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Application of International REDD Agreements to California’s REDD Offset Program Diana Movius Senior Policy Analyst Center for Clean Air Policy (CCAP) ********* NACW APRIL 10-12 SAN FRANCISCO

Application of International REDD Agreements to California’s REDD Offset Program

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Application of International REDD Agreements to California’s REDD Offset Program. Diana Movius Senior Policy Analyst Center for Clean Air Policy (CCAP) ********* NACW APRIL 10-12 SAN FRANCISCO. About CCAP. DC-based think-tank International and domestic climate and air policy - PowerPoint PPT Presentation

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Page 1: Application of International REDD Agreements to California’s REDD Offset Program

Application of International REDD Agreements to California’s REDD

Offset Program

Diana MoviusSenior Policy Analyst

Center for Clean Air Policy (CCAP)*********

NACWAPRIL 10-12

SAN FRANCISCO

Page 2: Application of International REDD Agreements to California’s REDD Offset Program

About CCAP

• DC-based think-tank• International and domestic climate and air policy• UNFCCC expertise• Developing country mitigation actions• REDD program since 2007 (US, Cambodia, Indonesia,

Mexico, UNFCCC)

Page 3: Application of International REDD Agreements to California’s REDD Offset Program

CA REDD should align with UNFCCC

• International forest offset provisions of AB 32 can be viewed as a "proof of concept “of REDD credits in a compliance market.

• California will undoubtedly influence global development and use of high-quality forest offsets.

• REDD Offsets Working Group (ROW) and the Air Resources Board (ARB) should build from elements the United Nations Framework Convention on Climate Change (UNFCCC) REDD negotiations.

Page 4: Application of International REDD Agreements to California’s REDD Offset Program

CA REDD should align with UNFCCC (2)

• Standards that are too distinct from the international norm may raise transaction costs and discourage producers from generating offsets for the California market.

• This will make it hard for California’s partner states to sell REDD credits not needed for compliance in California to other markets.

• For many UNFCCC-related elements, California will need to add the specific criteria required to make the agreements implementable in practice.

• Paper suggests how these concepts can be translated into implementable standards adopted by ARB

Page 5: Application of International REDD Agreements to California’s REDD Offset Program

Important UNFCCC REDD topics

• A three phase approach (discussed in the next section)

• Environmental safeguards• Social safeguards• Governance safeguards• Additional considerations for subnational programs

Page 6: Application of International REDD Agreements to California’s REDD Offset Program

Three Phase Approach (1)

• Phase 1: National REDD strategy development, including national dialogue, institutional strengthening, capacity-building, and demonstration activities.

• Phase 2 : Implementation of the policies and measures proposed in those national REDD strategies.

• Phase 3 : Payment for performance on the basis of quantified forest emissions and removals against agreed reference levels.

Page 7: Application of International REDD Agreements to California’s REDD Offset Program

Three Phase Approach (2)”

• The international “three phase approach” to REDD is widely accepted and codified in the UNFCCC Cancun Agreements.

• Subnational approaches (state level) are “interim” and “as appropriate.”

• Three phase approach also applies to subnational activities in UNFCCC text.

• Subnational REDD programs in California should be consistent with and support this larger framework.

Page 8: Application of International REDD Agreements to California’s REDD Offset Program

Three Phase Approach (3)”

• The REDD offsets to be purchased by California are the equivalent of phase 3 (“pay for performance”) within the three phase approach adopted by the UNFCCC, even at a state (subnational) level.

• While California will likely not be directly involved in funding or helping phases 1 and 2, these are important in preparing developing countries to sell REDD offsets.

• California should make offset requirements clear at the time of preparation phases 1-2 so that host countries make best use of their own funding.

Page 9: Application of International REDD Agreements to California’s REDD Offset Program

Using Safeguards• UNFCCC safeguards typically expressed as principles.

• Need to translate UNFCCC (Cancun) safeguards into implementable environmental, social, and governance standards that could be adopted by ARB (following slides).

• In some areas, California will need to expand upon UNFCCC to promote high quality.

• Some additional protections are needed to ensure that subnational offsets are real and additional.– accounting methods to quantify REDD– specification of plans to address degradation emissions – risks of leakage out of state – eventual consistency with the national program

Page 10: Application of International REDD Agreements to California’s REDD Offset Program

Environmental Safeguards (1)REDD programs should guard against the conversion of natural forests to plantations (Cancun 2010).

• More detailed reporting can help identify when such conversions are taking place.– Reporting on both gross and net emissions– Activity-based MRV:

• 1) forests being converted to non-forest land,• 2) forests remaining as forests (potentially with changes

in sequestration levels) and,• 3) non-forests becoming forests.

Page 11: Application of International REDD Agreements to California’s REDD Offset Program

Environmental Safeguards (2)• REDD should protect biodiversity. – New payment program– Develop standardized biodiversity indicators

• REDD programs should “address the risk of reversals” (or provide permanence) – Reserve (e.g., Climate Action Reserve) – Increasingly ambitious crediting – Temporary certified emissions reductions (T-CERs).

Page 12: Application of International REDD Agreements to California’s REDD Offset Program

Environmental Safeguards (3)

• Subnational reference emissions levels and reference levels should harmonize with the national ones.– Meet the same minimum baseline requirements as

under UNFCCC, – Establish a transparent system to harmonize with

national level baselines – Both deforestation and degradation should be

integrated into long-term plans to address drivers.

Page 13: Application of International REDD Agreements to California’s REDD Offset Program

Environmental Safeguards (4)

• Requiring the use of Tier 2 or Tier 3 IPCC accounting methods. – California can ensure a higher degree of accuracy in the

credits generated and sold for compliance under AB32.

• Special care is needed when REDD offsets cover deforestation but not degradation.– Subnational entities should have a publicly available plan

for reducing the time period during which deforestation will be in phase 3, but degradation is in phase 2

Page 14: Application of International REDD Agreements to California’s REDD Offset Program

Social Safeguards (1)

• Meeting social safeguards must be measurable

• Indicators on how the program may negatively or positively impact communities;

• consultation and consent of local peoples,

• data for land tenure and benefits distribution.

• Dispute resolution systems • By phase 3, publicized, and

transparent.• Further, any inadequacies

identified during phase 2 should have been addressed.

• Consider adequacy of dispute resolution mechanisms in moving from phases

Page 15: Application of International REDD Agreements to California’s REDD Offset Program

Social Safeguards (2)

• Payments distributed at the local level. Payments to affected local communities and constituencies is considered accepted practice in REDD (though is not codified in UNFCCC).

• Benefits distribution indicators. Subnational regions should report transparently on benefits distribution, and ensure compatibility with national reporting procedures.

Page 16: Application of International REDD Agreements to California’s REDD Offset Program

Governance Safeguards

• Government-wide programs to identify and re-evaluate the drivers of deforestation.

• This should be in place by phase 3.

• Programs and policies to address failures, including a contingency plan.

• By phase 3, governments should be able to identify failures and have a plan to address them.

Page 17: Application of International REDD Agreements to California’s REDD Offset Program

Multilateral Example: Carbon Fund, Forest Carbon Partnership Facility

Subnational implementation must meet the same guidelines as national implementation. Subnational REDD must:

1. Be undertaken at a significant scale;2. Be consistent with (emerging) national REDD strategies; 3. Ensure that emissions reductions can be measured and reported;4. Be consistent with the national RL/REL; 5. Be integrated into a national institutional framework that will

manage and coordinate subnational programs; and 6. Provide for an assessment of and measures to minimize leakage,

non-permanence, and other relevant risks.

Page 18: Application of International REDD Agreements to California’s REDD Offset Program

Additional considerations

• It is unlikely that in multilateral arenas, subnational jurisdictions will be allowed to meet less-stringent rules on safeguards, RELs/RLs, and MRV than those established for national approaches.

• Most multilateral and bilateral REDD activities that allow for subnational REDD implementation acknowledge that it is a step towards full national implementation.

Page 19: Application of International REDD Agreements to California’s REDD Offset Program

Questions about the GCF

• The UNFCCC COP has limited guidance on subnational implementation: safeguards, phases, interim measure.

• The Governor’s Climate and Forest Task Force (GCF) agreement does not discuss the issue of safeguards. Does the GCF see intl safeguards as part of its charge?

• Do GCF participants view subnational REDD as an interim measure? Does it view a phased approach?

Page 20: Application of International REDD Agreements to California’s REDD Offset Program

Summary Recommendations• California should maintain compatibility with international

negotiations and decisions.

• California should take steps beyond those agreed in Durban and Cancun for subnational REDD to make safeguards implementable in practice.

• This helps achieve high quality for both subnational REDD approaches and phase 3 pay-for-performance activities.

• CCAP urges California to set a high bar for quality offsets.

Page 21: Application of International REDD Agreements to California’s REDD Offset Program

Next Steps

• CCAP will participate in the stakeholder outreach and comment efforts of ROW and ARB

• Research on how to administer a CA REDD offsets program in a steamlined manner

• Available online: paper for an offset program building on the UNFCCC, World Bank, and independent analyses.

• Separate checklist of suggested offset requirements