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Smallholder Definitions - PNG National Interpretation Working Group

This presentation discusses the classification of oil palm smallholders in Papua New Guinea (PNG) and the challenges they face. It introduces a proposed third category of smallholders called "Associated" smallholders. The presentation also covers factors affecting oil palm growth in PNG and the support smallholders receive from various organizations.

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Smallholder Definitions - PNG National Interpretation Working Group

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  1. Smallholder Definitions - PNG National Interpretation Working Group RSPO TFS Meeting - 1 November 2009

  2. Presentation: • Oil palm smallholders in Papua New Guinea • Smallholder classification and how this fits with the PNG reality • PNG NIWG definition and draft guidance for a 3rd category of smallholder

  3. Introduction: • RSPO has adopted a binary classification system for smallholders; ‘scheme’ & ‘independent’ smallholders • PNG doesn’t fit adequately within this classification system • PNG is using the ‘independent’ smallholder definition as this best describes the smallholders themselves, however higher standards of compliance are achievable • The PNG NIWG agreed that the development of a third category of smallholder was necessary and has prepared a definition and draft guidance for ‘Associated’ smallholders

  4. Oil Palm in PNG: Factors that affect growth : 1987 New Ireland VOP Kavieng Vanimo Rainfall 1800 - 5000 mm / year Sunshine min of 2000 h / year Temperature between 22 – 32o C Altitude less than 500 m above SL Wewak Rabaul 1967 Hoskins VOP LSS LSS Kimbe VOP Mt. Hagen 1969 Bialla VOP Gusap Lae 2005 Ramu 1976 Popondetta Popondetta LSS Daru VOP Port Moresby Alotau VOP 1985 Milne Bay

  5. Types of smallholder: • Land Settlement Scheme (LSS) • ~ third of all current smallholdings; alienated land; 99-yr Government lease; settlers from areas of high popn with poor development potential; now 3rd/4th generation; inward economic migration; population & land pressures; no more LSS • Village Oil Palm (VOP) • Villagers growing oil palm on their own customary land; low productivity; • Customary Rights Purchase Blocks (CRPB) • Purchase of usage rights, not title; Customary Land Usage Agreement; more significant in areas of high population pressure

  6. Smallholders receive support from: • A national statutory organisation (OPIC) that provides extensions services to smallholders • A national R&D service provider, PNGOPRA, which is an NGO that works for both smallholders and plantations; and • Milling companies that provide, variously, FFB transport, extension support and credit for tools & fertiliser

  7. FFB production and planted area in PNG:

  8. Smallholder oil palm blocks in PNG:

  9. Smallholder related issues in PNG: • Low smallholder productivity • High population, esp. in areas with LSS • Limited land access for development • Poor (or non-existent) government support services esp. social and physical infrastructure

  10. 94.9% of global CPO SE Asia Central & South America 5.1% of global CPO Papua New Guinea African Countries India

  11. Smallholder Definitions: • Independent smallholders: • freedom to choose how to use their lands, which crops to plant and how to manage them • being self-organised, self-managed and self-financed • not being contractually bound to any particular mill or any particular association • They may, however, receive support or extension services from government agencies

  12. Smallholder Definitions: • Scheme smallholders: • Structurally bound by contract, by a credit agreement or by planning to a particular mill • Often not free to choose which crop they develop • Supervised in their planting and crop management techniques • Often organised, supervised or directly managed by the managers of the mill, estate or scheme to which they are structurally linked

  13. Smallholder Definitions: • Certification: • Scheme smallholders should be certified along with the mill with which they are associated • Independent smallholders, who may sell their fresh fruit bunches either directly or through intermediaries to a number of mills, are to be certified on their own through a Group Certification Protocol

  14. Smallholder characteristics: • Is the smallholder's FFB certified (as opposed to CPO at the mill)? • Are the smallholders themselves certified? • Do smallholders pay for certification themselves? • Does the mill collect & transport the smallholder's FFB? • Does the mill represent the only available market place for smallholder's FFB? • Do the smallholders have a contractual obligation regarding FFB supply to the mill? • Does the mill have a legal or contractual right to enforce (or demand) smallholder compliance? • Do the smallholders legally own or have legally protected customary usage rights to the land (independent of any involvement by the mill)?

  15. Smallholder characteristics (cont.): • Does the mill fully acknowledge the customary rights of smallholder landowners? • Are the smallholders fundamentally ‘Independent’ in terms of their rights of choice? • Does the mill, either through Government or some other parallel process, make provision for full and complete technical support to smallholders? And… • …is this technical support limited to influencing (as opposed to enforcing) compliance through education and awareness? • Is a project manager responsible for compliance? • Are the credit systems available to smallholders on a secured basis?

  16. Smallholder characteristics (cont.): • Thematic Areas: • Certification • FFB market • Smallholder rights & obligations • Smallholder support services

  17. Smallholder characteristics (cont.):

  18. Smallholder characteristics (cont.):

  19. Smallholder characteristics (cont.):

  20. Smallholder characteristics (cont.):

  21. A definition for PNG ‘Associated’ smallholders: Associated smallholders retain legal authority over their land and farming systems choice without any mandatory or contractual obligations to the mill. In most cases the milling company represents the only available FFB market. The milling company and the statutory extension service have a significant level of responsibility for supporting and encouraging the smallholders in being able to meet RSPO requirements. Credit from financial institutions and milling companies is unsecured and land cannot be forfeited for default on repayment or other non-compliance

  22. Guidance for PNG ‘Associated’ smallholders: • Using the generic guidance for ‘scheme smallholder’ as a template, the guidance for PNG Associated smallholder has a high degree of correlation with that for scheme smallholders (>90%); but with the following key differences (outside of normal NI variance): • Project Managers cannot ensure, enforce or manage compliance [e.g. 4.1, 4.4, 5.3, 7.7] but should show evidence of provision of awareness, training and active support towards compliance (including monitoring of compliance) • Project Managers cannot control but can actively discourage [e.g. 4.6, 5.2]

  23. Guidance for PNG ‘Associated’ smallholders: • So why not just accept scheme guidance? • PNG smallholders are fundamentally independent in terms of their rights of choice with no mandated or contractual obligations to the mill or any other body • Ensuring, or enforcing, compliance would need the threat of excluding smallholders from their only (currently) available FFB market • The PNG NIWG holds the view that exclusion of smallholders from their only available FFB market must not be used as a means of enforcing RSPO conditionality; to do so would negatively impact livelihoods and would drive many to a situation of poverty

  24. Back to the human development context: • PNG’s smallholders have a long way to go to reach the levels of self-reliance and farming mindset that exists in most of the world’s palm oil producing areas • This fact needs to be considered when applying conditionalities upon countries and communities with little exposure to education, and where illiteracy and innumeracy are barriers to development

  25. 94.9% of global CPO HIV/AIDS is a critical and overriding sustainability issues

  26. Thank you

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