The Ground Rules for Effective OBAs: Principles for Addressing Carbon-Pricing Competitiveness Concerns through the Use of Output-Based Allocations

S. Dobson, G. Fellows, Trevor Tombe, J. Winter
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引用次数: 6

Abstract

The federal government’s decision to impose a minimum national price on carbon emissions has the potential to make certain businesses in the country less competitive. Specifically, there are emissions-intensive and trade-exposed industries across Canada that compete against producers from other jurisdictions where governments do not put a price on carbon. For these industries, the obligation to pay a carbon price creates a competitive disadvantage. Specifically, these businesses will face higher costs and may encounter a loss of market share to international competitors from jurisdictions that lack the same emission-control measures. That not only hurts Canadian businesses, it could also negate any emissions reductions that carbon pricing in Canada achieves on a global scale. The federal government has opted to protect such emissions-intensive, tradeexposed businesses using subsidies called output-based allocations (OBAs). This is the same system that Alberta is introducing through its forthcoming Carbon Competiveness Regulation. It also shares certain similarities with cap-and-trade programs, such as those in Ontario and Quebec, which provide free allocations of emissions permits to certain firms. OBAs are a desirable complementary policy to a carbon price as they maintain the incentive for producers to invest in production methods and facilities that are less emissions intensive. So while producers are still, nevertheless, subsidized to offset the tax burden of the carbon price, they will, under an OBA system, see greater benefits the more they work to reduce their emissions intensity. Still, to function most effectively and most efficiently, an OBA policy should follow certain key principles. The most critical principle in the design of an OBA policy is ensuring that OBAs are allocated to facilities independent of their individual emission levels, and allocated equally (on a per unit basis) to facilities producing the same product. One of the major flaws with Alberta’s current Specified Gas Emitters Regulation (SGER) is that it does not follow this principle. Rather, subsidies under SGER are allocated based on a facility’s historical emissions intensity. As a result, more generous subsidies are given to those facilities that are “dirtier” (that is, those with higher emissions intensities) than to “cleaner” facilities with lower emission intensities. Secondly, it is important for a well-designed OBA policy to have transparent costs. Including a clear accounting of OBAs in government finance reports will ensure the public is fully aware of the revenues being directed to the subsidies. Thirdly, OBAs for different facilities are best allocated using a classification system based on the product being produced, and not using more conventional industry-classification codes. Commonly used conventional industry classifications—for example, conventional oil and natural gas extraction—group together facilities that produce distinct products and compete in different markets. Consequently, this classification will not recognize the various levels of emissions intensity and trade exposure within an industry. This will result in some facilities receiving more OBAs than they should and others receiving less than they should. Finally, a well-designed OBA system should seek to be as administratively efficient as possible with minimal implementation costs imposed on government and businesses. It is important to recognize that the federal carbon price and OBAs are a new policy and that many large emitting facilities have been making investment decisions based on a previous regulatory environment. Therefore, a compromise approach may be to initially provide an output subsidy based on a facility’s past emissions intensity (as Alberta has historically done under its SGER system) and then to transition gradually to the optimal OBA system over time.
有效OBAs的基本规则:通过使用基于产出的分配来解决碳定价竞争力问题的原则
联邦政府决定对碳排放实行全国最低价格,这可能会降低该国某些企业的竞争力。具体来说,加拿大各地都有排放密集型和贸易密集型的行业,它们与来自其他政府不给碳定价的司法管辖区的生产商竞争。对这些行业来说,支付碳价的义务造成了竞争劣势。具体来说,这些企业将面临更高的成本,并可能面临来自缺乏相同排放控制措施的司法管辖区的国际竞争对手的市场份额损失。这不仅伤害了加拿大的企业,还可能抵消加拿大碳定价在全球范围内实现的任何减排。联邦政府选择使用一种叫做产出分配(OBAs)的补贴来保护这些排放密集型的贸易企业。这与阿尔伯塔省即将出台的《碳竞争力条例》(Carbon competitiveness Regulation)中引入的体系相同。它也与限额与交易计划有某些相似之处,如安大略省和魁北克省的计划,这些计划为某些公司提供免费的排放许可分配。oba是碳价的理想补充政策,因为它能激励生产者投资于排放密集度较低的生产方法和设施。因此,尽管生产商仍然得到补贴以抵消碳价格的税收负担,但在OBA体系下,他们将看到,他们越努力降低排放强度,就会获得更大的利益。然而,为了最有效地发挥作用,OBA政策应该遵循某些关键原则。在设计OBA政策时,最关键的原则是确保将OBA分配给独立于其个别排放水平的设施,并平等地(按单位)分配给生产相同产品的设施。艾伯塔省现行的《特定气体排放条例》(SGER)的主要缺陷之一是它没有遵循这一原则。相反,SGER下的补贴是根据设施的历史排放强度分配的。因此,那些“更脏”的设施(即排放强度较高的设施)得到的补贴要比排放强度较低的“更清洁”的设施多。其次,设计良好的OBA政策必须具有透明的成本。在政府财政报告中包括对oba的明确核算,将确保公众充分了解用于补贴的收入。第三,不同设施的oba最好使用基于所生产产品的分类系统来分配,而不是使用更传统的行业分类代码。常用的传统工业分类——例如,传统的石油和天然气开采——将生产不同产品并在不同市场竞争的设施归在一起。因此,这种分类不能识别一个行业内不同水平的排放强度和贸易暴露。这将导致一些设施接收到比它们应该接收到的更多的oba,而另一些设施接收到比它们应该接收到的少。最后,一个设计良好的OBA系统应力求在行政上尽可能高效,同时对政府和企业施加最小的实施成本。重要的是要认识到,联邦碳价格和oba是一项新政策,许多大型排放设施一直在根据以前的监管环境做出投资决策。因此,一种折衷的方法可能是,最初根据工厂过去的排放强度提供产出补贴(就像阿尔伯塔省在其SGER系统下所做的那样),然后随着时间的推移逐渐过渡到最优的OBA系统。
本文章由计算机程序翻译,如有差异,请以英文原文为准。
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