Tom Batchelor. European Commission. Fifth International Conference on Alternatives to Methyl Bromide Lisbon, Portugal, September 2004

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Transcription:

The Impact of the Montreal Protoco and European Union Controls on Methyl Bromide Tom Batchelor European Commission Fifth International Conference on Alternatives to Methyl Bromide Lisbon, Portugal, 27-30 September 2004

Topics today... 1. Policies that influenced the formation of EC Regulation 2. EC Regulation on methyl bromide (MB) 3. MB-CUE three Stages Application / Evaluation / Licensing 4. Procedures for MB-CUE licence application and evaluation 5. How the MB-CUE quotas are used 6. Summary

1 Policies that influenced the formation of the EC Regulation

South America Total Ozone October average 100 Dobson Units 500 South Africa Antarctica New Zealand Ozone Hole ADEOS / TOMS Oct 1996 NASA/GS

Historical Springtime Total Ozone Record for Halley Bay, Antarctica (76*S) Total Ozone (Dobson Units) 400 300 200 October monthly averages Normal WMO Rep 37 (1994) 1955 1965 1975 1985 1995 YEAR

Arctic and Northern Hemisphere ozone depletion North America Europe Africa 23.6.97 Assimilated Gome Total Ozone (Royal Netherlands Meteorological Institute)

Cancer incidence increases... Annual deaths from melanoma and non-melanoma skin cancer avoided due to Montreal Protocol TOTAL Deaths avoided Melanoma Deaths Non-Melano Deaths 1990 2000 2010 2020 2030 2040 2050 2060 2070 Years Global Benefits and Costs of the MOP on Substances that Deplete Ozone, 1997 Env. Canada Report

A success story...? Abundance (parts per trillion) Critical chlorine level Ozone-damaging stratospheric chlorine / bromine No protocol Montreal Protocol (1987) London, Copenhagen & Vienna Amendments and adjustments (global compliance) 30 25 20 15 10 5 WMO Rep 37 (1994); Albritton Sept 97 1950 1975 2000 2025 2050 2075 2100 Year

State of the Ozone Layer Availability of alternatives Commitment to reduction and phase out Regulation EC2037/00 on Ozone Depleting Substances International Negotiations on Ozone Depleting Substances Stimulate alternatives development

2 EC Regulation on methyl bromide

EC Regulation... Regulation EC 2037/2000 of the European Parliament and of the Council on Substances that Deplete the Ozone Layer 1 Came into force on 1 October 2000 Now in force in 25 EC Member States Approximately 2 years in the making 1 EC 2037/2000; http://www.europa.eu.int/comm/environment/ozone/index.htm : Latest News

YEAR MONTREAL EC 2037/2000 PROTOCOL REGULATION 1991 Consumption Consumption baseline baseline 1995 FREEZE on 1991 FREEZE on 1991 1998 ------------------- 25% reduction 1999 25% reduction ------------------- 2001 50% reduction * 60% reduction ------------------- * QPS freeze 2003 70% reduction 75% reduction 2004 31 Dec 2004 - end of MB production 2005 PHASE OUT PHASE OUT CUs CUs

EC controlled consumption of MB. 8665 Non-QPS uses ODP tonnes 4621 2888 607 QPS uses? QPS alternatives 1999 2000 2001 2002 2003 2004 2005 Year

The EC regulation also has... Ban on use of disposable MB cylinders (Art 16) Qualification requirements for fumigators (Art 17) Virtually Impermeable Film (VIF) mandatory (Ar 17) Limits on the use of MB for QPS (Art 4) 20 tonne emergency exemption for pest and disease outbreak (Art 4) Critical Uses after phase out (Art 4)

Quarantine and pre-shipment... 607 ODP tonne limit for QPS (25 MSs) MSs must report annually to the Commission: Quantities authorised for QPS Purpose of QPS treatment Progress using alternatives Progress on research to find alternatives Denmark, Finland and Sweden have either no QPS uses, prohibition or time-limited exemption

Emergency use of MB... Follows Montreal Protocol For an unexpected pest or disease outbreak 20 tonnes over 120 day period Application from official regulatory authority Only allocated if there is no alternative Must be requested in advance (more stric than Protocol)

3 MB-CUE three Stages Application / Evaluation / Licensing

Stages of analysis for CUEs. STAGE 1 New CUEs 2002 2003 2004 200 (1a) STAGE 2 MOP analysis Supplementary + new (1b) (2a) STAGE 3 MOP analysis (S+N) EU licensing 1b + 2b + Reg (2b)

Cycle of events to obtain critical uses of MB Year of use of methyl bromide 2005 No 1 Actions for the technical analysis by the Parties to the Montreal Protocol Submit to request to national authority Approximate dates September- December 2002 2005 2 National authority applies to Parties January 2003 STAGE 1 2005 2005 2005 3 4 5 MBTOC report Parties discuss applications Clarifications by applicants May 2003 July 2003 July August 2003 2005 6 MBTOC makes recommendations September 2003 2005 7 Parties (did not!) decide November 2003 STATE 2 2005 2005 8 1-7 Submit new requests + supplementary requests to national authorities Repeat steps 2-6 September 2003 January November 2004

Cycle of events to obtain critical uses of MB (cont) Year of use of methyl bromide No Actions for licensing MB for critical uses Approximate dates 2005 9 Submit request to European Commission for licensing 31 May 2004 STAGE 3 2005 2005 10 11 Analysis of requests in the light of the MOP and Regulation (EC) No 2037/2000 Agree Quotas per fumigator in Management Committee July 2004 October 2004 2005 12 European Commission agrees quotas for new and supplementary December 2004 2005 13 Critical uses of MB commence for specific categories and uses 1 January 2005

MOP Critical Use Exemptions for 2005, so far CUE Tonnes BaseLevel (1991) Percentage of BL Australia 145 704 20.6% Belgium 47 312 15.1% Canada 55 246 22.4% France 407 4,195 9.7% Greece 186 970 19.2% Italy 2,133 6,974 30.6% Japan 284 6107 4.7% Portugal 50? Spain 1,059 4235 25.0% UK 128 628 20.4% USA 7,659 25,529 30.0% 12,153 49,965 24.3%

4 Procedures for MB- CUE license applications

Why is it necessary to agree quotas for MB-CUEs? 1. Old data: Most applications for CUEs finished in late 2002 for submission to the Protocol by 31 January 2003 2. Regulation is more strict: No MB if an alternative is available in any Party 3. Mirror the essential use process for CFCs for medical uses: Amount licensed needs to take account of latest alternatives

Why is it necessary to agree quotas for MB-CUEs? (cont) 4. MBTOC has used a liberal approach resulting in more MB recommended than if they had interpreted Dec IX more precisely 5. Illegal for the EC to authorise a quota for MB i an alternative exists ============= Old data + new criteria + essential use process + liberal approach + compliance = Need to analyse requests for licence

Impact of Article 3(2)(ii) relating to on CUE volume 1. Proposals by MSs to the Commission 2. Commission applies Dec IX/6 criteria + other MOP criteria 3. Each year, the COM determines MB for CUEs to be imported or produced 4. Define quantities, uses and users permitted 5. Confirm no adequate alternatives in any Party 6. Must use stocks before import/production is permitted 7. The Commission seeks the views of the Management Committee

MS Critical Use Licence Applications (CULAs) to the Commission 10 MSs have applied for MB-CUE licence Establish transparent review process Independent review of CULAs by technical experts Clarification on application when necessary Provision of Draft CULA Report to CUE applicant for comment CULA Report + MS comments to Management Committee for quota decision

CULA Report Does the applicant: Confirm significant market disruption if no MB Define the target pests and disease? Justify the amounts of MB required? Show that there are no technically and economically feasible alternatives in the circumstances (IX/6) and no adequate alternatives available from any of the Parties

CULA Report (cont) Identify steps to minimise MB emissions? Show effort to evaluate, commercialise and secure regulatory approval of alternatives? R&D programmes in place? Are stocks of MB available? After all these are considered, how much MB should per category should be licensed?

5 How the MB-CUE quotas are used

Fumigators Fumigators assigned quotas for CUEs Licensed Familiar with farms / facilities Fumigator has password access to ODS website to draw-down on their quota MB from (one) EC producer, from imports or from stocks Quotas transferable within a category by agreement with donor-receiver fumigators and MS

MB stocks Legal requirement in MOP and Regulation to determine stocks Survey of fumigators to estimate non-qps and QPS stocks 31 December 2004 MS Working Group developed Survey Form Survey due for completion 12 November 2004 Report by COM for December Management Committee

Management Committee Chaired by the European Commission Established under Article 18 to assist with the implementation of the Regulation MSs responsible for implementation Representatives of all 25 MSs, usually from the environment department Meets usually twice per year, sometimes three times

5 Summary

1. EC Regulation is more restrictive on MB- CUE than the Montreal Protocol 2. Applicants for CUEs must first apply to the Montreal Protocol. and then to the European Commission for licence 3. The Commission seeks the views of the Management Committee to agree quotas 4. The fumigators and MSs are responsible for correctly applying the MB-CUEs 5. Member States must monitor implementation of MB for CUEs