Climate 411

Why linking carbon markets boosts climate and economic benefits for US states

This post was co-authored by Natalie Hurd, Western states climate policy intern at EDF.

photo of a smokestack at sunset

Photo Credit: Pexels

The Supreme Court’s recent ruling to constrain EPA’s ability to limit climate pollution from existing power plants took away a critical tool to fight climate change at the federal level, making state-level action more important than ever. On the West Coast of the U.S., where states have been stepping up as climate leaders, the impacts of climate change are ever more severe and apparent, with scientists warning of a global wildfire crisis and finding that the West’s current megadrought is the worst in over 1,200 years. It is painfully apparent that states need to use – and strengthen – every tool at their disposal to reduce climate pollution now. 

Even states that have put – or are in the process of putting – in place economy-wide pollution limits alongside a price on carbon, like California and Washington state, can scale up action by linking their programs with other states or jurisdictions. Here’s how states can make the most of linking their programs – and the major benefits it can bring.

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Also posted in Carbon Markets, Cities and states / Read 1 Response

Carbon Markets Can Drive Revenue, Ambition for Tropical Forest Countries, New Studies Show

This post was co-authored by Pedro Martins Barata, Senior Climate Director, and Julia Paltseva, Senior Analyst, Natural Climate Solutions.

Aerial view down onto vibrant green forest canopy with leafy foliage. Source: Getty Images

Global climate mitigation requires rapid action to protect ecosystems, particularly Earth’s tropical forests. Once ecosystems are lost, wide-scale restoration takes time. Recognizing the importance and urgency of taking action to protect intact forests, more than 100 global leaders, representing nations that account for 85% of global forests, pledged at COP26 to halt and reverse deforestation and land degradation by 2030.

We know that tropical forest jurisdictions which have implemented results-based payment programs on reducing emissions from deforestation and forest degradation have been successful at reducing deforestation while bringing co-benefits and buy-in from Indigenous and local forest communities. These programs need to be scaled up to meet the urgency of the climate crisis. Carbon markets are one promising means to do so.

Now two new studies suggest that tropical forest jurisdictions that engage in emissions trading for conserving their forests at large scales could generate significant revenues, and promote more ambitious, but attainable, climate goals.

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Also posted in Carbon Markets, Forest protection, Indigenous People, International, Paris Agreement, REDD+ / Comments are closed

How RGGI cuts carbon and costs

This summer, electricity bills across the U.S. are poised to climb higher as a consequence of volatile fossil fuel costs and climate change impacts like extreme heat.

Rising natural gas prices, affected by Russia’s invasion of Ukraine, are expected to drive up costs in the U.S., including in places like Pennsylvania and Virginia where a significant number of households and businesses are reliant on natural gas for electricity. On top of this, extreme heat around the country is expected to drive up demand as people work to cool down with more air-conditioning use while heat, storms and other climate change-fueled impacts continue to increase the risk of blackouts.

In short, this summer is showing us the value of moving toward a clean, reliable and resilient power sector. The Regional Greenhouse Gas Initiative (RGGI), a market-based, multi-state climate program throughout the Northeast and mid-Atlantic, has been driving progress on a cleaner power sector for over a decade now. Since the program began in 2008, RGGI states have reduced carbon pollution from power plants by over 50% and increased renewable energy generation by 73%.

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Also posted in Carbon Markets, Cities and states, Greenhouse Gas Emissions / Read 2 Responses

Our New Electric Resilience Toolkit: Resources to Enhance Climate Resilience Planning by Electric Utilities

This post was co-authored by EDF’s Michael Panfil and Romany Webb of the Sabin Center for Climate Change Law at Columbia Law School

Columbia Law School’s Sabin Center for Climate Change Law, Environmental Defense Fund, and the Initiative on Climate Risk and Resilience Law have released a new Electric Resilience Toolkit to support policymakers and other people who are working on issues around electric sector regulation and climate resilience planning.

That planning is essential to ensure electricity infrastructure is designed and operated in a way that accounts for the impacts of climate change — impacts that are already being felt and which will only intensify in coming years.

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Also posted in Energy, Partners for Change / Comments are closed

Pinterest sets the bar in the fight against climate disinformation

This post was co-authored by Michael Khoo of Friends of the Earth

Climate disinformation on digital platforms is a serious threat to the public support needed to solve the climate crisis. It has been so effective at delaying climate action, it was called out for the first time by the UN’s climate report and highlighted by President Obama. But we aren’t doing nearly enough to stop it.

We see a small number of outlets creating the vast majority of climate disinformation, amplified by the platform algorithms that force conspiratorial lies onto mainstream audiences. We have seen major events like the fossil fuel infrastructure failure in Texas’ 2021 winter storm be twisted into false attacks on renewable energy. As Facebook whistleblower Frances Haugen showed in her release of 10,000 documents, companies like Facebook know these problems exist, and are doing precious little to stop it.

That’s why we’re excited that this month both Pinterest and Twitter (newly at the helm of Elon Musk) unveiled strong new climate misinformation policies. EDF and FOE, co-chairs of the Climate Disinformation Coalition, worked with both companies over the last year to help develop these policies. Pinterest’s policy has a strong definition of climate disinformation and sets the gold standard in the industry. Twitter’s policy addresses the very real problem of the monetization of climate disinformation through advertising. Both are living proof that all social media companies can and should do much more to stop the spread of climate change disinformation.

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Also posted in Setting the Facts Straight / Read 1 Response

Climate change creates financial risks. Investors need to know what those are.

Flooding in Baton Rouge, LA in August, 2016. Coast Guard photo by Petty Officer 1st Class Melissa Leake

(This post was co-authored by David G. Victor, nonresident senior fellow at the Brookings Institution. It is also posted here.)

The U.S. Securities and Exchange Commission (SEC) voted recently to move a proposal forward that would require publicly traded companies to disclose the financial risks they face from climate change. These rules aim to bring corporate obligations for the disclosure of climate risk level with the requirements for disclosure of other forms of financial risk. Doing so is long overdue and a critical step to ensuring investors have access to information about the investment risks faced from climate. Those financial harms include “transition risks” stemming from shifts in innovation, technology, and competitive landscape as well as “physical risks”, such as more severe wildfires to more frequent flooding.

Our financial system has always relied on publicly traded companies being transparent about the risks their businesses navigate. This open accounting of business prospects is fundamental to the healthy operation of our economy — reliable information is the bedrock of efficient markets. Publicly traded companies are required to regularly issue disclosure reports that investors — from Wall Street to Main Street — rely on when choosing where to invest their money seeking opportunity and avoiding unwarranted risk.

The consequences of climate change are creating new and growing forms of financial risk that investors need to consider when choosing how to prudently allocate capital. In the last two years alone, the U.S. suffered more than 40 weather disasters that inflicted at least $1 billion in economic damage each. A recent study found that 215 of the world’s largest companies face almost $1 trillion in climate-related risk. These climate risks pose sprawling challenges, disrupting “food supplies, business operations, and economic productivity, while damaging homes and personal property, public infrastructure, and critical ecosystems across the country.” The most recent assessment by the Intergovernmental Panel on Climate Change concluded similarly, finding that “extreme events and climate hazards are adversely affecting multiple economic activities across North America and have disrupted supply-chain infrastructure and trade.”

Disclosure is necessary because climate risk is investment risk, and market participants have a significant interest in understanding the size and scope of that risk. Other countries, from the U.K. to New Zealand to Japan, have taken concrete steps to require that the mounting harms of climate change to their financial systems are proactively identified and understood. Yet in the U.S., companies are not currently required to disclose the financial risks created by climate change. Our existing rules are voluntary and inadequate. One recent study found that only one percent of companies participating in a voluntary set of standards provided sufficient information on their transition plans for the lower-carbon future. Another, jointly conducted by researchers at Brookings Institution and EDF, found similar results, particularly on the disclosure of physical risk. Another study from Brookings, cited by the SEC in its new draft rule, found highly uneven patterns of disclosure about climate risks — especially on physical risks.

An efficient market requires more information. That’s why the investment community has been among the most vocal in calling for the SEC to act. Ninety-three percent of institutional investors believe that climate-related financial risk “has yet to be priced in by all key financial markets globally.” Many of the world’s largest asset managers have called for strong, mandatory climate disclosure rules to improve their ability to prudently manage investments — in their comments to the SEC they also urged (and the SEC heeded) some caution so that disclosure rules stayed in line with the information that the markets most needed to function well. Many of the large publicly-traded American businesses that would be subject to these rules have also expressed support for mandatory SEC climate risk disclosure, including AppleWalmart, and FedEx. These businesses and many others understand that the U.S. financial system is healthiest when market participants are able to make well-informed decisions.

The proposed rule addresses these barriers by setting forth a range of information requests, all designed to address investor need. Physical risk disclosure, such as disclosure of risks associated with more severe extreme weather or increasing wildfires, is a critical part of the proposal, which requires registrants to disclose “any climate-related risks that are reasonably likely to have a material impact on the registrant’s business or consolidated financial statement.” The extent to which the company uses specific tools to understand the financial risks they face from climate, such as scenario analysis or transition plans, is likewise subject to the proposed rule. Other aspects of a registrant’s climate risk are additionally subject to disclosure, including provisions of information relevant to the company’s specific risk management processes, greenhouse gas emissions, line-item metrics on the effects of climate-related risks on corporate finances, and climate-related targets.

Understanding and responding to the danger climate change poses across the American economy will be complicated. Getting this right will take time and will require a lot of learning. Mandatory climate risk disclosure by the SEC is a necessary early step. It will bring disclosure of climate risk level with other forms of financial risk and will help ensure that investors have access to relevant information for prudent management of the capital they invest. The SEC’s new proposal aims to achieve this end, consistent with the agency’s clear and explicit authority. Commissioners should swiftly move to finalize the proposal and put this much-needed rule into effect.

Also posted in Economics, Partners for Change, Policy / Comments are closed