Category: maine

The Price of Everything and the Value of Nothing* – What are Ecosystem Services?

The Price of Everything and the Value of Nothing* – What are Ecosystem Services?

crooked_river_tributary

Photo credit: flickr/bobtravis

In October of 2015, President Obama issued a memorandum directing all Federal agencies to factor the value of ecosystem services into Federal planning and decision-making. That necessarily begs the question: what are ecosystem services, and how are they relevant to the economy in Maine?    

Ecosystem services are the ways in which natural systems provide benefits to human society.  The Millennium Ecosystem Assessment categorizes ecosystem services into four main classifications:  provisioning service; regulating services; cultural services; and supporting services.  Provisioning services is just what it sounds like – physical products provided by nature, such as water, food, and raw materials, among others.  Regulating services are “benefits obtained from the regulation of ecosystem processes,” such as carbon sequestration, water purification, and soil stabilization.  Cultural services are more difficult to measure, from an economist’s standpoint: if the lobster industry were to go into a tailspin, for example, the loss to Maine would be far greater than the lost revenue and income would suggest.  We would also lose part of our culture, history, and identity.   Finally, supporting services are those services that “support” the previous three – such as biodiversity, nutrient cycling, and photosynthesis.

By its nature (pun very much intended!), this is an anthropocentric concept.  Ecologists and others will no doubt argue that nature or natural systems have intrinsic value, even if humans are unaffected by a specific ecosystem’s existence.  I won’t argue with that.  Nonetheless, quantifying and even valuing ecosystem services may be a way of bringing the benefits provided by a well-functioning ecological system into economic decision making.  Otherwise, those services may well be disregarded.

Many ecosystems on which Maine businesses depend are at risk, either through mismanagement, human intervention, or changing weather patterns.  Ecosystem decline can pose a number of risks to businesses in Maine – as well as create new opportunities.

A simple example:  My hometown, Portland Maine, is now home to a burgeoning – and fantastic – micro-brew industry.  Micro-breweries (well, any brewery, of course) rely heavily on clean water, hops, barley and malt in their input process.  These are examples of provisioning services.  Going a little bit deeper, the process also depends upon the regulating services of soil stabilization, climate regulation, water filtration, and pollination. And that’s just in the process of brewing the beer itself.  There are also ecosystem services involved in the bottling / canning of the beer (think raw materials such as aluminum or silica), and in the distribution process. And this is only the input side of the equation.

Identifying the ecosystem services relevant to a particular industry can serve two purposes: to pinpoint areas of dependence upon natural systems in order to better predict trends that may affect that industry in the future (certain hops-growing areas may be impacted by changes in growing conditions, for example); and to highlight the value of functioning ecosystems as a part of an industry’s supply chain.  Once that value is recognized, the industry might see their own self-interest in managing those ecosystem services, so as to minimize their vulnerability.

So how do you assess your organization’s exposure to and dependence on ecosystem services?  There are basically five steps to an ecosystem services review, according to a report by the World Resources Institute, the World Business Council for Sustainable Development, and the Meridian Institute.  These steps are: selecting the scope, identifying the priority ecosystem services in your supply chain, identify risks and opportunities, and develop strategies for addressing them.  (These guidelines are for businesses, but they can be used to analyze exposure to and dependence on ecosystem services for government, municipalities, and non-profits as well.)

Well, that’s all very interesting, you might say, but how does it affect me, or businesses and organizations in Maine?  Here’s my thought: if the White House is directing all Federal agencies to incorporate ecosystem services into decision-making, how far behind can states (at least the more forward thinking ones) be? Massachusetts already has a Division of Ecological Restoration.  What about EPA regions? And once “ecosystem services” become a household name (OK, maybe a boardroom name), then the first movers, early adopters, and visionaries better be prepared.

What are your thoughts?  Post them here, email me at rachel@rbouvierconsulting.com, or visit my website at rbouvierconsulting.com.  You can also like my Facebook page, here, or connect with me on Linkedin, here.  Thanks!

*apologies to Oscar Wilde!

 

Woody Biomass: One step forward, two steps back?

Woody Biomass: One step forward, two steps back?

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Last week I was a guest in my colleague’s Renewable Energy Law class.  One of the questions I was asked had to do with Maine’s Renewable Portfolio Standard (RPS).  Maine’s RPS seems, at first glance, to be an ambitious goal (40 percent of Maine’s electricity is to come from renewable sources by 2017). However, at the time the RPS was made law, Maine was already mostly meeting that goal, thanks to Maine’s booming woody biomass industry. 

Other states in the New England Power Network can help fulfill their own RPS by purchasing renewable energy certificates (RECS) from other states in the network.  If a particular unit of energy is produced by a renewable source, that unit of energy could earn a REC, which could then be sold elsewhere.  However, even though every state in New England has a RPS (except Vermont, which has a goal), they don’t all accept the same types of energy for their RPS. Hence, there are some RECS that can be sold in some states, but not others.

Maine is the only state in New England that accepts biomass and large scale hydro to help fulfill its RPS. Therefore, any biomass facility that produces RECS can only sell them in Maine. In a report that came out detailing the performance of Maine’s RPS during the past year, a good 95% of the  Maine RPS was met through RECS generated from biomass.  And the fact that biomass credits can only be sold in Maine will depress the price of those credits -leading to less revenue for those facilities.

Which lead to one of the students’ questions: why don’t the other states accept biomass?  It’s a good question.  Leaving aside the (obvious) conclusion that Maine accepts biomass as an energy source in order to prop up its ailing wood products industry, why would other states not accept it? Isn’t biomass a renewable source of energy? And isn’t it carbon neutral ?

The answer, as any good economist knows, is “it depends.”  (My father used to say -paraphrasing Harry Truman – that what the world needs is a one-handed economist, because we’re always saying ”on the one hand….  But on the other hand…” ) Biomass is certainly a renewable source, in the strict physical sense that the “fuel” used – plant matter – is renewable.  The time it takes to regenerate, of course, depends on the growth rate of the plant matter used.

But there’s also no escaping from the grim third law of thermodynamics – that matter (or energy) can neither be created nor destroyed.  It takes power to make power.  How efficient the energy source is depends upon the energy content of the fuel and the energy used up in the process of making it.  Think lifecycle analysis.  If a unit of energy generated requires two units of energy in order to generate it, then that source isn’t really renewable – is it?

UPDATE: As my colleague Bill Strauss of FutureMetrics points out, “Every solid or liquid fuel whether coal, pellets, gasoline, diesel, natural gas, etc., gathers a carbon footprint from mining, extraction, refining, transport, etc.  Only biomass, if the net carbon stock is not depleted (i.e., the growth rate equals or exceeds the harvest rate), captures the CO2 from combustion contemporaneously…  Wood pellets are a low carbon solution… they are carbon neutral in combustion but are not carbon neutral over the supply chain.  Of course neither is anything else that depends on fossil fuel for transport etc.”

Absolutely, Bill, and thanks for that. (So people actually do read this stuff…) Check out their website!

Biofuel can be made from a number of things: corn, switch grass, trees, wood  manufacturing waste, to name a few.  And there are a number of ways biofuel can be produced – burned, fermented, digested by bacteria, or “gasified.”  The energy content of the fuel as well as the energy input needed vary widely for each process. 

As for whether it’s carbon neutral – well,  anyone who makes that claim is doing some pretty funky carbon accounting.  In the sense that the carbon released when the tree is burned is the same amount of carbon that was “stored” in the tree – then yes. But what about the carbon used in harvesting the tree?  Getting it to the processing site,  and from there to where it will ultimately be used? There’s also the fact that trees uptake carbon at different rates in their lifecycle, and that different species of trees uptake carbon at different rates. So for it to be carbon neutral, the net stock of carbon in the forest needs to remain unchanged. It’s possible, but it’s not as simple as “cut a tree, plant a tree.”

What about the claim that it’s sustainable? Again,  it depends.  If the trees are harvested at the same rate they regenerate, then yes. And, Maine’s biomass is mostly from residue from the forest products industry, so the use of waste product for energy gets a thumbs up in my book.

Recently,  two major biomass facilities in Maine went offline,  alarming the logging industry and others in the forest products supply chain. It also should alarm environmentalists.  The decline in oil prices has not only boosted demand for oil,  but depressed demand for biomass and other renewable sources of energy. Biomass may not be a perfect source of energy,  but it needs to be part of the energy solution in Maine.

The Clean Power Plan, part 2

The Clean Power Plan, part 2

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Like seemingly everyone else in the entire state of Maine, I found it difficult to get much work done during the summer.  So, although I said in my most recent post that I would write more about the proposed Clean Power Plan, it’s taken a bit longer than I thought. I know you’re all waiting with bated breath….

In my most recent post, I discussed some of the details of the proposed Clean Power Plan. Since then, after analyzing comments from stakeholders and constituents from around the country, the plan has been updated. The final version allows for significantly more flexibility than the proposed version in how states measure and achieve compliance, pairs the rule with incentive programs, and requires states to address grid reliability in their compliance plans.  Click here for details.

However, that’s not what I wanted this blog post to be about. I wanted to focus on the benefits of the rule for the state of Maine.

Maine has sometimes been called the tailpipe of America, given its position downwind of Midwestern industrial states and of the northeast metropolitan corridor. These airborne emissions from factories and from coal-fired plants contain not only carbon dioxide, but sulfur dioxide, mercury, and particulate matter, among other contaminants. These contaminants can wreak havoc on people’s lungs, heart, and overall health, as well as contribute to ground-level ozone, obstructing many of Maine’s most iconic views.

Any halfway decent benefit-cost analysis of the Clean Power Plan, then, has to include a measure of the benefits that will accrue to Maine through “avoided emissions.”

Here’s the way an environmental economist would go about it.  First, engineers would need to estimate by how much each “affected facility” would be able to reduce its emissions of various contaminants.  Although this seems like a daunting task, it can be done. One way to do it is to predict how a typical facility will respond to the regulation (by reducing its output, changing its fuel use, or installing new pollution reduction equipment).  Then, those engineers would need to estimate the reduction in emissions that would result.  While firms in Maine will not be affected by this rule to the same extent as firms in other states (see my previous blog post), states upwind of us will. It’s the reduction in those emissions that’s the most significant to Maine.

Second, another set of scientists would need to run that data through a “fate and transport” model. The idea here is that different contaminants, once they’re released into the atmosphere, behave in different ways.  Some, like carbon dioxide, are what we may call “uniformly mixed pollutants.”  In other words, once they’re released, they immediately disperse into the atmosphere. Others, like sulfur dioxide or particulate matter, are local pollutants. They tend to stick around in the general vicinity where they’re released, depending on things like the prevailing wind direction, the height of the “stack” (or chimney) from which they were released, or the “exit velocity” (the speed at which they were released).  And, as anyone who’s studied any chemistry knows, some contaminants have a longer half-life than others, and some may even degrade into more harmful chemicals than at first, or even combine with other chemicals to form more dangerous compounds.

Once this is done (and scientists do have sophisticated models that can allow them to study this in detail), we can tell with a reasonable degree of certainty, what type of contaminants (and how much) will NOT be falling on Maine as a result of this rule. Generally, we can expect to see a reduction in the following contaminants: particulate matter, sulfur dioxide, nitrogen oxides, and,  of course,  carbon dioxide.

Finally, we can link that data with the probable health effects associated with those contaminants. That’s (finally) where an environmental economist would come in.

For example, Maine has the highest asthma rate (for adults) in the country.  For children, Maine’s asthma rate is among the highest (10.7% of Maine children have asthma, compared to 8.9 % nationally.)

Asthma is caused by a number of different factors, but it is aggravated by “particulate matter,” or small particles that are emitted from the incomplete combustion of fossil fuels and other substances.  These particulates can lodge in the lungs, making it difficult to breathe. 
So, what are the economic effects of a high asthma rate?  Economists tend to measure the direct costs ( doctors’ visits, medications, hospitalization, etc.), as well as the opportunity costs (days taken off from work to spend with a sick child, etc). That can add up quickly. More difficult to measure, but no less significant, is lost productivity.  How much more economically productive could someone be, if she didn’t have a respiratory disease that – literally – slowed her down?

Particulate matter is also associated with reduced lung capacity, nonfatal heart attacks (which actually can be fatal in people with pre-existing conditions),  and irritation of the airways. And these are only the health effects. Particulate matter is increasingly a problem when it combines with sunlight to produce ground level ozone, which decrease your enjoyment of the view from Mt. Katahdin, or when it is deposited in Maine’s lakes or streams, changing their basic chemistry and affecting the integrity of the ecological system.

And this is just one contaminant.  Other contaminants likely to be reduced include, as stated, carbon dioxide, sulfur dioxide, and nitrogen oxides.  Add in those costs of human diseases health effects and other ecological damages related to these contaminants, and we’re talking real money.

This is the biggest problem that I see with passing reasonable, beneficial environmental regulations. Those opposed to such regulations have a wealth of data at their fingertips detailing the costs of compliance. It’s very easy to show that complying with a certain regulation (installing pollution control technology, for example, or using a more expensive but “cleaner” production process) will cost money, or jobs. Less simple is detailing the benefits of reducing harmful pollution. And for some, that difference could literally be a matter of life and death.