The Australian Government @DCCEEW last week quietly released draft National Environmental Standards (NES) for Matters of National Environmental Significance (MNES) as part of its #EPBCAct reform.
*2 weeks consultation*, due 22 May 2023
A🧵on key issues👇 consult.dcceew.gov.au/draft-nes-for-…
Note the overarching MNES standard is the first to be released, there are others in development that will be released (hopefully) soon, including for:
- Environmental Offsets
- Regional Planning
- First Nations Engagement and Participation
- Community Engagement
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First, what's the overall goal? #NaturePositive! (it's mentioned 19 times in the document)
What does this mean? Apparently - a "collective outcome" where the environment is "repaired, regenerated and protected", requiring action everyone, not just government.
Some issues: 3/
.@tanya_plibersek 's version of #NaturePositive lacks the specificity of the original definition, which is to "halt and reverse nature loss measured from a baseline of 2020...so that by 2030 nature is visibly and measurably on the path of recovery" nature.com/articles/s4155…
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That's the main problem with the draft MNES standard - there's no measurable outcome defined.
So this draft Standard just replicates existing #EPBCAct issues. Again. 5/
The fed govt is also offloading part of the "nature positive" "outcome" - despite this term dominating its overall reforms (see pic) - to "business, NGOs & the broader community" (see 2/)
How much of #naturepositive is govt responsible for? Unclear. dcceew.gov.au/environment/ep… 6/
On the next page, we find that to deliver #NaturePositive, #EPBCAct decisions must deliver “net positive outcomes” for impacted MNES.
What? How do #NaturePositive and #NetPositive differ? Do they differ?
Answer: It depends 🙃 7/
In short, nature positive SHOULD mean we have more nature in 2030 compared to a historical baseline, fixed at 2020, as per naturepositive.org
Net positive COULD mean the same, but could ALSO mean - slightly better than business as usual. 8/
It depends on what reference scenario, or baseline, "net" is measured against. nespthreatenedspecies.edu.au/media/jqbhn3ri…
If net positive is measured against a scenario that assumes business-as-usual, the net outcome could simply just be a slightly less negative trend of nature loss: net gain. 9/
In fact, under CURRENT #EPBCAct policy (2012), offsets must "improve or maintain" outcomes for MNES, against a counterfactual of business as usual. Net positive is *already built into existing policy*. dcceew.gov.au/environment/ep… 10/
So the draft Standard for MNES, by promising #netpositive, is no better than existing #EPBCAct.
BUT - I think it could actually make things worse.
First, by never actually stating baseline against which #netpostive is measured. Second, via the "conservation payment" option. 11/
Here, it says the #MitigationHierarchy should be followed, so that with offsets, #NetGain is achieved…
**AND/OR** make a conservation payment.
(shouldn't that be an AND, with no OR, otherwise net gain could be skipped for an MNES??)
So what's a conservation payment? 12/
A conservation payment! Still to be defined in Standard 🤡 But the #NaturePositivePlan makes it clear...if a proponent can't find a "like for like" offset, the development can still proceed if they pay into a fund.
This backtrack from "like for like" WILL enable #extinction. 13/
If a proponent can’t find an offset – likely because a species is so threatened, the scope to restore or protect habitat to compensate for the development impacts is so limited - then this is a clear sign further losses should be avoided to prevent species #Extinction
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Instead, @tanya_plibersek@DCCEEW
plan to allow development to proceed via conservation payments, for a "better overall" outcome. Better for what part of the environment? Who decides, & how? Likely - parts that are less threatened, decided by public servants, with no method.
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Scientists have spent decades coming up with methods to prioritise investment between different species, e.g conbio.onlinelibrary.wiley.com/doi/abs/10.111…
We have had HUGE debates about “conservation triage”.
Yet what’s happening here is triage for #extinction, with no method or accountability.
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It's no exaggeration to say that @tanya_plibersek 's commitment to #ZeroNewExtinctions AND the "better overall" approach that backtracks from like-for-like offsets are totally incompatible.
Some MNES will win, others will lose, and the Australian public will have no input. 18/
The draft Standard also doesn’t address the administrative practice of “backloading”, where offset decisions are delayed until biodiversity losses are approved.
With the extra conservation payment option, I think backloading is likely worsen. 19/ onlinelibrary.wiley.com/doi/10.1111/14…
And yes, there is a requirement that approved actions do not have “unacceptable or unsustainable” impacts to MNES, but I don’t see this having a practical effect until a species is one last cut from being doomed. Useless. consult.dcceew.gov.au/draft-nes-for-… 20/
Should also be noted that @tanya_plibersek is setting up the #NatureRepairMarket to funnel through these conservation payments from #EPBCAct as inadequate offsets/ "better overall" outcomes. Highly unlikely to achieve *actual* #NaturePositive outcome. 21/
👉The root cause of this scandal is the Clean Energy Regulator, which has allowed HIR projects to include uncleared lands when the projects started in their credited areas
📝 There are multiple lines of evidence that show the HIR method should only be applied in locations...
...that have been previously cleared.
One is the the Explanatory Statement to the method () which says: “The Determination applies to projects in which land has been cleared of native vegetation and where regrowth has been suppressed for at least 10 years.”legislation.gov.au/F2013L00162/as…
The ANU-UNSW research team has analysed the recently released CEA (carbon estimation area) for HIR #carbon projects. The results are unsurprisingly bad. 🧵Full papers and interactive data linked below: 1/
HIR (human-induced regen of permanent even-aged native forest) carbon projects have generated ~30% of ACCUs issued under the #EmissionsReductionFund; 37 million ACCUs. They cover more than 31 million ha, ~ the size of Japan. The world’s largest offset type by project area. 2/
Following the Chubb review & the #SafeguardMechanism deal, CEA (carbon estimation area) data has been made public:
Our team's analyses have repeatedly been criticized as incomplete without CEA data. Now we've analysed it, and the results are clear. 3/ https://t.co/wx5hWg1yMQcleanenergyregulator.gov.au/ERF/project-an…
On Tues, @DCCEEW say Chubb made recommendations on how the HIR method should be interpreted *but* didn't say the method had been incorrectly interpreted to date.
@sarahinthesen8 "Why would you have to clarify interpretation if it [HIR] hadn't been misinterpreted?"
Oh cry me a river. How on earth could their projects be "undermined" by sharing data which could quickly an easily prove their integrity. #ACCU#climate#auspol
Also nice for GreenCollar to put this on "it's landholders" so if we call this out we're being mean to farmers, rather a multi-million dollar corporation.
The data carbon companies could freely release (the Regulator & all others are prohibited to release by law) are Carbon Estimation Areas (CEAs) - green shapes shown below
The project area shapefiles (around CEAs) are *already public* - downloadable here researchdata.edu.au/area-based-emi…
It's no secret that conservation science (and journals, and the media) loves a good global map - and there's a lot of them. We found >150 global priority maps published since 2000 (and that's DEFINITELY an UNDERestimate)
So what? Maps can be super useful, and salient, and have helped (and continue to do so) raise awareness and $ for #conservation
But is there a risk we're overestimating their value?