Cap and Trade Isn’t the Only Game In Town - Continued Dialog with Eric Pooley
October 15, 2008
May 28, 2009 | Jesse Jenkins,
Advocates of the Waxman-Markey American Clean Energy and Security Act (H.R. 2454, or "ACES" for short) argue that the bill is far more than just a climate bill. It's a comprehensive piece of clean energy, efficiency and climate legislation, and taken as a whole, they argue, it should be considered transformational -- even if the cap and trade portion of the bill may have been significantly weakened (see Breakthrough's detailed analysis of the ACES cap and trade program here).
The ACES bill does indeed include many provisions to set a new course for our nation's energy policy, including efficiency standards and regulations, authorization for new programs aimed at modernizing the nation's electricity infrastructure and paving the way for plug-in hybrid and electric vehicles, and a national renewable electricity standard. Many of these will move America in the right direction.
But the question remains: will ACES really be transformational? And will it propel American quickly away from business as usual and towards the prosperous clean energy economy and dramatic emissions reductions we need?
Breakthrough's team has taken a close look at the bill's cap and trade provision, and discovered that the combination of offset provisions and a little-known provision called the "strategic reserve pool" could allow U.S. emissions to greatly exceed the supposed emissions "cap" set by the legislation.
Here we examine one of the other major provisions of the ACES bill, the national renewable electricity standard (RES) established by Title I of the bill. Unfortunately, our analysis concludes that the RES has been severely weakened since initially proposed in the discussion draft version of the ACES bill; as it now stands, the RES may barely increase U.S. renewable electricity generation compared to business as usual projections.
The discussion draft version of ACES, originally circulated on March 31st, contained a renewable electricity standard with a nominal target of 25% of U.S. electricity generation from qualifying renewable sources by 2025.
I say nominal target, because several exemptions and specifications mean the 25% standard does not apply to all U.S. electricity generation. An April 2009 U.S. Energy Information Administration (EIA) analysis of the originally 25% by 2025 standard concluded that it would really only require 21% of U.S. electricity generation from renewable sources in 2025, after excluding the small utilities exempted from the requirement (any utility that provides less than 1 billion kWh of electricity sales in a given year) and after excluding electricity served by existing hydropower (as the bill specifies).
Furthermore, the original standard allowed a governor of any state to petition the federal government to reduce the renewable electricity requirement for utilities serving their state by 1/5th (to 20% by 2025) if they instead require utilities to achieve 5% energy efficiency savings as a substitute. If this provision were fully utilized, the renewable electricity requirement could have fallen to 16.8% of total U.S. electricity sales in 2025.
That's where things stood at the end of March. But as the ACES bill moved through backroom negotiations and the Energy and Commerce (E&C) Committee markup process, the renewable electricity standard was severely weakened.
As passed by the E&C Committee, ACES (H.R. 2454) replaces the 25% by 2025 renewable electricity requirement with a combined 20% renewable electricity (RE) and energy efficiency (EE) requirement by 2020 (continuing each year thereafter).
Again, this 20% target is nominal though, and after exempting small utilities and hydropower again, it really applies to just 16.8% of total U.S. electricity sales in 2020. (Actually the exemption is worse than that, since the threshold at which small utilities are exempted was expanded to exempt utilities selling less than 4 billion kWh of electricity each year vs 1 billion kWh in the discussion draft. I am unable to calculate the effect of this expanded small utility exemption however, and continue to rely on the EIA analysis as the basis of my calculations, which factors in the lower 1 billion kWh exemption figure. In short: this is a slightly optimistic analysis when it comes to exemptions.)
Since this is a combined RE and EE standard, up to one quarter of the requirement (i.e. 5 percentage points in 2020) can be met with certified energy efficiency savings instead of renewable electricity generation. This means the renewable electricity requirement is really just 15% by 2020 nominally, and applies to just 12.6% of U.S. electricity sales in 2020 after exemptions.
Furthermore, like the discussion draft version, the new standard allows governors to petition to allow further energy efficiency savings to be substituted for the renewable electricity requirements. If utilized, the renewable electricity requirement would be cut back to 12% by 2020 with an 8% energy efficiency requirement. After again excluding exemptions, the renewable electricity requirement would apply to as little as 10.1% of U.S. electricity generation in that scenario.
The following table summarizes and compares the nominal and real targets of the ACES discussion draft version and the H.R. 2454 version as passed by the House E&E Committee (click to enlarge)...
The bill passed by the Committee includes an RES of 20% by 2020, permitting states to allow up to 8% of the standard to be met through energy efficiency improvements. AWEA has indicated that while it hails the recognition of the importance of a national RES, such a low level - less than one-half the level originally proposed by President Obama and in Chairman Markey's original discussion draft -- could severely blunt the signal to the private sector to invest billions of dollars and expand production, manufacturing, and job creation.
Nearly any policy action that encourages more renewable energy is A-OK with us. ... However, as currently written, none of the pending RES policies will deploy significant amounts of solar. According to the Department of Energy's analysis of that 25 percent RES by 2025, which again is much stronger than the compromise goals emerging from Committees, the federal RES structure could lead to a 35 percent increase in solar compared to a 678 percent increase in wind. When you're starting at 0.001 percent, 35 percent growth doesn't amount to much.
Comments
Looks like vestes in the UK laid off more than half it's workforce building wind turbines. This of course is a product that is reliant on government mandates and subsidies.
By seven on 2009 06 03