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Richard Worthington Friedrich Ebert Stiftung , Project Manager Climate & Energy Policies

CIVIL SOCIETY: CABINET MUST REPLACE OBSOLETE CLIMATE OBJECTIVES if not in denial – decisions are required. Challenge to all: No transition Strategy = No Sustainability. Richard Worthington Friedrich Ebert Stiftung , Project Manager Climate & Energy Policies.

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Richard Worthington Friedrich Ebert Stiftung , Project Manager Climate & Energy Policies

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  1. CIVIL SOCIETY: CABINET MUST REPLACE OBSOLETE CLIMATE OBJECTIVES if not in denial – decisions are required Challenge to all: No transition Strategy = No Sustainability Richard Worthington Friedrich Ebert Stiftung, Project Manager Climate & Energy Policies

  2. High SA coal consumption: shows ‘pathway dependence’ & / or: mitigationcapability

  3. South Africa’s Low-Emission Development Strategy (SA LEDS) 2050 (DEA, December 2018) • misrepresentation of South African climate change response implementation, e.g.: “…government is already implementing through a comprehensive set of strategies, policies and sector plans…” • asserts that a strategy exists, without identifying or defining a coherent strategy; • “This SA LEDS 2050 has been developed within the context of an objective, which can drive change through co-benefits such as job creation and socio-economic upliftment…”, but no such objective for this strategy is identified in the document. • Like the CC Bill, objective is a ‘fair contribution’ to the global effort in light of national circumstances, not adequate mitigation

  4. What we immediately require of Cabinet: • Establishment of a domestic long-term mitigation objective or target - for a national emissions outcome that is consistent with the global mitigation goal of average global warming not exceeding 1.5 degrees; a long-term benchmark trajectory must be calibrated to an emissions outcome most desirable for all South Africans – not treated as a bargaining position for multilateral engagement; • A Commission on climate change that is inclusive and accountable, with a mandate and capacity to enable and ensure strategic decision-making; • An unequivocal commitment to rapidly maximising use of our world-leading renewable energy resources, as the guiding principle for electricity planning and a Just Transition of the energy system; • Development of a just transition plan to phase out coal use from our energy system, starting with coal-fired electricity generation, that is designed to reduce poverty and inequality; a plan that prioritises the interests of workers and communities over short-term aspirations of financiers or the energy incumbency;

  5. Landmark UN scientists’ report confirms ruinous contrast between 1.5˚C & 2˚C global warming  7th Oct 2018 7th Jan 2016 IPCC concludes that for 1.5˚C limit, emissions must be cut from 2010 levels by 45% by 2030, and to net zero by 2050 (20% and 2075 for 2˚C). This requires reconfiguring of the human world within a generation.

  6. “Vested-interest pressure is acute in all directions; climate denialists accuse the IPCC of alarmism, whereas many climate action proponents consider the IPCC to be far too conservative. To cap it all, the IPCC conclusions are subject to intense political oversight before being released, which historically has had the effect of substantially watering-down sound scientific findings.”

  7. “…government regards climate change as a considerable threat to the country and …has the potential to undo or undermine many of the advances made in recent years.” SA LEDS 2050 (p.6): “If left unaddressed, climate change is likely to come at a significant cost to the economy and society. This includes impacts on water resources, food production and increased vulnerabilities of impoverished communities. For this reason, the South African government regards climate change as a considerable threat to the country and its socio-economic development and has the potential to undo or undermine many of the advances…

  8. The Framing of the LEDS should clearly acknowledge that: • If unaddressed, climate change is certain to involve massive “costs to the economy and society” and constitutes an existential threat to humanity; what is “likely” for our region under business-as-usual scenarios is a complete breakdown of organised society, with mass starvation, before 2100; • Even if global warming is kept below 2 degrees, climate change constitutes “a considerable threat” that will undermine [advances in] the well-being of the majority of South Africans and has “the potential to undo” all efforts to achieve water- and food-security; • The IPCC has established that the severity of climate change impacts will escalate substantially with even small increments in global warming above 1.5 degrees, thus establishing that SA climate change response policy, starting with mitigation, urgently requires sweeping revision;

  9. Peak, Plateau and Decline (PPD) Range The NCCRWP stipulates a range for national emissions, with specific numbers for particular years, depicted graphically in documentation for implementation Totalling annual national emissions figures provided for the period 2010-2050 for the trajectories labelled High, Mid and Low, yields the following sums: Mt CO2e per annum Plateau 2025 - 2035 23 Gt 19 Gt 15 Gt 23 065 Mt 18 948 Mt 14 830 Mt

  10. Carbon Action Tracker: SA inadequate Simplistic indication of “sufficient” ambition for SA

  11. Potential emissions trajectories for SA Mt CO2eq per annum >30 Gt ‘Mid-PPD’ proposed for DEROs BELOW 2°C

  12. Potential emissions trajectories &top of PPD Range Mt CO2eq per annum >30 Gt BELOW 2°C

  13. Nationally Determine Contribution (NDC) of SA Mt CO2eq per annum >30 Gt NDC BELOW 2°C

  14. Emissions Constraints in draft IRP 2018 (Section 3.4 ) No change from the 2008 point of departure of the IRP2010; DENIAL of (or failure to recognise) the cost-benefits of contemporary mitigation opportunity –. Proposal of a budget for electricity of 5 470 Mt for period 2021 – 2050 with no explanation, when a carbon budget for electricity commensurate with the global goal is less than half of this: IRP Update 2018

  15. Illustration of draft IRP 2018 ‘carbon budget’ in comparison to a least cost scenario modelled by CSIR using IRP input data Least cost

  16. https://www.businesslive.co.za/bd/opinion/2018-01-22-selling-assets-and-embracing-wind-and-solar-can-solve-eskom-woes/https://www.businesslive.co.za/bd/opinion/2018-01-22-selling-assets-and-embracing-wind-and-solar-can-solve-eskom-woes/

  17. Bischof-Niemz and Creamer (2018) PPD / NDC Approx. 4 220 Mt

  18. Draft IRP 2018 - some salient features: (R Worthington) • Official recognition of decisive shift in technology costs of RE - now the cheapest new plant - and that big coal and nuclear no longer make sense (though door not closed on further investment, sp. ‘CCT’). • However, ignores the opportunity of cost-negative GHG emissions reduction in electricity system due to our world-leading RE resources, also offering a global competitive advantage; • Assumes Eskom fleet performance is substantially improved and no early retirement will take place, while fudging the issues of compliance with Air Quality Standards & ignores coal supply challenges; • Endorses increasing provision for IPPs, incl. for fossil fuel generation; • Creates a ‘valley of death’ for development of local RE manufacturing; • arbitrary constraints on roll-out of wind and solar power across most scenarios; • Silent on access to electricity, for 3 million households without grid access (“Embedded Generation” should be expanded to address all decentralised supply opportunities);

  19. STOP HERE

  20. What we require of Cabinet et al • Establishment of a domestic long-term mitigation objective or target - for a national emissions outcome that is consistent with the global mitigation goal of average global warming not exceeding 1.5 degrees; a long-term benchmark trajectory must be calibrated to an emissions outcome most desirable for all South Africans – not treated as a bargaining position for multilateral engagement; • A Commission on climate change that is inclusive and accountable, with a mandate and capacity to enable and ensure strategic decision-making; • An unequivocal commitment to rapidly maximising use of our world-leading renewable energy resources, as the guiding principle for electricity planning and a Just Transition of the energy system; • Development of a just transition plan to phase out coal use from our energy system, starting with coal-fired electricity generation, that is designed to reduce poverty and inequality; a plan that prioritises the interests of workers and communities over short-term aspirations of financiers or the energy incumbency;

  21. Carbon Tracker SA, 2012:RESERVES EXCEED CARBON BUDGET 16.4 = LTMS Required by Science budget

  22. 100 100 100 100 100 2 units Kusile ? IPPs Peaking? 11.4 GW cumulative in 2030

  23. “Bischof-Niemz and Creamer provide the knowledge base for South Africa’s energy transition towards a renewables-based energy system. The positive news is that there is no trade-off anymore between clean and least-cost electricity. In fact, the opportunities for economic growth associated with the transition are enormous.” — Nhlanhla Nene, Minister of Finance, Republic of South Africa

  24. APPROPRIATE NATIONAL MITIGATION AMBITION APPROPRIATE – global goal / Paris Agreement NATIONAL MITIGATION ≠ ‘fair share’ / national contribution - national opportunity for ‘green economy’ sp. clean energy industries AMBITION – to realise the potential opportunity including securing climate and renewables finance cumulative emissions outcome determines impact, hence international interest in national emissions trajectories and mitigation potential – Where in the world is mitigation opportunity to be found? i.e. the market opportunity emerging in a world that is embracing transformation to achieve the global goal of well below 2 degrees

  25. draft LEDS - Section 9.2 - Carbon Tax • The following clarification regarding application of the Carbon Tax in conjunction with Carbon Budgets is most welcome: “Post-2020, the carbon tax and the carbon budgeting system will be aligned. This will be done by imposing a higher tax rate as a penalty for emissions exceeding the carbon budget.” • In light of on-going deliberations regarding the Carbon Tax, it is important that such commitment to the polluter pays principle is included in the LEDS, as it is a significant strategic choice. • It isn’t appropriate to specify the base rate of the Carbon Tax in this strategy, considering that the value proposed is too low to carry strategic weight, but this could be off-set by the penalty for exceeding carbon budgets, if these are set stringently.

  26. CSIR (2016): Wind and Solar PV Resource Aggregation Study for South Africa - Public presentation of results; Pretoria, 3 March 2016; Dr. Stefan Bofinger, Britta Zimmermann, Ann-KatrinGerlach – Fraunhofer IWES; Dr. Tobias Bischof-Niemz, Crescent Mushwana

  27. CSIR Energy Centre on 40% RE by 2030 40% of the South African electricity demand by 2030 (450 TWh/yr as per IRP2010) from renewables • 25-30 GW of wind turbines (2-3 GW/yr) • 25-30 GW of solar PV (2-3 GW/yr) • 4-5 GW of biomass, biogas and CSP (300 MW/yr) Prerequisites for a cost-efficient integration • Possibility to connect medium-sized wind and solar PV (approx. 1-30 MW per project) to existing grid • Possibility to connect embedded generators behind customers’ meters to the grid • Creation of a procurement platform that allows cost-efficient procurement of energy/capacity, as well as reserves from a wide range of distributed sources through aggregators/Virtual Power Plants Prerequisites for successful technical integration • Widespread spatial distribution of wind & PV to reduce short-term volatility of the aggregated profile • Investments into grid infrastructure to unlock potential for wind integration in areas with no grid • Flexibilisation of the existing conventional fleet to cater for increasing fluctuations of residual load • 4-5 GW of flexible power generators from the biomass/biogas/CSP fleet in addition to the flexible gas fleet that is already planned in the IRP 2010 are sufficient to provide the required flexibility Further cost reduction of electricity storage in form of batteries will be an added bonus to provide flexibility, is however not a necessary pre-condition for achieving a 40% renewables share by 2030 Dr Tobias Bischof-Niemz, 20 August 2015,

  28. CSIR, 3 November 2016 - Electricity

  29. https://www.carbontracker.org/reports/2020-vision-why-you-should-see-the-fossil-fuel-peak-coming/https://www.carbontracker.org/reports/2020-vision-why-you-should-see-the-fossil-fuel-peak-coming/ Fossil fuel demand will peak in the 2020s

  30. The amounts at risk are colossal The systemic risk to investors comes from the fact that the fossil fuel sector has $25tn of fixed assets …vulnerable to stranding as the energy transition progresses. Countries dependent on fossil fuel exports are vulnerable to the ending of the high rents of the sector. We identify 12 countries where fossil fuel rents are over 10% of GDP.

  31. https://www.rmi.org/wp-content/uploads/2018/08/Screen-Shot-2018-09-04-at-1.51.27-PM.pnghttps://www.rmi.org/wp-content/uploads/2018/08/Screen-Shot-2018-09-04-at-1.51.27-PM.png

  32. The latest special report from the Intergovernmental Panel on Climate Change (IPCC) on the implications of global warming of 1.5C notes that countries in the tropics and Southern Hemisphere subtropicsare projected to experience the largest impacts on economic growth due to climate change should global warming increase from 1.5°C to 2°C.

  33. BACKUP FOR QUESTIONS

  34. Stats-SA Employment increases by ~80% ( + ~40 000) while production grows by < 30% (60 Mt – see left )

  35. Decolonise the energy system One could describe our current energy system, with coal contributing about 70% of primary resource supply, including about 90% of electricity generation and a quarter of liquid fuels, purely in terms of its extractive and capitalist characteristics. We could also take a long-term perspective to consider the colonial character of an energy system that serves to appropriate natural resources, concentrate wealth in a small elite, provides abundant energy to big business, facilitates revenue being taken from the country, but fails to serve the majority as it should.

  36. “The depressing reality about climate change is that we could solve the problem, at manageable cost, but are failing to do so”: FT Editorial Board 26th Dec 2018 7th Jan 2016 “This failure is due to a mixture of blindness and self-deception. The blindness comes from those, such as US president Donald Trump, who deny the reality of climate change.” How blind do you have to be? www.ft.com/content/df47339c-0433-11e9-9d01-cd4d49afbbe3 “The self-deception comes from those who accept the reality, but only pretend to solve it. …The tragedy is that while the scientists and technologists have won the argument, the climate sceptics and deniers have effectively won the policy debate.”

  37. The End of Ice: Bearing Witness and Finding Meaning in the Path of Climate Disruption From award-winning Truthout staff reporter DahrJamail, The End of Iceis “assiduously researched, profoundly affecting, and filled with vivid evocations of the natural world." (Kirkus Reviews)

  38. SOUTH AFRICA’S DRAFT 3RD BIENNIAL UPDATE REPORT TO THE UNITED NATIONS FRAMEWORK CONVENTION ON CLIMATE CHANGE Department of Environmental Affairs – RSA - Public Consultation Draft: July 2018 1000 Gg CO2e = 1 Mt CO2e ELECTRICITY ~240 Mt 2015 total: 529 821 Gg = ~ 530 Mt CO2e

  39. Eskom Plant 50 Year Life decommissioning and Air Quality Retrofit Schedule – as in draft IRP2018 1 2 1 2 3 2 2 2 1 2 2 1 5 3 1 Department of Energy 2018 same as IRP 2010 plus new retirement dates – no. of units in years as listed in Eskom input to DoE on IRP 2018

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