Showing all results

Policy Submissions
30 Oct 2015

Submission to the Board of the GCF: Lessons learned from the CDM for the approval of GCF’s funding proposals

It is crucial that the decision of the Board of the Green Climate Fund (GCF) to approve the first funding proposals reflect the lessons learned from the previous experience of relevant institutions and climate mechanisms, in order to support high quality proposals that aim to deliver positive impacts for people and their ecosystem. The Clean…

Policy Submissions
17 Jun 2015

Carbon Market Watch response to the EU consultation on addressing greenhouse gas emissions from agriculture and LULUCF in the context of the 2030 EU climate and energy framework

1. In your view, which of the multiple objectives of agriculture, forestry and other land use will gain most in relative importance by 2030?

It will be critical to ensure the long-term stability of carbon pools for carbon storage, biodiversity protection and ecosystem preservation in the future. Currently the emissions from land use represent a quarter of all human emissions and it is hence vital that the land use sector also contributes to tackling climate change.
The use of biomass is limited due to finite land availability and therefore the use of biomass should follow the cascading hierarchy and only as a last resort be used for lower-quality applications where other viable alternatives exist, which is the case with power generation.
Finally, it should be recognised that food security and sustainable farming should go hand in hand. Actions that support this include no-till farming, silvopastoral practises and demand-side measures to limit excess consumption.

Policy Submissions
24 Mar 2015

Consultation on revision of the EU Emission Trading System (EU ETS) Directive

On 24 October 2014, the European Council agreed on the 2030 framework for climate and energy [1], including a binding domestic target for reducing greenhouse gas (GHG) emissions of at least 40% in 2030 as compared to 1990. To meet this target, the European Council agreed that the emissions in the EU Emission Trading System should be reduced, compared to 2005, by 43%. A reformed EU ETS remains the main instrument to achieve the emission reduction target. The cap will decline based on an annual linear reduction factor of 2.2% (instead of the current 1.74%) from 2021 onwards, to achieve the necessary emission reductions in the EU ETS. The European Council furthermore gave strategic guidance on several issues regarding the implementation of the emission reduction target, namely free allocation to industry, the establishment of a modernisation and an innovation fund, optional free allocation of allowances to modernise electricity generation in some Member States.

Policy Submissions
19 Aug 2014

Responses to the stakeholder consultations on the EU’s Emissions Trading System (ETS)

Read: Questions for stakeholder consultation on Emission Trading System (ETS) post-2020 carbon leakage provisions here  Assumptions to be used for new EU ETS carbon leakage list 2015-2019 here Response to the consultation on Emission Trading System (ETS) post-2020 revision here

Policy Submissions
28 Aug 2013

Submission to the EC for Stakeholder consultation on Assumptions to be used for new EU ETS carbon leakage list

A public consultation asked the opinion of stakeholders on issues related to the determination of the new carbon leakage list. These issues concern in particular certain assumptions that have to be made when applying the overall approach spelled out in the EU ETS Directive. In response to this consultation Carbon Market Watch – Nature Code submitted these comments.

Policy Submissions
3 Jul 2013

Submission to EC Consultation on Green Paper: A 2030 Framework for Climate & Energy Policies

Herein this submission we take the opportunity to provide our main messages, answers to questions and our recommendations for action.

Source: Climate Action Tracker
Policy Submissions
30 May 2013

Carbon Market Watch Recommendations for SB-38, June 2013

It is vital that existing carbon markets are reformed and new ones designed in way that ensures the environmental integrity of carbon market units and their accounting. Carbon Market Watch will be following the intercessional in Bonn and has developed recommendations on the following issues: CDM M&P Reform, Joint Implementation Reforms, Framework for Various Approaches and New Market-based Mechanism.

Policy Submissions
26 Mar 2013

Submission of Views to the Review of the Modalities and Procedures of the Clean Development Mechanism

This submission is to the UNFCCC on Views to the Review of the Modalities and Procedures of the Clean Development Mechanism. We urge Parties to strengthen the social and environmental integrity of the CDM and to address, as a matter of priority, the following issues: Fundamentally reform additionality requirements, Shorten length of crediting periods, Ensure that all CDM Projects uphold human rights, Improve the CDM’s contribution to sustainable development, Strengthened Civil Society Participation in the CDM process, Address conflict of interest of DOEs, Establish a communications channel for case specific matters, Set-up a Grievance Mechanism, and Improve the constitution and conduct of the CDM Executive Board and supporting bodies.

Policy Submissions
26 Mar 2013

Submission of Views on the Framework for Various Approaches and the New Market Mechanism

This submission is to the UNFCCC on views on matters referred to in paragraphs 48 and 52 of the Doha decision on the Framework for Various Approaches and the New Market Mechanism. Our recommendations are to: Ensure Robust Governance structure, Avoid all Types of Double Counting, Secure net atmospheric benefits, Uphold human rights, and Deliver sustainable development benefits.

Policy Submissions
28 Feb 2013

EC Consultation on structural options to strengthen the EU Emissions Trading System

Carbon Market Watch, a project by Nature Code, welcomes the opportunity to provide its views to the European Commission on the Consultation on structural options for the EU Emissions Trading System. While supporting the submission of the Climate Action Network Europe (CAN Europe), we would like to take the opportunity to provide more detailed comments…