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                                             February 2, 2009



                       Congressional Research Service
                                      Report RS21067
      Global Climate Change: Controlling CO2 Emissions -
                   Cost-limiting Safety Valves
                         Larry Parker, Resources, Science, and Industry Division

                                            December 22, 2004

Abstract. Proposed CO2 reduction schemes present large uncertainties in terms of the perceived reduction
needs and the potential costs of achieving those reductions. Several cost-limiting "safety valves" have been
proposed to bound costs of any CO2 control program, including (1) a straight carbon tax, (2) a contingent
reduction scheme, (3) unlimited permit purchases, and (4) cost-based excess emissions penalties. Employing a
safety valve shifts much of the emission reduction debate from compliance targets to the specifications of the
safety valve, in particular, the level of the tax or fee involved.
                                                                                                                         Order Code RS21067
                                                                                                                   Updated December 22, 2004



                                            CRS Report for Congress
                                                             Received through the CRS Web


                                                 Global Climate Change: Controlling CO2
                                                Emissions -- Cost-Limiting Safety Valves
                                                                           Larry Parker
                                                                     Specialist in Energy Policy
                                                              Resources, Science, and Industry Division

                                        Summary
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                                                 Proposed CO2 reduction schemes present large uncertainties in terms of the
                                            perceived reduction needs and the potential costs of achieving those reductions. Several
                                            cost-limiting "safety valves" have been proposed to bound costs of any CO2 control
                                            program, including (1) a straight carbon tax, (2) a contingent reduction scheme, (3)
                                            unlimited permit purchases, and (4) cost-based excess emissions penalties. Employing
                                            a safety valve shifts much of the emission reduction debate from compliance targets to
                                            the specifications of the safety valve, in particular, the level of the tax or fee involved.
                                            This report will be updated if events warrant.


                                              The fundamental policy assumption that has changed between the U.S. ratification
                                        of the 1992 Framework Convention on Climate Change (FCCC) and the current Bush
                                        Administration's decision to abandon the Kyoto Protocol process concerns costs.1 The
                                        ratification of the FCCC was based at least partially on the premise that significant
                                        reductions could be achieved at little or no cost. This assumption helped to reduce
                                        concern some had (including those of the former Bush Administration) that the treaty
                                        could have deleterious effects on U.S. competitiveness -- a significant consideration
                                        because developing countries are treated differently from developed countries under the
                                        FCCC. Further ameliorating this concern, compliance with the treaty was voluntary.
                                        While the United States could "aim" to reduce its emissions in line with the FCCC's goal,
                                        if the effort indeed involved substantial costs, the United States could fail to reach the
                                        goal (as has happened) without incurring any penalty under the treaty.

                                            This flexibility would have been eliminated under the Kyoto Protocol with its
                                        mandatory reduction requirements. The possibility of failure to comply with a binding
                                        commitment intensifies one's perspective on potential costs: How confident can one be




                                        1
                                         For a review of U.S. global climate change policy, see CRS Report RL30024, Global Climate
                                        Change Policy: Cost, Competitiveness, and Comprehensiveness, by Larry Parker.

                                                   Congressional Research Service ~ The Library of Congress
                                                                                   CRS-2

                                        in the claim that carbon reductions can be achieved at little or no cost?2 Compliance cost
                                        estimates ranging from $5.5 billion to $200 billion annually cause some to pause.3 The
                                        current Bush Administration was sufficiently concerned about potential CO2 control costs
                                        to reverse a campaign pledge to seek CO2 emissions reductions from power plants, in
                                        addition to its decision to abandon the Kyoto Protocol process.4

                                             Proposed CO2 reduction schemes present large uncertainties in terms of the
                                        perceived reduction needs and the potential costs of achieving those reductions. In an
                                        attempt to prevent any CO2 control program from incurring unacceptable costs, several
                                        cost-limiting "safety valves" have been proposed to bound costs. These safety valves are
                                        designed to work with market-based CO2 reduction schemes, similar to the tradeable
                                        permit strategy used by the acid rain program,5 and would effectively limit the unit (per
                                        ton of emissions) control costs sources would pay. This report examines four such safety
                                        valves: (1) a straight carbon tax, (2) a contingent reduction scheme, (3) unlimited permit
                                        purchases, (4) cost-based excess emissions penalties.

                                                         The Dilemma: Price versus Quantity
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                                             In general, market-based mechanisms to reduce CO2 emissions focus on specifying
                                        either the acceptable emissions level (quantity), or compliance costs (price), and allowing
                                        the marketplace to determine the economically efficient solution for the other variable.
                                        For example, a tradeable permit program sets the amount of emissions allowable under
                                        the program (i.e., the number of permits available caps allowable emissions), while
                                        permitting the marketplace to determine what each permit will be worth. Likewise, a
                                        carbon tax sets the maximum unit (per ton of CO2) cost that one should pay for reducing
                                        emissions, while the marketplace determines how much actually gets reduced. In one
                                        sense, preference for a carbon tax or a tradeable permit system depends on how one views
                                        the uncertainty of costs involved and benefits to be received.

                                              For those confident that achieving a specific level of CO2 reduction will yield
                                        significant benefits -- enough so that even the potentially very high end of the marginal
                                        cost curve does not bother them -- a tradeable permit program may be most appropriate.
                                        CO2 emissions would be reduced to a specific level, and in the case of a tradeable permit
                                        program, the cost involved would be handled efficiently, though not controlled at a
                                        specific cost level. This efficiency occurs because through the trading of permits,
                                        emission reduction efforts concentrate at sources at which controls can be achieved at
                                        least cost.

                                             However, if one feels more certain of the potential downside risk of substantial
                                        control costs to the economy than of the benefits of a specific level of reduction, then a


                                        2
                                         For a further discussion of the foundations for such divergent cost estimates, see CRS Report
                                        98-738, Global Climate Change: Three Policy Perspectives, by Larry Parker and John Blodgett.
                                        3
                                            CRS Report RL30024, p. 16.
                                        4
                                         President George W. Bush, Letter to Senators Hagel, Helms, Craig, and Roberts, Office of the
                                        Press Secretary, March 13, 2001.
                                        5
                                         For more on market-based strategies to reduce greenhouse gases, see CRS Issue Brief IB97057,
                                        Global Climate Change: Market-Based Strategies to Reduce Greenhouse Gases, by Larry Parker.
                                                                                  CRS-3

                                        carbon tax may be most appropriate. In this approach, the level of the tax effectively caps
                                        the marginal cost of control that affected activities would pay under the reductions
                                        scheme, but the precise level of CO2 achieved is less certain. Emitters of CO2 would
                                        spend money controlling CO2 emissions up to the level of the tax. However, since the
                                        marginal cost of control among millions of emitters is not well known, the overall
                                        emissions reductions for a given tax level on CO2 emissions cannot be accurately forecast.

                                             Hence, a major policy question is whether one is more concerned about the possible
                                        economic cost of the program and therefore willing to accept some uncertainty about the
                                        amount of reduction received (i.e., carbon taxes); or one is more concerned about
                                        achieving a specific emission reduction level with costs handled efficiently, but not
                                        capped (i.e., tradeable permits).

                                              A model for a tradeable permit approach is the sulfur dioxide (SO2) allowance
                                        program contained in Title IV of the 1990 Clean Air Act Amendments. Also called the
                                        acid rain control program, the tradeable permit system is based on two premises. First,
                                        a set amount of SO2 emitted by human activities can be assimilated by the ecological
                                        system without undue harm. Thus the goal of the program is to put a ceiling, or cap, on
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                                        the total emissions of SO2 rather than limit ambient concentrations. Second, a market in
                                        pollution licenses between polluters is the most cost-effective means of achieving a given
                                        reduction. This market in pollution licenses (or allowances, each of which is equal to one
                                        ton of SO2) is designed so that owners of allowances can trade those allowances with
                                        other emitters who need them or retain (bank) them for future use or sale. Initially, most
                                        allowances were allocated by the federal government to utilities according to statutory
                                        formulas related to a given facility's historic fuel use and emissions; other allowances
                                        have been reserved by the government for periodic auctions to ensure market liquidity.

                                            There are no existing U.S. models of an emissions tax, although five European
                                        countries have carbon-based taxes.6

                                                                          Safety Valves
                                             As a stalemate has continued on strategies to control CO2 emissions, particularly
                                        because of costs fears, attention increasingly focuses on the cost-limiting benefit of a
                                        carbon tax, either as the primary strategy or as a component blending a carbon tax with
                                        the reduction certainty of the tradeable permit system. The object is to create a safety
                                        valve to avert unacceptable control costs, particularly in the short term. These safety
                                        valves limit unit (per ton) costs of reducing emissions. Four ideas are identified below:

                                             !   Carbon taxes: generally conceived as a levy on natural gas, petroleum,
                                                 and coal according to their carbon content, in the approximate ratio of 0.6
                                                 to 0.8 to 1, respectively.7 However, proposals have been made to impose



                                        6
                                         Finland, the Netherlands, Sweden, Denmark, and Norway. See CRS Issue Brief IB97057,
                                        Global Climate Change: Market-Based Strategies to Reduce Greenhouse Gases, by Larry Parker.
                                        7
                                         Larry Parker, Carbon Taxes: Cost-Effective Environmental Control or Just Another Tax? CRS
                                        Report 92-623 ENR, August 4, 1992.
                                                                                     CRS-4

                                                    the tax downstream of the production process. Several European
                                                    countries have carbon taxes in varying degrees and forms.

                                                !   Unlimited permits at set price: generally conceived as part of an auction
                                                    system where permits are allocated to affected sectors by auction with an
                                                    unlimited number available at a specific price. The most recent proposal
                                                    is by the National Commission on Energy Policy, which recommends an
                                                    initial limiting price of $7/ton that would increase by 5% annually.8 Other
                                                    variations include the Resources for the Future/Skytrust proposal, which
                                                    would increase the limiting price ($25/ton) by 7% above inflation
                                                    annually, and the Brookings proposal, which would set up a short-term
                                                    market based on a $10/ton price, and a long-term market based on market
                                                    rates.9

                                                !   Contingent reduction: generally conceived as a declining emission cap
                                                    system where the rate of decline over time is determined by the market
                                                    price of permits. If permit prices remain under set threshold prices, the
                                                    next reduction in the emission cap is implemented. If not, the cap is held
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                                                    at the current level until prices decline.10 Discussions have centered on
                                                    a 2% annual declining cap subject to a $5 a permit CO2 cost cap.

                                                !   Excess emissions penalty: generally involves a fee on emissions
                                                    exceeding available permits based on control costs or other economic
                                                    criteria, rather than criminal or civil considerations. For example,
                                                    Oregon's CO2 standard for new energy facilities includes a fee of 57
                                                    cents per short ton on CO2 emissions in excess of the standard (increase
                                                    to 85 cents proposed).11


                                                                                Discussion
                                            Table 1 summarizes the key considerations of each of the proposals identified above.
                                        As indicated, each safety valve effectively controls cost, but at the price of some
                                        uncertainty about the amount of emissions reduced.




                                        8
                                          The National Commission on Energy Policy, Ending the Energy Stalemate: A Bipartisan
                                        Strategy to Meet America's Energy Challenges, December 2004, p. 21.
                                        9
                                          Raymond Kopp, Richard Morgenstern, William Pizer, and Michael Toman, A Proposal for
                                        Credible Early Action in U.S. Climate Policy, available at [http://www.weathervane.rff.org/
                                        features/feature060/pb66.htm]; Americans for Equitable Climate Solutions, Sky Trust Initiative:
                                        Economy-Wide Proposal to Reduce U.S. Carbon Emissions, available at [http://www.aecs-
                                        inc.org/skytrust.htm]; and Warwick J. McKibbin, Moving Beyond Kyoto, Policy Brief #66,
                                        October 2000, available at [http://www.brook.edu/comm/policybriefs/pb066/pb66.htm].
                                        10
                                             See Clean Power Group website: [http://www.eea-inc.com/cleanpower/index.html].
                                        11
                                             State of Oregon, OAR, Chapter 345, Division 24.
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                                                       Table 1. Key Considerations of Safety Valves

                                                       Cost-Emission      Implementation        Enforcement         Other
                                                       Reduction
                                                       Balance
                                        Carbon Tax     A cost-focused     Strategy can be       Strategy is self-   Strategy would
                                                       strategy with      implemented either    enforcing.          generate sizeable
                                                       reductions         upstream or                               revenues that
                                                       achieved           downstream. Can                           could be
                                                       dependent on the   also be                                   recycled or used
                                                       tax imposed.       implemented                               for other
                                                                          across different                          priorities.
                                                                          economic sectors.
                                        Unlimited      A transitional     Strategy places       Besides requiring   A low price for
                                        Permits at a   strategy from      focus on the excess   the usual           excess emission
                                        set price      cost-focused to    emissions permit's    monitoring/         permits could
                                                       reduction-         initial price, and    tracking            have the effect
                                                       focused.           the schedule of any   mechanisms of a     of flooding the
                                                       Emission           prices increases or   tradeable permit    permit trading
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                                                       reductions         excess emissions      system, strategy    market,
                                                       dependent on the   permit phase-out      requires a system   discouraging any
                                                       price set for      over time.            to separately       trading.
                                                       excess emissions                         track allocations
                                                       permits.                                 of excess
                                                                                                emission permits.
                                        Contingent     An interactive     Strategy requires     Besides requiring   Potential market
                                        Reductions     strategy where     agreement on          the usual           manipulation to
                                                       costs determine    emission reduction    monitoring/         avoid increased
                                                       reductions and     schedules,            tracking            reduction
                                                       reductions         appropriate permits   mechanisms of a     requirements is a
                                                       determine costs    prices to trigger     tradeable permit    serious issue.
                                                       through a market   those schedules,      system, strategy
                                                       mechanism.         and the specific      requires major
                                                       Emission           price determination   oversight of
                                                       reductions         mechanism (spot       permit market
                                                       dependent on a     vs. long-term         operations.
                                                       freely             prices).
                                                       functioning
                                                       permit market.
                                        Excess         An incremental     Strategy places       Requires the        Strategy is most
                                        emissions      strategy where     focus on initial      usual monitoring/   similar to
                                        penalty        reductions         penalty and any       tracking            existing
                                                       achieved are       scheduled             mechanisms of a     tradeable permit
                                                       dependent on the   increases in that     tradeable permit    system.
                                                       penalty imposed.   penalty over time.    system only.
                                                                                 CRS-6

                                             If one uses the existing Title IV acid rain control program as a baseline, the
                                        excess emissions penalty option is the most similar, while the carbon tax option is the
                                        most different. The excess emissions penalty option would work in essentially the
                                        same fashion as the acid rain program, with the primary difference being the penalty
                                        for having insufficient permits at the end of the year. Under Title IV, the penalty is
                                        intended to be punitive -- to punish the offender for breaking the law. Thus, the
                                        offender pays a fine three times the estimated cost of control in addition to forfeiting a
                                        future permit. The overriding assumption is that the offender could have reduced his
                                        emissions sufficiently, but refused to do so. Under the excess emissions penalty
                                        option, there is uncertainty as to whether an offender could have reduced his emissions
                                        sufficiently at the estimated price, and that reductions at a cost greater than that price
                                        are either socially unacceptable or economically unjustifiable. Hence, the penalty is
                                        assessed on the basis of a socially acceptable or economically justifiable price so that
                                        the offender pays a cost for his unlawful activity and is encouraged to comply with the
                                        law, but is not punished beyond what society has deemed reasonable. Arriving at such
                                        an acceptable penalty could be contentious.

                                             The carbon tax is the most radical compared with the Title IV program because it
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                                        dispenses with the permit system approach to emissions control. All the pressure under
                                        a carbon tax scheme is on the timing, pace, and level of the tax, as there is no stigma
                                        for not controlling pollution. The strength of this approach is that it is self-enforcing,
                                        and considerable revenues will be generated that could be recycled to polluters or used
                                        for other priorities. However, U.S. environmental policy has generally opposed any
                                        approach suggesting a polluter's right to pollute, which the carbon tax approach does
                                        grant.

                                             Depending on how the unlimited permit approach is implemented, it can look and
                                        act a lot like a carbon tax. If the initial allocation of permits is by auction and
                                        unlimited permits are available at a low price, the auction price will equal the
                                        unlimited permit price, resulting in a carbon tax equal to the excess emissions permit
                                        price. Thus, without limits on the quantity of permits allowed, the unlimited permits
                                        approach is merely a carbon tax by another name, at least in the short term. In
                                        addition, the unlimited permits system requires the tracking mechanisms of a tradeable
                                        permit system if it is ever to evolve into a permit system. As with a carbon tax, setting
                                        the unlimited permit price could be contentious.

                                             The contingent reduction approach attempts to turn both the price and the
                                        quantity of reductions into variables solved by the trading market. This requires
                                        agreements on both the profiles of emissions reductions and threshold price triggers. It
                                        also puts enormous pressure on the trading permit market to produce an accurate price
                                        to make the whole system work. Although in some ways the most innovative, the
                                        contingent approach also could be the most difficult in terms of arriving at acceptable
                                        parameters for the reductions and triggers.

                                            In short, employing a safety valve shifts much of the emission reduction debate
                                        from compliance targets to the specifications of the safety valve. The safety valve
                                        becomes the controlling mechanism of the permit tradeable system, or the sole
                                        mechanism in the case of a carbon tax. Whether this shift would contribute to an
                                        acceptable result is not clear.