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Transcript
Climate Change
Regulation and Water
Supply
Water Law in Washington Conference
Law Seminars International
Friday, June 4, 2010
Craig Gannett
Davis Wright Tremaine LLP
Seattle Office
Agenda
 Federal Climate Change Legislation
 SEC Climate Change Guidance
 CEQ’s NEPA Guidance
 Ecology’s SEPA Guidance
Context
Federal Legislation
 Waxman-Markey (H.R. 2454) passed the House on
June 26, 2009.
 Kerry-Boxer (S. 1733) reported by the Senate
Environment and Public Works Committee on November
5, 2009.
 After Senator Graham backed out, Senators Kerry and
Lieberman released their draft bill on May 12, 2010.
 Enactment this year unlikely, but….
Federal Legislation (cont.)
 Goal: 80% reduction below 2005 levels by 2050
 One allowance required for each ton emitted
 Transition from free allowances to full auction
 Natural resource adaptation component:
 Revenue from a small percentage of allowances will
be applied to adaptation
 Federal agencies will create adaptation strategy
 States will be required to submit adaptation plans to
the federal government for approval
SEC Guidance
 Guidance Regarding Disclosure Related to Climate
Change, 17 C.F.R. parts 211, 231 and 241
 Required disclosures include:
 Impact of future climate regulation
 Effect of water supply changes, rising sea levels, changing
weather patterns, etc. on the company and its supply chain
 Effect of climate change on demand for the company’s
products or services
NEPA Overview
 National Environmental Policy Act (NEPA):
requires assessment of environmental impacts
of “major Federal actions significantly affecting
the quality of the human environment”
 Administered by White House Council on
Environmental Quality (CEQ)
 CEQ has issued draft guidance on analyzing
climate change-related impacts under NEPA
NEPA Overview (cont.)
 NEPA analysis requires a detailed statement:
 environmental impacts
 adverse environmental effects that cannot be
avoided
 alternatives
 relationship between short-term uses and longterm productivity, and
 any irreversible and irretrievable commitments of
resources
NEPA Meets Climate Change
 CEQ now saying that climate change must be
part of NEPA analysis, like any other
environmental impact:
 Effect of the proposed project on GHG emissions; and
 Effect of climate change on the proposed project
Project Impact on Climate Change
 Recommended threshold for analysis is 25,000 metric
tons annually
 At or above that level, CEQ recommends that agencies:
 Quantify cumulative emissions over the life of the project;
 Discuss measures to reduce GHG emissions, including
consideration of reasonable alternatives; and
 Qualitatively discuss the link between such GHG emissions
and climate change
 “Rule of Reason”
Project Impact on Climate Change
(cont.)
 Agency is to evaluate the quality of proposed
GHG mitigation measures:
 Permanence
 Verifiability
 Enforceability
 Additionality
Climate Change Impacts on Project
 Level of analysis depends on:
 Vulnerability of the project
 Vulnerability of the affected environment
 Project timeframe
 Need not undertake exorbitant research of projected
climate change impacts; may incorporate existing
scientific literature by reference
 CEQ example: an industrial facility that draws water from
a water body that is dwindling because of decreased
snowpack in the mountains or that is warming due to
increasing atmospheric temperatures.
SEPA Overview
 SEPA modeled on NEPA, except SEPA is
substantive (See RCW 43.21C.060)
 Draft guidance issued May 27; comments due
by June 25
 Lead agencies are to apply it where a proposal:
 Will lead to GHG emissions; or
 May be vulnerable to effects of climate change
UW Climate Impacts Group
 CIG says Washington can expect:











Higher temperatures
Changes in precipitation patterns
Lower water supply in summer months
Elevated stress on certain animal species and habitats
Increased risk to our forests
Reductions in air quality
Adverse impacts to agriculture
Increased risk to coastal areas
Decrease in summer hydropower production
Increase in summer energy demands
Increase in illness and mortality related to heat and worsening air
quality
What is “Significant?”
 If the incremental addition of GHGs from a
proposed project is “significant,” the proponent
must either mitigate the emissions to a level of
non-significance or an EIS must be prepared
 Ecology welcomes further discussion
 Agency may make policy judgment or decide on
case-by-case basis
 10,000 tons? 25,000 tons?
GHG Emissions Worksheet
 Supplements the SEPA checklist
 Sources, quantities, available mitigation
 Includes:
 All mobile and stationary sources;
 Purchased electricity and steam;
 Extraction, processing, and transportation of
purchased materials;
 Waste management
 Product use
Vulnerability Analysis
 Regarding climate change impacts on the project, Ecology
considers vulnerability:
 Water availability (changes in precipitation patterns)
 Water quality (particularly temperature and stormwater
runoff)
 Urban infrastructure (particularly due to increased
stormwater runoff)
 Energy supply and demand (due to water supply and ambient
temperature rise)
 Impacts due to extreme weather events (flooding,
windstorms, droughts, heat waves)
 Coastlines (direct and indirect impacts from sea level rise)
SEPA Substantive Authority
 “List is not exhaustive or prescriptive,” but required
mitigation may include:
 Develop projects along reliable and convenient public






transit
Water recycling or gray water system
Organic or low input agriculture
On-site renewable energy production
Charging stations for plug-in electric vehicles
Locally sourced and reused building materials
Energy efficient industrial processes
Next Steps
 Comment on the draft guidance by June 25!
 Using Ecology worksheet, analyze the likely
GHG emissions from all aspects of your project
 Develop alternatives and detailed, defensible
mitigation plans
 Analyze your project’s vulnerability to climate
change impacts, using existing scientific
literature
For More Information
Craig Gannett
Co-chair, Climate Change Practice
206.757.8048
[email protected]