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August 18, 2009

Energy Impacts of the American Clean Energy and Security Act of 2009

Energy Market and Economic Impacts of H.R. 2454, the American Clean Energy and Security Act of 2009

This report responds to a request to the Energy Information Administration (EIA) from Chairman Henry Waxman and Chairman Edward Markey for an analysis of H.R. 2454, the American Clean Energy and Security Act of 2009 (ACESA).1 ACESA, as passed by the House of Representatives on June 26, 2009, is a complex bill that regulates emissions of greenhouse gases through market-based mechanisms, efficiency programs, and economic incentives.

The Title III cap-and-trade program for greenhouse gas (GHG) emissions, which covers roughly 84 percent of total U.S. GHG emissions by 2016, is in many respects the centerpiece of the bill and the primary driver of the results presented in this report. The program subjects covered emissions to a cap that declines steadily between 2012 and 2050. The cap requires a 17- percent reduction in covered emissions by 2020 and an 83-percent reduction by 2050, both relative to a 2005 baseline, with targets that decline steadily for intermediate years. Compliance is enforced through a requirement for entities subject to the cap to submit allowances, which are bankable, sufficient to cover their emissions. Allowance obligations may also be offset by reductions in domestic emissions of exempted sources, by international offsets, or by emission allowances from other countries with comparable laws limiting emissions. Maximum offsets from domestic and international sources are each capped separately at 1 billion metric tons (BMT) in each year of the program, with the proviso that up to 500 million metric tons (MMT) of the domestic offset cap may be shifted to the international offset cap if the Administrator of the Environmental Protection Agency (EPA) determines that a sufficient supply of domestic offsets is not available. In addition to its centerpiece cap-and-trade program, Title III also includes additional GHG standards, dedicated programs to limit hydrofluorocarbon (HFC) emissions and black carbon, and provisions governing markets in carbon-related derivatives.

Title I contains provisions related to a Federal combined efficiency and renewable electricity standard for electricity sellers, carbon capture and storage technology, performance standards for new coal-fueled power plants, research and development support for electric vehicles, support for deployment of a smart grid, and establishment of a Clean Energy Deployment Administration. Title II includes provisions related to building, lighting, appliance, and vehicle energy efficiency programs. Title IV includes provisions to preserve domestic competitiveness and support workers, provide assistance to consumers, and support domestic and international adaptation initiatives. Title V addresses the role of domestic agricultural and forestry-related offsets in the Title III cap-and-trade program.
This report considers the energy-related provisions in ACESA that can be analyzed using EIA’s National Energy Modeling System (NEMS). The Reference Case used as the starting point for the analysis in this report is an updated version of the Annual Energy Outlook 2009 (AEO2009) Reference Case issued in April 2009 that reflects the projected impacts of the American Recovery and Reinvestment Act as well as other significant energy legislation, including the Energy Improvement and Extension Act of 2008, the Energy Independence and Security Act of 2007, and the Energy Policy Act of 20052. Cumulative GHG emissions covered by the Title III cap-and-trade program over the 2012 to 2030 period are estimated to be 113.4 BMT in CO2-equivalent terms.

Key provisions of ACESA that are represented in the policy cases developed in this analysis include3:

* the GHG cap-and-trade program for gases other than HFCs, including provisions for the allocation of allowances to electricity and natural gas distribution utilities, low-income consumers, State efficiency programs, rebate programs, energy-intensive industries, and other specified purposes;
* the combined efficiency and renewable electricity standard for electricity sellers;
* the carbon capture and storage (CCS) demonstration and early deployment program;
* Federal building code updates for both residential and commercial buildings;
* Federal efficiency standards for lighting and other appliances;
* technology improvements driven by the Centers for Energy and Environmental Knowledge and Outreach; and
* the smart grid peak savings program.

While this analysis is as comprehensive as possible given its timing, it does not address all the provisions of ACESA. Provisions that are not represented include the Clean Energy Deployment Administration, the strategic allowance reserve, the separate cap-and-trade program for HFC emissions, the GHG performance standards for activities not subject to the cap-and-trade program, the distribution of allowances to coal merchant plants, new efficiency standards for transportation equipment, and the effects of increased investment in energy research and development. Of these provisions, the Clean Energy Deployment Administration may have the most significant potential to alter the reported results.

Like other EIA analyses of energy and environmental policy proposals, this report focuses on the impacts of those proposals on energy choices made by consumers in all sectors and the implications of those decisions for the economy. This focus is consistent with EIA’s statutory mission and expertise. The study does not account for any possible health or environmental benefits that might be associated with curtailing GHG emissions.
Finally, while the emissions caps in the ACESA cap-and-trade program decline through the year 2050, the modeling horizon in this report runs only through 2030, the projection limit of NEMS. As in EIA analyses of earlier cap-and-trade proposals, the need to pursue higher-cost emissions reductions beyond 2030, driven by tighter caps and continued economic and population growth, can be reflected in the modeling by assuming that a positive bank of allowances is held at the end of 2030 in all but one case.

Analysis Cases

EIA prepared a range of analysis cases for this report. The six main analysis cases discussed in this Executive Summary, while not exhaustive, focus on two key areas of uncertainty that impact the analysis results.

The role of offsets is a large area of uncertainty in any analysis of ACESA. The 2-BMT annual limit on total offsets in ACESA is equivalent to one-third of total energy-related GHG emissions in 2008 and represents nearly six times the projected growth in energy-related emissions through 2030 in the Reference Case used in this analysis.

While the ceiling on offset use is clear, their actual use is an open question. Beyond the usual uncertainties related to the technical, economic, and market supply of offsets, the future use of offsets for ACESA compliance also depends both on regulatory decisions that are yet to be made by the EPA, on the timing and scope of negotiations on international agreements or arrangements between the United States and countries where offset opportunities may exist, and on emissions reduction commitments made by other countries. Also, limits on offset use in ACESA apply individually to each covered entity, so that offset “capacity” that goes unused by one or more covered entities cannot be used by other covered entities. For some major entities covered by the cap-and-trade program, decisions regarding the use of offsets could potentially be affected by regulation at the State level. Given the many technical factors and implementation decisions involved, it is hardly surprising that analysts’ estimates of international offset use span an extremely wide range. One recent analysis doubts that even 150 MMT of international offsets will be used by 2020, while another posits that 1 BMT of international offsets will be used almost immediately from the start of the program in 2012, followed by a quick rise towards an expanded 1.5-BMT ceiling shortly thereafter.

The other major area of uncertainty in assessing the energy system and economic impacts of ACESA involves the timing, cost, and public acceptance of low- and no-carbon technologies. For the period prior to 2030, the availability and cost of low- and no-carbon baseload electricity technologies, such as nuclear power and fossil (coal and natural gas) with CCS, which can potentially displace a large amount of conventional coal-fired generation, is a key issue. However, technology availability over an extended horizon is a two-sided issue. Research and development breakthroughs over the next two decades could expand the set of reasonably priced and scalable low- and no-carbon energy technologies across all energy uses, including transportation, with opportunities for widespread deployment beyond 2030. The achievement of significant near-term progress towards such an outcome, however, could significantly reduce the size of the bank of allowances that covered entities and other market participants would want to carry forward to meet compliance requirements beyond 2030.

With these key uncertainties in mind, the main analysis cases discussed in this report are as follows:

* The ACESA Basic Case represents an environment where key low-emissions technologies, including nuclear, fossil with CCS, and various renewables, are developed and deployed on a large scale in a timeframe consistent with the emissions reduction requirements of ACESA without encountering any major obstacles. It also assumes that the use of offsets, both domestic and international, is not severely constrained by cost, regulation, or the pace of negotiations with key countries covering key sectors. In anticipation of increasingly stringent caps and rising allowance prices after 2030, covered entities and investors are assumed to amass an aggregate allowance bank of approximately 13 BMT by 2030 through a combination of offset usage and emission reductions that exceed the level required under the emission caps.

* The ACESA Zero Bank Case is similar to the Basic Case except that no banked allowances are held in 2030, reflecting the assumed availability of a broad array of reasonably priced low- and no-carbon technologies that can provide an alternative path to compliance with tighter emissions caps after 2030 through reductions across all energy uses, including transportation.

* The ACESA High Offsets Case is similar to the Basic Case except that it assumes the near-immediate use of international offsets at levels at or close to the specified aggregate ceiling, without regard to possible institutional or market impediments.

* The ACESA High Cost Case is similar to the Basic Case except that the costs of nuclear, coal with CCS, and dedicated biomass generating technologies are assumed to be 50 percent higher.

* The ACESA No International Case is similar to the Basic Case, but represents an environment where the use of international offsets is severely limited by cost, regulation, and/or slow progress in reaching international agreements or arrangements covering offsets in key countries and sectors.

* The ACESA No International/Limited Case combines the treatment of offsets in the ACESA No International Case with an assumption that deployment of key technologies, including nuclear, fossil with CCS, and dedicated biomass, cannot expand beyond their Reference Case levels through 2030.4

The full report discusses a number of additional analysis cases, including an accelerated Corporate Average Fuel Efficiency (CAFE) standards (35CAFE2016) case that incorporates the acceleration in fuel economy standards for light-duty vehicles announced by the Administration in May 2009, a 5-percent discount case that adopts an alternative view of real escalation in allowance prices (Low Discount), a case with limitations to the penetration of nuclear, CCS, and biomass gasification capacity (Limited Alternatives), an accelerated energy technology (High Tech) case, and a higher level of allowance banking (High Banking) case.

EIA cannot attach probabilities to the individual policy cases. However, both theory and common sense suggest that cases that reflect an unbroken chain of either failures or successes in a series of independent factors are inherently less likely than cases that do not assume that everything goes either wrong or right. In this respect, the No International/Limited and Zero Bank Cases might be viewed as more pessimistic and optimistic scenarios, respectively, which bracket a set of more likely cases. Similarly, if actual access to international offsets is dependent on a series of independent regulatory and negotiating outcomes, cases with intermediate access to international offsets might be viewed as more likely than those representing either complete and immediate success across the board (High Offsets), or a permanent lack of progress (No International) in such activities.
Figure ES-1. Components of Cumulative Compliance in ACESA Main Cases, 2012-2030 (billion metric tons CO2-equivalent). Need help, contact the National Energy Information Center at 202-586-8800.
Figure ES-2. Primary Energy Consumption by Fuel in Main ACESA Cases, 2030 (quadrillion Btu). Need help, contact the National Energy Information Center at 202-586-8800.
Figure ES-3. Allowance Prices in Main ACESA Cases, 2012-2030 (2007 dollars per metric ton CO2-equivalent). Need help, contact the National Energy Information Center at 202-586-8800.

Key Findings

Given the potential of offsets as a low-cost compliance option, the amount of reduction in covered emissions is exceeded by the amount of compliance generated through offsets in most of the main analysis cases (Figure ES-1). Cumulative compliance between 2012 and 2030, including reductions both in domestic emissions of covered gases and in domestic and international offsets, ranges from 24.4 BMT to 37.6 BMT carbon dioxide (CO2)-equivalent emissions in the main analysis cases, representing a 21-percent to 33-percent reduction from the level of cumulative covered emissions projected in the Reference Case.5 In the ACESA Basic Case, domestic abatement of covered gases represents only 39 percent of cumulative compliance. In the ACESA High Offsets Case, where the maximum quantity of international offsets is used immediately at the start of the program in 2012, domestic abatement in covered gases accounts for just 22 percent of the cumulative compliance. Reductions in the emissions of energy-related CO2 account for more than half of projected cumulative compliance through 2030 only in the cases where international offsets are not assumed to be available.

The vast majority of reductions in energy-related emissions are expected to occur in the electric power sector. Across the ACESA main cases, the electricity sector accounts for between 80 percent and 88 percent of the total reduction in energy-related CO2 emissions relative to the Reference Case in 2030. Reductions in electricity-sector emissions are primarily achieved by reducing the role of conventional coal-fired generation, which in 2007 provided 50 percent of total U.S. generation, and increasing the use of no- or low-carbon generation technologies that either exist today (e.g. renewables and nuclear) or are under development (fossil with CCS). In addition, a portion of the electricity-related CO2 emissions reductions results from reduced electricity demand stimulated both by consumer responses to higher electricity prices and incentives in ACESA to stimulate greater efficiency in energy use.

If new nuclear, renewable, and fossil plants with CCS are not developed and deployed in a timeframe consistent with emissions reduction requirements under ACESA, covered entities are expected to respond by increasing their use of offsets, if available, and by turning to increased natural gas use to offset reductions in coal generation. While natural gas generation is expected to fall below the Reference Case level in most ACESA Cases, in the ACESA No International/Limited Case natural gas generation is 68 percent above the Reference Case level by 2030, due to the assumed limited availability of international offsets, new plants with CCS, as well as new nuclear and dedicated biomass capacity (Table ES-1).

Emissions reductions from changes in fossil fuel use in the residential, commercial, industrial and transportation sectors are small relative to those in the electric power sector. Taken together, changes in fossil fuel use in these sectors account for between 12 percent and 20 percent of the total reduction in energy-related CO2 emissions relative to the Reference Case in 2030, reflecting both lesser percentage changes in delivered fossil fuel prices than experienced by the electricity generation sector and the low availability of alternatives in many applications (Figure ES-2). For example, motor gasoline prices in the ACESA Basic Case are only 20 cents per gallon higher than in the Reference Case in 2020 and 35 cents per gallon higher in 2030 (in 2007 dollars). In addition, since all cases include the 35-mile-per-gallon CAFE standard enacted in the Energy Independence and Security Act of 2007, many of the most cost-effective vehicle efficiency options are adopted in all cases, including the Reference Case. Beyond reductions in direct fuel use, the reduction in electricity demand, which ranges from 4.1 percent to 14.7 percent below the Reference Case level in 2030 across the main policy cases, makes an important contribution to the overall reduction in electricity-related emissions.

GHG allowance prices are sensitive to the cost and availability of emissions offsets and low-and no-carbon generating technologies. Allowance prices in the ACESA Basic Case are projected at $32 per metric ton in 2020 and $65 per metric ton in 2030. Across all main analysis cases, allowance prices range from $20 to $93 per metric ton in 2020 and from $41 to $191 (2007 dollars) per metric ton in 2030 (Figure ES-3). The lower prices in the range occur in cases where technological options such as CCS and adoption of new nuclear power plants can be deployed on a large scale before 2030 at relatively low costs, the use of international offsets helps to hold down compliance costs, and/or optimism about future technology availability holds down the near-term incentive to bank allowances for use beyond 2030 (ACESA Basic, ACESA High Offset, and/or ACESA Zero Bank cases). Higher allowance prices occur if international offsets are unavailable, particularly if it is also the case that low- or no-emission baseload electricity supply technologies cannot be expanded beyond the Reference Case level (ACESA No International and ACESA No International/Limited cases).

ACESA increases energy prices, but effects on electricity and natural gas bills of consumers are substantially mitigated through 2025 by the allocation of free allowances to regulated electricity and natural gas distribution companies. Except for the ACESA No International/Limited Case, electricity prices in five of the six main ACESA cases range from 9.5 to 9.6 cents per kilowatthour in 2020, only 3 to 4 percent above the Reference Case level.6 Average impacts on electricity prices in 2030 are projected to be substantially greater, reflecting both higher allowance prices and the phase-out of the free allocation of allowances to distributors between 2025 and 2030. By 2030, electricity prices in the ACESA Basic Case are 12.0 cents per kilowatthour, 19 percent above the Reference Case level, with a wider band of 11.1 cents to 17.8 cents (10 to 77 percent above the Reference Case level) across all six main policy cases.

ACESA increases the cost of using energy, which reduces real economic output, reduces purchasing power, and lowers aggregate demand for goods and services. The result is that projected real gross domestic product (GDP) generally falls relative to the Reference Case. Total discounted GDP losses over the 2012 to 2030 time period are $566 billion (-0.3 percent) in the ACESA Basic Case, with a range from $432 billion (-0.2 percent) to $1,897 billion (-0.9 percent) across the main ACESA cases (Table ES-2). Similarly, the cumulative discounted losses for personal consumption are $273 billion (-0.2 percent) in the ACESA Basic Case and range from $196 billion (-0.1 percent) to $988 billion (-0.7 percent). GDP losses in 2030, the last year explicitly modeled in this analysis, range from $104 billion to $453 billion (-0.5 to -2.3 percent), while consumption losses in that year range from $36 billion to $180 billion (-0.3 to -1.3 percent). The estimated 2030 GDP and consumption losses in the ACESA No International/Limited Case, at the top of these ranges, are nearly or more than twice as large as those in the ACESA No International and High Cost Cases, which have the next highest level of impacts.

Consumption and energy bill impacts can also be expressed on a per household basis in particular years. In 2020, the reduction in household consumption is $134 (2007 dollars) in the ACESA Basic Case, with a range of $30 to $362 across all main ACESA cases. In 2030, household consumption is reduced by $339 in the ACESA Basic Case, with a range of $157 to $850 per household across all main ACESA cases. By 2030, the estimated reductions in household consumption in the ACESA No International/Limited Case, at the top of these ranges, are approximately double the impacts in the ACESA High Cost Case, which has the next highest level of impacts.

The free allocation of output-based allowances reduces the impact of ACESA on energy-intensive, trade- vulnerable industries. Receiving free allowances in proportion to output softens the impacts of increased energy prices on these industries. As a result, when energy prices increase under ACESA, the reductions in output of these trade- and energy-vulnerable industries are less than overall manufacturing impacts and mirror the impacts of total industrial shipments. The discounted cumulative percent losses of energy-intensive industrial output range from -0.5 percent to -3.6 percent from 2012-2030 compared to manufacturing losses of -0.5 percent to -4.3 percent.

Additional Insights

The role of baseline assumptions. The choice of a baseline is one of the most influential assumptions for any analysis of global climate change legislation. This analysis uses the updated Reference Case of the AEO2009 as a starting point. These projections and our analysis are not meant to be exact predictions of the future but represent plausible energy futures given technological and demographic trends, current laws and regulations, and consumer behavior as derived from available data. EIA recognizes that projections of energy markets over a nearly 25-year period are highly uncertain and subject to many events that cannot be foreseen, such as supply disruptions, policy changes, and technological breakthroughs. In addition to these phenomena, long-term trends in technology development, demographics, economic growth, and energy resources may evolve along a different path than expected in the projections. Generally, differences between cases, which are the focus of our report, are likely to be more robust than the specific projections for any one case. The published AEO2009,which includes numerous cases reflecting a variety of alternative futures for the economy, energy markets, and technology, is a resource that can be used to examine the implications of alternative baselines.

The strategic allowance reserve. The strategic allowance reserve, which focuses on the important issue of short-term volatility in allowance prices, is not addressed in this analysis. As currently structured, the strategic allowance reserve, following a startup period, relies on a “trigger price” for auctions that is set in relation to recent allowance prices. Such an approach does not appear to preclude a scenario in which allowance prices evolve along a “high” trajectory given underlying conditions that would support such an outcome, such as those examined in the No International and No International/Limited cases. Also, the strategic allowance reserve, in contrast to other cost-containment mechanisms that more directly tie compliance pressure to the level of compliance costs or other measures of economic impact, would be unlikely to discourage stakeholders who view GHG emissions limitation as the highest environmental protection priority from pursuing efforts to block the deployment of nuclear power, CCS, or other technologies that, from their perspective, may raise important, but lesser, concerns. Therefore, as discussed in earlier EIA analyses, decisions regarding the design of a cost-containment mechanism can affect the public acceptance of key low- and no-carbon technologies that may be part of a cost-effective compliance mix.

Free allowance allocation to electricity and natural gas distributors. The analysis shows that the free allocation of allowances to electricity and natural gas distributors significantly ameliorates impacts on consumer electricity and natural gas prices prior to 2025, when it starts to be phased out. While this result may serve goals related to regional and overall fairness of the program, the overall efficiency of the cap-and-trade program is reduced to the extent that the price signal that would encourage cost-effective changes by consumers in their use of electricity and natural gas is delayed.

Electricity capacity siting challenges. Besides changing the projected mix of new electricity generation capacity, compliance with ACESA will also significantly increase the total amount of new electric capacity that must be added between now and 2030 due to the retirement of many existing coal-fired power plants that otherwise would be expected to continue operating beyond 2030. Obstacles to siting major electricity generation projects and/or the transmission facilities needed to support the greatly expanded use of renewable energy sources are not explicitly considered in this report. However, the additional capacity needs in all of the ACESA cases suggest the need for review of siting processes so that they will be able to support a large-scale transformation of the Nation’s electricity infrastructure by 2030.

Challenges beyond 2030. As previously noted, the modeling horizon for this analysis ends in 2030. Unless substantial progress is made in identifying low- and no-carbon technologies outside of electricity generation, the ACESA emissions targets for the 2030-to-2050 period are likely to be very challenging as opportunities for further reductions in power sector emissions are exhausted and reductions in other sectors are thought to be more expensive.

July 8, 2009

Hitachi Develops Lithium-ion Battery

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Hitachi develops automotive lithium-ion battery having the world’s highest output

Tokyo, Japan – Hitachi, Ltd. (NYSE:HIT / TSE:6501,hereafter Hitachi) today announced that Hitachi, Ltd. and Hitachi Vehicle Energy, Ltd. which develops and manufactures lithium-ion batteries for automotive applications such as hybrid electric vehicles, have developed a lithium-ion battery having the world’s highest power density of 4,500W/kg, 1.7 times the output of the company’s mass-produced, automotive lithium-ion batteries. Sampling of the new battery by domestic and overseas car manufacturers will start in autumn.

To reduce internal resistance, the battery employs a new manganese cathode and an original Hitachi battery structure, in such as thinner electrodes, power collection method and effective configurations to achieve the world’s highest output.

In recent years, lithium-ion batteries have been used for many consumer product applications, including mobile telephones, notebook PCs and digital cameras. For the same energy density, a lithium-ion battery has about half the volume and weight of a nickel hydrogen battery, and about one-third the volume and weight of a lead battery. This makes the lithium-ion battery a small, light, high-energy-density secondary battery that is attracting attention for its applicability to hybrid and electric vehicles.

In 2000, the Hitachi Group used its extensive technological and manufacturing capabilities in fields ranging from materials to battery control systems, to develop and mass-produce the world’s first safe, high-performance, long-operating-life lithium-ion battery for automotive applications.

A second-generation lithium-ion battery with a power density of 2,600 W/kg which currently is being delivered for automotive and railway applications, is the world’s only mass-produced lithium-ion battery for on-board applications. Up to this point, a total of some 600,000 cells have been delivered, mainly to car manufacturers and railway companies.

Moreover, development of a third-generation lithium-ion battery with an even higher power density (3,000 W/kg) has already been completed. This battery will go into mass-production in 2010, with deliveries scheduled to begin the same year.

The battery set to start sampling this autumn has been developed as a fourth-generation lithium-ion battery that is even smaller and lighter yet able to provide the world’s highest output. The high reliability of the new battery, in terms of mass-production and quality, is the culmination of manufacturing technology that Hitachi has built up in the course of its extensive market achievements and through the feedback from its customers.

In addition to this lineup of stand-alone battery cell products, Hitachi will continue to meet customer needs by providing optimal battery system solutions that include control systems.

In line with its long-term “Environmental Vision 2025”*2 plan to combat global warming, the Hitachi Group is using the expansion of its systems business, starting with its battery operations, to make a contribution to the future of the global environment, and to strengthen its social innovation business.

The new battery will be on display at the Automotive Engineering Exposition 2009 held at PACIFICO Yokohama from May 20 to May 22.

*1: Lithium-ion battery for on-board applications, as of May 2009.
*2: Announced December 20, 2007 in the press release entitled Hitachi Develops the Long-term Plan “Environmental Vision 2025” to Combat Global Warming.

June 29, 2009

Obama’s Energy Bill And Global Warming

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WASHINGTON – In his weekly address, President Barack Obama praised the House of Representatives for passing the energy bill on Friday evening. This historic piece of legislation will not just lessen our dependence on foreign oil, but also spark a clean energy transformation in our economy that will create millions of new American jobs that pay well and cannot be outsourced. Clean energy and the jobs it creates are critical to building a new foundation for our economy.

The audio and video will be available at 6:00am Saturday, June 27, 2009 at www.whitehouse.gov.

Prepared Remarks of President Barack Obama
Weekly Address
The White House
June 27, 2009

Yesterday, the House of Representatives passed a historic piece of legislation that will open the door to a clean energy economy and a better future for America.

For more than three decades, we have talked about our dependence on foreign oil. And for more than three decades, we have seen that dependence grow. We have seen our reliance on fossil fuels jeopardize our national security. We have seen it pollute the air we breathe and endanger our planet. And most of all, we have seen other countries realize a critical truth: the nation that leads in the creation of a clean energy economy will be the nation that leads the 21st century global economy.

Now is the time for the United States of America to realize this too. Now is the time for us to lead.

The energy bill that passed the House will finally create a set of incentives that will spark a clean energy transformation in our economy. It will spur the development of low carbon sources of energy – everything from wind, solar, and geothermal power to safer nuclear energy and cleaner coal. It will spur new energy savings, like the efficient windows and other materials that reduce heating costs in the winter and cooling costs in the summer. And most importantly, it will make possible the creation of millions of new jobs.

Make no mistake: this is a jobs bill. We’re already seeing why this is true in the clean energy investments we’re making through the Recovery Act. In California, 3000 people will be employed to build a new solar plant that will create 1000 permanent jobs. In Michigan, investment in wind turbines and wind technology is expected to create over 2,600 jobs. In Florida, three new solar projects are expected to employ 1400 people.

The list goes on and on, but the point is this: this legislation will finally make clean energy the profitable kind of energy. That will lead to the creation of new businesses and entire new industries. And that will lead to American jobs that pay well and cannot be outsourced. I have often talked about the need to build a new foundation for economic growth so that we do not return to the endless cycle of bubble and bust that led us to this recession. Clean energy and the jobs it creates will be absolutely critical to this new foundation.

This legislation has also been written carefully to address the concerns that many have expressed in the past. Instead of increasing the deficit, it is paid for by the polluters who currently emit dangerous carbon emissions. It provides assistance to businesses and families as they make the gradual transition to clean energy technologies. It gives rural communities and farmers the opportunity to participate in climate solutions and generate new income. And above all, it will protect consumers from the costs of this transition, so that in a decade, the price to the average American will be just about a postage stamp a day.

Because this legislation is so balanced and sensible, it has already attracted a remarkable coalition of consumer and environmental groups; labor and business leaders; Democrats and Republicans. And I want to thank every Member of Congress who put politics aside to support this bill on Friday.

Now my call to every Senator, as well as to every American, is this: We cannot be afraid of the future. And we must not be prisoners of the past. Don’t believe the misinformation out there that suggests there is somehow a contradiction between investing in clean energy and economic growth. It’s just not true.

We have been talking about energy for decades. But there is no longer a disagreement over whether our dependence on foreign oil is endangering our security. It is. There is no longer a debate about whether carbon pollution is placing our planet in jeopardy. It’s happening. And there is no longer a question about whether the jobs and industries of the 21st century will be centered around clean, renewable energy. The question is, which country will create these jobs and these industries? I want that answer to be the United States of America. And I believe that the American people and the men and women they sent to Congress share that view. So I want to congratulate the House for passing this bill, and I want to urge the Senate to take this opportunity to come together and meet our obligations – to our constituents, to our children, to God’s creation, and to future generations.

Thanks for listening.

June 26, 2009

Smart Grid and Electric Transmission Infrastructure

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Obama Administration Announces Availability of $3.9 Billion to Invest in Smart Grid Technologies and Electric Transmission Infrastructure
Recovery Act Funding Will Create Jobs, Help Modernize Nation’s Electric Grid

Washington, DC – U.S. Energy Secretary Steven Chu announced today that the Department of Energy is soliciting applications for $3.9 billion in grants to support efforts to modernize the electric grid, allowing for greater integration of renewable energy sources while increasing the reliability, efficiency and security of the nation’s transmission and distribution system, as part of the American Recovery and Reinvestment Act.

“These investments will be used to develop a smart, strong and secure electrical grid that will help integrate renewable resources onto the grid, deliver power more reliably and effectively with less environmental impact, and create new jobs across the country,” said Secretary Chu. “By investing in updating the grid now, we will lower utility bills for American families and businesses, lessen our dependence on oil, and help advance a clean energy future for the nation.”

Secretary Chu announced the release of the final Funding Opportunity Announcements (FOA) for $3.9 billion in Recovery Act funds. Approximately $3.3 billion for the Smart Grid Investment Grant Program and $615 million for smart grid demonstration projects will help develop and implement smart grid technologies across the country.

As part of the Smart Grid Investment Grant Program, DOE will provide cost-shared grants to support manufacturing, purchasing and installation of existing smart grid technologies that can be deployed on a commercial scale. Funding under the Smart Grid Demonstration Program will be used to demonstrate how emerging technologies can be applied in innovative ways within the electric delivery system to provide integrated and economically-feasible solutions. The Investment Grant program is intended to enable smart grid functions on the electric system as soon as possible, while the Demonstration program is aimed at identifying and developing new and more cost-effective smart grid equipment, tools, techniques, and system configurations that can significantly improve upon today’s technologies.

The final FOAs reflect the more than 600 comments DOE received on the draft solicitations. The Department previously announced that while the maximum award limits for both programs were being increased, the Department will support projects of all sizes. Under the final solicitations, the maximum award for the Smart Grid Investment Grants will be $200 million; the maximum award for the Smart Grid Demonstrations will be $100 million.

The final FOAs are available at www.fedconnect.net. Search public opportunities for the following reference numbers: Smart Grid Investment Program (DE-FOA-0000058) and Smart Grid Demonstrations (DE-FOA-0000036).

June 19, 2009

Impacts of Global Climate Change

National Oceanic and Atmospheric Administration

New Report Provides Authoritative Assessment of National, Regional Impacts of Global Climate Change
Details Point to Potential Value of Early, Aggressive Action

June 16, 2009

Climate change is already having visible impacts in the United States, and the choices we make now will determine the severity of its impacts in the future, according to a new and authoritative federal study assessing the current and anticipated domestic impacts of climate change.

The report, “Global Climate Change Impacts in the United States,” compiles years of scientific research and takes into account new data not available during the preparation of previous large national and global assessments. It was produced by a consortium of experts from13 U.S. government science agencies and from several major universities and research institutes. With its production and review spanning Republican and Democratic administrations, it offers a valuable, objective scientific consensus on how climate change is affecting—and may further affect—the United States.

“This new report integrates the most up-to-date scientific findings into a comprehensive picture of the ongoing as well as expected future impacts of heat-trapping pollution on the climate experienced by Americans, region by region and sector by sector,” said John P. Holdren, Assistant to the President for Science and Technology and director of the White House Office of Science and Technology Policy. “It tells us why remedial action is needed sooner rather than later, as well as showing why that action must include both global emissions reductions to reduce the extent of climate change and local adaptation measures to reduce the damage from the changes that are no longer avoidable.”

The report, which confirms previous evidence that global temperature increases in recent decades have been primarily human-induced, incorporates the latest information on rising temperatures and sea levels; increases in extreme weather events; and other climate-related phenomena. Adding greatly to its practical value in the realm of policy and planning, it is the first such report in almost a decade to break out those impacts by U.S. region and economic sector, and the first to do so in such great detail.

“This report stresses that climate change has immediate and local impacts – it literally affects people in their backyards,” said Jane Lubchenco, under secretary of commerce for oceans and atmosphere and administrator of the National Oceanic and Atmospheric Administration. “In keeping with our goals, the information in it is accessible and useful to everyone from city planners and national legislators to citizens who want to better understand what climate change means to them. This is an issue that clearly affects everyone.”

A product of the interagency U.S. Global Change Research Program, the definitive 190-page report, produced under NOAA’s leadership, is written in plain language to better inform members of the public and policymakers. Commissioned in 2007 and completed this spring, the science-based report is a consensus product spanning two presidential administrations and transcends political leanings or biases. It underwent intensive review by scientists inside and outside of government and includes information more recent than that incorporated into the last major report on global climate change released by the Intergovernmental Panel on Climate Change.

The report is not intended to direct policy makers to take any one approach over another to mitigate climate change or adapt to it. But it emphasizes that the choices we make now will determine the severity of climate change impacts in the future. “Implementing sizable and sustained reductions in carbon dioxide emissions as soon as possible would significantly reduce the pace and the overall amount of climate change,” the report states, “and would be more effective than reductions of the same size initiated later.”

The study finds that Americans are already being affected by climate change through extreme weather, drought and wildfire trends and details how the nation’s transportation, agriculture, health, water and energy sectors will be affected in the future. The study also finds that the current trend in the emission of greenhouse gas pollution is significantly above the worst-case scenario that this and other reports have considered.

Among the main findings are:
* Heat waves will become more frequent and intense, increasing threats to human health and quality of life. Extreme heat will also affect transportation and energy systems, and crop and livestock production.
* Increased heavy downpours will lead to more flooding, waterborne diseases, negative effects on agriculture, and disruptions to energy, water, and transportation systems.
* Reduced summer runoff and increasing water demands will create greater competition for water supplies in some regions, especially in the West.
* Rising water temperatures and ocean acidification threaten coral reefs and the rich ecosystems they support. These and other climate-related impacts on coastal and marine ecosystems will have major implications for tourism and fisheries.
* Insect infestations and wildfires are already increasing and are projected to increase further in a warming climate.
* Local sea-level rise of over three feet on top of storm surges will increasingly threaten homes and other coastal infrastructure. Coastal flooding will become more frequent and severe, and coastal land will increasingly be lost to the rising seas.

By breaking out results in terms of region and economic sector the report provides a valuable tool not just for policymakers but for all Americans who will be affected by these trends. Its information can help:

* Farmers making crop and livestock decisions, as growing seasons lengthen, insect management becomes more difficult and droughts become more severe;
* Local officials thinking about zoning decisions, especially along coastal areas;
* Public health officials developing ways to lessen the impacts of heat waves throughout the country;
* Water resource officials considering development plans; and,
* Business owners as they consider business and investment decisions.

Responses to climate change fall into two categories. The first involves “mitigation” measures to limit climate change by reducing emissions of heat-trapping pollution or increasing their removal from the atmosphere. The second involves “adaptation” measures to improve our ability to cope with or avoid harmful impacts, and take advantage of beneficial ones. “Both of these are necessary elements of an effective response strategy,” said Jerry Melillo of the Marine Biological Laboratory in Woods Hole, MA, a report co-chair.

“By comparing impacts that are projected to result from higher versus lower emissions of heat-trapping gasses, our report underscores the importance and real economic value of reducing those emissions,” said Tom Karl, director of NOAA’s National Climatic Data Center in Asheville, N.C. and one of the co-chairs of the report. “It shows that the choices made now will have far-reaching consequences.”

The report draws from a large body of scientific information, including the set of 21 Synthesis and Assessment reports from the U.S. Global Change Research Program. The government agencies affiliated with the program include the Departments of Agriculture, Commerce, Defense, Energy, Health and Human Services, Interior, State, and Transportation; the Environmental Protection Agency; NASA; National Science Foundation; Smithsonian Institution; and the United States Agency for International Development.

The report is available for download online.

Accompanying video will be available on NASA TV June 16 at 1:30 p.m. and 3:30 p.m. Eastern Daylight Time. For coordinates and schedule information, please see the NASA TV Web site.

June 13, 2009

The American Energy Act

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In the GOP’s weekly radio address, Indiana Rep. Mike Pence slammed the Democrats’ climate bill as an energy tax. He made similar remarks on the floor:

Washington, DC – U.S. Congressman Mike Pence, Chairman of the House Republican Conference, made the following statement on the floor of the U.S. House of Representatives today regarding House Republicans’ American Energy Act:

“The American economy is hurting. Gasoline prices are on the rise, utility rates threaten to go higher and pose an even greater hardship on working families. The American people are looking for answers to these times and the challenges we face in energy.

“The Democrat answer you just heard is a national energy tax that will lead to higher energy prices and massive job losses for the American people. The President said it best a year ago when he said if the cap and trade plan were to pass, utility rates would ‘necessarily skyrocket.’ Some estimates suggest job losses between 1.8 million and 7 million.

“Well, Republicans have a better plan: The American Energy Act.

“It’s an ‘all of the above’ plan that offers energy independence, more jobs and a cleaner environment without imposing a national energy act.

“Our energy solution focuses more on domestic exploration for oil and natural gas, a renewed commitment to build 100 nuclear power plants in the next 20 years, investments in renewables, alternative energy technologies and creating incentives for conservation.

“You can read all about it on the editorial page of The Wall Street Journal today. The American people want energy independence and a cleaner environment without a national energy tax. The American Energy Act offered by House Republicans is the answer the American people are looking for.”

June 4, 2009

Outer Continental Shelf Energy Potential

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Vice President Biden, Secretary Salazar, and Senator Carper Underscore Renewable Energy Potential on Outer Continental Shelf

Newark, Delaware — Vice-President Joe Biden, Secretary of the Interior Ken Salazar and U.S. Senator Tom Carper (D-DE) today visited the University of Delaware, where they underscored the importance of alternative energy development on the U.S. Outer Continental Shelf (OCS), especially offshore wind resources for Delaware and other Atlantic coastal states. On Earth Day, President Obama announced that Interior had finalized a long-awaited framework for renewable energy production on the OCS.

“This Administration sees the ever-lasting benefits in a clean-energy future. With this rule, the Interior Department is unlocking our vast offshore renewable resources,” said Vice President Biden. “By harnessing offshore wind power and other resources we will be able to power tens of millions of homes using clean, renewable power.”

“The Administration’s final regulations for alternative energy development on the Outer Continental Shelf are opening America’s oceans and new energy frontier, so that we can wisely build a clean energy economy that will create millions of new jobs across the country,” Secretary of the Interior Ken Salazar said. “This new framework, completed in the first 100 days of President Obama’s administration, will enhance our energy security, create the foundation for a new offshore energy sector and share much-needed revenues from this development with coastal states.” “Harnessing our nation’s offshore wind means reliable power, cleaner air and new American jobs,” Sen. Tom Carper said. “The First State is poised to again be a leader in independence – energy independence. These new renewable energy regulations ensure Delaware can move forward with one of the first offshore wind projects in the United States.”

The National Renewable Energy Lab has identified more than 1,000 gigawatts of wind potential off the Atlantic coast and more than 900 gigawatts of wind potential off the Pacific Coast. The State of Delaware’s average wind power production equals 5,286 megawatts which would power 1.2 to 1.5 million average homes, according to a University of Delaware study (Kempton July 2008).

Delaware and other Atlantic coast states encourage and support the development of offshore wind energy. The Delaware legislature now requires that 20% of the Delaware’s electricity come from renewable sources by the year 2019 and Delmarva Power has signed a 25-year power purchase agreement with Bluewater Wind to sell the utility up to 200 megawatts of power from an offshore wind facility on the OCS.

Interior’s Minerals Management Service has been evaluating a proposal from Bluewater Wind for a meteorological data collection project on the Outer Continental Shelf about 12.5 miles off Delaware’s coastline to assess wind energy resources. If approved, this project would collect site-specific wind velocity, duration and related information that could support future commercial wind energy development. Bluewater Wind is looking to construct a 150-turbine field that could produce 230 to 450 megawatts of power. The project would generate more than 1,000 jobs during construction, invest $800 million and produce millions of dollars in revenue for the state each year.

Projects such as these can now be brought to completion expeditiously because of a new comprehensive set of regulations Secretary Salazar announced last week. The final rules provide a framework for states with renewable energy initiatives to pursue development of those projects on federal submerged lands. Interior supports state initiatives that encourage responsible development of offshore renewable resources.

The new OCS ‘rules-of-the-road’ establish a program to grant leases, easements, and rights-of-way for orderly, safe, and environmentally responsible renewable energy development activities, such as the siting and construction of off-shore wind farms on the Outer Continental Shelf. The framework also covers alternate use of existing facilities on the Outer Continental Shelf for energy or marine-related activities.

The new program also establishes methods for sharing 27.5 percent of the revenues generated from these renewable energy projects with adjacent coastal States. Additionally the framework will enhance partnerships with Federal, state, and local agencies and tribal governments to assist in maximizing the economic and ecological benefits of Outer Continental Shelf renewable energy development.

The Energy Policy Act of 2005 granted the Interior’s Minerals Management Service the authority to regulate renewable energy development on the OCS, but no action had been taken under that authority until Secretary Salazar made it a priority to finalize the rules that will govern offshore renewable energy development, given the enormity of this clean, renewable energy source and its proximity to major population centers. A number of other countries already are tapping significant energy from offshore winds.

The Interior Department and the Federal Energy Regulatory Commission cleared the way for the publication of these final rules by signing an agreement on April 9, 2009 that clarifies their agencies’ jurisdictional responsibilities for leasing and licensing renewable energy projects on the Outer Continental Shelf.

Under the agreement, the Minerals Management Service has exclusive jurisdiction with regard to the production, transportation, or transmission of energy from non-hydrokinetic renewable energy projects, including wind and solar. The Federal Energy Regulatory Commission will have exclusive jurisdiction to issue licenses for the construction and operation of hydrokinetic projects, including wave and current, but companies will be required to first obtain a lease through Interior’s Minerals management Service.

The Final Framework is available at this link: http://www.mms.gov/offshore/AlternativeEnergy/PDFs/AD30RenewableEnergy04-22-09.pdf.

Energy Policy Act of 2005

May 31, 2009

Tidal Energy Funding Cut

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Washington, DC — The Obama administration has proposed cutting the budget for one of the most promising energy technologies — tidal energy. At a time when earth-friendly energy sources, such as solar, wind and geothermal are getting increased funding, the President plans to cut research for tidal energy.

About Tidal Energy
Ocean Tidal Power

Some of the oldest ocean energy technologies use tidal power. All coastal areas consistently experience two high and two low tides over a period of slightly greater than 24 hours. For those tidal differences to be harnessed into electricity, the difference between high and low tides must be at least five meters, or more than 16 feet. There are only about 40 sites on the Earth with tidal ranges of this magnitude.

Currently, there are no tidal power plants in the United States. However, conditions are good for tidal power generation in both the Pacific Northwest and the Atlantic Northeast regions of the country.
Technologies

Tidal power technologies include the following:

*
Barrage or dam

A barrage or dam is typically used to convert tidal energy into electricity by forcing the water through turbines, activating a generator. Gates and turbines are installed along the dam. When the tides produce an adequate difference in the level of the water on opposite sides of the dam, the gates are opened. The water then flows through the turbines. The turbines turn an electric generator to produce electricity.
*
Tidal fence

Tidal fences look like giant turnstiles. They can reach across channels between small islands or across straits between the mainland and an island. The turnstiles spin via tidal currents typical of coastal waters. Some of these currents run at 5–8 knots (5.6–9 miles per hour) and generate as much energy as winds of much higher velocity. Because seawater has a much higher density than air, ocean currents carry significantly more energy than air currents (wind).
*
Tidal turbine

Tidal turbines look like wind turbines. They are arrayed underwater in rows, as in some wind farms. The turbines function best where coastal currents run at between 3.6 and 4.9 knots (4 and 5.5 mph). In currents of that speed, a 15-meter (49.2-feet) diameter tidal turbine can generate as much energy as a 60-meter (197-feet) diameter wind turbine. Ideal locations for tidal turbine farms are close to shore in water depths of 20–30 meters (65.5–98.5 feet).

Environmental and Economic Challenges

Tidal power plants that dam estuaries can impede sea life migration, and silt build-ups behind such facilities can impact local ecosystems. Tidal fences may also disturb sea life migration. Newly developed tidal turbines may prove ultimately to be the least environmentally damaging of the tidal power technologies because they don’t block migratory paths.

It doesn’t cost much to operate tidal power plants, but their construction costs are high and lengthen payback periods. As a result, the cost per kilowatt-hour of tidal power is not competitive with conventional fossil fuel power.

May 6, 2009

Increase In Renewable Fuels

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EPA Lays out a Plan for the Nation’s Increase in Renewable fuels

(Washington, D.C. – May 5, 2009) The U.S. Environmental Protection Agency is proposing its strategy for increasing the supply of renewable fuels, poised to reach 36 billion gallons by 2022, as mandated by the Energy Independence and Security Act of 2007.

“As we work towards energy independence, using more homegrown biofuels reduces our vulnerability to oil price spikes that everyone feels at the pump,” EPA Administrator Lisa P. Jackson said. “Energy independence also puts billions of dollars back into our economy, creates green jobs, and protects the planet from climate change in the bargain.”

Increasing renewable fuels will reduce dependence of foreign oil by more than 297 million barrels a year and reduce greenhouse gas emissions by an average of 160 million tons a year when fully phased in by 2022. EISA will establish four categories of renewable fuels.

The new categories include:

* cellulosic biofuels;
* biomass-based diesel;
* advanced biofuels; and
* total renewable fuel.

In 2022, the proposal would require:

* 16 billion gallons of cellulosic biofuels;
* 15 billion gallons annually of conventional biofuels;
* 4 billion gallons of advanced biofuels; and
* 1 billion gallons of biomass-based diesel.

To achieve the volume requirements, each year EPA calculates a percentage-based standard that refiners, importers and blenders of gasoline and diesel must ensure is used in transportation fuel. For the first time, some renewable fuels must achieve greenhouse gas emission reductions compared to the gasoline and diesel fuels they displace. Refiners must meet the requirements to receive credit toward meeting the new standards.

The thresholds for new categories would be 20 percent less greenhouse gas emissions for renewable fuels produced from new facilities, 50 percent less for biomass-based diesel and advanced biofuels, and 60 percent less for cellulosic biofuels.

EPA also will conduct peer-reviews on the lifecycle analysis of the four renewable fuel categories. Lifecycle refers to the greenhouse gas emissions over the life of the fuels.

The 60-day comment period on this proposal will begin upon publication in the Federal Register. During the comment period EPA will hold a public workshop on lifecycle analysis to assure full understanding of the analyses conducted, the issues addressed and the options that are discussed.

April 22, 2009

Special Earth Day Hearing

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(Washington, D.C. – April 21, 2009) Tomorrow, April 22, 2009, Environmental Protection Agency Administrator Lisa Jackson, Energy Secretary Steven Chu, and Transportation Secretary Ray LaHood will testify before a joint hearing of the House Energy and Commerce Committee and the Energy and Environment Subcommittee. The special Earth Day hearing will focus on the American Clean Energy and Security Act of 2009. The three Cabinet members will discuss the importance of ending our dependence on foreign oil, creating the clean energy jobs of the future and addressing the global climate crisis.

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