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CRC Energy Efficiency Scheme Eight Days To Go Are You Ready? Workshop presented 22 March 2010 by Michael Webb, Client Services Manager John Treble, Managing Director The Green Consultancy Ltd
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Why CRC? Global Warming/Climate Change (finite supply of fossil fuels being depleted – predicted massive price increases) focus on large non energy intensive users reduce UK CO 2 by 4.4m tonnes pa and help deliver 80% UK CO 2 savings by 2050 shift awareness especially at senior level drive changes in behavior and infrastructure
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How CRC Works 6,000 MWh HHM electricity in 2008; 5,000 participants highest parent organisation and all subsidiaries buy allowances to cover forecast annual emissions record and report actual emissions and surrender allowances receive recycling payment based on number of allowances, performance against base year and relative to other participants performance table published Phase 1 (2010-13) allowances £12 a tonne auctioned In Phase 2 (2013 onwards) - £50 a tonne?
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How CRC Works compulsory; financial incentive to reduce emissions; places a price on carbon emissions overall emissions reduction target achieved by a ‘cap’ on total allowances set by Government (Phase 2) participants determine most cost-effective means to act – buy allowances or invest in energy reduction annual performance league table of participants - reputational driver not a tax (all revenue recycled back to participants) scheme administrator Environment Agency scheme regulator – EA (Eng + Wales), Dept of the Environment for N.I., Scottish Env. Protection Agency
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How CRC Works participants have to monitor emissions - improved understanding of consumption and efficiency opportunities financial and reputational incentives encourage participants to develop energy management strategies and generate awareness of emissions at a senior level covers emissions outside Climate Change Agreements and EU Emissions Trading Scheme Includes large non energy intensive public and private sector organisations and all central government - approx 10% of UK’s emissions
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TIMELINE
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Key Dates – Phase 1 2010-2013 qualification year: Jan – Dec 2008 introductory phase April 2010 – 2013; unlimited allowances at fixed price of £12 per tonne footprint year: 2010-11: determines CRC carbon footprint 2010/11: first compliance year; complete registration by September and be able to report actual emissions No Allowances to purchase April 2011 - first sale of allowances – 2011-12 in advance July 2011 – final date to submit footprint data and 2010-11 annual report October 2011 first recycling payment based on 2010-11
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Key Dates – Phase 2 April 2010: start of qualification period for year two 2011-2012: footprint year and first reporting year registration starts July 2012: first annual report + footprint report April 2013: first capped auction
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Timeline – Phase 1
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Timeline – Phase 2
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INFORMATION DISCLOSURE QUALIFICATION & REGISTRATION
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Information Disclosure all organisations with a HHM settled on half hourly market at any point during calendar year 2008 but total HHM electricity less than 6000 MWh (approx 15,000) disclosure made via online registry –List HHMs settled on half hour market including meter point admin number –Identify kWh via all HHMS and if below 3,000 provide contact details, above 3,000 details of amount between April-September 2010 £500 fine per HHM if failure to comply
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Qualification 6000 MWh of electricity through any HHM settled on half hourly market Jan – Dec 2008 estimated 5,000 organisations qualify participants legally required to comply; substantial fines for non compliance registration packs sent to all half hour billing addresses Sept 2009 register online April – September 2010
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Organisation Definition highest parent company responsible – as defined by companies act includes all UK based subsidiaries includes franchises includes companies with 50%+ ownership special rules for tenant/landlord all central government will participate
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Qualification ( Jan – Dec 2008 ) responsibility of “highest parent” to report structure at Dec 2008 to include: information on subsidiaries; responsible person (Director); list of all HHMs; total HHM used in qualifying period failure to register - £5000 and £500 per additional day registration fee: £950, annual fee £1,290
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Registering via online registry, April – September 2010 pay £950 “registrant” starts process but cannot complete senior officer contact, responsible for CRC primary and secondary contact (could be senior officer) can appoint an “agent” as primary or secondary contact BUT only after registration completed
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CRC FOOTPRINT Identifies the CRC relevant carbon footprint for each participant and is fixed for each phase “Relevant Emissions” “Footprint Emissions” “Regulated Emissions” “CRC Emissions”
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Footprint Year participants identify and report CRC defined carbon footprint (CRC emissions) –phase 1: April 2010 - March 2011; submit by July 2011 –phase 2: April 2011 - March 2012; submit by July 2012
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“Relevant Emissions” all energy used in period – electricity, gas, oil, etc based on bills – estimates increased by 10% suppliers legally obliged to provide information BUT customer must formally request by no later than end Feb 2011 (for 2010-11) – provided by mid May convert to CO 2 using standard CRC factors deduct any transport and onward supply RESULT = “relevant emissions” “relevant emissions” remain fixed for first phase
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“ Footprint Emissions” Climate Change Agreement (CCA) excluded from CRC: deduct from “relevant emissions” to give CRC “footprint emissions” –If single entity and 25% of total emissions covered by CCA whole organisation exempt –If 25% of a subsidiary’s organisation, that subsidiary is exempt –If remaining HHM is under 1000 MWh then total exemption –Proof required, if CCA lost re-enter from next compliance year “relevant emissions” – CCA = “footprint emissions”
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“Footprint Emissions” must Include all “core” sources: all HHMs and AMRs, profile class 5-8 meters; daily read gas; gas AMR; non daily gas if 73,200 kWh a year (unless covered by CCA or EUETS) if core sources + CCA or EUETS are less than 90% of total footprint emissions add non core “residual sources” to reach at least 90% residual sources can be included if wished %age covered is minimum to cover in subsequent phases “footprint emissions” – allowable “residual sources” = “regulated emissions”
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CRC Emissions Finally… If any emissions covered by CCAs or by EU ETS remain in the “regulated emissions” deduct to arrive at “CRC emissions” This is the basis for reporting annual emissions and forms the basis for determining each participants “share” of total CRC footprint emissions – a key determinant of the recycling payment.
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Footprint Report end of footprint year 2010-11, report via online registry: –“footprint emissions “ –“CRC emissions” –exemptions through CCAs submit by end July 2011 failure? £5,000 fine + £500 a working day up to 40 days, then doubled
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Annual Report via online registry report annual CRC emissions by energy source automatically converted into tonnes CO 2 submit by end of July following end of compliance year – first one July 2011 surrender equivalent number of allowances backed up by auditable “evidence pack” failure: £5,000 fine plus £500 a day, doubled after 40 days; EA determines emissions and will double; allowances for doubled amount to be surrendered failure to surrender allowances: £40 tonne, withheld recycling payment and published
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CRC Evidence Pack Records to support information provided to EA must be kept in an evidence pack. records and evidence for all data used in footprint report all energy sources making up “relevant emissions” energy use and emissions for each compliance year evidence pack disclosed to the regulator when audited director required to be responsible for evidence pack failure to keep complete evidence pack viewable on request: £40 per CRC tonne of CO 2 and published
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Self Generated Electricity/ Renewables if covered by EUETS – not in CRC if ROCs or FITs claimed – no CRC benefit no ROCS or FITs claimed – can claim CRC electricity generating credits, used to offset allowances needed calculated at grid average emissions factor use of renewables noted on league table – reputational benefit
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BUYING AND SURRENDERING ALLOWANCES
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Buying Allowances Phase 1 April of each compliance year, one per tonne of forecast emissions no allowances purchased for 2010-11 first sale of allowances in April 2011 for 2011/12 no limit on total available in April BUT no more issued after April; fixed price of £12 per allowance from EA must hold and surrender sufficient allowances to cover actual emissions at year end can buy extra allowances after April from other participants, traders or through EU ETS “safety net”
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Buying Allowances Phase 2 total allowances available “capped” based on data from phase one and UK carbon targets participants work out allowances needed at a range of price points and “bid” for different amounts government decides how many allowances to issue and price set by bids made by all participants participants failing to secure sufficient allowances have to buy from anyone holding surplus allowances at a “market” price (marginal cost of carbon abatement)
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Surrendering Allowances P hase 1 annual report submitted no later than 4 months after year end – July – and allowances surrendered No allowances to surrender for 2010-11 cannot use allowances bought for current year to meet obligations for previous year can roll over unused allowances into next year BUT not from Phase 1 to Phase 2 similar process in each year of Phase 1 after first year
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PERFORMANCE LEAGUE TABLE & REVENUE RECYCLING
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Performance League Table measures relative performance of all participants – approximately 5000 performance measured against 3 “metrics” – early action, absolute, growth carbon reduction target, performance against target, responsible director and employee engagement, use of renewables also shown on league table published league table position determines +/- % “bonus” or “penalty”. bonus/penalty: year one +/- 10% rising to +/- 50% in year five
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The “Metrics” Criteria for league table position All “metrics” scored and then proportionally weighted Absolute: %age change in emissions measured as a rolling average from “footprint” year figures Early Action: voluntary half hour metering + Carbon Trust Standard Accreditation Growth: change in emissions intensity Only required to report Absolute Metric BUT will be scored zero if early action and growth not reported
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Absolute Metric compares current year emissions with average of previous five years emissions (or however many years are known starting with the footprint year – 2010-11 ) weighting –0% in year one –45% in year two –60% in year three –75% subsequently compulsory reporting
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Early Action Metric %age of non half hour metered CRC emissions covered by voluntary installed automatic metering (AMR) as of March 31 st 2011 and %age of CRC emissions covered by CT Standard (or equivalent) at 31 st March each year 50/50 split between meters and carbon standard weighting –100% in year 1 –40% in year 2 –20% in year 3 –0% subsequently voluntary reporting
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Growth Metric %age change in emissions per unit of turnover or revenue compared with average for preceding 5 years weighting –0% in year one –15% in year two –20% in year three –25% subsequently voluntary reporting
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Metric - Weighting by Year Year 1Early action 100% Year 2 Early action 40% Absolute 45% Growth 15% Year 3Early action20% Absolute60% Growth20% PHASE 2Early action 0% Absolute 75% Growth 25%
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League Table (Assuming 5000 participants) league table position based on point score for each participant ranked in order each metric scored separately and weighted – 5000 points for first place and one point for last place against each metric. Then added to give total score total score determines position on league table – 1 to 5000
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Revenue Recycling 100% of money raised by Government from sale of allowances recycled back to participants (not a tax) recycling payments are made 7 months after compliance year end, 3 months after allowances surrendered – October of each year
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Recycling Payment Calculation – it’s complicated! Key Criteria League table position +/- bonus/penalty for year (+/-10% in year one rising to +/- 50% in year 5 Individual base year emissions as %age of total base year emissions £ revenue available for recycling Bonus or penalty to be applied to each participant
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Recycling Payment C alculating… %age of total base year (2010-11) Total 8850 tonnes 100% Org A – 100 tonnes 1.13% Org B – 2000 tonnes 22.56% Org A: year two emissions 90 tonnes: allowances 90 x £12 = £1,080 Org A first in league table (based on early action metric) Org B: year two emissions 1,900 tonnes: allowances 1,900 x £12 = £22,800 Org B second in league table (based on early action metric)
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Recycling Payment C alculating… 1. calculate “size co-efficient”: year one bonus penalty range x base year %age Org A 0.2 x 1.13 = 0.23 Org B 0.2 x 22.56 = 4.52 2. calculate “R” value subtract “size co-efficient” in sequence from maximum bonus/penalty (year one = 10%) Org A10% - 0% = 10% “R” value Org B10% - 0.23% = 9.77% Org C 9.77% - 4.52%= 5.25% … etc
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Recycling Payment C alculating… 3. calculate bonus/penalty rate “R” value minus half of size co-efficient Org A 10% minus half of 0.23 (0.11) = 9.89% Org B 9.77 minus half of 4.52 (2.26) = 7.51% 4. calculate bonus/penalty payment proportionate share of revenue x bonus/penalty rate revenue available for recycling: £94,080 Org A: 1.13 x £94,080 = £1063 x 1.0989 = £1,168 Org B: 22.56 x £94,080 = £21,225 x 1.0751 = £22,819
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Auditing and Regulation emissions self certificated 20% audited each year based on risk profile all organisations “can expect to be audited during the life of the scheme” audit will cover all years to date desk based then site if needed £40 fine per incorrect tonne reported plus published
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Phase 2 – Capped 2013-14 onwards process starts again, re-assess against qualification criteria, re-do footprint (2011-12) some organisations in phase one will drop out and others join (qualification criteria?)
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Cap & Auction limited allowances, based on emissions in phase one and government target for reduction allowances auctioned; participants state allowances required at range of price points price fixed at point where demand = supply (as determined by Government) if insufficient allowances obtained in auction, balance purchased on open market Price of allowances likely to be significantly higher than £12: £50? To make sound decisions on price to bid requires Marginal Cost of CO 2 Abatement
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Implications? Costs registration and administration fee administration – internal and/or external resource improved monitoring potential fines capital tied up in allowances – seven months a year loss or gain from recycling payment
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Implications? reputation (league table published) requires senior management engagement increases importance of energy management Phase 2 cost of allowances unknown – could be 5-10 times more than £12 a tonne
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Implications? Marginal cost of CO 2 abatement by 2013 (Phase 2), participants need to be able to work out financially appropriate price to bid for for allowances which is more cost effective? –invest in CO 2 reduction OR buy energy + allowances typical energy costs per tonne of CO 2 emitted approx: £110.00 (assumes grid electric 6p per kWh and grid gas 2p per kWh)
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Cost Mitigation reduced CO 2 emissions = lower allowance cost + improved recycling payment + lower energy bills
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Act Now agree responsible senior officer and primary + secondary contacts set up planning and delivery group develop CRC strategy register online identify CRC footprint agree any “early action” adapt or develop recording and reporting system integrate with other energy/carbon action organisation wide culture change and awareness
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The Wider Picture CRCEES places greater emphasis on energy saving and carbon reduction amongst participants In short term significant compliance requirements and incentives to reduce consumption/emissions Incentives escalate substantially in Phase 2 when allowances are capped HE and FE participants to think longer term about maximising energy efficiency in a cost effective manner and how to integrate CRC with other initiatives and requirements – Carbon Management Plans HE and FE below registration threshold to consider now if likely to have to register for Phase 2
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CRC, HEFCE & CMPs CRC and HEFCE are twin drivers demanding that most universities produce comprehensive robust Carbon Management Plans (CMPs) For assistance with CRC or CMPs please contact Michael Webb michael@greenconsultancy.com 08450 176300
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A Challenge? If your electricity consumption is currently 6000 – 8000 MWh for 2009-10 can you get below 6000 MWh by 2011-12?
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