Minimizing negative effects not enough; positive steps to community, ecological sustainability is essential Corrective action woven together to serve multiple objectives

BASIC INSIGHTS OF SUSTAINABILITY ASSESSMENT Recognition of ecological limits and opportunities for innovation No to balancing, presuming compromises, trade-offs; yes to multiple reinforcing gains Universal but context-dependent - local ecosystems, institutions, preferences Means and ends intertwined, open-ended process with no end state to be achieved

CORE CRITERIA FOR SUSTAINABILITY ASSESSMENTS Socio-ecological system integrity Livelihood sufficiency and opportunity Intragenerational equity Intergenerational equity Resource maintenance and efficiency Socio-ecological civility, democratic governance Precaution and adaptation Immediate and long-term integration

TRADE-OFF RULES Seek maximum net gains Place burden of argument on trade-off proponent Avoid all significant adverse effects Protect the future (do not displace negative effects to future generations) Provide explicit justification Use an open process

SUSTAINABILITY ASSESSMENT LINKS TO FEDERAL LAWS Investment Canada Act s.16.(1) “Net benefit to Canada” test for foreign investment seeking control of Canadian- owned business National Energy Board Act s. 52 Board may issue certificate for pipeline where it “is and will be required by the present and future public convenience and necessity” having to regard to considerations such as availability of oil/gas, existence of markets, economic feasibility, finances and “(e) any public interest that in the Board’s opinion may be affected by the granting or the refusing of the application Canadian Environmental Assessment Act, CEAA 2012

CEAA, CEAA 2012 AND SUSTAINABILITY ASSESSMENT Were CEAA legal obligations limited to identifying and mitigating significant adverse environmental effects of projects? Or did CEAA call for or require consideration of broader sustainability issues in decision-making? Is the argument for consideration of sustainability issues weaker in CEAA 2012? Preamble; assessments of need, purpose, alternatives to project; and capacity of renewable resources to meet present and future needs dropped from CEAA 2012

SUSTAINABILITY ASSESSMENTS BY CEAA PANEL REVIEWS Voisey’s Bay Nickel Mine and Mill Joint Panel Review (1999) White’s Point Quarry and Marine Terminal Joint Panel Review (2007) Mackenzie Gas Project Joint Panel Review (2010) Lower Churchill Dam Joint Panel Review (2011)

VOISEY’S BAY Nickel mine and mill project on north Labrador coast proposed by Inco Ltd. Innu and Inuit traditional lands Multi-jurisdictional governance regime (Canada, Newfoundland and Labrador, Innu Nation, Labrador Inuit Association) Environmental assessment review by joint panel with formal EIS and public hearings

VOISEY’S BAY

“It is the Panel’s interpretation that progress towards sustainable development will require the following: preservation of ecosystem integrity, … respect for right of future generations to sustainable use of renewable resources; and attainment of durable and equitable social and economic benefits.”

VOISEY’S BAY “Therefore in reviewing the EIS and other submissions, the Panel will consider: the extent to which the Undertaking may make a positive overall contribution towards the attainment of ecological and community sustainability, both at the local and regional levels;…”

WHITE’S POINT QUARRY AND MARINE TERMINAL Proposed basalt quarry and shipping terminal on Digby Neck, Bay of Fundy 50-year project life, about 30 direct jobs, little public revenue Canada/Nova Scotia joint panel, hearings March 2005 guidelines adopted sustainability test with ecosystem approach and precautionary principle Panel recommended against project approval, governments agreed

WHITE’S POINT QUARRY AND MARINE TERMINAL

Implications for sustainable community futures for Digby Neck and coastal Nova Scotia Implications for Bay of Fundy shipping, endangered species protection, fisheries Implications for provincial mining policy (e.g. royalties) NAFTA appeal

MACKENZIE GAS PROJECT Natural gas, gas liquids pipelines, gathering system, three natural gas anchor fields 1220 km - Mackenzie Delta to northern Alberta Estimated cost $16.3 billion, 2-3 years construction, years operation Aboriginal participation in pipeline consortium Review by joint panel - CEAA, MVRMA, IFA

MACKENZIE GAS PROJECT “In preparing for public hearings, the Proponent, Interveners and other participants should be aware that the Panel will evaluate the specific and overall sustainability effects of the proposed project and whether the proposed project will bring lasting net gains and whether the trade-offs made to ensure these gains are acceptable in the circumstances.” – JRP Determination on Sufficiency 18 July 2005

MGP SUSTAINABILITY ASSESSMENT Five key issue categories Cumulative biophysical effects Cumulative socio-economic effects Equity effects Legacy and bridging Cumulative impacts management/ preparedness Plus interactions, trade-offs

MGP SUSTAINABILITY ASSESSMENT Project could contribute to sustainability if 176 recommendations carried out Must anticipate and pre-empt adverse cumulative effects Must manage pace, scale of development Must maximize lasting gains (use direct revenues from depletion of non-renewable resources for use as bridge to more durable future)

MGP CLIMATE CHANGE AND SUSTAINABILITY ASSESSMENT Panel: GHG emissions are important component of Project’s contribution to sustainability Findings –Direct Project GHG emissions –End Use of Gas, Life-cycle Impacts –Project Contribution to Sustainability

MGP - DIRECT PROJECT GHG EMISSIONS NEB require as certificate condition GHG emissions reductions targets if federal regulations not in place Rec. 8-6 NEB require that GHG emissions be included in Project monitoring program with annual reporting against targets Rec. 8-7 Canada should develop laws reducing GHG emissions to meet or exceed targets in Climate Change Plan for Canada Rec. 8-8

MGP - END USE OF GAS, LIFE-CYCLE IMPACTS End use of gas (e.g., fuel tar sands, displace coal-fired generating) relevant to Panel’s mandate, such as life-cycle impacts Use of gas for carbon-intensive fuels is “undesirable”, “squanders valuable attributes of natural gas as transition fuel” Unpersuaded MGP gas to fuel oil sands Did not require offsetting of GHG emissions: needs comprehensive approach

MGP – CONTRIBUTION TO SUSTAINABILITY Mandating carbon neutrality, intervening in market to specify end uses not resolvable project-by-project Canada adopt implementation strategy that optimizes natural gas as transition fuel and ensures gas is preferentially used to replace carbon-intensive, polluting fuels Rec.8-9 Agency develop GHG emissions guidance document in which sustainability is over- arching objective Rec.8-10

FEDERAL RESPONSE TO MGP PANEL RECOMMENDATIONS Federal government and NEB rejected virtually all of the Panel’s forward-looking recommendations, including those on anticipating cumulative effects managing pace and scale of induced development directing revenues from depletion of non- renewables as a bridge to more durable future

SUSTAINABILITY ASSESSMENT: SQUELCHED BY CEAA 2012? Environmental effects limited to “federal” effects Consideration of purpose, need for, and and alternative means deleted from CEAA 2012 Consideration of capacity of renewable resources to meet needs also deleted

CEAA 2012 AND SUSTAINABILITY ASSESSMENT CEAA Purposes broader than just “significant adverse environmental effects” –“Ensure that designated projects” … “are considered in a careful and precautionary manner to avoid significant adverse environmental effects” s.4.1(b) –“Encourage federal authorities to take actions that promote sustainable development in order to maintain a healthy environment and a healthy economy” s.4.1(h) –Government authorities to “exercise their powers in a manner that protects the environment and human health and applies the precautionary principle s.4.(2)

CEAA 2012 AND SUSTAINABILITY ASSESSMENT Environmental effects include “with respect to aboriginal peoples, an effect … of any change that may be caused to the environment on (i) health and socio-economic conditions, (ii) physical and cultural heritage, (iii) the current use of lands and resources for traditional purposes...” s. 5.(1)(c) Factors to be considered include “environmental effects of malfunctions or accidents” s.19.(1)(a) and “comments from the public” s.19.(1)(c)

CEAA 2012 AND SUSTAINABILITY ASSESSMENT Decision-maker (Minister, NEB, CNSC) required to issue decision statement regarding likelihood and significance of adverse environmental effects of designated effects ss Cabinet may decide that designated project having significant adverse environmental effects is “justified in the circumstances” s. 52.(4) Decision-making under CEAA 2012 is broader than just adverse environmental effects

CEAA 2012 SUSTAINABILITY ASSESSMENT Is it plausible to argue that purposes of CEAA 2012 are met only if decision-makers consider more than whether project is likely to cause significant adverse effects? Do review panels still have two functions (for CEAA 2012 as for CEAA) ? –Determine whether project is likely to cause significant adverse environmental effects –Advise government (based on sustainability assessment) whether to exercise discretion to make a decision that allows project to proceed