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<title>July 2009: Offsetting The Invisible Hand</title>
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    <p align="left"><font face="Arial"><strong><small>About The Author:<br>
	<br>
	</small></strong><span lang="X-NONE" style="color: black"><font size="2">
	ROGER FELDMAN, Co-Chair of Andrews Kurth LLP Climate Change and Carbon 
	Markets Group has practiced law related to the finance of environmental and 
	energy projects and companies for 40 years.&nbsp; In particular, he has analyzed 
	and executed a wide variety and substantial value of project financings.&nbsp; He 
	chairs the American Bar Association&#8217;s Committee on Carbon Trading and 
	Finance, serves on the Board of the American Council for Renewable Energy, 
	and has been a senior official in the Federal Energy Administration.&nbsp; He is 
	a graduate of Brown University, Yale Law School and Harvard Business School.</font></span></font></p>
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    <img src="../images/feldman.gif" alt="Washington Viewpoint by Roger Feldman" border="0" width="375" height="75"><p align="left"><b><u><br>
      </u></b><u><b>July 2009</b></u></p>
	<p align="center"><font size="6">Offsetting The Invisible Hand</font></p>
    <p><strong>by Roger Feldman&nbsp; --&nbsp;&nbsp;
    </strong><b>Andrews Kurth, LLP</b><strong><br>
    </strong><font face="Arial" size="2">(<em>originally published by PMA OnLine 
	Magazine: 2009/</em>08/03)</font></p>
	<div>
		<p class="style11" style="margin-bottom: 0pt">
		&nbsp;</p>
		<p class="style11" style="margin-bottom: 0pt">
		<span style="color: black; font-weight: 700">In</span><span lang="X-NONE" style="color: black; font-weight: 700">troduction<br>
		<br>
		</span><span lang="X-NONE" style="color:black">The proposed creation and treatment of GHG Offsets represents a 
		microcosm of some of the more problematic issues presented by the 
		overall cap and trade program envisioned by Waxman-Markey.&nbsp; Given the 
		likelihood that these provisions will at least receive some modification 
		in any legislation that is enacted, it is useful to consider these 
		issues generically.</span></p>
		<p class="style11" style="margin-bottom: 0pt">
		&nbsp;</p>
		<p class="style11" style="margin-bottom: 0pt">
		<span style="color:black">O</span><font face="Arial, Helvetica, sans-serif"><span lang="X-NONE" style="color:black">ffsets 
		are essential to the workability of the GHG trading system.&nbsp; It has been 
		estimated that they could account for up to 2 billion tons of total 
		emissions reductions under the entire cap.&nbsp; In 2012, that could mean 
		that up to 15% of the emissions cut could be made into offsets.&nbsp; It is 
		estimated that the figure could rise by 2050 to 33%.&nbsp; Offsets are thus 
		one of the key expansion joints to preserve what could otherwise be a 
		very strained, and hence a more potentially costly, cap and trade 
		system.</span></font></p>
		<p class="style11" style="margin-bottom: 0pt">
		&nbsp;</p>
		<p class="style11" style="margin-bottom: 0pt">
		<font face="Arial, Helvetica, sans-serif"><span style="color:black">T</span><span lang="X-NONE" style="color:black">he 
		business of offsets manufacture and trade is also one of the two major 
		emergent financial industries based solely on environmental legal 
		property rights.&nbsp; Its roots are first in the CDM process of Kyoto, whose 
		policy goals were as much international policy as the inherent 
		requirements for the operation of a cap and trade system, and second, in 
		the current pale American cousin to Kyoto--the voluntary market--whose 
		motivations were both societal betterment, on the one hand, and shrewd 
		commercial cap and trade pre-compliance anticipation, on the other.&nbsp; All 
		of these motivations are bundled in the proposed new legislative 
		treatment of offsets.&nbsp; Fortunately, from a management execution 
		viewpoint, its implementation will have benefited from experiences in 
		product design and financial application which have already occurred.&nbsp; 
		The functional success of an offset program ultimately is based on the 
		otherwise-effective operation of the trading markets:&nbsp; the valuation of 
		the offset &#8220;currency&#8221; by these markets is meant to be compared by 
		statutorily covered parties with the price of buying auctioned 
		allowances or undertaking other mitigation activities.&nbsp; Offsets thereby 
		constitute a &#8220;thermostat&#8221; to control the overall costs of reducing 
		greenhouse gase</span><span style="color:black">s.</span></font></p>
		<p class="style11" style="margin-bottom: 0pt">
		&nbsp;</p>
		<p class="style11" style="margin-bottom: 0pt">
		<font face="Arial, Helvetica, sans-serif">
		<span lang="X-NONE" style="color:black">The 
		farsighted have made bets on the shape of this market and therefore of 
		the offsets market.&nbsp; They are scrambling to assure through the 
		legislative process the vlidity of the bets already made.&nbsp; The players 
		in this transition are imminently faced with the potentially lucrative 
		challenge of moving from the self defining world of the US voluntary 
		markets to the more highly structured Federal systemic one and, on its 
		heels, the international successor to Kyoto.&nbsp; There could be important 
		secondary ramifications arising from the success of the emergent offset 
		market, notably credit support for the structured project finance of 
		offset producing projects.</span></p>
		<p class="BodyText05DS"><span lang="X-NONE" style="color:black">Another 
		ramification is likely to be the development of innovative transactional 
		risk management instruments and possibly the introduction of new 
		approaches to risk aggregation.&nbsp; The overall, therefore asset-backed, 
		structured finance could enhance the significance of offsets in a new 
		statutory system.&nbsp; These results could be compounded if, as 
		Waxman-Markey contemplates, offset credits nearly doubles to 60% in the 
		next 40 years.</span></p>
		<p class="BodyText05DS"><span lang="X-NONE" style="color:black">The 
		question is: &nbsp;will these potential benefits be thwarted by potential 
		flaws of the offset regime or in the cap and trade regime to which it is 
		tied?&nbsp; What may be commercially and financially done can still be 
		hindered by what remains to be administratively and politically worked 
		out.</span></p>
		<p class="BodyText0DS">
		<span lang="X-NONE" style="color: black; font-weight: 700">Possible 
		Flaws</span></p>
		<p class="BodyText05DS"><span lang="X-NONE" style="color:black">These 
		flaws fall into four generic important categories:</span></font></div>
	<h1 style="text-indent: 0in; margin-left: 0in; margin-bottom: 0pt">&nbsp;</h1>
	<h1 style="text-indent: 0in; margin-left: 0in; margin-bottom: 0pt">
	<font face="Arial, Helvetica, sans-serif">
	<span lang="X-NONE" style="color: black; font-weight: 400">(1)</span><span style="color: black; font-weight: 400">&nbsp;&nbsp;&nbsp;&nbsp;
	</span><span lang="X-NONE" style="color: black">Dispersal of Administrative 
	Responsibility</span></h1>
	<blockquote>
		<h1 style="text-indent: 0in; margin-left: 0in; margin-bottom: 0pt">
		<span lang="X-NONE" style="color: black; font-weight: 400">The detailed 
		rules defining the eligible offset opportunities to facilitate statutory 
		compliance remain yet to be written in great detail.&nbsp; It is important to 
		recognize that responsibility for the overall rules are bifurcated 
		between two bureaucracies with parallel responsibilities but different 
		constituencies, US EPA (Waxman-Markey Title III) and USDA (Title V).&nbsp; A 
		newly created entity, the Offsets Integrity Advisory Board, is to be 
		established by EPA to provide supplementary advice.</span></h1>
	</blockquote>
	<div>
		<blockquote>
			<p class="BodyText1DS"><span lang="X-NONE" style="color:black">Also 
			bifurcated is the oversight of the trading respectively of 
			allowance/offsets on the one hand, over which the FERC will have 
			jurisdiction and the trading of the derivatives of them, based on 
			which will be the CFTC&#8217;s bailiwick.&nbsp; Combined with the other factors 
			discussed below, the uncertainty and implementation delay resulting 
			from administrative dispersion (and in some cases, lack of 
			administrative experience) certainly are not likely to result 
			readily in the operation of markets which give useful price signals 
			to the emitters&#8217; decision makers.&nbsp; </span></p>
		</blockquote>
		<h1><span lang="X-NONE" style="color: black; font-weight: 400">(</span><span style="color: black; font-weight: 400">2</span><span lang="X-NONE" style="color: black; font-weight: 400">)</span><span style="color: black; font-weight: 400">&nbsp;&nbsp;&nbsp;&nbsp;
		</span><span lang="X-NONE" style="color:black">Fragmentation of Green 
		Programs</span></h1>
		<blockquote>
			<h1 style="text-indent: 0in; margin-left: 0in; margin-bottom: 0pt">
			<span style="font-weight: 400; color: black" lang="X-NONE">This 
			problem could be exacerbated by the fact that the cap and trade 
			system must operate in a non-parallel universe, with the new 
			national &#8220;Combined Efficiency and Renewable Energy System&#8221; (Title V) 
			which is designed to incentivize the utility industry to modify its 
			generation mix, by requiring compliance by each state with minimum 
			targets for renewable energy and energy efficiency savings.&nbsp; The 
			full interplay of relative renewables and efficiency savings 
			requirements is still at issue. &nbsp;Resident electric generators have 
			to contribute to meeting these requirements by purchasing Renewable 
			Energy Credits (and energy efficiency savings credits), and/or by 
			development of their own generation, or by making 
			statutorily-defined Alternative Compliance Payments.&nbsp; There is only 
			one administrative agency slated for defining REC regulations and 
			providing trading oversight, the FERC (with some state interactions 
			in tighter requirements setting).&nbsp; </span></h1>
			<p class="BodyText1DS"><span lang="X-NONE" style="color:black">But 
			the issues of dispersal of administrative responsibility is 
			present.&nbsp; Waxman-Markey offers relatively few cross-overs between 
			the operation of FERC jurisdiction over RECs and EPA&#8217;s 
			responsibilities with respect to offsets.&nbsp; There may be overlaps 
			between the list of project types eligible to produce offsets and 
			that for renewable generation sources which can produce RECs.&nbsp; This 
			overlap is illustrated by one of the few examples of tortuous 
			line-drawing which actually exists in the statute.&nbsp; Qualified 
			waste-to-energy is to be deemed eligible to earn RECs credits to the 
			extent of the biogenic (non-fossil fuel) component of municipal 
			solid waste and certain other waste streams.&nbsp; However, this may only 
			be the case if the FERC and the EPA determine that the life cycle 
			GHG emissions from use of waste-to-energy facilities is lower than 
			the emissions from the likely alternative disposal scenario.</span></p>
			<p class="BodyText1DS"><span lang="X-NONE" style="color:black">For 
			parties subject to compliance requirements by two sets of statutory 
			mandates, there is a decision-making tension between the need to 
			invest in &#8220;direct&#8221; offset sources to comply with Title III, or 
			essentially to RECs for Title I purposes, which have limited Title 
			III value because the carbon benefits are only indirect.&nbsp; Simply 
			put--and renewables proponents should mark this well--buying green 
			power doesn&#8217;t necessarily provide GHG offsets.&nbsp; The ambiguity in 
			this area may distort the orderly development of the energy markets; 
			&nbsp;it may even have the unintended result of not doing as much for 
			climate change as is desirable.&nbsp; </span></p>
			<p class="BodyText1DS"><span lang="X-NONE" style="color:black">
			Intellectual confusion and disputes exist in some quarters as to the 
			mutually exclusive nature of the availability of offsets on the one 
			hand and RECs on the other.&nbsp; The statutory Renewable Electricity 
			Credit definition, &#8220;one megawatt hour of renewable electricity,&#8221; 
			leaves open the question of whether there exist &#8220;environmental 
			attributes,&#8221; <i>i.e.</i>, carbon reduction characteristics 
			attributes of RECs, which some voluntary accreditation systems would 
			purport to make a separately tradable source of green mitigation 
			benefits.&nbsp; Most utility standard contracts are emphatic about 
			appropriating to the buyer of RECs all of the environmental benefits 
			which may accompany RECs production.&nbsp; Most commentators have drawn a 
			bright line:&nbsp; RECs cannot be double counted and neither can carbon 
			credits.&nbsp; The same act of renewable electricity production or of 
			efficiency cannot both add carbon credits because of its &#8220;indirect&#8221; 
			carbon reduction, and provide REC credits as well.&nbsp; Grey areas may 
			be left, for example: what if a renewable energy project owner would 
			rather sell carbon offsets and market to non-utilities the power 
			stripped of its environmental attributes?&nbsp; Does that strategy comply 
			with applicable regulatory schemes?</span></p>
			<p class="BodyText1DS"><span lang="X-NONE" style="color:black">
			While, in the general public&#8217;s eye, renewable energy production and 
			carbon credits creation are conflated, this may well not be the case 
			in long term market decision-making, and even the operation of 
			trading markets would not appear to be enhanced by this situation.</span></p>
		</blockquote>
	</div>
	<h1 style="text-indent: 0in; margin-left: 0in; margin-bottom: 0pt">
	<span lang="X-NONE" style="color: black; font-weight: 400">(</span><span style="color: black; font-weight: 400">3</span><span lang="X-NONE" style="color: black; font-weight: 400">)</span><span style="color: black; font-weight: 400">&nbsp;&nbsp;&nbsp;&nbsp;
	</span><span lang="X-NONE" style="color:black">Importation of Global 
	Uncertaintie</span><span style="color:black">s</span></h1>
	<blockquote>
		<h1 style="text-indent: 0in; margin-left: 0in; margin-bottom: 0pt">
		<span style="font-weight: 400; color: black" lang="X-NONE">Uncertainty 
		as to the rules of the climate change game may be further exacerbated 
		when the shape and operation of the applicable rules is also keyed to 
		achieving larger international linkage policy goals.&nbsp; In the larger 
		policy sense it certainly may be desirable to link the world&#8217;s 
		regulatory systems, and for the United States to be a leader in the 
		process.&nbsp; Short of that, however, there may be legal complexity whose 
		market impacts may be sub-optimal.&nbsp; The pool of offset credits is 
		envisioned as half domestic offsets and half from international 
		sources.&nbsp; Then translation sets in:&nbsp; beginning in 2018, 1.25 
		international offset credits must be submitted for each ton of 
		emissions.&nbsp; Detailed provisions for qualification and award of 
		international offset credits are slated to be developed by EPA in 
		conjunction with the Department of State and AID.&nbsp; The focus is on 
		encouragement of GHG mitigation in those sectors in developing countries 
		with which bilateral treaties are reached and where several criteria 
		designed to assure credit quality are met, thereby facilitating the 
		fungibility of international and domestic credits.&nbsp; The proposed law 
		does not, however, stop there.&nbsp; Social engineering is also built into 
		the required findings by U.S. agencies,<i> e.g.</i>, that in the sector, 
		the host nation has done enough to &#8220;encourage equitable sharing of 
		profits and benefits derived from international offset credits with 
		local communities, indigenous peoples and forest dependent communities.&#8221;</span></h1>
	</blockquote>
	<div>
		<blockquote>
			<p class="BodyText1DS" style="margin-bottom:12.0pt">
			<span lang="X-NONE" style="color:black">The introduction of the 
			international complexity in the availability, value weighting, and 
			eligibility of offsets begins as an effort at globalization and 
			interface with the regimes of international bodies.&nbsp; There is the 
			danger that it is susceptible of morphing into a tool for some 
			super-national stewardship and/or de facto domestic protectionism.&nbsp; 
			It introduces another agency actor on the stage, with another set of 
			policy motivations.&nbsp; It introduces another source of change over 
			time.</span></p>
			<p class="BodyText1DS"><span lang="X-NONE" style="color:black">
			Trading markets can superficially adapt to (and profit from) the 
			speculative opportunities which are thereby created.&nbsp; However, to 
			the extent offset rules are further encouraged to become a seedbed 
			of ongoing uncertainty and distortions triggered by policy 
			variables, private decision makers will find it harder to make 
			environmentally and economically sound decisions which manage risk 
			well.</span></p>
		</blockquote>
		<h1><span lang="X-NONE" style="color: black; font-weight: 400">(</span><span style="color: black; font-weight: 400">4</span><span lang="X-NONE" style="color: black; font-weight: 400">)</span><span style="color: black; font-weight: 400">&nbsp;&nbsp;&nbsp;&nbsp;
		</span><span lang="X-NONE" style="color: black">Risk Management Issues</span></h1>
		<blockquote>
			<h1 style="text-indent: 0in; margin-left: 0in; margin-bottom: 0pt">
			<span lang="X-NONE" style="color: black; font-weight: 400">
			Waxman-Markey does provide opportunities to deal with the risks 
			associated with defects or performance slippage in the operation of 
			the offset system.&nbsp; A notable example is in the agricultural sector 
			where opportunities may be generated from sustainable practices, but 
			remain subject to issues of permanence and reversal.&nbsp; Consequently, 
			the concept of &#8220;term offsets&#8221; has been statutorily introduced, <i>
			i.e.</i>, temporary offsets which expire after a maximum of five 
			years, because farmers cannot commit to assure creation of offsets 
			beyond that period.&nbsp; Term offsets therefore expire, but they are 
			subject to revalidation.&nbsp; However, a covered entity seeking to gain 
			the benefits of the use of term offsets may not use them to 
			demonstrate compliance unless it simultaneously makes a showing to 
			EPA that it will have sufficient enough resources to obtain the 
			necessary quantity of allowances or credits necessary from other 
			sources, if need be, to demonstrate final compliance.</span></h1>
			<p class="BodyText1DS" style="margin-bottom:12.0pt">
			<span lang="X-NONE" style="color:black">The adequacy of the 
			statutory provisions to address risk management issues has been 
			questioned.&nbsp; One important context has been biological 
			sequestration, which represents the largest source of potential farm 
			and forestry offsets.&nbsp; Among the concerns voiced has been the need 
			for assurance that domestic offsets are fully fungible with each 
			other and with allowances.&nbsp; It has also been suggested that offsets 
			should be made available at the program, rather than the project 
			level, so that pooled risks for multiple projects can be addressed 
			through what has been dubbed &#8220;risk management behind the registry.&#8221;&nbsp; 
			Otherwise, it may not be feasible for adequate risk protection to be 
			made available for smaller projects.</span></p>
		</blockquote>
		<p class="MsoBodyText">
		<span lang="X-NONE" style="color: black; font-weight: 700">Conclusions</span></p>
		<p class="BodyText05DS"><span lang="X-NONE" style="color:black">Why are 
		these overlapping flaws in the proposed offset system--dispersal of 
		administrative responsibilities, fragmentation of green programs, 
		importation of global uncertainties, deficiencies in risk management--of 
		such practical significance?&nbsp; The answer is because collectively they 
		obscure the clarity of GHG mitigation cost option comparisons by GHG 
		generators.&nbsp; Collectively they increase market volatility which, in 
		turn, leads to a damper on decision maker actions.</span></p>
		<p class="BodyText05DS"><span lang="X-NONE" style="color:black">This 
		possibility of clarity in decision-making facilitated by markets is the 
		basis for what is ultimately postulated as the motivating force for 
		technical innovation.&nbsp; It is the modern adaptation of the &#8220;invisible 
		hand&#8221; dictum of Adam Smith, only now the magic of the market proclaimed 
		is not just to aggregate wealth but to lead self-interested pollution 
		reduction as well.&nbsp; It is a premier justification of a cap and trade 
		system, as opposed to a command and control system.&nbsp; If regulatory 
		uncertainties impair market operation on an ongoing basis, this updated 
		neo-classical rationale for the creation of the cap and trade system 
		will be more suspect.&nbsp; While there may be offset projects and there will 
		be trading volume, based on available information, the &#8220;invisible hand&#8221; 
		of the market, on which policy makers are counting, will be paralyzed by 
		the ongoing complexity and uncertainty which the system presents to 
		actual decision makers who are not confident of the price signals they 
		are receiving. &nbsp;As the renewable energy industry has recently 
		demonstrated, innovation only thrives where price signals are within a 
		predictable band on which investors can rely.&nbsp; There is no reason to 
		assume that confusing offset price signals will have a different effect.
		</span></p>
		<span lang="X-NONE" style="font-size: 12.0pt; color: black">In their 
		haste to achieve passage of the cap and trade climate change 
		principle--to &#8220;just do it,&#8221; as one noted columnist recently 
		prescribed--there should not be created a new &#8220;funny money&#8221; which can be 
		proliferated in volume without producing the sorely needed investment in 
		new innovation in green technology necessary to ultimately reverse the 
		precipitous slide into global warming.&nbsp; In short, let&#8217;s hope Congress is 
		wise enough not to inadvertently offset the potential of the invisible 
		hand.</span></font><span lang="X-NONE" style="font-size: 12.0pt; font-family: Arial, Helvetica, sans-serif; color: black"><br>
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    <hr color="#FFFF00">
    <p class="MsoBodyText" align="left" style="margin-bottom:0in;margin-bottom:.0001pt;
text-align:left"><font face="Arial" size="2">
	<span lang="X-NONE" style="color: black">ROGER FELDMAN, Co-Chair of Andrews 
	Kurth LLP Climate Change and Carbon Markets Group has practiced law related 
	to the finance of environmental and energy projects and companies for 40 
	years.&nbsp; In particular, he has analyzed and executed a wide variety and 
	substantial value of project financings.&nbsp; He chairs the American Bar 
	Association&#8217;s Committee on Carbon Trading and Finance, serves on the Board 
	of the American Council for Renewable Energy, and has been a senior official 
	in the Federal Energy Administration.&nbsp; He is a graduate of Brown University, 
	Yale Law School and Harvard Business School.</span></font></p>

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