Posts Tagged ‘Environment’


The Way We Green

Earlier today I helped launch the City’s next big planning exercise, namely the new environmental strategic plan dubbed ‘The Way We Green‘. It’s picking up after the 2006 Environmental Strategic Plan, which was good but more internally focused on the city and not very high-profile.

The project is building on the widespread consultations in 2008 that led to the city’s 30 year vision and 10 year overall strategic plan, The Way Ahead. That same consultation work fed into the creation of the first three specific strategic plans: The Way We Move (our transportation plan, approved in the fall of 2009); The Way We Grow (our development plan, which should be finalised next month); and The Way We Live (our ‘people plan’ which will to council next month).

But now it’s time to drill down and focus specifically on the environment – the services we get from it, the impacts we have on it, and the value we place on it.

The City is inviting Edmontonians to learn more and participate by visiting the project website at www.edmonton.ca/thewaywegreen.  The city commissioned the Edmonton Sustainability Papers, a provocative set of 21 essays that cover virtually every imaginable topic from the how price signals can shift behaviours affecting our environment to the concept of an ecological footprint. It’s going to take me a while to get through them all but the ones I’ve read are just what we had in mind. There are also videos covering topics from peak oil/peak energy to ecological economics.

There are a few things I’m really proud to see as part of this project that I specifically pushed for:

This is critical work. Indeed, I think it’s one of the most significant conversations our community will ever have.

EPCOR: Risk and the Best Interests of the City

This post is a follow up to a previous post on the decision to spin off the power generating wing of EPCOR as the new Capital Power Corporation, and to authorize the sale of shares in that new company to the market. The proceeds of this sale of shares will be used by EPCOR to build the water, wastewater and electricity distribution and transmission businesses.

It’s now possible for me to say more about the rationale for the decision since the Initial Public Offering (IPO) of shares is complete. During that 90-day period it was critical that the City not act as a ‘promoter’ of the IPO, so we couldn’t talk plainly about the risks and strategic assumptions. Remaining neutral on the promotion of the IPO was part of the motivation for taking the decision in private – becoming a promoter has legal risk attached to it, and the City could be an attractive target for shareholder litigation.

It has been argued by critics of the decision that the dividend (which is forecast by the city to be $133 million this year) will fall because of this sale. This argument makes an assumption that the dividend would have continued to grow steadily as it has for many years, or at least remain constant. This should not be assumed. The first bit of fine print on every risk-bearing investment is ‘past performance does not guarantee future results’.

There is also regulatory risk to consider: if and when stronger environmental regulations & pollution pricing come to bear on high emissions industries, the power business could change significantly – and the kinds of strong, growing returns EPCOR has seen from that line of business could at the very least become more volatile, which would not be in the city’s interest.[I've quoted the relevant paragraphs from the prospectus below.]

The investment risk is lower in the water, wastewater and electricity distribution and transmission businesses, all of which are regulated and provide a stable return. Truthfully, EPCOR was becoming generating-heavy and as an investment, EPCOR needed to be rebalanced toward lower risk. This decision, I think, was in the best interests of the city from a risk management perspective.

I believe the main concern, however, is the way in which the decision was made. The legality of the process in the Capital Power decision is now before the courts. In ruling on an application for interim injunction to stop the IPO, Justice Hawco’s of the Court of Queen’s Bench made some widely reported remarks to the effect that some of the reasons for privacy displayed ‘a lack of faith in the intelligence or common sense of the citizens’, (as reported, p11-12 of the ruling) but he also ruled that there did appear to be “valid concerns by EPCOR about going public before the prospectus was filed.” Justice Hawco also indicated, and this also was not widely reported, that “The sale of the electrical business of the city as managed by EPCOR could have been more transparent, but the sale was made in the best interests of EPCOR and the best interests of the citizens of Edmonton.” [I've uploaded a PDF of the full ruling here: CQB decision Pidruchney vs. COE et al.] I understand this litigation is continuing.

I am on record saying that that I reluctantly supported taking the decision in private. I am also bringing a motion to Council on the 22nd of July designed to ensure that any decision to sell any former city-owned assets, or EPCOR asset that directly serves Edmontonians (i.e. the water and wastewater plants, water pipes and electrical distribution and transmission infrastructure) cannot be sold using the same process. I’ve been accused of inconsistency in pushing for this but supporting, albeit reluctantly, the behind-closed-doors process for the Capital Power decision. However, the complications I described in my previous post do not apply with the regulated parts of EPCOR. I hope my motion will pass and provide reassurance that these municipal services will remain with EPCOR.

The Capital Power prospectus includes the following about environmental risks:

“Many of the Company’s operations are subject to extensive environmental laws, regulations and guidelines relating to the generation and transmission of electricity, pollution and protection of the environment, health and safety, GHG and other air emissions, water usage, wastewater discharges, hazardous material handling, storage, treatment and disposal of waste and other materials and remediation of sites and land-use responsibility. These regulations can impose liability for costs to investigate and remediate contamination without regard to fault and under certain circumstances, liability may be joint and several resulting in one contributing party being held responsible for the entire obligation.

“On April 29, 2009, the Canadian Environment Minister announced in a media interview that the Canadian Federal Government is planning new climate change regulations aimed at coal-fired power in Canada’s electricity sector. The regulations would purportedly require all newly constructed coal generation plants to use technology to capture GHG and inject it underground for permanent storage. Compliance with this and other known and unknown environmental regulations may require material capital and operating expenditures and failure to comply with such regulations could result in fines, penalties or the forced curtailment of operations. Further, there can be no assurances that compliance with and/or changes to environmental regulations will not materially adversely impact the Company’s business, prospects, financial conditions, operations or cash flow.

“The Company’s business is a significant emitter of CO2, NOx, SO2 and mercury and is required to comply with all licenses and permits and existing and emerging federal, provincial and state requirements, including programs to reduce or offset GHG emissions.

“EPLP’s wood waste plants may also be subject to SO2 and mercury reduction requirements within the next five to seven years. In addition, the decreased availability in waste heat used by EPLP’s Ontario plants may lead to increased emissions and decreased allowances being allocated with respect to these facilities. There are a number of uncertainties associated with the estimated cost of compliance with these existing and emerging requirements. It is not yet clear as to the form in which the new carbon and GHG regulations will be implemented or whether such regulations, when implemented, will reflect the proposed regulatory aims. In addition, the Company is not able to determine the extent to which future compliance costs will be recoverable from customers or whether such costs may be shared among emitters, customers and stakeholders. Other unknown factors include the future composition of the Company’s generation assets, the future production of electricity from the Company’s generation assets, the extent and timing of the development of carbon offset markets, whether economically feasible emission-reducing technology will emerge, the market price for carbon offset credits and other measures that the Company might undertake to reduce its emissions. Compliance with new regulatory requirements may require EPLP to incur significant capital expenditures and/or additional operating expenses.”

EcoMobility in Edmonton: ICLEI Day Three

More than 30 delegates from around the globe assembled to take the LRT south to our newest station at South Campus for a field trip to see the Local Motion EcoMobility pilot project in Parkallen. By the way, EcoMobility means encouraging walking, wheeling, cycling and transit.

The city is partnering with Transport Canada and the Global Alliance for EcoMobility to work with the neighbourhood to put in place conditions to better enable residents to try alternatives to the single-occupant vehicle for the month of June, and hopefully beyond.

More than 100 households have signed up to take the Local Motion challenge to reduce their car use, and the project is measuring their behaviour and perception changes. Delegates had a chance to meet some of the community leaders and tour the neighbourhood. They also heard about the philosophy behind all this in the community’s words, which not only value environmental objectives, but positive social and and health outcomes as well.

We’re also documenting the project on film as well, and some short clips are already available.

Parkallen was selected from thirteen enthusiastic applications, which bodes very well for taking this concept further. To my mind, the great strengths of this project are the interdisciplinary cooperation from the city staff (including Transit, Transportation Planning, Community Services and the Environment and Energy Branch) and, more importantly, there is bottom-up leadership coming from the community, starting with the community league, but also including the elementary school administration andparents’ council and a number of local businesses.

I participated in the launch of the Global Alliance for EcoMobility in December of 2007 at the UN Climate Change Conference, and the idea for doing this specific project during the main ICLEI world congress was hatched over iced teas with the Secretary General of ICLEI at the USA conference in Albuquerque last May, so it’s a treat to see it ‘in motion.’

I think the delegates enjoyed the experience, which included lunch from Parkallen Restaurant, the Lebanese fixture on 109 St and near 70 Ave. There was also an option to take a guided bike tour on our bike routes and through the river valley to get back downtown, and I understand most did and enjoyed it very much. I had to train it back downtown for a meeting.

Oh, and Sarah wrote about her visit to the cycling cities session yesterday.

Green Festivals

Council’s Executive Committee, which I sit on, received a report outlining a strategy for reducing the environmental footprint of festivals and major events held on city lands, which arose from a formal inquiry I initiated last year after discussing some of the possibilities in this regard with festival and event organizers.

I’m very pleased that the committee gave unanimous direction to move ahead with the strategy and to report back annually on progress.

waste-bin-webThe strategy suggests acquiring a shared set of triple-sort waste bins to be deployed at major events, like the example to the right.

There are related opportunities to better manage the significant waste streams associated with these events. Currently festival waste is processed by commercial handlers (at substantial cost); and while some have invested in composting and recycling initatives, the balance still winds up in private landfills. 

The city’s Waste Management Utility is in a position to see that all the waste streams are harvested for recycling, that the biodegradables are composted though our world-class industrial composter. In time the residual other waste products could be processed through the city’s forthcoming waste-to-energy biofuel facility. I am hopeful that event organizers and Waste Management can come to mutually beneficial arrangements to take advantage of our city’s superb residential waste handling infrastructure.

Longer term there is a push toward biodegradable serve ware (plates, cups, utensils as Heritage Festival did last year), and a reduction in use of supplies derived from non-renewable resources.

There is also work to be done to reduce the energy requirements and carbon footprint for these events through the use of more efficient lighting and renewable sources of energy (such as Folk Fest’s on-site solar).

The main idea is that each of the festivals is doing something, so if the city can coordinate best practices among them we can achieve efficiency and raise the bar. This work also sends the right message about our city’s environmental values to Edmontonians and visitors who attend our festivals and major events.

Insecticide Inquiry from Twitter

Had an inquiry come in via Twitter from @ecoDomestica and @ChrisInEdmonton asking the following:

Why is Dursban, an insecticide that kills frogs & tadpoles, being used as part of #yeg mosquito control program?

I inquired with the city’s Office of the Environment and received the following information:

There is no evidence that the amounts of Dursban used, and the targeted nature of the City of Edmonton’s program has had any effect on amphibian populations.

While laboratory trials with large doses of directly injected organophosphates have shown effects on developing amphibians, this does not match the kinds of exposures amphibians receive in field conditions.

Both wood frogs (Rana sylvatica) and boreal chorus frogs (Pseudacris maculata) remain abundant in all suitable habitats in the Edmonton area. The City continually monitors populations of non-target organisms and has not seen any decline in amphibian populations. All native species of frogs are thriving in habitats treated by the control program.

As with fluoride, all things in moderation I suppose.