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5 th Working Group Meeting of ASOSAI WGEA Jaipur, India 17-19 October 2016

This audit assesses the effectiveness of the Clean Energy Regulator's management of carbon abatement crediting and selection for purchase under the Emissions Reduction Fund in Australia.

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5 th Working Group Meeting of ASOSAI WGEA Jaipur, India 17-19 October 2016

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  1. 5th Working Group Meeting of ASOSAI WGEAJaipur, India17-19 October 2016 Theme: Implementation of Environmental PolicyAbatement Crediting and Purchasing under the Emissions Reduction Fund Grant CaineSenior DirectorAustralian National Audit Office

  2. Introduction • Successive Australian Governments have committed to reduce Australia’s greenhouse gas emissions under the United Nations Framework Convention on Climate Change and undertaken a variety of actions to deliver on these commitments • The Emissions Reduction Fund is one of the primary mechanisms that Australia is using to achieve its greenhouse gas emissions reduction target. • The fund is expected to contribute an estimated 92 million tonnes of carbon dioxide equivalent towards Australia’s 2020 cumulative carbon abatement target.

  3. Background and context • In November 2014, the Australian Government established the Emissions Reduction Fund—a voluntary scheme that allows participants (including farmers and industrial companies) to earn carbon credit units by implementing projects they propose that abate carbon. (Carbon abatement projects registered under an earlier scheme, the Carbon Farming Initiative, transitioned automatically to the Emissions Reduction Fund). • Through reverse auctions, the Government then purchases from willing sellers a proportion of the carbon credit units already earned or expected to be earned in the future by registered projects. • The government-purchased carbon credit units (once earned by the projects and transferred to the government) are used to meet Australia’s greenhouse gas emission targets under the Kyoto Protocol.

  4. Background and context Overview of the fund’s abatement crediting and purchasing components ACCUs – Australian Carbon Credit Units

  5. Background and context Fund projects, carbon credits issued and auction results, as at 1 July 2016

  6. Audit objective, scope and criteria • The objective of the audit was to assess the effectiveness of the Clean Energy Regulator’s crediting and selection of carbon abatement to purchase under the Emissions Reduction Fund. • To form a conclusion against this objective, the ANAO adopted the following high-level criteria: • Did the regulator only register projects that met relevant legislative requirements? • Did the regulator issue the correct quantity of carbon credit units to registered projects after verifying the claims from project proponents? • Did the regulator design and implement the first and second auctions to purchase carbon credit units from eligible projects at least cost? • Did the regulator appropriately manage the risks, operation and performance of the abatement crediting and purchasing components of the fund?

  7. Methodology In undertaking the audit, we: • reviewed files and documentation; • reviewed samples of project applications, abatement crediting applications and auction participation applications; • interviewed staff and sought the views of relevant stakeholders.

  8. Audit conclusion and key findings • The audit concluded that Clean Energy Regulator had established sound arrangements to manage the crediting and selection of carbon abatement for purchase under the Emissions Reduction Fund. There were some aspects of the regulatory process that, nonetheless, required further attention—such as the level of documentation underpinning some areas of regulatory decision-making—to enable the regulator to better demonstrate the effectiveness of its regulatory activities. • Key findings included: • Project registration applications—effectively assessed by the regulator but documentation of some regulatory processes and decisions could be improved • Carbon abatement claims—appropriate arrangements were in place to assess project claims but the justification for, and documentation supporting streamlined routine assessments required improvement

  9. Key findings (continued) • Purchasing carbon credit units—the regulator effectively designed the auction methodology, parameters and delivery arrangements. Overall the first and second auctions were conducted effectively in accordance with published auction guidance and resulted in the selection of the least-cost abatement to purchase • Fund governance—the regulator had: • a well-established and integrated risk management framework for the fund; • Developed appropriate guidance to assist staff to assess fund applications; and • An established performance management framework to monitor and report on fund performance.

  10. Recommendation & Audit impact Recommendation • The ANAO made one recommendation designed to improve the Clean Energy Regulator’s routine assessment of carbon abatement claims The recommendation was agreed to by the regulator Audit Impact • Provided assurance to the Parliament regarding the Clean Energy Regulator’s administration of the Emissions Reduction Fund

  11. Challenges, barriers and lessons learned • General sampling approach—The ANAO selected samples broadly in proportion with the key parameters of the populations of registration, crediting and auction applitions. On this basis, the ANAO was able to ‘project’ the audit findings from the sample examined to the respective populations. • Technical nature of the subject matter—The audit team invested time early in the audit to build an understanding of the fund’s technical processes. The test programs were detailed so that technical matters of importance could be broken down into discrete processes allowing the testing to be repeated consistently for similar transactions.

  12. Challenges, barriers and lessons learned (continued) • Communicating audit results accurately and succinctly—Techniques used included: • The audit report avoided the use of technical terms, expression and jargon (or where these were necessary, they were described in plain language) • Crafting the expression of audit findings and conclusions within the limitations of the audit scope and evidence examined • Circulating the proposed audit report within the auditee in advance of the finalisation of the audit • The audit report’s use of diagrams, a question and answer presentation approach and summary boxes.

  13. Thank you! For further information please email: grant.caine@anao.gov.au

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