< Back to Current Version

The Regional Greenhouse Gas Initiative: Background, Impacts, and Selected Issues

Changes from November 14, 2014 to July 2, 2015

This page shows textual changes in the document between the two versions indicated in the dates above. Textual matter removed in the later version is indicated with red strikethrough and textual matter added in the later version is indicated with blue.


The Regional Greenhouse Gas Initiative: Lessons Learned and Issues for Policy Makers Jonathan L. Ramseur Specialist in Environmental Policy November 14, 2014 Congressional Research Service 7-5700 www.crs.gov R41836 The Regional Greenhouse Gas Initiative: Lessons Learned and Issues for Policy Makers Summary The Regional Greenhouse Gas Initiative (RGGI) is the nation’s first mandatory cap-and-trade program for greenhouse gas (GHG) emissions. RGGI involves nine states—Connecticut, Delaware, Maine, Maryland, Massachusetts, New Hampshire, New York, Rhode Island, and Vermont. The RGGI cap-and-trade system applies only to carbon dioxide (CO2) emissions from electric power plants with capacities to generate 25 megawatts or more—approximately 168 facilities. The RGGI emissions cap took effect January 1, 2009, based on an agreement signed by RGGI governors in 2005. The results of the RGGI program may be instructive to policy makers. Several of RGGI’s design elements generated considerable interest during the development and debate of federal proposals to address GHG emissions. In particular, the program’s emission cap has received particular attention. Since the cap took effect in 2009, it has not compelled regulated entities to make internal emission reductions or purchase emission credits from other sources. Several factors led to this outcome: RGGI’s cap design, an economic downturn, and a substantial shift to less carbon intensive fuels. For instance, in 2005, RGGI states generated 33% of their electricity from coal and petroleum, sources of energy with relatively high carbon intensity. In 2013, these sources generated 10% of RGGI’s electricity. To address the disparity between the cap and actual emissions, RGGI states agreed (in 2013) to reduce the existing cap (by 45%) so that the cap level would match actual emissions. The revised cap took effect in January 2014. RGGI’s new, more-binding cap may have vastly different effects than its predecessor. It is uncertain how this new development may impact electricity use and prices in the RGGI region and, in turn, the perception and support for the program. Although actual emissions were ultimately well below the original emissions cap, the cap’s existence attached a price to the regulated entities’ CO2 emissions. Because the cap was nonbinding, the allowance price acted like an emissions fee or carbon tax. Although the cap likely had limited direct impact on the region’s power plant emissions, the revenues generated from the emission allowance sales likely had some impact on emission levels in the region. Through 2013, RGGI states, as a group, have sold 91% of their emission allowances through quarterly auctions. The auction proceeds—over $1.8 billion to date—have provided a new source of revenue, which have been used to support various policy objectives. RGGI states (as a group) have contributed the vast majority of the emission allowance value (80%) to support energy efficiency, renewable energy, other climate-related efforts, or electricity consumer assistance. Several RGGI studies indicate that supporting energy efficiency provides multiple benefits: emission reduction, consumer savings via lower electricity bills, and job creation. As a group, the nine RGGI states account for approximately 7% of U.S. CO2 emissions (and 16% of U.S. Gross Domestic Product). RGGI’s aggregate emissions rank in the top 20 among all nations. But from a practical standpoint, the RGGI program’s contribution to directly reducing the global accumulation of GHG emissions in the atmosphere is arguably negligible. However, RGGI’s activities may stimulate action in other states or at the federal level: when confronted with a growing patchwork of state/regional requirements, industry stakeholders may support a singular national policy. To that end, experiences in RGGI may be instructive for policy makers seeking to craft a national program. Congressional Research Service The Regional Greenhouse Gas Initiative: Lessons Learned and Issues for Policy Makers Contents Introduction...................................................................................................................................... 1 RGGI Overview ............................................................................................................................... 2 Emissions Cap ................................................................................................................................. 3 First Emissions Cap: 2009-2013................................................................................................ 4 RGGI Emissions and Electricity Generation....................................................................... 4 Impacts of the Original Emissions Cap ............................................................................... 6 Revised Emissions Cap (2014-2020) ........................................................................................ 7 Emission Allowance Value Distribution .......................................................................................... 8 Allowance Auctions................................................................................................................... 8 Allowance Value Distribution ................................................................................................. 10 Emissions Leakage ........................................................................................................................ 13 Offsets ............................................................................................................................................ 14 Cost Containment .......................................................................................................................... 15 Interaction with Federal GHG Emission Regulations ................................................................... 16 Final Observations ......................................................................................................................... 16 Figures Figure 1. Observed Emissions Compared to the Original Emission Cap ........................................ 4 Figure 2. RGGI Emissions Compared with Electricity Sales .......................................................... 5 Figure 3. RGGI States Electricity Generation by Energy Source .................................................... 6 Figure 4. Observed Emissions Compared to the Original and Revised Emission Caps .................. 8 Figure 5. RGGI Auctions: Proceeds and Clearing Prices .............................................................. 10 Figure 6. Imported Electricity as a Percentage of Electricity Sales in RGGI States...................... 13 Tables Table 1. Estimated Allocation of Auction Proceeds by Category .................................................. 12 Table 2. Top-Ranked Nations, U.S. States, and Selected Groups for CO2 Emissions from Energy Consumption (2011 Data) .............................................................................................. 17 Contacts Author Contact Information........................................................................................................... 17 Congressional Research Service The Regional Greenhouse Gas Initiative: Lessons Learned and Issues for Policy Makers Introduction A number of states and local governments have taken actions to address greenhouse gas (GHG) emissions. These efforts cover a wide spectrum, from developing climate action plans to setting mandatory GHG emission standards.1 One of the most significant climate change developments at the state level is the Regional Greenhouse Gas Initiative (RGGI, pronounced “Reggie”), which Lessons Learned and Issues for Congress
July 2, 2015 (R41836)

Contents

Summary

The Regional Greenhouse Gas Initiative (RGGI) is the nation's first mandatory cap-and-trade program for greenhouse gas (GHG) emissions. RGGI involves nine states—Connecticut, Delaware, Maine, Maryland, Massachusetts, New Hampshire, New York, Rhode Island, and Vermont. The RGGI cap-and-trade system applies only to carbon dioxide (CO2) emissions from electric power plants with capacities to generate 25 megawatts or more—approximately 168 facilities. The RGGI emissions cap took effect January 1, 2009, based on an agreement signed by RGGI governors in 2005.

The results of the RGGI program may be instructive to policymakers. Several of RGGI's design elements generated considerable interest during the development and debate of federal proposals to address GHG emissions. In particular, the program's emissions cap has received particular attention. When the original cap took effect in 2009, it did not compel regulated entities to make internal emission reductions or purchase emission credits from other sources. Several factors led to this outcome: RGGI's cap design, an economic downturn, and a substantial shift to less carbon intensive fuels. For instance, in 2005, RGGI states generated 33% of their electricity from coal and petroleum, sources of energy with relatively high carbon intensity. In 2013, these sources generated 10% of RGGI's electricity.

To address the disparity between the cap and actual emissions, RGGI states agreed (in 2013) to reduce the existing cap (by 45%) so that the cap level would match actual emissions. The revised cap took effect in January 2014. RGGI's new, more-binding cap may have vastly different effects than its predecessor. It is uncertain how this new development may impact electricity use and prices in the RGGI region and, in turn, the perception and support for the program.

Although actual emissions were ultimately well below the original emissions cap, the cap's existence attached a price to the regulated entities' CO2 emissions. Because the cap level was above actual emissions, the allowance price acted like an emissions fee or carbon tax. Although the cap likely had limited direct impact on the region's power plant emissions, the revenues generated from the emission allowance sales likely had some impact on emission levels in the region.

Through 2014, RGGI states, as a group, have sold 91% of their emission allowances through quarterly auctions. The auction proceeds—over $2.2 billion to date—have provided a new source of revenue, which has been used to support various policy objectives. RGGI states (as a group) have contributed the vast majority of the emission allowance value to support energy efficiency, renewable energy, other climate-related efforts, or electricity consumer assistance. Several RGGI studies indicate that supporting energy efficiency provides multiple benefits: emission reduction, consumer savings via lower electricity bills, and job creation.

As a group, the total CO2 emissions from the nine RGGI states account for approximately 7% of U.S. CO2 emissions (and 16% of U.S. gross domestic product). RGGI's aggregate emissions rank in the top 20 among all nations. But from a practical standpoint, the RGGI program's contribution to directly reducing the global accumulation of GHG emissions in the atmosphere is arguably negligible. However, RGGI's activities may stimulate action in other states or at the federal level: When confronted with a growing patchwork of state/regional requirements, industry stakeholders may support a singular national policy. To that end, experiences in RGGI may be instructive for policymakers seeking to craft a national program.

The Regional Greenhouse Gas Initiative: Lessons Learned and Issues for Congress

Introduction

A number of states and local governments have taken actions to address greenhouse gas (GHG) emissions. These efforts cover a wide spectrum, from developing climate action plans to setting mandatory GHG emission standards.1 One of the most significant climate change developments at the state level is the Regional Greenhouse Gas Initiative (RGGI, pronounced "Reggie"), which is based on an agreement signed by RGGI governors in 2005.2
is based on an agreement signed by RGGI governors in 2005. RGGI is the nation's first mandatory cap-and-trade program (see text box, "What Is a Cap-and-Trade System?") for GHG emissions, which went into effect January 1, 2009.23 RGGI currently involves nine states— Connecticut, Delaware, Maine, Maryland,3 Massachusetts,44 Massachusetts,5 New Hampshire, New York, Rhode Island, and Vermont.5 6 Several of RGGI's design elements generated considerable interest during the development and debate of federal proposals to address GHG emissions. The initial results of the RGGI program may be instructive to policy makerspolicymakers, because RGGI may serve as a possible test case for a federal cap-and-trade program, providing insights into implementation complexities, the mechanics of various design elements, and lessons of potential design pitfalls. The first section of this report provides an overview of the RGGI cap-and-trade program and the participating RGGI states. The subsequent sections discuss selected issues raised by RGGI that may be of interest to policy makersCongress. The final section provides some final observations that may be instructive to policy makers. 1 For example, California is implementing regulations that address GHG emissions on multiple fronts, including a capand-trade program that began in January 2013. For more information on the California cap-and-trade program, see the California Environmental Protection Agency and Air Resources Board website at http://www.arb.ca.gov/cc/ capandtrade/capandtrade.htm. 2 Prior to the starting date of the emissions cap (January 1, 2009), RGGI held its first emission allowance auction on September 25, 2008. 3 Maryland Governor O’Malley signed RGGI’s Memorandum of Understanding on April 20, 2007, making Maryland the first state that was not an original RGGI participant to join the regional initiative. 4 Massachusetts and Rhode Island were involved in RGGI’s development from the beginning. However, both states’ governors declined to sign the Memorandum of Understanding in 2005. Massachusetts (different governor) and Rhode Island (same governor) joined RGGI as participants in January 2007. 5 New Jersey participated in the program from 2009 through the end of 2011. For information on New Jersey’s withdrawal from RGGI, see http://rggi.org/design/history/njparticipation. Congressional Research Service 1 The Regional Greenhouse Gas Initiative: Lessons Learned and Issues for Policy Makers be instructive to policymakers. What Is a Cap-and-Trade System? A GHG cap-and-trade system creates an overall limit (i.e., a cap) on GHG emissions from the emission sources covered by the program. Cap-and-trade programs can vary by the sources covered. The covered sources, also referred to as covered or regulated entities, often include major emitting sectors (e.g., power plants and carbonintensivecarbon-intensive industries), fuel producers/processors (e.g., coal mines or petroleum refineries), or some combination of both. The emissions cap is partitioned into emission allowances. Typically, in a GHG cap-and-trade system, one emission allowance represents the authority to emit one (metric) ton of carbon dioxide-equivalent (tCO2tCO2-e). This term of measure is used because GHGs vary by global warming potential (GWP)—an index of how much a GHG may contribute to global warming over a period of time, typically 100 years. GWPs are used to compare gases to CO2, CO2, which has a GWP of 1. For example, methane's GWP is 25estimated between 28 and 36, because a ton of methane is 2528-36 times more potent a GHG than a1 ton of CO2. CO2 over a 100-year period.7 Under an emissions cap, covered entities with relatively low emission-reduction costs have a financial incentive to make reductions beyond what is required, because these further reductions could be sold (i.e., traded) as emission credits to entities that face higher costs to reduce their facility emissions. At the end of each established compliance period (e.g., a calendar year or multiple years), covered sources surrender emission allowances (to an implementing agency) agency to cover the number of tons emitted. If a source did not provide enough allowances to cover its emissions, the source would be subject to penalties. Other mechanisms, such as banking or offsets, may be included to increase the flexibility of the program. The emissions cap creates a new currency—the emission allowance. Policy makersPolicymakers may decide to distribute the emission allowances to covered entities at no cost (based on, for example, previous years' emissions), sell the allowances (e.g., through an auction), or use some combination of these strategies. The distribution of emission allowance value is typically a source of significant debate during a cap-and-trade’s program development. program's development. A cap-and-trade program is one policy tool for reducing GHG emissions. It is often described as a market-based mechanism, because it ( mechanism because, like an emissions fee or carbon tax), it allows the marketplace to determine the economically efficient solution for GHG emission reduction. Compared to more traditional approaches—requiring, for example, requiring specific performance standards or technologies at particular facilities—market-based mechanisms are generally considered more cost effective. Perhaps the most successful market-based program in the environmental policy arena is the sulfur dioxide (SO2) emissions trading system (known as the Acid Rain Program) established by the 1990 amendments to the Clean Air Act. RGGI Overview RGGI Overview RGGI is a sector-specific cap-and-trade system that applies to carbon dioxide (CO2)CO2 emissions from electric power plants6plants8 with capacities to generate 25 megawatts or more7more9—168 facilities in the 9 RGGI states.8 RGGI designers expected the initial program to be a foundation for emissions trading and possibly expanded in future years by covering other emission sources/sectors, GHGs, or other states. The CO2 emissions from covered entities in the RGGI states account for approximately 20% of all GHG emissions in the RGGI states.9 The vast majority of the remaining GHG emissions comes from fossil fuel combustion in the industrial, commercial, residential, and transportation sectors. 6 CO2 emissions account for approximately 99% of all GHG emissions from power plants. In 2012, electricity power plants accounted for 31% of all U.S. GHG emissions. EPA, 2014 U.S. Greenhouse Gas Inventory Report, April 2014. 7 Electricity generating units that consume on-site more than 10% of the electricity they generate (on an annual basis) are not subject to the emissions cap. This provision applies to facilities (e.g., some refineries) that may generate electricity for their own use. 8 For more details, see RGGI’s website at http://www.rggi.org/design/overview/regulated_sources. 9 Based on 2011 CO2 emissions data from RGGI (http://rggi.org/), excluding emissions from New Jersey, and 2011 GHG data from the World Resources Institute, Climate Analysis Indicators Tool (CAIT US), at http://cait2.wri.org. Congressional Research Service 2 The Regional Greenhouse Gas Initiative: Lessons Learned and Issues for Policy Makers RGGI’s cap-and-trade program includes many of the design elements that were proposed and debated in federal legislative proposals. Highlights include the following: • Three-year compliance periods. At the end of a compliance period covered entities submit one emission allowance for each ton of CO2 emissions generated. A three-year compliance period should mitigate potential emission allowance price swings brought on by short-term market volatility. • Emission allowance banking. RGGI allows covered entities to bank an unlimited number of emission allowances for future use. The opportunity to bank emission allowances instills a substantial amount of flexibility into a trading program, effectively making annual emissions caps flexible over time, and reduces the absolute cost of compliance. • Offsets use. An offset is a measurable reduction, avoidance, or sequestration of GHG emissions from a source not covered by an emission reduction program. To a limited degree (discussed below), covered entities may submit offsets in lieu of the emission allowances needed to satisfy compliance obligations. • Emission allowance auctions. With some variance among the states, particularly in the early years, a substantial percentage (91%) of emission allowances have been distributed through quarterly auctions (discussed below). The auctions include a reserve price, which sets a price floor for emission allowances. • nine RGGI states.10 RGGI's history began with discussions and meetings that date back to at least 2003. These activities eventually led to a 2005 Memorandum of Understanding (MOU)11 that outlined the basic framework of the program.12 In 2008, the RGGI states issued a model rule of cap-and-trade regulations that participating states could use to establish and implement their programs.13

RGGI designers expected the initial program to be a foundation for emissions trading and possibly expanded in future years by covering other emission sources/sectors, GHGs, or states. The CO2 emissions from covered entities in the RGGI states account for approximately 20% of all GHG emissions in the RGGI states.14 The vast majority of the remaining GHG emissions come from fossil fuel combustion in the industrial, commercial, residential, and transportation sectors.

RGGI's cap-and-trade program includes many of the design elements that were proposed and debated in federal legislative proposals. Highlights include the following:

  • Three-year compliance periods. At the end of a compliance period, covered entities submit one emission allowance for each ton of CO2 emissions generated. A three-year compliance period should mitigate potential emission allowance price swings brought on by short-term market volatility.
  • Emission allowance banking. RGGI allows covered entities to bank an unlimited number of emission allowances for future use. The opportunity to bank emission allowances instills a substantial amount of flexibility into a trading program, effectively making annual emissions caps flexible over time, and reduces the absolute cost of compliance.
  • Offsets use. An offset is a measurable reduction, avoidance, or sequestration of GHG emissions from a source not covered by an emission reduction program. To a limited degree (discussed below), covered entities may submit offsets in lieu of the emission allowances needed to satisfy compliance obligations.
  • Emission allowance auctions. With some variance among the states, particularly in the early years, a substantial percentage (91%) of emission allowances have been distributed through quarterly auctions (discussed below). The auctions include a reserve price, which sets a price floor for emission allowances.
  • Consumer benefit allocation. RGGI states agreed that at least 25% of the emission allowance value would be distributed "for a consumer benefit or strategic energy purpose.”10"15 Allowance value distributions from RGGI states have exceeded this minimum requirement (discussed below). • Cost Containment. Cost containment. In 2014, RGGI states established a "cost containment reserve” reserve" (CCR),1116 which provides additional allowances to be sold at auction if certain price thresholds are met. Emissions Cap Although RGGI is one of the more aggressive state programs addressing GHG emissions, the program’ program's first emission cap exceeded actual emissions since its inception in 2009. As discussed below, this result was unintentional. The first cap never compelledcompelled regulated entities to make internal emission reductions or purchase emission credits (or offsets). After a program review in 2012, RGGI states agreed to lower the emissions cap by 45%. This change took effect in January 2014. This section includes a discussion of both the initial emissions cap and the revised emissions cap. 10 RGGI Memorandum of Understanding (MOU), Section 2 (G)(1), December 5, 2005. Subsequent amendments were made to the MOU, but not to this section. 11 The CCR replaced other cost containment mechanisms: initially, RGGI provided an additional year to demonstrate compliance if emission allowance prices reach a certain level, and covered entities were able to cover a greater proportion of their emissions with offsets. Congressional Research Service 3 The Regional Greenhouse Gas Initiative: Lessons Learned and Issues for Policy Makers First Emissions Cap: 2009-2013 When the RGGI states crafted the first emissions cap, the initial objective of the cap was to stabilize CO2 emissions cap and the revised emissions cap. First Emissions Cap: 2009-2013 The initial objective of the first emissions cap was to stabilize CO2 emissions for several years (2009-2014) at the expected 2009 levels (based on assumptions made in 2005), and then require gradual reductions, achieving a 10% decrease from the 2009 emission cap level by 2019. During the emissions cap construction in 2005,1217 RGGI designers set the 2009 emissions cap about 4% above the average emission levels observed between 2000 and 2002. RGGI designers anticipated that power plant CO2CO2 emissions would gradually increase, so that actual levels would approximately match the cap set for 2009—188 million short tons of CO2 (mtCO2CO2 (mtCO2). As illustrated in Figure 1, actual emissions did not meet these projections, projections but decreased substantially. CO2 Emissions (million short tons)

    Figure 1. Observed Emissions Compared to the Original Emission Cap 200 180 160 140 120 100 80 New Jersey left RGGI at the end of 2011, lowering the original cap and total emissions 60 40 20 Observed Emissions (2000-2013) 2020 2019 2018 2017 2016 2015 2014 2013 2012 2011 2010 2009 2008 2007 2006 2005 2004 2003 2002 2001 2000 0 Original Emission Cap (2009-2020) Source: Prepared by CRS with data from the following: Source: Prepared by CRS; observed state emission data (2000-2013) provided by RGGI, RGGI at http://www.rggi.org. . RGGI Emissions and Electricity Generation Several studies indicated that the RGGI CO2CO2 emission decreases (2005-2011) were due (to some degree) to long-term, structural changes, such as changes in RGGI's electricity generation portfolio and energy efficiency improvements.13 A comparison between the emission decline and 12 States from the Northeast and Mid-Atlantic regions began to discuss a cooperative effort to reduce carbon dioxide emissions in 2003. Subsequent meetings and workshops culminated in a Memorandum of Understanding (MOU) that was signed by most RGGI state governors in December 2005. 13 See RGGI modeling results and analysis at http://www.rggi.org/design/program_review/materials-by-topic/ modeling; Environment Northeast, RGGI’s Past and Future: Emissions Trends and Potential Reforms, 2012. Prior analyses include New York State Energy Research and Development Authority, Relative Effects of Various Factors on RGGI Electricity Sector CO2 Emissions: 2009 Compared to 2005, Draft White Paper, November 2010; and Environment Northeast, RGGI Emissions Trends, June 2010. Congressional Research Service 4 The Regional Greenhouse Gas Initiative: Lessons Learned and Issues for Policy Makers 18 A comparison between the emission decline and electricity use in the RGGI states supports this notion. As Figure 2 indicates, RGGI electricity retail sales (a proxy for electricity use) decreased by 5% between 2005 and 2011, while CO2 CO2 emissions from in-state electricity generation decreased by 36% during the same period. This disparity suggests that factors othersother than temporal economic conditions were the primary influence for the CO2 emissions decrease.14 200 500 180 450 160 400 140 350 120 300 100 250 80 200 New Jersey left RGGI at the end of 2011, lowering emissions and electricity sales 60 40 150 100 20 50 0 Observed Emissions (2000-2013) 2013 2012 2011 2010 2009 2008 2007 2006 2005 2004 2003 2002 2001 2000 - Million Megawatt Hours Electricity CO2 Emissions (million short tons) Figure 2. RGGI Emissions Compared with Electricity Sales Electricity Retail Sales (2000-2013) influence for the CO2 emissions decrease.19

    Figure 2. RGGI Emissions Compared with Electricity Sales

    2000 - 2014

    Source: Prepared by CRS with data from the following:; observed state emission data (2000-20132014) provided by RGGI at http://www.rggi.org;; electricity sales from Energy Information Administration, Retail Sales of Electricity. . Figure 3 compares RGGI's electricity generation portfolio between 2005, 2009, and 2014 and 2013. The figure depicts a substantial decline in carbon -intensive electricity generation, particularly coal, over that time frame. Electricity is generated from a variety of energy sources, which vary significantly by their ratio of CO2 CO2 emissions per unit of energy. For example, a coal-fired power plant emits almost twice as much CO2CO2 (per unit of energy) as a natural -gas-fired facility.1520 Some energy sources (e.g., hydropower, nuclear, wind, or solar) are generally considered to be zero-emission sources. In 2005, RGGI states generated 33% of their electricity from coal and petroleum, sources of energy with relatively high carbon intensity. In 20132014, these sources generated 1011% of RGGI's electricity. During that time, sources with relatively lower (or zero) carbon intensities—natural gas, nuclear, and hydroelectric renewables—increased their contributions to RGGI's electricity portfolio. In particular, electricity generation from natural gas increased from 25% to 39% over that time frame. 14 A comparison using the most recent data (i.e., 2005 vs. 2013) is more complicated because New Jersey left RGGI at the end of 2011. Regardless, such a comparison indicates a similar trend: electricity sales decreased by 24%, while emissions decreased by 53%. 15 The Energy Information Administration website provides a table listing the amount of CO2 generated per unit of energy for different energy sources, at http://www.eia.doe.gov/oiaf/1605/coefficients.html. Congressional Research Service 5 The Regional Greenhouse Gas Initiative: Lessons Learned and Issues for Policy Makers Figure 3. RGGI States Electricity Generation by Energy Source 2005 Compared to 2013 45% 40% 35% 30% 25% 20% 15% 10% 5% 0% Coal Petroleum Natural Gas 2005 Nuclear Hydro Other 2013 Source: Prepared by CRS; data from Energy Information Administration. Notes: The “other” category includes wood and other biomass, wind, solar, and other gases. The 2005 percentages include New Jersey electricity, but the 2013 percentages do not. Impacts of the Original Emissions Cap Although RGGI’s original emission cap did not directly require emission reductions (due to unexpected emission levels, discussed above), the cap still had impacts. First, the cap’s existence attached a price to the regulated entities’ CO2 emissions. The price was relatively low (as discussed below), because of the abundance of emission allowances. A 2010 analysis of the RGGI program found that the emission allowance price accounted for approximately 3.4% of the change in the price difference between natural gas and coal in the RGGI region between 2005 and 2009.16 Second, the cap’s emission allowances were (and continue to be) a new form of currency. The emission allowance value can be used to support various policy objectives, including (as is the case with RGGI) energy efficiency and renewable energy investments. Some would argue that RGGI’s greatest impact so far is to provide a relatively reliable funding source for such efforts. Several RGGI studies indicate that supporting energy efficiency provides multiple benefits: emission reduction, consumer savings via lower electricity bills, and regional job creation.17 One of these studies argues this allowance value distribution strategy (e.g., use of RGGI auction revenue) “creates wider benefit than any other use of allowance value.”18 As discussed below, such efforts play a role in determining the effectiveness of the program. 16 New York State Energy Research and Development Authority (prepared for RGGI Inc.), Relative Effects of Various Factors on RGGI Electricity Sector CO2 Emissions: 2009 Compared to 2005, Draft White Paper, November 2010. 17 See RGGI Inc., Investment of Proceeds from RGGI CO2 Allowances, February 2011 and Environment Northeast, Economy-wide Benefits of RGGI: Economic Growth through Energy Efficiency, March 2011. 18 Environment Northeast, Economy-wide Benefits of RGGI: Economic Growth through Energy Efficiency, March (continued...) Congressional Research Service 6 The Regional Greenhouse Gas Initiative: Lessons Learned and Issues for Policy Makers Revised Emissions Cap (2014-2020) Following a 2012 design review of the RGGI program,19 the RGGI states agreed to substantially reduce the emissions cap from 165 mtCO2 to 91 mtCO2. RGGI designers based the new cap level (91 mtCO2) on their projection of 2012 emissions. The emission projection was fairly accurate, as actual 2012 emissions were 92 mtCO2. The revised cap took effect in January 2014. The emissions cap will decrease each year by 2.5% between 2015 and 2020. RGGI states have not established a cap beyond 2020. In addition, RGGI states decided to adjust the new cap further to account for the substantial amount of banked emission allowances held by RGGI entities between 2009 and 2013.20 In 2014, RGGI designers determined that these banked emissions accounted for 140 mtCO2, a considerable amount when compared to the 91 mtCO2 emission cap of 2014. Thus, the cap adjustments, which are applied each year between 2014 and 2020, are considerable. In some years, the adjustments lower the cap more than 20 mtCO2, equating to 28% decrease. Figure 4 illustrates (1) the observed emissions between 2000 and 2013; (2) the original emissions cap (2009-2013); and (3) the revised emissions cap (2014-2020), which includes the 2014 adjustments. The figure suggests that the revised (and adjusted) emissions cap will likely have a different impact on the RGGI states than the original emissions cap. For example, the more stringent cap has led to substantially higher emission allowance prices, as discussed below. (...continued) 2011. 19 In its original Memorandum of Understanding (December 20, 2005), RGGI states agreed to conduct a “comprehensive review” of the RGGI program in 2012. 20 Between 2009 and 2013, the emissions cap exceeded actual emissions, providing an opportunity for entities to obtain more allowances than they need to meet current compliance obligations. These allowances can be purchased and held (i.e., banked) for future use. Congressional Research Service 7 The Regional Greenhouse Gas Initiative: Lessons Learned and Issues for Policy Makers CO2 Emissions (million short tons) Figure 4. Observed Emissions Compared to the Original and Revised Emission Caps 200 180 160 140 120 100 80 New Jersey left RGGI at the end of 2011, lowering the original cap and total emissions 60 40 20 Observed Emissions (2000-2013) Original Emission Cap (2009-2013) 2020 2019 2018 2017 2016 2015 2014 2013 2012 2011 2010 2009 2008 2007 2006 2005 2004 2003 2002 2001 2000 0 Revised Emissions Cap (2014-2020) Source: Prepared by CRS; projected emission data from RGGI modeling results, available at electricity generation from natural gas increased from 25% to 39% over that time frame.

    Figure 3. RGGI States Electricity Generation by Energy Source

    Source: Prepared by CRS; data from Energy Information Administration.

    Notes: Renewables include wind, solar, geothermal, and biomass sources. Some sources, including other gases and waste heat, are not included in the above figure, but these account for less than 1% of electricity generation. New Jersey's generation is included in 2005 and 2009 but not 2014.

    Impacts of the Original Emissions Cap

    Although RGGI's original emission cap did not directly require emission reductions (due to unexpected emission levels, discussed above), the cap still had impacts. First, the cap's existence attached a price to the regulated entities' CO2 emissions. The price was relatively low (as discussed below), because of the abundance of emission allowances. A 2010 analysis of the RGGI program found that the emission allowance price accounted for approximately 3.4% of the change in the price difference between natural gas and coal in the RGGI region between 2005 and 2009.21

    Second, the cap's emission allowances were (and continue to be) a new form of currency. The emission allowance value can be used to support various policy objectives, including (as is the case with RGGI) energy efficiency and renewable energy investments. Some would argue that RGGI's greatest impact so far is to provide a relatively reliable funding source for such efforts. Several RGGI studies indicate that supporting energy efficiency provides multiple benefits: emission reduction, consumer savings via lower electricity bills, and regional job creation.22 One of these studies argues this allowance value distribution strategy (e.g., use of RGGI auction revenue) "creates wider benefit than any other use of allowance value."23 As discussed below, such efforts play a role in determining the effectiveness of the program.

    Revised Emissions Cap (2014-2020)

    Following a 2012 design review of the RGGI program,24 the RGGI states amended the RGGI model rule (in February 2013) to substantially reduce the emissions cap from 165 mtCO2 to 91 mtCO2. RGGI designers based the new cap level on their projection of 2012 emissions. The emission projection was fairly accurate, as actual 2012 emissions were 92 mtCO2.

    The revised cap took effect in January 2014. The emissions cap will decrease each year by 2.5% between 2015 and 2020. RGGI states have not established a cap beyond 2020.

    In addition, RGGI states decided to adjust the new cap further to account for the substantial amount of banked emission allowances held by RGGI entities between 2009 and 2013.25 In 2014, RGGI designers determined that these banked emissions accounted for 140 mtCO2, a considerable amount when compared to the 91 mtCO2 emission cap of 2014. Thus, the cap adjustments, which are applied each year between 2014 and 2020, are considerable. In some years, the adjustments lower the cap more than 20 mtCO2, equating to 28% decrease.

    Figure 4 illustrates (1) the observed emissions between 2000 and 2014; (2) the original emissions cap (2009-2020); and (3) the revised emissions cap (2014-2020), which includes the 2014 adjustments. The figure suggests that the revised (and adjusted) emissions cap will likely have a different impact on the RGGI states than the original emissions cap. For example, the more stringent cap has led to substantially higher emission allowance prices, as discussed below.

    Figure 4. Observed Emissions Compared to the Original and Revised Emission Cap Source: Prepared by CRS; observed state emission data (2000-2014) provided by RGGI at http://www.rggi.org and revised emission cap data from RGGI at
    http://www.rggi.org/design/overview/cap. Emission Allowance Value Distribution Onedesign/program_review. Emission Allowance Value Distribution When designing a cap-and-trade program, one of the more controversial and challenging questions for policy makerspolicymakers when designing a cap-and-trade program is how, to whom, and for what purpose to distribute the emission allowances. In general, RGGI states have answered the “how"how" question by employing auctions to distribute the vast majority of allowances.2126 Perhaps the more important question for policy makerspolicymakers is what to do with the emission allowance value—in: In the case of RGGI, allowance value predominately means auction revenues. Allowance value includes revenues generated through allowance auctions or by giving the allowances away at no charge to either covered or noncovered entities. A covered entity recipient could use the allowances for compliance purposes, sell the allowances in the marketplace, or bank the allowances for future use. To realize the value of allowances received, a noncovered entity recipient would need to sell the allowances in the marketplace, either through a broker or directly to a covered entity. Allowance Auctions Allowance Auctions As a group, the RGGI states have offered 91% of their budgeted emission allowances at auction between 2008 and 20132014. Some of the offered allowances were not sold and were subsequently 21 The percentage of allowances sold at auction has varied by state, particularly in the early years when some states chose to provide a proportion of free allowances to covered entities. Congressional Research Service 8 The Regional Greenhouse Gas Initiative: Lessons Learned and Issues for Policy Makers retired. Other allowances were sold at fixed prices or distributed to various entities to support a variety of objectives.22 RGGI’27 RGGI's auctions may be of particular interest to Congress, because this approach was part of several proposed cap-and-trade systems from former Congresses.2328 Each RGGI auction is conducted in one round with a sealed-bid, uniform price format.2429 Participants may submit multiple, confidential bids for a certain number of allowances at a specific price. The price paid by all bidders is the highest rejected bid (i.e., the second-highest bid). For example, consider a hypothetical auction, in which the supply of allowances is 20 units. The highest bidder offers $10 per allowance for 15 allowances. The second highest bidder offered $9 per allowance for 10 allowances. Under RGGI's auction structure, the highest bidder would receive 15 allowances at $9/ $9 per allowance, and the second-highest bidder would receive 5 allowances at $9/ per allowance. The price paid by all successful bidders is known as the clearing price. In addition, RGGI auctions include a reserve price, below which the seller refuses to part with the item for sale (i.e., emission allowance). The reserve price started at $1.86 in 2008, increasing to $2.00 in 2014.25 $2.05 in 2015.30 In a large volume, multi-unit auction that is expected to have substantial participation (i.e., high demand for emission allowances), a reserve price would all but guarantee a revenue stream. A reserve price may address certain logistical concerns, such as bidder collusion, that may be associated with auctions. In addition, a reserve price may provide assurance to parties making emission reductions that the reductions will have a minimal value in the allowance market. The RGGI program has held 2528 auctions as of the date of this report. In general, many have viewed the auctions as successful in terms of price discovery,2631 transparency, transaction costs, and other logistical issues. Another typical measure of auction success is revenue generation. After 2528 auctions, the cumulative proceeds total over $1.8 billion. 2.2 billion (including New Jersey proceeds). Figure 5 illustrates the auctions' results. As the figure indicates, the clearing price equaled the reserve price in auctions conducted between June 2010 and December 2012, reflecting the abundance of emission allowances in the market. Moreover, during this time period, approximately 40% of the allowances offered for sale were not purchased. RGGI states retired the vast majority of these unsold allowances.2732 During this period, the reserve price acted like an emissions fee or carbon tax.28 As discussed below, the revenue 22 See RGGI “Allowance Allocation” at http://rggi.org/market/tracking/allowance-allocation. See, e.g., CRS Report R40556, Market-Based Greenhouse Gas Control: Selected Proposals in the 111th Congress, by Larry Parker, Brent D. Yacobucci, and Jonathan L. Ramseur. 24 For information on other auction formats, see Charles Holt et al., Auction Design for Selling CO2 Emission Allowances Under the Regional Greenhouse Gas Initiative, 2007, prepared for RGGI Working Group staff. 25 The reserve price is scheduled to increase by 2.5% each year after 2014. 26 In a cost-effective emissions trading program, the allowance price should mirror (or closely follow) the marginal cost of emission reduction—that is, the cost of reducing the last, most expensive ton. An effective auction should help identify the allowance price that is near to the marginal cost of reduction. See, for example, Charles Holt et al., Auction Design for Selling CO2 Emission Allowances Under the Regional Greenhouse Gas Initiative, 2007, prepared for RGGI Working Group staff. 27 See RGGI allowance allocation data, at http://www.rggi.org/market/co2_auctions/allowance_allocation. 28 CRS Report R42731, Carbon Tax: Deficit Reduction and Other Considerations, by Jonathan L. Ramseur, Jane A. Leggett, and Molly F. Sherlock. 23 Congressional Research Service 9 The Regional Greenhouse Gas Initiative: Lessons Learned and Issues for Policy Makers 33 As discussed below, the revenue raised by the auctions may lead to emission reduction by supporting energy efficiency and renewable energy projects. However, in 2013, the auction results changed dramatically, reflecting upcoming changes in the RGGI program. Following the February 2013 proposal to substantially reduce the emissions cap in 2014, the clearing prices began to exceed the reserve prices (Figure 5). The past twothree auctions have resulted in clearing prices of approximately $5/over $5 per ton, a dramatic increase from prices in 2012. Figure 5. RGGI Auctions: Proceeds and Clearing Prices $140 $6 $120 $5 $100 $4 $80 $3 $60 $2 $40 $1 $0 $0 Sep 2008 Dec 2008 Mar 2009 Jun 2009 Sep 2009 Dec 2009 Mar 2010 Jun 2010 Sep 2010 Dec 2010 Mar 2011 Jun 2011 Sep 2011 Dec 2011 Mar 2012 Jun 2012 Sep 2012 Dec 2012 Mar 2013 Jun 2013 Sep 2013 Dec 2013 Mar 2014 Jun 2014 Sep 2014 $20 Auction Proceeds Auction Clearing Price Price ($/tCO2) Auction Proceeds (in millions) September 2008-September 2014 Reserve Price

    Figure 5. RGGI Auctions: Proceeds and Clearing Prices

    September 2008-June 2015

    Source: Prepared by CRS; data from RGGI Inc., at http://www.rggi.org/. Note:. Note: The reserve price has risen from $1.86 in 2008 to $2.00 in 2014. 05 in 2015. Allowance Value Distribution When deciding to whom or for what purpose to distribute the emission allowance value, policy makerspolicymakers face trade-offs that could have considerable consequences.2934 In both RGGI’s 2005 Memorandum of Understanding and subsequent Model Rule,30's 2005 MOU and subsequent model rule,35 states agreed that at least 25% of emission allowance value would be allocated for a “consumer benefit or strategic energy 29 For more discussion of these issues, see CRS Report RL34502, Emission Allowance Allocation in a Cap-and-Trade Program: Options and Considerations, by Jonathan L. Ramseur. 30 RGGI documents are available at http://www.rggi.org/. Congressional Research Service 10 The Regional Greenhouse Gas Initiative: Lessons Learned and Issues for Policy Makers purpose.”31 As of June 2013, estimates indicate that"consumer benefit or strategic energy purpose."36 The RGGI states (as a group) have more than doubled this minimum commitment, allocating more than 70% of the emission allowance value to support energy efficiency, renewable energy, energy consumer assistance, and other climate change efforts.32 doubled this commitment. Table 1 provides estimates of auction revenue value distribution by state from Auction 1 (September 2008) through Auction 20 (June2008 to 2013). As mentioned above, RGGI auction revenues have accounted for approximately 9091% of the emission allowance value created by the emissions cap. As the table indicates, 50% of the revenues have been (or will be) allocated to support energy efficiency activities or renewable energy; 14% to support other climate change-related activities; and 16% to provide assistance to energy consumers. The figuresRGGI states allocated approximately 67% of the auction revenues to energy efficiency, GHG abatement, renewable energy activities, and electricity bill assistance. At the time these estimates were collected, an additional 19% of auction revenue remained to be invested. Some portion of this value will likely be used to support similar objectives. The values in the table also demonstrate that allowance value distribution decisions are subject to change. For example, after initially allotting auction proceeds to energy efficiency efforts, several states (New Jersey and New York) transferred auction proceeds to address state budget deficits. Environmental groups criticized the actions of these states, but the state policy makerspolicymakers argued that the transfers were necessary. These developments highlight a cap-and-trade design issue for federal policy makers: how much policymakers: How much flexibility (if any) should be built into a strategy to distribute emission allowance value.? For example, should crafters include provisions that authorize modifying (without legislation) an enacted distribution approach, perhaps based on specific criteria? 31 See RGGI Model Rule, issued August 15, 2006, p. 42; and RGGI Memorandum of Understanding, Section G(1), signed by participating state governors December 20, 2005. 32 Based on the percentage of allowances sold at auction (RGGI allowance allocation data, at http://www.rggi.org/ market/co2_auctions/allowance_allocation) and estimates of state allocation of auction revenues (Environment Northeast, RGGI Auction Tracker: State Allocations and Spending Plans, June 2013). Congressional Research Service 11 Table 1. Estimated Allocation of Auction Proceeds by Category Auction 1 – Auction 20 (June 2013), Millions of Dollars State Energy Efficiency and/or Renewable Energy Other Climate ChangeRelated Efforts Consumer Assistance Program Administration Connecticut 74 Delaware 31 4 4 Maine 40 0.2 1.6 Maryland 67 21 Massachusetts 49 New Jersey 44 New York 179 Other Purposes 6 171 New Hampshire State Budget Deficit Reduction 181 9 43 4 1 3 10 5 65 160 64 90 7 Rhode Island 20 0.7 Vermont 10 0.2 Total 685 195 224 96 158 7 Percentage of total revenues 50% 14% 16% 7% 12% 1% Source: Prepared by CRS; data from Environment Northeast, RGGI Auction Tracker: State Allocations and Spending Plans, June 2013. Notes: The above table includes broad categories created by CRS. The Environment Northeast report provides a more detailed breakdown of emission allowance value distribution. New York’s $64 million in “program administration” includes state government activities, RGGI administrative costs, and RGGI program evaluation. In 2009, New York transferred $90 million in RGGI auction proceeds to the General Fund “to improve New York’s long-term fiscal health.” See New York State Energy Research and Development Authority, “Use of Auction Proceeds,” at http://www.nyserda.ny.gov/Energy-and-the-Environment/Regional-Greenhouse-Gas-Initiative/Auction-Proceeds.aspx. New Jersey left the program at the end of 2011. The New Jersey data are included for comparison purposes. CRS-12 The Regional Greenhouse Gas Initiative: Lessons Learned and Issues for Policy Makers Emissions Leakage A critical design detail—electricity imports from non-RGGI states—remains unresolved, presenting an opportunity for “emissions leakage.” Emissions leakage could undermine the effectiveness of the RGGI program. Leakage can occur when an emissions reduction program does not include all sources contributing to the environmental problem. Increases in emissions from uncovered sources may reduce emission achievements from covered sources. This is a concern with the RGGI program, because the RGGI regime does not regulate emissions from electricity generated outside the region (e.g., in Pennsylvania) and then used within the region (i.e., “imported electricity”). As illustrated in Figure 6, the percentage of electricity imported (compared to electricity sales) in the RGGI states has fluctuated over time. Between 1990 and 2005, the percentage of imported electricity ranged from 5% to 11%. Over the past five years, the percentage of imported electricity has remained on the high end of this range. In 2013, the percentage increased to 13%, the highest observed to date. This recent increase correlates with the increase in emission enacted distribution approach, perhaps based on specific criteria? Table 1. Estimated Allocation of Auction Revenues by Category ($ millions)

    2008 - 2013

    State

    Energy Efficiency

    Direct Bill Assistance

    GHG Abatement

    Clean and Renewable Energy

    Administration

    RGGI, Inc.

    State Budget Deficit Reduction

    Committed to 2014 and Future Programs

    Total

    Connecticut

    61

       

    17

    7

    1

     

    14

    99

    Delaware

    13

    2

    2

    2

    2

    <1

     

    24

    46

    Maine

    27

         

    1

    <1

     

    14

    41

    Maryland

    59

    139

    9

    14

    9

    2

     

    42

    277

    Massachusetts

    230

     

    12

     

    5

    1

     

    6

    253

    New Hampshire

    40

    10

       

    2

    1

    3

    8

    62

    New Jersey (2008-2011)

    44

     

    10

     

    5

     

    65

     

    125

    New York

    183

     

    65

    52

    20

    7

    90

    167

    583

    Rhode Island

    11

         

    1

    <1

     

    13

    25

    Vermont

    11

         

    <1

    <1

     

    <1

    12

    Total

    679

    151

    98

    85

    52

    12

    158

    288

    1,523

    Source: Prepared by CRS; data from RGGI, Investment of RGGI Proceeds Through 2013, April 2015, http://www.rggi.org/docs/ProceedsReport/Investment-RGGI-Proceeds-Through-2013.pdf; New Jersey data from Environment Northeast, RGGI Auction Tracker: State Allocations and Spending Plans, June 2013. New Jersey left RGGI at the end of 2011.

    Notes: The above estimates are based on percentages in the RGGI document multiplied by the total proceeds for each state (and rounded to the nearest million). Due to rounding, the combined estimated totals for each category may not match the total amount provided in the RGGI document. The category names come from the RGGI document.

    Emissions Leakage

    A critical design detail—electricity imports from non-RGGI states—remains unresolved, presenting an opportunity for "emissions leakage." Emissions leakage could undermine the effectiveness of the RGGI program. Leakage can occur when an emissions reduction program does not include all sources contributing to the environmental problem. Increases in emissions from uncovered sources may reduce emission achievements from covered sources. This is a concern with the RGGI program, because the RGGI regime does not regulate emissions from electricity generated outside the region (e.g., in Pennsylvania) and then used within the region (i.e., "imported electricity").

    As illustrated in Figure 6, the percentage of electricity imported (compared to electricity sales) in the RGGI states has fluctuated over time. Between 1990 and 2005, the percentage of imported electricity ranged from 5% to 11%. Over the past five years, the percentage of imported electricity has remained on the high end of this range. In 2013, the percentage increased to 14%, the highest observed to date, and then dropped to 13% in 2014. This recent increase correlates with the increase in emission
    allowance prices in RGGI auctions (Figure 5).

    ). Figure 6. Imported Electricity as a Percentage of Electricity Sales in RGGI States 1990-2013 14% 12% 10% 8% 6% 4% RGGI Milestones: 2005 - States sign Memorandum of Understanding 2009 - Cap takes effect 2013 - States agree to lower cap 2% 1990 1991 1992 1993 1994 1995 1996 1997 1998 1999 2000 2001 2002 2003 2004 2005 2006 2007 2008 2009 2010 2011 2012 2013 0%

    1990-2014

    Source: Prepared by CRS; data from Energy Information Administration. Notes: Electricity imports calculated by subtracting total electricity generation from total electricity sales. Although the emissions cap became effective January 1, 2009, RGGI held its first emission allowance auction in September 2008. New Jersey data are included between 1990 and 2011, but excluded in 2012 and 2013. Congressional Research Service 13 The Regional Greenhouse Gas Initiative: Lessons Learned and Issues for Policy Makers but excluded thereafter. Emissions leakage can occur if imported electricity replaces RGGI in-state electricity generation, because emissions from in-state electricity are covered under the cap; emissions from imported electricity are not. In such a scenario, the quantity of leakage would depend on the sources of electricity generation involved in the tradeoff. For example, maximum leakage would occur if imported electricity from a coal-fired power plant replaced in-state electricity generated from a zero-emission source. A RGGI working group issued a final report on leakage in March 2008. Among the four recommendations, the working group concluded that states should monitor for emissions leakage and evaluate whether more direct measures should be considered at a later date.3337 After its 2012 Program Review program review, RGGI participants seemed to reach a similar conclusion, stating that the states commit, over the course of the next year, to engage in a collaborative effort ... to identify and evaluate potential imports tracking tools, conduct further modeling to ascertain energy and price implications of any potential policy on emissions associated with imported electricity, and pursue additional legal research necessary, leading to a workable, practicable, and legal mechanism to address emissions associated with imported electricity.34 38 With the onset of the revised emissions cap in 2014, emissions leakage may receive further attention in the near future, especially if the percentage of imported electricity remains relatively high, high compared to historical levels. Offsets Federal policy makers Offsets Federal policymakers may be interested in RGGI's treatment of offsets. An offset is a measurable reduction, avoidance, or sequestration of GHG emissions from a source not covered by an emission reduction program.3539 RGGI limits offsets to 3.3% of a source's allowance submission, a relatively low percentage compared California’to California's cap-and-trade system36system40 and some federal proposals.3741 Under RGGI's original Model Rulemodel rule (2009-2013), the offset ceiling percentage could increase to 5% or 10% if the market price of an allowance exceeds $7 or $10 (in 2005 dollars, adjusted annually), respectively. However, as part of the design review in February 2013, RGGI states replaced this provision with the new Cost Containment Reserve, discussed below. RGGI uses a standards approach—as opposed to performance-based system—for developing offsets: projects must satisfy a set of detailed requirements (specific to a project type) and be 33 Possible measures included carbon adders, procurement emissions rates, or load-based caps. See RGGI Emissions Leakage Multi-State Staff Working Group to the RGGI Agency Heads, Potential Emissions Leakage and the Regional Greenhouse Gas Initiative (RGGI), (March 2008), at http://www.rggi.org/about/documents. 34 RGGI, RGGI 2012 Program Review: Summary of Recommendations to Accompany Model Rule Amendments, February 2013, at http://www.rggi.org/design/program-review. 35 If allowed as a compliance option in a cap-and-trade system, offsets have the potential to provide considerable cost savings and other benefits. However, offsets have generated considerable controversy, primarily over the concern that illegitimate offsets could undermine the ultimate objective of a cap-and-trade program: emission reduction. For more discussion see CRS Report RL34436, The Role of Offsets in a Greenhouse Gas Emissions Cap-and-Trade Program: Potential Benefits and Concerns, by Jonathan L. Ramseur. 36 California’s cap-and-trade program allows entities to use offsets to cover up to 8% of their allowance submission (Section 95854 of California’s cap-and-trade regulations, at http://www.arb.ca.gov/cc/capandtrade/capandtrade.htm). 37 For example, H.R. 2454 (“Waxman-Markey”) in the 111th Congress would have allowed offsets to satisfy 27% of a facility’s compliance obligation in 2016. Congressional Research Service 14 The Regional Greenhouse Gas Initiative: Lessons Learned and Issues for Policy Makers A project must satisfy a set of detailed requirements (specific to a project type) and be certified by a third party. In contrast to recent federal proposals, which often allow a wide array of project types, RGGI limits offset projects to five types, which must be located in RGGI states: • landfill methane reduction; • sulfur1. Landfill methane reduction; 2. Sulfur hexafluoride reductions from specific industrial activities; • forest 3. Forest sequestration projects,3842 including afforestation,39 reforestation,40 improved 43 reforestation,44 improved forest management, and avoided forest conversion; • specific 4. Specific energy efficiency projects; and • avoided 5. Avoided methane from manure management practices. Some offset projects raise concerns, because they may not represent real emission reductions. For offsets to be credible, a ton of CO2CO2-equivalent emissions from an offset project should equate to a ton reduced from a RGGI power plant. If illegitimate offset credits flow into an emissions trading program, the program would fail to achieve its primary goal—emission reduction. Regardless, according to the RGGI offsets tracking database, no offset projects have been developed under the RGGI program.41 This is likely related to the low emission allowance price and the nonconstraining emissions cap. Cost Containment 45 Cost Containment As part of the 2012 design review, RGGI states decided to alter the cost containment provisions in the RGGI program. Under the original Model Rulemodel rule (2009-2013), potential cost concerns were addressed by allowing for the use of additional offsets if emission allowance prices reached specific levels. The revised Model Rulemodel rule, which took effect in 2014, eliminated this approach and added a cost containment reserve (CCR) to the cap-and-trade system. The CCR provides additional allowances—5 million in 2014 and 10 million each year thereafter—if certain price thresholds are met during one of the quarterly allowance auctions: • $4/ton in 2014; • $6/ton in 2015; • $8/ton in 2016; and • $10/
  • $4 per ton in 2014;
  • $6 per ton in 2015;
  • $8 per ton in 2016; and
  • $10 per
    ton in 2017, increasing 2.5% each year thereafter. The March 2014 auction triggered (Figure 5), for the first time, RGGI's cost containment reserve, which allowed for the sale of an additional 5 million allowances, all of which were purchased. Unlike some allowance reserve systems in other programs and proposals,4246 allowances from CCR are not borrowed from future years, thus effectively increasing the cap if triggered. 38 Under the original Model Rule, only afforestation projects were allowable. In general, this activity refers to planting trees where none were previously growing. 40 In general, this activity refers to planting trees on former forest sites that were recently cleared. 41 See http://www.rggi.org. 42 For example, H.R. 2454 (“Waxman-Markey”) in the 111th Congress included a “strategic reserve” of allowances borrowed from future years. The reserve would be triggered at particular price points. California’s cap-and-trade (continued...) 39 Congressional Research Service 15 The Regional Greenhouse Gas Initiative: Lessons Learned and Issues for Policy Makers Interaction with Federal GHG Emission Regulations An issue for both federal and state policy makerspolicymakers is how RGGI's emission program would interact with EPAthe Clean Power Plan, the Environmental Protection Agency's (EPA's) proposed regulations that apply to existing power plants. On June 18, 2014, the Environmental Protection Agency (EPA)EPA published in the Federal Register a proposed rulemaking43 rulemaking47 under Section 111(d) of the Clean Air Act.4448 The proposal would establish CO2 CO2 emission guidelines for states to use when developing plans that address CO2CO2 emissions from existing fossil -fuel-fired electric generating units.45 49 Although EPA's proposed rule measures state compliance in terms of a CO2CO2 emissions rate, EPA allows states considerable flexibility in terms of meeting its emissions rate goals. For example, EPA’ EPA's new regulations would allow states to meet their CO2CO2 emissions rate goals using massbasedmass-based reduction programs such as cap-and-trade systems. Moreover, states can meet their goals individually or collaborate with other states to create (or use existing) multistate plans. EPA provides states with additional time to prepare multistate plans. Regardless, it is uncertain whether the scope and stringency of the RGGI program would be sufficient to meet the targets in EPA's proposed rule. First, RGGI's existing emission cap stops at 2020 2020; the Clean Power Plan's requirements begin in 2020 and continue through 2030. Second, the new CCR has the potential to provide up to 10 million tons of additional allowances each year, making an analysis more challenging. Final Observations Final Observations The nature of the RGGI program changed significantly in 2014. Comparing the first five years of RGGI (2009-2013) to the existing program is an apples-to-oranges exercise. The RGGI states significantly altered their emissions cap in 2014, and this new cap may have vastly different effects than the original emissions cap. Note, for example, the most recent emission allowance auction clearing prices cited above. It is uncertain how this new development may impact electricity use and prices in the RGGI region and, in turn, the perception and support for the program. As a group, the nine RGGI states account for approximately 7% of U.S. CO2CO2 emissions from energy consumption and 16% of the U.S. Gross Domestic Product (GDP).46 gross domestic product (GDP).50 Table 2 indicates that RGGI’ RGGI's aggregate emissionsCO2 emissions from energy consumption rank in the top 20 among nations. But from a practical standpoint, (...continued) system has a similar mechanism. More information is available at http://www.arb.ca.gov/cc/capandtrade/ capandtrade.htm. 43 79 Federal Register 34830, “Carbon Pollution Emission Guidelines for Existing Stationary Sources: Electric Utility Generating Units,” June 18, 2014. 44 42 U.S.C. §7411(d). 45 For more background on the statutory authority, history, and legal and administrative processes involving this rulemaking, see CRS Report R43572, EPA’s Proposed Greenhouse Gas Regulations for Existing Power Plants: Frequently Asked Questions, by James E. McCarthy et al. 46 Calculated by CRS using 2013 data from the Bureau of Economic Analysis, at http://www.bea.gov/newsreleases/ regional/gdp_state/gsp_newsrelease.htm. Congressional Research Service 16 The Regional Greenhouse Gas Initiative: Lessons Learned and Issues for Policy Makers the RGGI program’s contribution to directly reducing the global accumulation of GHG emissions in the atmosphere is arguably negligible. However, when business and industry have confronted a growing patchwork of state requirements, these sectors have historically preferred a national policy. RGGI and other state programs, particularly developments in California, may have some influence on federal policy makers. Note that the combination of RGGI and California CO2 emissions (729 million metric tons) would account for a substantial portion of U.S. CO2 emissions (14%) and rank above South Korea (Table 2). In addition, RGGI’s activities may create examples and/or models that will prove instructive for federal policy makers crafting more widespread applications. Moreover, the program has provided a training ground for personnel from multiple states and various professions to develop a specific expertise in emissions trading issues. This knowledge base would be useful if a federal system were developed. Table 2. Top-Ranked Nations, U.S. States, and Selected Groups for CO2 Emissions from Energy Consumption (2011 Data) Country, State, or Group CO2 Emissions (million metric tons) Country, State, or Group CO2 Emissions (million metric tons) China 8,127 Canada 552 United States 5,483 Saudi Arabia 551 Europe 4,348 United Kingdom 488 India 1,753 Brazil 477 Russian Federation 1,710 South Africa 472 Japan 1,200 Indonesia 450 Germany 784 Mexico 446 Texas 656 Australia 426 South Korea 650 Italy 412 Iran 594 9 RGGI states 383 Source: Prepared by CRS with data from EIA, International Energy Statistics, Total CO2 Emissions from the Consumption of Energy, and State CO2 Emissions, at http://www.eia.gov. Author Contact Information Jonathan L. Ramseur Specialist in Environmental Policy jramseur@crs.loc.gov, 7-7919 Congressional Research Service 17 the RGGI program's contribution to directly reducing the global accumulation of GHG emissions in the atmosphere is arguably negligible. However, when business and industry have confronted a growing patchwork of state requirements, these sectors have historically preferred a national policy. RGGI and other state programs, particularly developments in California, may have some influence on federal policymakers. Note that the combination of RGGI and California CO2 emissions (707 million metric tons) would rank above South Korea (Table 2).

    In addition, RGGI's activities may create examples and/or models that could prove instructive for federal policymakers crafting more widespread applications. The program has provided a training ground for personnel from multiple states and various professions to develop a specific expertise in emissions trading issues. This knowledge base could be useful if a federal system were developed.

    Table 2. Top-Ranked Nations and U.S. States for CO2 Emissions from Energy Consumption (2012 Data)

    Country or State

    CO2 Emissions (million metric tons)

    Country or State

    CO2 Emissions (million metric tons)

    China

    8,106

     

    Canada

    551

     

    United States

    5,270

     

    Brazil

    500

     

    India

    1,831

     

    United Kingdom

    499

     

    Russian Federation

    1,782

     

    South Africa

    473

     

    Japan

    1,259

     

    Indonesia

    456

     

    Germany

    788

     

    Mexico

    454

     

    South Korea

    657

     

    Australia

    421

     

    Texas

    656

     

    Italy

    386

     

    Iran

    604

     

    France

    365

     

    Saudi Arabia

    583

     

    9 RGGI states

    362

     

    Source: Prepared by CRS with data from EIA, "International Energy Statistics," "Total CO2 Emissions from the Consumption of Energy," and "State CO2 Emissions," at http://www.eia.gov.

    Footnotes

    1.

    For example, California is implementing regulations that address GHG emissions on multiple fronts, including a cap-and-trade program that began in January 2013. For more information on the California cap-and-trade program, see the California Environmental Protection Agency and Air Resources Board website at http://www.arb.ca.gov/cc/capandtrade/capandtrade.htm.

    2.

    Seven states signed the Memorandum of Understanding (MOU) in 2005: Connecticut, Delaware, Maine, New Hampshire, New Jersey, New York, and Vermont.

    3.

    Prior to the starting date of the emissions cap (January 1, 2009), RGGI held its first emission allowance auction on September 25, 2008.

    4.

    Maryland Governor Martin O'Malley signed RGGI's MOU on April 20, 2007, making Maryland the first state that was not an original RGGI participant to join the regional initiative.

    5.

    Massachusetts and Rhode Island were involved in RGGI's development from the beginning. However, both states' governors declined to sign the MOU in 2005. Massachusetts (different governor) and Rhode Island (same governor) joined RGGI as participants in January 2007.

    6.

    New Jersey participated in the program from 2009 through the end of 2011. For information on New Jersey's withdrawal from RGGI, see http://rggi.org/design/history/njparticipation.

    7.

    For more details, see the Environmental Protection Agency's (EPA) website at http://www.epa.gov/climatechange/ghgemissions/gwps.html.

    8.

    CO2 emissions account for approximately 99% of all GHG emissions from power plants. In 2012, electricity power plants accounted for 31% of all U.S. GHG emissions. EPA, 2014 U.S. Greenhouse Gas Inventory Report, April 2014.

    9.

    Electricity generating units that consume on-site more than 10% of the electricity they generate (on an annual basis) are not subject to the emissions cap. This provision applies to facilities that may generate electricity for their own use (e.g., some refineries).

    10.

    For more details, see RGGI's website at http://www.rggi.org/design/overview/regulated_sources.

    11.

    Seven states signed the MOU in 2005: Connecticut, Delaware, Maine, New Hampshire, New Jersey, New York, and Vermont.

    12.

    For details of the MOU development, see this RGGI website: http://www.rggi.org/design/history/mou.

    13.

    For details of the model rule's development, see this RGGI website: http://www.rggi.org/design/history/model_rule.

    14. Based on 2011 CO2 emissions data from RGGI (http://rggi.org/), excluding emissions from New Jersey, and 2011 GHG data from the World Resources Institute, Climate Analysis Indicators Tool (CAIT US), at http://cait2.wri.org. 15.

    RGGI MOU, Section 2 (G)(1), December 5, 2005. Subsequent amendments were made to the MOU but not to this section.

    16.

    The CCR replaced other cost containment mechanisms: Initially, RGGI provided an additional year to demonstrate compliance if emission allowance prices reach a certain level, and covered entities were able to cover a greater proportion of their emissions with offsets.

    17.

    States from the Northeast and Mid-Atlantic regions began to discuss a cooperative effort to reduce carbon dioxide emissions in 2003. Subsequent meetings and workshops culminated in a MOU that was signed by most RGGI state governors in December 2005.

    18.

    See RGGI modeling results and analysis at http://www.rggi.org/design/program_review/materials-by-topic/modeling; Environment Northeast, RGGI's Past and Future: Emissions Trends and Potential Reforms, 2012. Prior analyses include New York State Energy Research and Development Authority, Relative Effects of Various Factors on RGGI Electricity Sector CO2 Emissions: 2009 Compared to 2005, November 2010; and Environment Northeast, RGGI Emissions Trends, June 2010.

    19.

    A comparison using the most recent data (i.e., 2005 vs. 2013) is more complicated because New Jersey left RGGI at the end of 2011. Regardless, such a comparison indicates a similar trend: Electricity sales decreased by 24%, while emissions decreased by 53%.

    20.

    The Energy Information Administration website provides a table listing the amount of CO2 generated per unit of energy for different energy sources at http://www.eia.doe.gov/oiaf/1605/coefficients.html.

    21.

    New York State Energy Research and Development Authority, Relative Effects.

    22.

    See RGGI, Investment of Proceeds from RGGI CO2 Allowances, February 2011; and Environment Northeast, Economy-Wide Benefits of RGGI: Economic Growth through Energy Efficiency, March 2011.

    23.

    Environment Northeast, Economy-Wide Benefits.

    24.

    In its original MOU (December 20, 2005), RGGI states agreed to conduct a "comprehensive review" of the RGGI program in 2012.

    25.

    Between 2009 and 2013, the emissions cap exceeded actual emissions, providing an opportunity for entities to obtain more allowances than they need to meet current compliance obligations. These allowances can be purchased and held (i.e., banked) for future use.

    26.

    The percentage of allowances sold at auction has varied by state, particularly in the early years when some states chose to provide a proportion of free allowances to covered entities.

    27.

    See RGGI, "Allowance Allocation," http://rggi.org/market/tracking/allowance-allocation.

    28.

    See, for example, CRS Report R40556, Market-Based Greenhouse Gas Control: Selected Proposals in the 111th Congress, by [author name scrubbed], [author name scrubbed], and [author name scrubbed].

    29.

    For information on other auction formats, see Charles Holt et al., Auction Design for Selling CO2 Emission Allowances Under the Regional Greenhouse Gas Initiative, 2007, prepared for RGGI Working Group staff.

    30.

    RGGI states decided to increase the reserve price by 2.5% each year after 2014.

    31.

    In a cost-effective emissions trading program, the allowance price should mirror (or closely follow) the marginal cost of emission reduction—that is, the cost of reducing the last, most expensive ton. An effective auction should help identify the allowance price that is near to the marginal cost of reduction. See, for example, Holt et al., Auction Design.

    32.

    See RGGI allowance allocation data at http://www.rggi.org/market/co2_auctions/allowance_allocation.

    33.

    See CRS Report R42731, Carbon Tax: Deficit Reduction and Other Considerations, by [author name scrubbed], [author name scrubbed], and [author name scrubbed].

    34.

    For more discussion of these issues, see CRS Report RL34502, Emission Allowance Allocation in a Cap-and-Trade Program: Options and Considerations, by [author name scrubbed].

    35. RGGI documents are available at http://www.rggi.org/. 36.

    See RGGI model rule, issued August 15, 2006, p. 42; and RGGI MOU, Section G(1), signed by participating state governors December 20, 2005.

    37.

    Possible measures included carbon adders, procurement emissions rates, or load-based caps. See RGGI Emissions Leakage Multi-State Staff Working Group to the RGGI Agency Heads, Potential Emissions Leakage and the Regional Greenhouse Gas Initiative (RGGI), March 2008, http://www.rggi.org/about/documents.

    38.

    RGGI, RGGI 2012 Program Review: Summary of Recommendations to Accompany Model Rule Amendments, February 2013, http://www.rggi.org/design/program-review.

    39.

    If allowed as a compliance option in a cap-and-trade system, offsets have the potential to provide considerable cost savings and other benefits. However, offsets have generated considerable controversy, primarily over the concern that illegitimate offsets could undermine the ultimate objective of a cap-and-trade program: emission reduction. For more discussion see CRS Report RL34436, The Role of Offsets in a Greenhouse Gas Emissions Cap-and-Trade Program: Potential Benefits and Concerns, by [author name scrubbed].

    40.

    California's cap-and-trade program allows entities to use offsets to cover up to 8% of their allowance submission. (See §95854 of California's cap-and-trade regulations at http://www.arb.ca.gov/cc/capandtrade/capandtrade.htm.)

    41.

    For example, H.R. 2454 ("Waxman-Markey") in the 111th Congress would have allowed offsets to satisfy 27% of a facility's compliance obligation in 2016.

    42.

    Under the original model rule, only afforestation projects were allowable.

    43.

    In general, this activity refers to planting trees where none were previously growing.

    44.

    In general, this activity refers to planting trees on former forest sites that were recently cleared.

    45.

    See RGGI's website at http://www.rggi.org.

    46.

    For example, H.R. 2454 ("Waxman-Markey") in the 111th Congress included a "strategic reserve" of allowances borrowed from future years. The reserve would be triggered at particular price points. California's cap-and-trade system has a similar mechanism. More information is available at http://www.arb.ca.gov/cc/capandtrade/capandtrade.htm.

    47.

    EPA, "Carbon Pollution Emission Guidelines for Existing Stationary Sources: Electric Utility Generating Units," 79 Federal Register 34830, June 18, 2014.

    48.

    42 U.S.C. §7411(d).

    49.

    For more background on the statutory authority, history, and legal and administrative processes involving this rulemaking, see CRS Report R43572, EPA's Proposed Greenhouse Gas Regulations for Existing Power Plants: Frequently Asked Questions, by [author name scrubbed] et al.

    50.

    Calculated by CRS using 2013 data from the Bureau of Economic Analysis at http://www.bea.gov/newsreleases/regional/gdp_state/gsp_newsrelease.htm.