Greenhouse gas emissions from international aviation and allocation options 6 Some recent policy developments
The commercial civil air transport sector has until now not been subject to international regulations aimed specifically at reducing greenhouse gas (GHG) emissions from aircraft engines. Rather, standards issued by the International Civil Aviation Organisation (ICAO) set limits for aircraft noise and engine emissions in and near airports throughout the so-called landing and take-off (LTO) cycle [ICAO 1993a and 1998f]. However, some recent developments within the United Nations Framework Convention on Climate Change (UNFCCC), the European Union (EU) and ICAO indicate that aviation GHG emissions may be subject to new regulation in the near future. These recent developments within the UNFCCC, the EU and ICAO are briefly summarised in this chapter. 6.1 UNFCCC developmentsFollowing recent international commitments to reduce global GHG emissions, the aviation sector has come under increasing pressure to reduce energy use and GHGs. In Article 2, Paragraph 2 to the 1997 "Kyoto Protocol to the United Nations Framework Convention on Climate Change", it is stated that "The Parties included in Annex I shall pursue limitation or reduction of emissions of greenhouse gases not controlled by the Montreal Protocol from aviation and marine bunker fuels, working through the International Civil Aviation Organization and the International Maritime Organization, respectively" [UNFCCC 1997, article 2b]. ICAO has therefore agreed upon a working programme in this area, see section 6.3. UNFCCC and its Subsidiary Body for Scientific and Technological Advice (SBSTA) have been discussing different possibilities for allocating emissions from international aviation to Parties, but so far no agreement has been reached on this subject. A main problem seems to be that if emissions are allocated to the country where the fuel is sold some Parties that have large sales of fuel for transit passengers will have to bear a larger burden than countries where there are no large hub airports. The basic problem seems to be that an airline registered in one country can carry passengers and freight originating from another country to a third country. The allocation issue is currently not scheduled for discussion at SBSTA 18. However, United Nations Framework Convention on Climate Change's (UNFCCC) Subsidiary Body for Scientific and Technological Advice (SBSTA) has noted that the quality of reporting by Annex I Parties on bunker fuel emissions needs to be improved. At its 16th session in June 2002 SBSTA "recalled its invitation, at its fifteenth session, to International Civil Aviation Organization (ICAO) and International Maritime Organisation (IMO), in consultation with the secretariat, to explore opportunities for examining and improving the quality of data reporting and comparability under the relevant provisions of the Convention and the Kyoto Protocol, and under ICAO and IMO. Noting the relevant provisions of the Convention and of the Kyoto Protocol, in particular its Article 2, paragraph 2, it decided to consider the methodological aspects related to the reporting of emissions based upon fuel sold to ships and aircraft engaged in international transport at its eighteenth session. It invited ICAO and IMO to report on their activities in this regard at that session" [UNFCCC 2002a]. Therefore, currently a main priority of UNFCCC seems to be to find ways to improve the quality of reporting by Annex I Parties on bunker fuel emissions, and this subject is currently scheduled for discussion at SBSTA 18 [UNFCCC 2002a]. 6.2 EU developmentsIn recent years, the European Commission has pushed for international agreements for introducing measures to reduce the environmental impact of commercial civil air transport. Most notably, in a December 1999 Communication, "Air Transport and the Environment - Towards meeting the Challenges of Sustainable Development", the European Commission describes a list of measures that might be taken into consideration. The Commission proposes more stringent international standards and rules to reduce aircraft engine emissions and noise and for improving air traffic management efficiency. These should be accompanied by market incentives such as aviation charges, emission trading, voluntary agreements and research and development into new and more efficient aircraft technologies [CEC 1999a]. The main objectives of the Commission's December 1999 Communication were updated and re-iterated in a December 2000 Communication, "Community objectives for the 33rd Assembly in the International Civil Aviation Organisation (ICAO) and ICAO Council decisions prior to this Assembly in the field of environmental protection" [CEC 2000d]. Furthermore, in a Communication on "Taxation of Aircraft Fuel" issued March 2000, the European Commission states that the European Union member states, in co-operation with the Commission, should intensify their work within the ICAO framework for the introduction of taxation on aviation fuel and other instruments with similar effects on the global level [CEC 2000a]. Besides focusing on a global jet fuel tax, some European countries as well as the European Commission and the European Parliament have been discussing the possibility of introducing a jet fuel tax in Europe. This is also discussed in the above-mentioned Communication. One idea is to allow EU Member States to tax domestic and intra-EU flights [CEC 2000a]. 6.3 ICAO developmentsIn September/October 2001 ICAOs 33rd Assembly adopted resolution A33-7 "Consolidated statement of continuing ICAO policies and practices related to environmental protection" The resolution consists of an introductory text and a number of Appendices concerning different aspects relating to the environmental impact of aviation. For example, the resolution introduces a new "balanced approach" to noise management and a guidance on "landuse planning and management". Of main relevance to this report the resolution also contains a new working programme concerning greenhouse gas emissions aiming at improving the understanding of their impact and of investigating possible means of limitation. In Appendix H "Environmental impact of civil aviation on the atmosphere" to resolution A33-7 the ICAO Assembly Requests the ICAO Council:
Furthermore, in Appendix I "Market-based measures regarding aircraft engine emissions", to resolution A33-7 the ICAO Assembly
Thus, ICAOs Committee on Aviation Environmental Protection (CAEP) is investigating these issues further. One of the main findings of CAEPs studies until now is that voluntary measures alone cannot achieve an ambitious emission reduction target, but would have to be used in conjunction with other measures. ICAO is about to publish a circular describing "Operational opportunities to minimise fuel use and reduce emissions". Furthermore, CAEP is currently examining a template for a voluntary programme for reducing CO2 emissions from aviation [CAEP 2002a]. These currently unpublished efforts unfortunately cannot be described further within this report. Another main finding of CAEPs work until now is that, among the marketbased options considered, an open emission trading system would likely be the most efficient and effective measure to meet Kyoto Protocol targets [Pulles 2000b]. On this background CAEP has recently decided upon requesting from a consultant a further investigation of how an emission trading system could work [CAEP 2002a]. At the current time of writing these efforts are at an early stage of the process and therefore unfortunately cannot be described further within this report. 6.4 The position of environmental NGOs and industryRecently, a network of NGOs around the World formed the International Coalition for Sustainable Aviation (ICSA) that has been granted the role of observer within CAEP. Likewise, the aviation industry, represented by the International Air Transport Association (IATA) and the International Coordinating Council of Aerospace Industries Associations (ICCAIA) has observer status within CAEP. The views of the environmental NGOs and the industry towards the use of market-based measures to reduce the emissions of greenhouse gases from aviation can be seen from Boxes 1 and 2 below. One main disagreement between the environmental NGOs and the industry is whether the total emissions of CO2 from the commercial civil air transport sector should be allowed to grow or if they should be reduced in accordance to the goals set up in the Kyoto Protocol, as suggested by the NGOs. The industry seems to prefer voluntary agreements for improving the fuel efficiency and an open CO2 emission-trading scheme that will allow the industry to buy emission permits in other sectors [IATA/ICCAIA 2001]. The environmental NGOs seem to prefer a tax that considers all types of emissions in all phases of flight. If no agreement can be reached the NGOs furthermore urge the UNFCCC to take over ICAOs obligation to introduce measures that can contribute to reduce emissions from commercial civil air transport [T&E/ICSA 2001]. Note that the statements in Boxes 1 and 2 were made at CAEPs fifth meeting (CAEP 5), before ICAOs 33rd Assembly. Box 1:
Source: [T&E/ICSA 2001]. As can be seen from Box 2 the commercial civil air transport industry hopes to avoid taxes, and proposes instead the adoption of voluntary agreements for future emission reductions. Such proposals are brought forward by for example, the Association of European Airlines [AEA 2000b] and the European Association of Aerospace Industries [AEA and AECMA 1999], the British Air Transport Association [British Air Transport Association 2000] and the International Air Transport Association [ATAG 2000] [Dobbie 1999 and 2001] [IATA 2000a, 2000b and 2000c]. Some airlines have similarly adopted future efficiency targets, which are to be met mainly by continually buying new and more efficient aircraft [Lufthansa 1999] [All Nippon Airways 1999]. To sum up, in general the position of the commercial civil air transport industry is that technical measures to mitigate the emissions of greenhouse gases would be preferable from measures that are aimed at reducing demand, and among the market-based measures the industry seems to prefer an open emissions trading system. Box 2:
Source: [IATA/ICCAIA 2001]
|