Waxman-Markey: bill would do more for climate without cap-and-trade provision
Should be called Jekyll-Hyde
Posted 4:31 PM on 21 May 2009 by Gar Lipow
http://tinyurl.com/garWaxMark1
http://www.grist.org/article/waxman-markey-bill-would-do-more-for-climate-without-cap-and-trade-provisio
Waxman-Markey is a big split personality of a bill. Its efficiency and
renewable requirements would make a dent in greenhouse gas emissions,
even if not a very big one. But the cap-and-trade at the heart of the
legislation is another story.
Why do we need cap-and-trade or a carbon tax or something similar? If
we could just flip a switch and turn off emissions quickly, there
would be no need to discuss complex schemes. In that case, the best
approach would just be to notify everyone they were required to stop
polluting a year or three from now. Because greenhouse gas emissions
are so interwoven into our infrastructure we have to phase out this
type of pollution slowly, over decades. Waxman-Markey’s approach to
this is to issue permits each year for a total amount of pollution we
will allow. Polluters must obtain permits for every bit of smoke they
belch. The idea is to allow pollution very close to the current level
the first year, then issue fewer permits every year, so the amount of
pollution allowed gradually falls. The total number of permits is the
cap. As that total drops the cap is said to tighten. Sale of those
permits is the “trade”.   Now it is easy to argue over whether this
type of system can be implemented properly, but whatever your stand on
the theoretical issue, it is pretty obvious that Waxman-Markey’s
implementation is a series of disasters.
Downstream Permitting
Waxman-Markey issues a large percent of permits to the final emitter
of pollution, rather than when oil or gas or coal is first extracted
or imported. This is referred to as downstream permitting, and Peter
Dorman at Econospeak explains why downstream permitting is a disaster.
>The single biggest flaw, one which is fundamentally not fixable, is the 
>decision to issue permits on an industry-by-industry basis - to cap the uses 
>of carbon fuels rather than their sources. This is an invitation to 
>never-ending bickering over who is allowed to emit how much. Every little 
>tweak of the system - whether to include freight transportation or agriculture 
>(which crops!) - has to be hammered out separately. Reductions are calculated 
>from a baseline, but there are acres of wriggle room about how to measure who 
>emitted how much in the base year and therefore how much should be reduced 
>tomorrow. Enforcement is complex, expensive and full of loopholes. Only 
>lawyers (and politicians with extortionary campaign finance strategies) could 
>love this
In a comment he explains further:
>1. You have to measure all this combustion. Enforcement is complex and 
>expensive, and lots of small emitters will slip through the cracks.

>2. The issue of coverage, which sectors need permits and which don’t, is 
>always on the table. And it’s not just either/or; there are lots of fine-print 
>details to be haggled over. Check out any of the existing systems that use 
>this approach, like the ETS or the Western Climate Initiative.

>3. All of the above is an open invitation to perpetual rent-seeking.

>4. In the end, all the carbon in fossil fuels either goes into the atmosphere 
>or some other component of the “fast” carbon cycle, or it is returned to the 
>lithosphere. No long-term sequestering currently happens, so at the moment you 
>can regulate emissions by regulating extraction and importation of these 
>fuels. In the future, if technologies emerge that can sequester carbon on a 
>geological time scale, you can give people extra extraction/importation 
>permits in the amount of their sequestration.
Offsets
The bill’s use of offsets is another disaster. Dan Welch defines an
offset as “an imaginary commodity created by deducting what you hope
happens from what you guess
would have happened”.   The Kyoto Clean Development Mechanism(CDM)
generates offsets. For example, Chinese hydropower plants want to
issue and sell carbon credits for power generated. They hire expensive
consultants that claim the dams would never have been built if the
builder had not hoped to sell carbon credits, in spite of the fact
China is building new electrical generation as quickly as possible.
(In fact almost all hydro projects submitted under CDM were already
approved for construction by the time they begin the application
process.) Since credits generated by CDM are used as permissions to
burn coal inside the EU, credit granted for a project that would have
happened anyway increases net emissions.   Credits for such projects
are called “non-additional” and are to a cap-and-trade system what
counterfeit money is to a banking system.  International Rivers has
documented(pdf) the predominance of such counterfeiting within the CDM
system.
 Waxman-Markey allows three kinds of offsets.
 One type of offset is basically CDM with a few additional criteria.
(In fact existing CDM credits with an added review process may well
qualify.) These criteria sound good. The credits must be additional,
existing and permanent. But fundamentally this kind of offset will
still depend on how a good a story a consultant can come up with. We
still are measuring against a guess about what might have been.
 A second is emissions reductions via agriculture and forestry.  Land
use (including animal husbandry, row crops, tree harvests and forest
fires) is second only to fossil fuels as an emission source.  However,
the same problem that prevented land use from being included in
cap-and-trade in the first place makes it a poor source of credits -
difficulty in measuring emissions precisely.  Farms, grasslands and
forests store carbon in the parts of the plant visible above ground,
in the roots and surrounding soil, and in the ecology of fungi and
other micro-organisms established in the roots and surrounding soil.
Carbon is tough to measure below the ground. Even combining satellite
pictures with expensive extensive in-soil equipment measures ecosystem
carbon within plus or minus 5%. This is only feasible on a small
scale. If large scale changes are to be made in the forestry and
agricultural sectors as a whole, measurement will be mainly via
satellite and other types of remote sensing, with modest amounts of
local measurement used to correct and improve modeling. That equipment
limitation means the best feasible large scale measurement of carbon
content will be plus or minus 10-25%.  Since biological sequestration
of this type can only take place at rate of 2% to 3% annually, the
precision is too low to provide meaningful numbers for credit
generation on a year to year basis.
 In addition biological sequestration isn’t really sequestration.
Carbon removed from the air by plants, unlike fossil fuels left in the
ground, is still part of the living carbon cycle. Plants absorb carbon
they way we breathe oxygen. Carbon embedded in plant ecologies varies
constantly, from day to day, month to month, season to season and year
to year.  This brings up a real problem of additionality. (And no,
netting it out on a short time scale does not solve the problem. We
are trying to provide incentives to change human behavior. Giving
someone a dollar every time the sun goes up, and taking it away again
every time the sun goes down is source of confusion, not a reasonable
incentive for behavior changes.)  Offsets under Waxman-Markey are
supposed to be permanent, but permanence in a dynamic system like a
farm or forest is really hard to measure - especially with
possibilities of fires, floods, storms, and pest damage.  Because
biological sequestration is a long term process not subject to precise
measurement it is unsuitable for inclusion in either trading or
emissions taxing systems. Control has to be based on the sign and
rough scale of long term changes.
 The last type of offset WM promotes is something called sectorial
offsets. The idea is guess the future emissions of a sector in a
nation with no cap. Consultants construct a Business As Usual (BAU)
scenario for, say, a sector within Indonesia. This sector can then
generate carbon credits to the extent it lowers emissions below that
baseline.  The problem here is the same as with individual CDM
projects.  Both developing nations that would generate credits and
potential buyers of those credits have enormous incentives to make
high projections and thus create counterfeit carbon credits. Large
corporations would put the pressure on to approve such scenarios
because the credits generated would be a cheap alternative to
investing in real emissions reductions, or purchase of limited
non-counterfeit credits.  The State department would probably add to
this pressure as a cheap pay-off for support in whatever the latest
ill-advised U.S. military or economic venture was.  How likely to do
you think decision makers would be to make a stand and defy such
forces over an issue as wonky and obscure as the slope of a BAU
scenario? Can you say “regulatory capture”? I knew you could.
 Lastly, WM tries to address offset flaws by deflating offset value
20%. Unfortunately there is no reason to believe offset inflation is
anywhere near that low.
Giveaways
Another flaw is that 80% of the permits are given away rather than
auctioned. (The number 85% is bandied around a great deal, but seems
to ignore the “unallocated” permits whose preferred use is deficit
reduction.)  This is an obvious justice issue, since it means the
creation of a new property right which is then turned over to the very
rich. (If the remaining 80% were auctioned, the revenue could be
returned to the public in various ways, instead of being a windfall
for wealthy utilities.)  However, I’m fairly confident that the
climate justice issues with giving away permits will be written about.
So I want to concentrate on how giveaways undermine effectiveness.

•        Giving away a large number of permits increases volatility. This
results in higher highs, and lower lows in permit prices. This would
not happen if 100% of permits given away were then sold. Markets won’t
care whether some government agency or large corporations sell these
pollution permits. But inevitably some of the permits will be kept by
those gifted with them. The whole reason for a gradual phaseout is
that emissions cannot be eliminated overnight. It would very strange
therefore if electric utilities did not have to keep a fair percent of
the permits they are given, especially in the early phases. Similarly
energy intensive industries will probably continue to use significant
amounts of fossil fuel and keep many of their permits. And so on. With
80% of permits given away it is not unreasonable to assume that 25% of
all permits (less than 1/3rd of those given out free) will be kept on
a continuing basis, that the percent kept won’t fall below that during
the early stages. That portion of free permits that are steadily used
would otherwise have to be steadily bought. In short, by giving away
almost all permits for free, we are removing a significant portion of
steady, predictable demand from the permit market. That increases
volatility of the price for those permits that remain on the market.
High prices will be higher, low prices lower.
So how does volatility affect emissions? Well remember that
proclaiming a cap, and selling permits does not magically lower
emissions. People have to comply and not emit greenhouse gases they
have no permit for. Like most laws, enforcement of carbon rules
depends on widespread compliance, so that enforcement is only needed
against rare exceptions. Volatile permit pricing discourages capital
investment for future reductions. When the cap tightens, we end up
with a situation such as happened with the RECLAIM system in Southern
California. Power plants and manufacturers were supposed clean up
their SOx and NOx pollution. But too many permits were issued, and
100% of permits were given away. Almost no capital investments
required to implement the second phase were made. Firms assumed cheap
permits would continue to be available for the second phase.
Implicitly, everybody counted upon everybody else to cut emissions. As
a result when the cap actually did tighten the ability to comply just
was not there. Equipment changes that would have reduced production of
pollution, and filtered out much of what remained had not been made.
Compliance with the second phase was delayed by several years.
Volatility undermined compliance.
•        Giving away permits also adds to the pressure for issuing too many
credits. Increasing the number of permits always lowers the price to
polluters. But issuing more permits when most are given away also
increases the number of permits polluters have to sell, often by much
more than the total percent increase. As an extreme example, consider
a company that will use 90% of their free permits for their own
pollution, and sell 10% to others. A 10% increase in the number of
permits issued will double their excess credits, double the number of
permits they can sell. That 10% increase in free permits doubles their
cash flow from carbon trading.
•        It is really difficult to give away permits without the kind of
downstream distribution Dorman criticizes. The point of giving away
permits is to buy potential opponents in a way that is not obvious.
For example, instead of giving away 80% of permits, Waxman-Markey
could auction 100% of permits, and then distribute the resulting money
to the same people the permits are going to in the same ratio. Why
wasn’t this considered? Because it would be more obvious that what was
going was a buy-off. This is the same reason that nobody ever
considered requiring permits upstream (mostly fossil fuel production
and import), while giving them away to downstream users like power
plants who could then sell them to fossil fuel companies. Giving
permits to people who keep some of them looks more “costless” than
giving them to people who sell 100% of them. In short, while one can
model giveways combined with upstream permit requirements, the
politics of giveways meld them pretty inseparably with downstream
sectorial caps. This, in turn, makes enforcement and tightening of
caps more difficult.
Politics
The usual argument for Waxman-Markey is that, though imperfect, it is
better than doing nothing.  The cap-and-trade portion is worse than
doing nothing.  Because of the flaws I’ve mentioned, it essentially
requires no emission reduction in practice for at least a decade. Any
short term benefits come from non cap-and-trade provisions, such as
the Renewable Energy Standard.
 The long term effects are even worse. The point of supporting a weak
bill in area like this would be to build political infrastructure.
Even if the standards were low, we could fight to plug better numbers
into existing regulations. But with Waxman-Markey we not only have to
fight to change the numbers. We have to replace most of the
architecture - downstream caps with upstream ones, offsets with
requirements for real reductions, giveaways with auctioning. If we
pass Waxman-Markey we still end up with a whole climate bill to pass.
And that climate bill will need to be fought for under worse
conditions than starting from scratch.  We will have to win auctions
when powerful political actors are accustomed to free permits. We will
have repeal offsets against the opposition of the entire corporate and
foreign policy establishment. We will have fight to move downstream
caps upstream over the objections of a large establishment who will
have made huge investments in gaming the complicated loophole-ridden
structure.
 Given the weakening of non cap-and-trade provisions (such as
Renewable Energy Standards) as the price of including cap-and-trade,
Waxman-Markey in its present form is a net loss for the climate.  The
renewable and efficiency standards without the cap-and-trade
provisions would provide a small net gain for the environment. But the
addition of this particular cap-and-trade turns this bill into a large
net loss. If cap-and-trade is the heart of Waxman-Markey, then this is
a piece of legislation that would be improved by having its heart torn
out.
 I’ll let Peter Dorman have the last word:
>Mainstream environmental groups are ... soooooo happy that climate deniers are 
>not in command of politics any more. They are fighting yesterday’s battle, to 
>get general agreement on the principle that climate change is caused by 
>people, and people need to do something about it. They like the nice feeling 
>that comes from all of us raising our hands and pledging, scout’s honor, to 
>achieve sustainability by 2050. But they are losing today’s battle to put into 
>place a viable means to get from here to there, and judging from their public 
>statements they don’t even know it.
 ___________________________________________
References
 Tom Athanasiou, Patrick McCully and Carl Middleton; Bad Deal for the
Planet: Why Carbon Offsets Aren’t Working and How to Create a Fair
Climate Accord, 2008,
http://internationalrivers.org/files/DRP2English2008-521_0.pdf
Peter Dorman, Why Environmentalists Should Oppose the Waxman-Markey
Bill, May 14, 2009,
http://econospeak.blogspot.com/2009/05/why-environmentalists-should-oppose.html
Gar Lipow, Cap-and-trade permit giveaway hurt Waxman-Markey
effectiveness: Permit giveaway lowers carbon price, increases
volatility, reduces capital investment, May 15, 2009,
http://www.grist.org/article/cap-and-trade-permit-giveaway-hurt-waxman-markey-effectiveness
Gar Lipow, Emissions trading: A mixed record, with plenty of failures
- Regulations work better. February 19th,
2007,http://www.grist.org/article/emissions-trading-a-mixed-record-with-plenty-of-failures
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