Friday, February 1, 2019

Op-Ed: NRDC Expresses Opposition To “No Strings Attached” PA Nuclear Subsidy Bill

By Mark Szybist, Natural Resources Defense Council

[Note: The upcoming discussion of whether to subsidize the operation of Pennsylvania’s nuclear power plants has attracted national attention.  This piece by the Natural Resources Defense Council is only the most recent one from national groups weighing in on this issue.]

According to news reports, state legislators in Pennsylvania will soon introduce one or more bills to provide financial support to the state's nuclear power plants.
Such legislation has been anticipated since last November, when the General Assembly's nuclear caucus issued a report making a case for subsidies, and is expected to do little besides adding a nuclear target to the state's Alternative Energy Portfolio Standards Act.
We criticized the caucus report for failing to endorse an energy policy that aims to transition Pennsylvania away from both nuclear power and fossil-fuel generation to renewable sources and energy efficiency, in accordance with NRDC's issue brief on nuclear transition.
This week NRDC sent a letter to members of the General Assembly urging the need for such a policy and asking legislators to reject any bill that merely subsidizes nuclear plants, since that is no more a clean energy policy than the status quo: a massive build-out of natural gas generation driven by the absence either of state limits on carbon pollution or a price on carbon in PJM's electricity markets, and a weak AEPS.
The letter is printed below in modified form--
January 29, 2019
Re: Opposition to anticipated “no strings attached” nuclear subsidies bill
Dear Senator/Representative:
In the near future, you will likely be asked to support legislation that would establish a new tier for nuclear power in Pennsylvania’s Alternative Energy Portfolio Standards Act (AEPS) but fail to either (i) significantly increase the statute’s renewable energy targets; or (ii) establish a declining cap on carbon pollution from the Commonwealth’s power sector.
On behalf of our 112,000 members and activists in Pennsylvania, the Natural Resources Defense Council (NRDC) respectfully requests that at this time you oppose such legislation and decline to co-sponsor it until fundamental and significant changes are incorporated into the legislation.
NRDC’s Position on Nuclear Power and Nuclear Subsidies
NRDC’s view is that state policy making concerning nuclear power should have the goal of an orderly and deliberate transition away from nuclear to a safer, more economical low-carbon electric power system based mainly on renewable energy and energy efficiency.
In managing this transition, policymakers must ensure both that electricity is affordable for consumers and that the communities and workers whose livelihoods currently depend on nuclear plants have new opportunities for economic development and jobs, after the plants close.
Accordingly, NRDC identifies “best practices” for state proposals that subsidize nuclear plants to value the low-carbon power they generate. These practices include:
-- A requirement that plants show severe financial distress as a precondition to receive subsidies;
-- The narrow tailoring of support mechanisms (i.e., so that they account for current market conditions), accompanied by a finite time horizon to prevent the establishment of an entrenched subsidy;  
-- A binding and declining cap on carbon emissions;
-- Policies to significantly scale up energy efficiency and renewable energy;
-- Conditioning support for uneconomical nuclear power plants on a commitment to better manage the toxic waste they house onsite; and
-- Mechanisms to aid the workers and communities that will be affected when a plant closes.
Our position is based on three core considerations.
First, it is critical that we – the United States and rest of the world – reduce our greenhouse gas emissions by at least 80 percent by 2050 to avoid the worst impacts of climate change.
Second, although nuclear power has beneficial low-carbon attributes, it also comes with significant safety, global security, environmental, and economic risks. Until these risks are properly mitigated and the complete nuclear fuel cycle is sufficiently regulated, nuclear power should not be a leading strategy to diversify America’s energy portfolio and reduce carbon pollution.
Third, based on analysis performed by NRDC in 2017, the most cost-effective way for the United States to cut greenhouse gas emissions 80 percent by 2050 is to aggressively ramp up our use of energy efficiency and renewable energy while minimizing our use of both fossil fuels and nuclear power.
Cutting Carbon and Creating Jobs in Pennsylvania’s Power Sector
In November 2018, the General Assembly’s nuclear caucus issued a report that offers three rationales for providing financial support to nuclear plants in Pennsylvania: the thousands of jobs that these plants support; the low-carbon electricity they generate; and the notion that nuclear power is necessary for “grid resilience and reliability.”
While the idea that nuclear power is essential to reliability or resilience is false, it is true that the Commonwealth’s nuclear plants both support good-paying jobs and currently generate most of its low-carbon electricity.
That said, a bill that merely props up uneconomical nuclear plants without putting Pennsylvania firmly on a path to continuing decreases in carbon pollution and a growing clean energy economy, is not a climate bill. Nor, in the long run, is it a good jobs bill either.
With respect to climate, keeping nuclear plants online may prevent them from being replaced by fossil generation in the short term – but the key question is what will replace them in the long run.
While solar and wind energy paired with battery storage is increasingly the cheapest form of generation in the U.S., the absence of a price on carbon in the markets run by the PJM Interconnection, along with other market barriers, make it harder for renewables to compete in Pennsylvania.
As a result, the Commonwealth is experiencing a massive build-out of natural-gas-fired generation, which – though less polluting than coal – still emits enormous quantities of climate pollution, especially when methane leaks during gas production activities are taken into account.
To ensure an ongoing decrease in carbon pollution from the power sector, Pennsylvania needs a declining cap on emissions with market mechanisms for trading and pricing, along with ambitious energy efficiency and renewable energy goals.
Regarding jobs, as the unanimously-passed Senate Resolution 420 of 2018 noted, based on Environmental Entrepreneurs' 2018 Clean Jobs Pennsylvania report, “the clean and renewable energy sector is a growing part of this Commonwealth's economy, growing at a current rate of more than 2 percent annually, and has been a key driver of economic growth in Pennsylvania in recent years with the number of jobs in the clean and renewable energy sector in Pennsylvania now standing at more than 86,000.”
To a large extent, this growth is due to rapidly declining costs for renewables and the fact that Pennsylvanians increasingly want cleaner and more efficient energy. But as comparisons between the Commonwealth and other states show, energy policies matter.
A cap on carbon pollution from the power sector, together with stronger renewables targets in the AEPS, stronger efficiency standards, and strategic public- and private-sector investments, would stimulate demand for clean energy and create tens of thousands of new jobs in manufacturing, construction, among other fields, and spur much-needed economic development to areas of Pennsylvania that urgently need it.
Simply put, any nuclear power bill that does not prioritize policies that support the clean and renewable energy sector, and ensures we cap and cut power sector carbon pollution, is myopic and regressive.
We urge members to embrace forward-looking policies that will transition Pennsylvania to a lower-carbon future and clean-energy-based economic development.
For all these reasons, we respectfully request that you oppose any legislation that solely establishes a new tier for nuclear power in Pennsylvania’s AEPS without significantly increasing renewable energy targets, further expanding the state’s successful energy efficiency programs, and establishing a declining cap on carbon pollution from the state’s power sector.
And we urge you, when legislating energy policy – as well as other policies that affect Pennsylvanians’ economic and energy futures, especially fiscal and labor policy – to ensure that energy is affordable and increasingly cleaner for all Pennsylvanians, no matter their zip code.
We look forward to continuing to work with the General Assembly, the Governor, relevant state agencies, and other stakeholders to chart a truly clean and sustainable energy future for the Commonwealth.
Meanwhile, please do not hesitate to contact me if you have any questions or would like to discuss the issues raised in this letter.
Thank you very much.
Mark Szybist

Mark Szybist is a Senior Attorney in the Climate & Clean Energy Program, Natural Resources Defense Council.  Click Here for more.

Feb. 1 Take Five Fridays With Pam, PA Parks & Forests Foundation

The February 2 Take Five Fridays With Pam now available.  For more information on programs, initiatives and special events, visit the PA Parks & Forests Foundation website.  Click Here to sign up for regular updates from the Foundation,  Like them on Facebook or Follow them on Twitter.  Click Here to become a member of the Foundation.
(Photo: McConnells Mill State Park, Lawrence County by Dave Woten (Facebook).)
Related Stories:
Pennsylvanians Urged To Help Preserve The Legacy Of PA's State Parks & Forests
DCNR Accepting Applications For Parks, Recreation, Trail, Buffer, Conservation Grants

DEP Posted 76 Pages Of Permit-Related Notices In Feb. 2 PA Bulletin

The Department of Environmental Protection published 76 pages of public notices related to proposed and final permit and approval/ disapproval actions in the February 2 PA Bulletin - pages 479 to 555.
Sign Up For DEP’s eNotice: Did you know DEP can send you email notices of permit applications submitted in your community?  Notice of new technical guidance documents and regulations? All through its eNotice system. Click Here to sign up.

PUC: Act 13 Drilling Impact Fee Amounts Will Not Change For 2018 Collection Year

The Public Utility Commission published notice in the February 2 PA Bulletin setting the 2018 collection year Act 13 drilling impact fees.  The fee amounts will not change from the 2017 fees.
Year 1 horizontal well fees will remain at $50,700, Year 2 horizontal well fees will remain $40,500, Year 3 still $30,400 and Year 4  remains at $5,200. Vertical producing unconventional well fees will also remain the same.
Click Here for the 2018 fees.  Click Here for the 2017 fees.  Click Here for the 2016 fees.  The fees are set by a formula included in Act 13.
On January 24, the Independent Fiscal Office estimated the Act 13 drilling impact fee will generate $247 million from fees imposed in 2018, $37.4 million more than last year.
This also represents the most revenue ever collected under this fee since it was created in 2012.  The previous high was $225.8 million in 2014, the third year the fee was imposed.
For more information, visit the PUC’s Act 13 Impact Fee webpage.

Plans Now Due From Electric Utilities For 3rd Party Electric Vehicle Charging Services

On February 2, the Public Utility Commission published the final policy statement on third-party electric vehicle (EV) charging stations designed to reduce regulatory uncertainty, provide greater clarity and consistency among electric distribution companies (EDCs), and promote increased investment in EV charging infrastructure in the state in the PA Bulletin.
With the policy statement’s publication, electric utilities need to file amended tariffs with the Commission addressing third party EV charging stations.  
After a 30-day public comment period on proposed tariff modifications, the PUC’s Bureau of Technical Utility Services (TUS) will prepare Orders for Commission approval.
The Commission voted 5-0 to approve the statement on November 8 in order to clarify that third-party electric vehicle charging is providing a service and not considered resale/ redistribution under Section 1313 of the Public Utility Code and directs EDCs to amend their tariffs to address third party EV charging tariff provisions consistent with the new policy.
“Today, we take a large step toward designing a regulatory landscape which supports innovative and dynamic pricing for electric vehicle charging,” said Chairman Gladys M. Brown in her statement.  “Technological advancements, including the advent of electric vehicles, are transforming the electric consumption profiles of customers and the grid as a whole.”
“As such, it is of paramount importance that electric utilities be able to adapt their infrastructure to support this transformation in an economic manner,” added Brown.
Background
On June 15, 2017, the Commission issued a Secretarial Letter launching a third-party EV charging inquiry, underscoring the differing rules and provisions of the resale of utility service by third-party EV charging stations, all of which may be subject to differing interpretations.
Based on its conclusions from initial comments received in response to the Secretarial Letter, the Commission proceeded to issue a Proposed Policy Statement on May 4, 2018 requesting additional public comment on two key issues:
-- Any entity, other than a public utility, owning and operating an EV charging facility that is open to the public for the sole purpose of recharging an EV battery should not be construed to be a sale to a residential customer and should therefore not fall under the pricing requirements of Section 1313; and
-- EDC tariff provisions must exclude these third party EV charging stations from the pricing requirements of Section 1313 and put forth rules for when and how owners/operators of such third party EV charging stations are to notify the EDC of a planned EV charging facility installation and what information the EDC will need in advance.
Click Here for a copy of the February 2 PA Bulletin notice.
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DEP Accepting Applications For Recycling Implementation Grants Thru March 22

The Department of Environmental Protection is accepting applications for Section 902 Recycling Implementation Grants. The deadline for applications is March 22.
DEP will give priority to the following applications--
-- Incentive-based pricing and collection programs designed to increase the quantity and types of recyclable materials and reduce the amount of waste collected;
-- Multi-Municipal collection, processing, and/or materials marketing programs that reduce capital costs or enhance recycling marketability; and
-- Collection methods that provide greater marketability and value to collected recyclables.
Existing municipal recycling programs that include the following will also receive additional consideration--
-- Publicly provided or municipally contracted waste and recycling services;
-- Collection of at least 6 of the following materials: newsprint, office paper, corrugated paper and other marketable grades of paper, aluminum, steel or bimetal cans, colored or clear glass containers and plastics; and
-- Incentive-based pricing and collection programs designed to increase the quantity and types of recyclables collected and reduce the amount of waste.
To be eligible, projects must involve municipalities that have a mandatory trash collection program or seek support for residential recycling in communities that already operate a commercial recycling program.
Applicants must also schedule a pre-application conference with their regional DEP recycling coordinator to discuss requirements and program details.
For more information, visit DEP’s Recycling Grants webpage.  Questions should be directed to Mark Vottero at 717-772-5719 or send email to: mvoterro@pa.gov.

(Reprinted from the PA Township News.)

PA Clean Water Legislative Briefing Book Available From PennFuture

The General Assembly plays an important role in protecting these critical water resources through the funding of the state resource agencies charged with their protection and passing and enhancing laws that help to steward them.
The first edition of the Clean Water Legislative Briefing Book from PennFuture presents important information about the opportunities and threats facing Pennsylvania waterways, as well as explanations of bedrock clean water laws and the state’s major watersheds.
These issues are laid out in detail and with instructive guidance on legislative solutions.
Enacting the policy recommendations in this book will advance sustainable solutions to Pennsylvania’s water challenges, maintain the integrity of the Commonwealth’s natural systems, and promote public health while addressing the needs of municipalities, industry, agriculture, and business.
In order to accomplish this, PennFuture is asking the General Assembly to do the following:
-- Provide Adequate Funding for State Resource Agencies:  Since the 2002-03 fiscal year budget, the Pennsylvania Department of Environmental Protection, Department of Conservation and Natural Resources, and Department of Agriculture have each experienced significant budget cuts.
While the modest increases in funding since 2013 were a step in the right direction, our state resource agencies are still operating with significantly reduced resources than are necessary to keep our air and water clean.
-- Establish A Dedicated Fund for Clean Water: A dedicated fund for water quality and flood abatement efforts would make better use of state agency staff time and resources by promoting more consistent planning and leveraging local and private investments more efficiently. Yearly, inconsistent budget negotiations jeopardize the resources needed to restore and protect waterways.
-- Restore Fair Share Funding to River Basin Commissions: River Basin Commissions are interstate, federal regulatory agencies that work to ensure that waterways split among several state jurisdictions are healthy enough to serve as sources of drinking water, recreation, and in some cases, transportation.
These commissions are responsible for overseeing water quality, flood control, wildlife, water flow, water withdrawals, aquatic flora, and industrial runoff in their respective basin. Most states and the federal government have not contributed their fair share of funding in more than two decades.
Along with our three legislative priorities, PennFuture identified the following 10 policy priorities: (1) economic benefits of Pennsylvania’s waterways; (2) helping farms thrive by protection water and soil; (3) empowering municipalities to reduce the impacts of polluted runoff; (4) cleaning up abandoned mine drainage to restore fish populations, (5) mitigating the impacts of flooding in Pennsylvania; (6) restoring and reconnecting streams to improve water quality and reduce flooding; (7) protecting wild trout and expanding protective stream designations; (8) keeping children safe from lead in school drinking water; (9) ensuring that wastewater permits are up-to-date; and (10) advancing environmental justice.
Click Here for a copy of the briefing book.
For more information, visit PennFuture’s PA Clean Water legislative  Briefing Book webpage.

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