Solar power trash cans

Emission Offsets: A Future Cash Crop for California Farmers
Robust markets for ecosystem services have been a distant dream of conservationists and private landowners for well over a decade. The concept is simple: Working farms, forests and ranches can provide clean water, wildlife habitat and carbon sequestration, to name a few ecosystem services. Fairly compensating landowners for these services would give them an incentive to provide more, thereby helping both humans and ecosystems and creating what’s known as a “virtuous cycle.”Yet with few exceptions, ecosystem services markets remain fodder for academic literature rather than on-the-ground reality. There’s growing reason for optimism, however, as the likelihood of a national cap on greenhouse gas emissions increases. An emissions cap would likely encourage trading mechanisms to help polluters comply, including emission offsets that might be generated on working farms, ranches and forests.For clues on how a national market in GHG offsets might develop, it is useful to examine events in California. Policymakers there are wrestling with the implementation of the landmark Global Warming Solutions Act of 2006, the nation’s first economy-wide cap on GHG emissions. That law gave wide latitude to the California Air Resources Board to design regulatory mechanisms to reduce emissions to 1990 levels by 2020. GHG emission offsets are among the many policy options under consideration and even though their utilization is not guaranteed, many observers believe that offsets will eventually play a role in implementing the law.The Center for Conservation Incentives is active both on the policy front and in on-the-ground test projects in California. We work closely with members of Environmental Defense Fund’s California Climate Team to advocate the use of high-quality offsets in a multi-sector cap and trade program. CCI staff are also participating in the development of accurate measurement protocols. It’s essential to ensure that forest and agricultural offset projects result in actual, verifiable and permanent emission reductions that genuinely benefit the climate.
Rice Harvest
Nearly half a million acres of rice grow in California. Although not yet commercially viable, using rice straw residue that remains after harvest as feedstock for cellulosic ethanol could represent a significant net carbon emission reduction. (Photo: Courtesy Paul Buttner, California Rice Commission)

And we are engaged in several on-the-ground projects to test drive these measurement protocols and to determine the economic and operational feasibility of implementing offset projects in California. Rice is grown on nearly half a million acres in the state, and our first major effort is a partnership with the California Rice Commission in the Sacramento Valley to develop voluntary management practices to reduce two potent GHGs associated with rice production, methane and nitrous oxide. Once viable and cost-effective practices are developed—a process that involves both computer modeling and on-the-ground trials—we plan to assist a small group of rice growers in marketing offset credits.In addition, we are helping ranch and forestland owners develop carbon sequestration projects and in the process helping to synthesize scientific information and generating economic information necessary to determine if sequestration and GHG emission reduction projects in forestry, agriculture and ranching make financial sense.
 
Our hope and expectation is that our policy work and on-the-ground work will further the design of an offset trading system in California that benefits the climate, private landowners and our unique California ecosystems. If successful, California’s experience will surely inform national climate policy and ultimately lead to markets for other ecosystem services.Eric Holst
Center for Conservation Incentives Manager
Environmental Defense Fund

Bloggers Unite for Human Rights
Amnestry International and BlogCatalog are sponsoring today as a day to focus on human rights around the world.I’ll add a few personal thoughts in support of this effort. First, I would like to emphasize the value of people’s lives, no matter what they believe and where they live. When the historical changeover occurred [.]
Press Release: EPA Misusing Science, Jeopardizing Childrens Health, Testifies EPA Children’s Health Protection Advisory Committee Member

 

FOR IMMEDIATE RELEASE

 

Contact:
 
Sean Crowley – (202) 572-3331-o, scrowley@edf.org
Dr. John Balbus – (202) 572-3316–o, jbalbus@edf.org
 
(Washington, D.C. – May 7, 2008) The senior leadership at the U.S. Environmental Protection Agency “has repeatedly chosen to stray from the clear and science-based recommendations of expert advisory panels, public health organizations and advocates, and in some cases even its own career staff scientists, in order to make policies and decisions that fall short of adequately protecting children as well as the general public.” 
 
That was the conclusion of testimony today by a member of the EPA Children’s Health Protection Advisory Committee before the Senate Public Sector Solutions to Global Warming, Oversight, and Children’s Health Protection Subcommittee of the U.S. Senate Environment and Public Works Committee.
 
“In some cases, EPA policies and decisions are justified on the basis of arguments that run counter to established scientific principles and the judgments of the most prominent experts in the country,” said Dr. John Balbus, chief health scientist for the Environmental Defense Fund. “In other cases, EPA policies and decisions are made with little justification whatsoever. Greater transparency in agency decision-making and greater adherence to the recommendations of the agency’s scientific experts will help bolster public trust in the agency and lead to greater protection of the public’s health.”
 
Over the past four years, the EPA Children’s Health Protection Advisory Committee has made recommendations to the EPA Administrator on a number of science issues regarding the protection of children that have not been followed by the agency. These include recommendations for setting the level of the National Ambient Air Quality Standards for particulate matter (microscopic-sized soot that permeates lung tissue) and ozone, relying on a voluntary program to obtain critical information on children’s risks through the Voluntary Children’s Chemical Evaluation Program, and implementing EPA’s 2005 Supplemental Guidance for Assessing Susceptibility from Early-Life Exposure to Carcinogens in an expeditious and health-protective manner. 
 
“The final particulate matter standards selected by the Administrator for annual and daily concentrations of fine particulate matter were well above those recommended by the EPA Children’s Health Protection Advisory Committee, and indeed, above the range recommended by the Clean Air Scientific Advisory Committee, the federal committee charged with evaluating EPA’s assessment of the science behind the standards,” Balbus testified. “EPA ultimately set standards that do not provide an adequate margin of safety for infants and children.”
 
“The EPA Children’s Health Protection Advisory Committee noted that a number of child-specific outcomes were omitted from consideration of the benefit of reducing the ozone standard, including school absences, doctor visits, medication use, and decreased resistance to infections,” Balbus testified. “[Yet] the Administrator, going against the recommendations of the leading air quality and public health experts on his advisory committees, concluded that the substantial body of evidence from epidemiologic studies showing ozone effects at levels below 0.075 parts per million could not be trusted. This results in a standard in which there is no margin of safety to protect children from ozone’s damaging effects.”
 
“There is insufficient rigor in EPA’s efforts to protect children’s health,” testified Balbus. “The EPA does not appear to be placing adequate priority on assembling the scientific data needed to determine and then act upon chemical risks to children.”
 

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