Kermitology
(Roger Feldman - May 2, 2007)
May 2, 2007 - PowerMarketers Industry
Publications
by Roger Feldman
That the tipping point in national belief in global warming’s existence
has occurred is not news. What it means for different facets of the
energy business -- notably renewable energy -- is actually more
problematic than it may seem. Time recently published a list of 51
things its readers could do to “make a difference” with respect to
global warming. Some items on the list would warm an energy merchant’s
heart: “Buy Green Power, at Home or Away.” Some were pseudo-policy
pronouncements: “Pay the Carbon Tax” -- you may not know we had one but,
Time assured us, it’s better than the “cap & trade” schemes Congress and
California are pursuing. And other suggestions empowered us all to make
a statement, without mercy to non-energy merchants (“Remove the Tie”),
and enhancing -- if not entrancing -- others (“Wear Green Eye Shadow.”).
Everyone has joined in the denunciation of global warming. There’s a
simple reason. As the spokesman for the Alliance of Auto-Manufacturers
put it: “If you’re not at the carbon negotiating table, you’re on the
menu.” True. But, I would warn energy entrepreneurs, if you’re not on
the green menu, you’re not at the table (to earn traditional green -- or
Euro currency colors.) It’s well and good for renewables advocates to
“prove” analytically that by 2025 renewable energy could provide more
than the US needs for new power capacity, and by 2030 could supply
30-40% of US petroleum products. The reality of renewables usage will be
materially affected by how carbon-minimizers evaluate their contribution
to abatement and adaptation.
The increasingly Commonly Accepted Wisdom among the carbonoscenti is
that to stabilize carbon emissions, seven different categories of
reduction techniques will be used -- not a single magic bullet.
Renewables is one of these “wedges.” So too -- and in many cases
immediately more effective -- is reduction of energy use. More
perceptibly direct is powerplant pollution control, and right up there
(as EDF has now recognized) is nuclear power. Nuclear is by far the
largest single source component of carbon reductions achieved by US
voluntary programs. And out at the technological margins the higher tech
direct carbon solutions like IGCC full commercialization and CO2 storage
are the long term solutions looked to as the consequences of cap and
trade.
So to understand, know the comparative “value” of the renewable energy
resource merchant’s product, it is necessary to view the world through
green eyeshades, green eyeshadow, and green currencies: those firms
needing or perceiving the future need to have a legal compliance or a
social PR; Kermitologists reflecting the general public’s increasing
angst at pictures of stranded penguins, dried up riverbeds, and
prospects of flooded coastal plains; and financial commodity traders who
see carbon futures trading as the greatest thing since tulipmania.
But what does it mean to purveyors of renewable energy solutions?
• First, the need to grapple with no new metrics of social utility:
demonstration of mitigation through the actual avoidance of emissions
from fossil fuel sources which otherwise would have occurred. Evaluation
of the net carbon balances of their physical production; competitive
assessment of carbon displacement profiles with competing energy
sources. The comparative measurement and explicit and implicit monetary
valuation given by government based on the metrics is critical to the
renewable industry. It is principally the life time system merits of
improving renewables from carbon displacement perspective are legally
recognized by governments that they will thrive.
• Second, recognition that the Renewable Energy Credits programs of
individual states are not today a vehicle for the denomination and
trading of carbon rights. The price assigned to RECs in effect includes
limited implicit value, and no explicit value, for carbon mitigation
potential of renewable green energy purchases. Only now is a modest
first stab at modifying this situation being undertaken by a joint
working group made up of American Bar Association/Emissions Market
Association/American Council on Renewable Energy members. Some rigorous
carbonomicists simply view RECs (like European feeder tariffs) as a
special interest diversion from the GHG-reduction crusade, or a second
order of merit type of market.
Whether renewable energy will be given explicit value in a future US GHG
cap and trade system is of course, still problematic. Perhaps renewables
will be afforded some type of set-aside or special valuation in the
system. But the form that will take, and what proof of carbon
displacement additionally will be required to prove the renewables’
“value,” remains to be seen.
Certainly the current European scheme, the basic EU ETS which is
presently in place, relegates the promotion and growth of renewables to
the realm of special side effects motivated by the individual policies
of member states. The CDM and JI initiatives for the creation of offset
carbon credits which may be used in the EU ETS system are
project-specific in nature. They are not limited to renewables, and in
fact, from a cost-effectiveness standpoint, near-term may best be served
by various industrial gas reduction projects which offer lower capital
delivery costs, with less reliance on project finance. By contrast,
repowering medium hydro, wind, or biomass cogeneration take longer to
complete, present higher risk, and may present measurement issues. There
is an absence of long-term perspective enshrined in the system.
So the amount of renewable green energy on the national carbon reduction
menu remains to emerge as a consequence of the actual shape of longer
term legislation and regulation, the effectiveness of competing
technologies in the US, abroad, and to the extent they can be
interfaced. Renewables clearly not being served as dessert at the GHG
Earth Day party, even though Time’s recommendation #28, complete with
appropriate cake illustration, is: “Have a Green Wedding.” Serious
evaluation is required of the following three basic questions:
(1) What role do renewables play in the GHG/Carbon Reduction and related
Offset Schemes presently in place in the world?
(2) What form should the US GHG markets take relative to the present
European GHG/Carbon Reduction Scheme so that renewables play an optimum
role?
(3) What public policy incentive programs and regulatory formulations
would make renewable energy most pertinent to GHG/Carbon reduction
programs on a sustainable basis?
This word of Kermitological advice is offered: It’s harder to be a
renewable green merchant then you think in the new GHG world. It is up
to the industry to better identify its niche and make sure it continues
to occupy it in the GHG world.
___________________________________________
ROGER D. FELDMAN
Roger Feldman is in the Washington DC office of Andrews Kurth, LLP (202)
662-3048; rogerfeldman@andrewskurth.com. He chairs the American Bar
Association Energy and Environmental Finance Committee and the American
Council on Renewable Energy RECs Committee. He specializes in
energy/environmental finance and related regulatory matters.
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