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The CRCEES
– latest
developments

Green Breakfast Presentation
6th April 2011
The ongoing saga!
• Where CRC started

• Changes
  – with the new Government – CSR October ’10
  – with the consultation - November ’10
  – with the simplification – February’ 11


• CRC – where next?
Its start - background
• 7 phases – 2010 -2043
• April 2010 - First phase and beyond
  – Information disclosure or full participation (2008 HHM)

  – Measure and comply from April 2010

  – March 31st 2011 – report emissions & compile
    evidence pack for July 2011 submission

  – October 2011 – league table – recycling allowances

  – Phase 2 and beyond – cap & trade
Its start – the administration
• Evidence pack – covering:
  •   structural records;
  •   data collation methods & data collected;
  •   recording of utility bills, with special events records;
  •   liaison with utility companies over invoice queries;
  •   and resolution and CRC allowances transactions


• CRC allowances – forecasting requirements and
  procurement

• Nominated individuals - including Director responsible
Its start – costs & benefits
• Cash flow - impact reduced to six months

• Allowances – phase 1 fixed price then auction (phase 2
  and beyond) - recycling of allowances

• Fines - failure to comply and poor/inadequate recording –
  audit by Environment Agency (20% of organisations p.a.)

• Potential benefits – energy efficiency savings

• Reputation – potentially the major issue (costs marginal)
Its start

• Intended to be neutral for government revenue generation

• CRC allowance pot is recycled, based on performance

• However, recycling rate increases – from +/-10% for year
  1 to +/-50% for year 5 – complex calculations

• Allowances purchased in advance – any deficit required
  purchasing via the safety valve or the secondary market –
  at market prices, and plus VAT
Its start – the performance league table

• Ranking all participants – not by sector – plus 4 questions

• Participants – actual 2,770 participants and 11,475
  information declarers – anticipated 5k & 20k in total

• Phase one league table includes early action metric
  measures (CT Standard or equivalent and Smart Meters)
  – plus absolute metrics plus growth metrics (at the end)

• Subsequent phases – only absolute & growth metrics
Changes – October ’10– the facts
•   Postponement – first sale of allowances to take place for 2011/2012

•   Timing – allowances purchase after year end – for year 1!!!!

•   Recycling becomes a tax – revenue from allowance sales will not be
    recycled to participants, but “used to support public finances”

•   Performance league table – retained as the main reputation driver –
    timings, metrics & 4 quesitons remain as previously

•   The CRC administrators – recognise concern over CRC complexity
    and plan a consultation on simplification
Changes – October ’10 – perceived
implications - 1
•   The cost of scrapping recycling – a retailer thought for the first few
    years they would receive recycling payments – now a £4m cost p.a.

•   Postponement – view was organisations could pull back on their
    CRC initiatives, including data collation – but the evidence pack and
    CRC reporting remain for 2010/11

•   In the loop? – Perhaps not - Environment Agency said they were
    “working to understand the implications of the changes”

•   Early actions – without financial incentives linked to the league table,
    the linked benefits of early action metrics disappear
Changes – October ’10 – perceived
implications - 2

• Senior management attention – because of tax
  generation

• Easier administration & accounting – “no forecasting”

• Investment appraisal for energy saving initiatives – tax
  easier to measure

• Landlord & tenants – Could tax be easier to pass on??
Changes with the consultation – the facts

• Less change than anticipated!!
• 5 proposed changes consulted upon
  – Extend phase 1 and delay phase 2
  – Remove the requirement for information disclosures
  – Amend the CRC’s landlord provision re Northern
    Ireland departments
  – Update the division of administrators’ responsibilities
  – Correct reference errors and technical fixes
  • Changes implemented 1st April 2011
Changes with the consultation – the
proposals - all AGREED - 1
• Extend phase 1 and delay phase 2 – to give
  further time for government consultation (2011
  was phase 2 footprint year).

• Now phase 1 ends in 2014 & phase 2 starts then.

• Footprint years aligned to the first year of each
  phase. Phase 2, footprint year is 2013/2014 – the
  first annual reporting year – same as for phase 1.
Revised phasing
 Phase 1                                                                         Qualification year
                                                                                 Annual Report
                                                                                 and footprint
                                                                                 report
                                                                                 Annual Report
              R     S       S      S
                                                                                 R – registration
                                                                                 between 1st April
 Phase 2
                                                                                 & 30th September
                                   R      S      S      S      S      S
                                                                                 S – surrender of
                                                                                 allowances for
 Phase 3                                                                         this year


                                                                      R      S      S      S      S      S




 200       201    2011   201    201    201    201    2016   201    201    201    202    202    202    202
 8         0-11   -12    2-13   3-14   4-15   5-16   -17    7-18   8-19   9-20   0-21   1-22   2-23   3-24
Changes with the consultation – the
proposals - all AGREED - 2
• Remove the requirement for information
  disclosures – “Government considers the primary
  value from the information disclosure process to
  have been realised in phase 1 registration period”
• Remove requirement for information disclosure
  after end of the phase one registration period.
• Some views suggested this diluted impact of
  CRC on non participants.
Changes with the consultation – the
proposals - all AGREED - 3
• Amend the CRC’s landlord provision re Northern
  Ireland departments – Northern Ireland
  departments occupy their accommodation with a
  single department being considered responsible,
  as ‘landlord’.
• Update administrators’ division of responsibilities
  – ensure relevant administrators are responsible
  for inspection of records.
• Correct reference errors/technical fixes.
Changes with the consultation – the
implications
• Mostly administrative



• Information disclosure – sensible administrative
  burden reduction but how will compliance be
  monitored for those close to the threshold?
Changes with the simplification – the
background
• Simplification considered in the light of other
  energy policy developments and CRC complexity

• Any changes would be in place before second
  phase registration (April 2013).
Changes with the simplification – the issue
areas - 1
• Private sector organisational rules

• Review of the CRC supply rules

• Reducing the overlap between schemes (CRC,
  CCA, EU ETS)

• Timing of allowances sales from 2012 onwards
Changes with the simplification –
discussion areas - 1
• Private sector organisational rules – issues about
  highest parent (especially JVs); overseas
  parents; group mgt structures; SGUs.
• Options for consideration:
  – retain current rules but allow disaggregation;
  – bottom up approach for qualification (drop highest
    parent rule but possibly reduce qualification criteria);
  – group structure based on accounting rules;
  – UK top parent to replace overseas top parent;
  – review designated changes
Changes with the simplification –
discussion areas - 2
• Review of the CRC supply rules –who is
  responsible for energy supply?

• Significant options for consideration (of 8 in all):
   – Counterpart to energy contract – without meter;
   – Exclude other fuels – may change 90% rule
   – Emissions responsibility based on consumption rather
     than supply (reverses the treatment of landlord)
Changes with the simplification –
discussion areas - 3
• Reducing the overlap between schemes (CRC,
  CCA, EU ETS) – issues about reporting under
  CRC – plus GHG reporting

• Significant options for consideration:
   – Exclude EU ETS or CCA participants from CRC;
   – Assess qualification on basis of non “CCA” supplies
   – Merge CRC with other policies, including GHG
     reporting to create mandatory GHG reporting
Changes with the simplification –
discussion areas - 4
• Timing of allowances sales from 2012 onwards –
  issues about forecasting/planning; potential
  double purchase; and legal vires to facilitate
  trading market
• Options for consideration:
  – Phase 1 – 2012 onwards – to be decided
  – Transition – 2 fixed price sales in 2013/2014 or
    multiples sales during the year
  – Phase 2 – Auction or retain phase 1 with variants
Changes with the simplification – a view of
the likely implications
• Better integration of CRC with other policy
  initiatives - mandatory GHG reporting?
• Forecasting and planning energy and emissions
  regains its emphasis for phase 2
• Auction of allowances likely for phase 2
• Organisational rules simplified – landlord/tenant?
• Fuels covered simplified
• BUT – process will be discussion (March 2011),
  consultation on proposals, then legislation
Changes with the simplification – some
conclusions
• CRC will not go away – Gov’n commitment to
  80% emissions reduction by 2050 & EU changes
• CRC may be simplified, but subsequent phases
  will be broadly in line with original intention
• Energy/emissions management is essential for
  effective phase 2 management – Manage,
  Improve, Monitor is the focus for management
• CRC likely to stay as tax, rather than recycling
• PLUS ÇA CHANGE!
Thank you – and questions

  thoskins@thevirtuouscircle.co.uk

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Blake Lapthorn green breakfast presentation by Tony Hoskins, The Virtuous Circle Ltd

  • 1. The CRCEES – latest developments Green Breakfast Presentation 6th April 2011
  • 2. The ongoing saga! • Where CRC started • Changes – with the new Government – CSR October ’10 – with the consultation - November ’10 – with the simplification – February’ 11 • CRC – where next?
  • 3. Its start - background • 7 phases – 2010 -2043 • April 2010 - First phase and beyond – Information disclosure or full participation (2008 HHM) – Measure and comply from April 2010 – March 31st 2011 – report emissions & compile evidence pack for July 2011 submission – October 2011 – league table – recycling allowances – Phase 2 and beyond – cap & trade
  • 4. Its start – the administration • Evidence pack – covering: • structural records; • data collation methods & data collected; • recording of utility bills, with special events records; • liaison with utility companies over invoice queries; • and resolution and CRC allowances transactions • CRC allowances – forecasting requirements and procurement • Nominated individuals - including Director responsible
  • 5. Its start – costs & benefits • Cash flow - impact reduced to six months • Allowances – phase 1 fixed price then auction (phase 2 and beyond) - recycling of allowances • Fines - failure to comply and poor/inadequate recording – audit by Environment Agency (20% of organisations p.a.) • Potential benefits – energy efficiency savings • Reputation – potentially the major issue (costs marginal)
  • 6. Its start • Intended to be neutral for government revenue generation • CRC allowance pot is recycled, based on performance • However, recycling rate increases – from +/-10% for year 1 to +/-50% for year 5 – complex calculations • Allowances purchased in advance – any deficit required purchasing via the safety valve or the secondary market – at market prices, and plus VAT
  • 7. Its start – the performance league table • Ranking all participants – not by sector – plus 4 questions • Participants – actual 2,770 participants and 11,475 information declarers – anticipated 5k & 20k in total • Phase one league table includes early action metric measures (CT Standard or equivalent and Smart Meters) – plus absolute metrics plus growth metrics (at the end) • Subsequent phases – only absolute & growth metrics
  • 8. Changes – October ’10– the facts • Postponement – first sale of allowances to take place for 2011/2012 • Timing – allowances purchase after year end – for year 1!!!! • Recycling becomes a tax – revenue from allowance sales will not be recycled to participants, but “used to support public finances” • Performance league table – retained as the main reputation driver – timings, metrics & 4 quesitons remain as previously • The CRC administrators – recognise concern over CRC complexity and plan a consultation on simplification
  • 9. Changes – October ’10 – perceived implications - 1 • The cost of scrapping recycling – a retailer thought for the first few years they would receive recycling payments – now a £4m cost p.a. • Postponement – view was organisations could pull back on their CRC initiatives, including data collation – but the evidence pack and CRC reporting remain for 2010/11 • In the loop? – Perhaps not - Environment Agency said they were “working to understand the implications of the changes” • Early actions – without financial incentives linked to the league table, the linked benefits of early action metrics disappear
  • 10. Changes – October ’10 – perceived implications - 2 • Senior management attention – because of tax generation • Easier administration & accounting – “no forecasting” • Investment appraisal for energy saving initiatives – tax easier to measure • Landlord & tenants – Could tax be easier to pass on??
  • 11. Changes with the consultation – the facts • Less change than anticipated!! • 5 proposed changes consulted upon – Extend phase 1 and delay phase 2 – Remove the requirement for information disclosures – Amend the CRC’s landlord provision re Northern Ireland departments – Update the division of administrators’ responsibilities – Correct reference errors and technical fixes • Changes implemented 1st April 2011
  • 12. Changes with the consultation – the proposals - all AGREED - 1 • Extend phase 1 and delay phase 2 – to give further time for government consultation (2011 was phase 2 footprint year). • Now phase 1 ends in 2014 & phase 2 starts then. • Footprint years aligned to the first year of each phase. Phase 2, footprint year is 2013/2014 – the first annual reporting year – same as for phase 1.
  • 13. Revised phasing Phase 1 Qualification year Annual Report and footprint report Annual Report R S S S R – registration between 1st April Phase 2 & 30th September R S S S S S S – surrender of allowances for Phase 3 this year R S S S S S 200 201 2011 201 201 201 201 2016 201 201 201 202 202 202 202 8 0-11 -12 2-13 3-14 4-15 5-16 -17 7-18 8-19 9-20 0-21 1-22 2-23 3-24
  • 14. Changes with the consultation – the proposals - all AGREED - 2 • Remove the requirement for information disclosures – “Government considers the primary value from the information disclosure process to have been realised in phase 1 registration period” • Remove requirement for information disclosure after end of the phase one registration period. • Some views suggested this diluted impact of CRC on non participants.
  • 15. Changes with the consultation – the proposals - all AGREED - 3 • Amend the CRC’s landlord provision re Northern Ireland departments – Northern Ireland departments occupy their accommodation with a single department being considered responsible, as ‘landlord’. • Update administrators’ division of responsibilities – ensure relevant administrators are responsible for inspection of records. • Correct reference errors/technical fixes.
  • 16. Changes with the consultation – the implications • Mostly administrative • Information disclosure – sensible administrative burden reduction but how will compliance be monitored for those close to the threshold?
  • 17. Changes with the simplification – the background • Simplification considered in the light of other energy policy developments and CRC complexity • Any changes would be in place before second phase registration (April 2013).
  • 18. Changes with the simplification – the issue areas - 1 • Private sector organisational rules • Review of the CRC supply rules • Reducing the overlap between schemes (CRC, CCA, EU ETS) • Timing of allowances sales from 2012 onwards
  • 19. Changes with the simplification – discussion areas - 1 • Private sector organisational rules – issues about highest parent (especially JVs); overseas parents; group mgt structures; SGUs. • Options for consideration: – retain current rules but allow disaggregation; – bottom up approach for qualification (drop highest parent rule but possibly reduce qualification criteria); – group structure based on accounting rules; – UK top parent to replace overseas top parent; – review designated changes
  • 20. Changes with the simplification – discussion areas - 2 • Review of the CRC supply rules –who is responsible for energy supply? • Significant options for consideration (of 8 in all): – Counterpart to energy contract – without meter; – Exclude other fuels – may change 90% rule – Emissions responsibility based on consumption rather than supply (reverses the treatment of landlord)
  • 21. Changes with the simplification – discussion areas - 3 • Reducing the overlap between schemes (CRC, CCA, EU ETS) – issues about reporting under CRC – plus GHG reporting • Significant options for consideration: – Exclude EU ETS or CCA participants from CRC; – Assess qualification on basis of non “CCA” supplies – Merge CRC with other policies, including GHG reporting to create mandatory GHG reporting
  • 22. Changes with the simplification – discussion areas - 4 • Timing of allowances sales from 2012 onwards – issues about forecasting/planning; potential double purchase; and legal vires to facilitate trading market • Options for consideration: – Phase 1 – 2012 onwards – to be decided – Transition – 2 fixed price sales in 2013/2014 or multiples sales during the year – Phase 2 – Auction or retain phase 1 with variants
  • 23. Changes with the simplification – a view of the likely implications • Better integration of CRC with other policy initiatives - mandatory GHG reporting? • Forecasting and planning energy and emissions regains its emphasis for phase 2 • Auction of allowances likely for phase 2 • Organisational rules simplified – landlord/tenant? • Fuels covered simplified • BUT – process will be discussion (March 2011), consultation on proposals, then legislation
  • 24. Changes with the simplification – some conclusions • CRC will not go away – Gov’n commitment to 80% emissions reduction by 2050 & EU changes • CRC may be simplified, but subsequent phases will be broadly in line with original intention • Energy/emissions management is essential for effective phase 2 management – Manage, Improve, Monitor is the focus for management • CRC likely to stay as tax, rather than recycling • PLUS ÇA CHANGE!
  • 25. Thank you – and questions thoskins@thevirtuouscircle.co.uk