Showing posts with label Los Angeles. Show all posts
Showing posts with label Los Angeles. Show all posts

August 3, 2011

Support the U.S. House Biomass Caucus


I learned today that the Biomass Thermal Energy Council has praised the formation of a new BIOMASS CAUCUS in the U.S. House of Representatives.
Led by Rep. Charlie Bass, R-N.H., and Peter Welch, D-VT., this coalition will seek to support the development of biomass and elevate the renewable resource's profile in Congress.

"We strongly support the creation of the Biomass Caucus and commend the leadership of Reps. Bass and Rep. Welch, as we believe the caucus will become a venue for members of Congress to discover the role biomass can play in meeting the nation's goals of job creation and energy independence," said Joseph Seymour, acting BTEC executive director.
Readers of this blog can help influence the success of the BIOMASS CAUCUS by urging their representatives to join the caucus and stay attuned to its recommendations. Readers can find their Representatives websites by visiting http://www.house.gov/. Once there, write a personal message of support. Below is the one I wrote to my Representative, Brad Sherman, of the Los Angeles San Fernando Valley.

I am writing to you to request that you join the newly formed "Biomass Caucus" forming in the House. Although it may not seem to be germaine to most of your constituency I can attest, as a bioenergy marketing executive, that the future of bioenergy in the country will impact the country's energy and economic self-reliance while enhancing our environmental sustainability and national defense capabilities.

In Los Angeles Co. there are multiple efforts to convert green waste and municipal solid wastes (MSW) into power and fuels by the DWP and DPW. The SFV has a Green Valley Team and a Bioenergy Producers Association. The military is looking for ways to utilize MSW to make bases more energy self-reliant. But policies and regulations in Sacramento and Washington are unstable, counter productive, or non-existent.

That is why the BIOMASS CAUCUS is important - it can help clarify issues and build consensus on how best to support bioenergy R&D and deployment so necessary for a sustainable future. Even GOP Texas Oil President George W. Bush attested we are addicted to oil. Proper development of biofuels is the only liquid transportation alternative to gasoline and diesel to end the addiction. Biomass pellets and biocrude made from woody biomass and ag residues are also an alternative to heating oil. I would hope you would support promotion of biomass awareness and policies through the BIOMASS CAUCUS.
Please take a moment to support this worthy advocate of our industry within the policymaking halls of Congress. You can also help by retweeting the following on Twitter:

RT @BIOblogger: Find your U.S. Rep at http://www.house.gov/ & urge them to join the "BIOMASS CAUCUS" http://shar.es/HEWGj

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April 20, 2010

California's top energy, air quality, & recycling agencies support AB222

Environmentalists must stop letting the perfect become the enemy of the possible.
- Governor Arnold Schwarzenegger

For three years I have been writing about the frustrated attempts to get legislation passed through Sacramento that would enable the state's municipalities and utilities to permit diversion of municipal solid waste post-recyclables to conversion technologies that would recover energy, create biofuels and green chemicals, and reduce the volume of post-recyclables moving onto landfills by roughly 85%.

The anti-thermochemical stance of the legislation's detractors who preach that gasification "is just a more advanced form of incineration" has been the non-scientific excuse used most often to obstruct passage. In 2007 Assembly Natural Resources Committee (led by chairperson Loni Hancock of Berkeley, CA) derailed AB1090. The latest iteration of the bill (AB222 sponsored by Republican Anthony Adams and Democrat Fiona Ma) flew through the Assembly and received the support of the Utilities Committee of the Senate before it was two-yeared by the Senate's Environmental Quality Committee (which has now-Senator Loni Hancock on it). This in spite of the diverse and overwhelming support it has received throughout California.

AB222 will again be before the Senate Environmental Quality Committee, probably before the Senate breaks in late Summer. There is much more reason for the Committee to stop their irrational obstruction of this bill. It now has a letter of support from the primary energy, air quality, and recycling agencies of the current administration. More background...

Update on Assembly Bill 222 (by today's Southern California Conversion Technology Demonstration Project Newsletter)
It is anticipated that Assembly Bill 222 (AB 222) will be heard in the Senate Environmental Quality Committee later this Summer, following budget negotiations.

AB 222 is California legislation designed to expedite the introduction of conversion technologies that will produce advanced biofuels and/or green power from carbon-based wastes. With Republican and Democrat co-authors, this legislation has gained bipartisan support amongst the business, environmental, labor, and government sectors. The legislation removes from statute a scientifically inaccurate definition of gasification, establishes a new regulatory category for a "biorefinery" and confirms that the biogenic portion of the municipal waste stream qualifies as a feedstock for renewable electricity under the Renewable Portfolio Standard.

Last Year, AB 222 passed the California State Assembly by a vote of 54-13, after having been approved by a unanimous bipartisan vote of 11-0 in the Assembly Utilities and Commerce Committee. In July, it was approved in the Senate Utilities, Energy and Communications Committee. The Governor has endorsed the legislation, enabling the California Energy Commission to testify on its behalf, and there is significant support for the bill in the State Senate.


Key agency chairs sign letter of support

A letter of support from the executive branch is circulating among the Assembly and Senate leaders and their staffs. The signatories are no less than:
  1. Jim Boyd, Chair of the California Energy Commission
  2. Mary Nichols, Chair of the California Air Resources Board
  3. Margo Reid Brown, Acting Director of CalRecycle (the Department of Resources Recycling and Recovery)
Obstructing this carefully worded and negotiated legislation with this level of support would be a slap in the face of the primary agencies responsible for providing clean energy, clean air, and enlightened recycling processes to all Californians. Their reasons for support are clearly articulated in the letter:
AB222 would allow new non-incineration technologies to be used in the production of renewable biofuels, and electricity from biogenic material diverted from California's landfills. It would achieve this by removing current statutory restrictions that require thermal conversion projects to have zero emissions, a standard required of no other energy generation technology or manufacturing process in the State and one that effectively precludes any municipal solid waste (MSW) conversion technologies from qualifying for California's Renewable Portfolio Standard (RPS). ...

New conversion technologies would assist California in developing local fuel sources as part of the Low Carbon Fuel Standard (LCFS) thereby making better use of resources and providing other benefits...

On February 4, 2010, the United States Environmental Protection Agency (EPA) released its final rule for the Renewable Fuels Standard (RFS2) allowing the biogenic portion of post-recycled MSW to qualify for the use in the production of advanced biofuels. The renewable fuel provisions of AB 222 would make California consistent with the EPA ruling. ...

This legislation is necessary for CalRecycle and local agencies to deploy the solutions they judge, after extremely careful analysis, the solutions they find appropriate, clean, and most affordable to meet AB32, the RPS, LCFS, and other mandates legislated in California.

Los Angeles County Moves Forward with Southern California Conversion Technology Project (From the CalRecycle Conversion Technology Listserv)
On April 20, 2010, the Los Angeles County Board of Supervisors unanimously approved recommendations from the Los Angeles County Department of Public Works to initiate Phases III and IV of the Southern California Conversion Technology Project. Additionally, Supervisor Yaroslavsky introduced a motion that will expedite the County's efforts to identify locations in Los Angeles County for Phase IV of the project. Please click here to view the Board Agenda item.

After an extensive multi-year evaluation process, which included facility site visits, stakeholder meetings, and economic, environmental, and technical feasibility assessments, the Department of Public Works recommendation included:

1) Approval of Memorandums of Understanding between the County and three different project development teams

a. Arrow Ecology and Engineering & CR&R Incorporated ? proposing a 150 ton per day anaerobic digestion process in the City of Perris, to be located at the MRF/TS owned and operated by CR&R Incorporated.

b. International Environmental Solutions & Burrtec Waste Industries? proposing a 184 tons per day pyrolysis process in Unincorporated Riverside County, to be located at the MRF/TS owned and operated by Burrtec.

c. Entech Renewable Energy Solutions & Rainbow Disposal Company ? proposing a 360 tons per day gasification process in the City of Huntington Beach to be located at the MRF/TS owned and operated by Rainbow Disposal Company.

2) Approval of a four-year consultant contract with Alternative Resources Inc. to provide technical, permitting, and funding procurement assistance to each of the demonstration projects and to assist with the technology evaluation and development of Phase IV commercial projects within LA County.

For more information regarding conversion technologies and to view the County's reports please visit www.SoCalConversion.org

The agenda, which includes the official recommendations from the Department of Public Works, may be accessed by clicking here.

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July 29, 2008

Bioenergy Producers comment on California's Climate Change Scoping Plan

California Senator David Roberti (ret.) is a public servant of the first magnitude for California. I have met Sen. Roberti several times and hold him in highest esteem for his intelligence, his leadership, his respect for the lawmaking process, and socially sensitive policymaking. During his 28 years of service in the California legislature and 13 years of service as President Pro Tem of the California State Senate he provided superior understanding of the nature and process of governmental actions.

Relevant to California recycling and waste management law, he is also intimately familiar with issues that permeate the waste, recycling, and hazardous waste industry. David was chief Senate negotiator of AB 939, California’s landmark waste management legislation, and the author of California’s Hazardous Waste Management Act of 1986, the Hazardous Waste Reduction Act of 1989, as well as legislation establishing the California Hazardous Waste Hotline. After retiring from the Senate he was a member of the California Integrated Waste Management Board for four years. He is an innovator and friend of recycling who seeks to expand it in a clean and sustainable way.

Besides his law practice Roberti is also President of the Bioenergy Producers Association.
The mission of the BioEnergy Producers Association (BPA) is to advance the development and commercialization of sustainable, environmentally preferable industries that produce power, fuels, and chemicals from agricultural, forestry, and urban sources of biomass and plastic wastes.

Founders of this organization include some of the top waste management experts in California as well as two of the cellulosic ethanol technology pioneers - BlueFire Ethanol and New Planet Energy.

With such an experienced brain, law, and business trust at its disposal, the California Air Resources Board should take special note of the following comments submitted by Sen. Roberti on behalf of the BPA concerning the "Recycling and Waste Management" section of their California Climate Change Draft Scoping Plan.

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COMMENTS ON CARB CLIMATE CHANGE DRAFT SCOPING PLAN
(June 2008 Discussion Draft)

The BioEnergy Producers Association (BPA) is a coalition of private companies and public agencies dedicated to the development and commercialization of environmentally preferable industries that produce renewable sources of power, fuels, and chemicals from agricultural, forestry and urban biomass wastes and other carbonaceous materials. Our membership includes bioenergy firms, electric utilities, and waste management companies.

The BPA has reviewed the “Recycling and Waste” section of the Climate Change Draft Scoping Plan, and requests CARB’s consideration of additional measures for Landfill Methane Control. Landfill Methane can be controlled by disposing of carbon-based materials that would otherwise be landfilled in the process of producing liquid and electric energy using clean thermochemcial conversion technologies.

Specifically, the Recycling and Waste Sector Preliminary Recommendation should mirror and complement strategies outlined for the agricultural sector by encouraging the use of urban biomass wastes for sustainable energy production. Deployment of bioenergy strategies is consistent with the Bioenergy Action Plan, the Low Carbon Fuel Standard (LCFS), and AB 32 GHG reduction goals for the following reasons:

Landfill Abatement Potential

The Draft Scoping Plan recognizes fugitive landfill methane gas emissions as a major GHG precursor, and calls for measures to reduce the volume of materials flowing to land disposal. Existing source reduction, recycling, and composting programs are credited with attainment of the state’s 54% diversion rate, and the Plan places principal reliance upon the expansion of these programs to reduce disposal tonnages in the future, virtually ignoring the potential to use these waste resources in the clean production of liquid and electric energy.

Despite the success of its recycling and composting efforts, California’s high disposal rate has remained virtually unchanged for the past 20 years. 40 million tons of municipal waste were landfilled in California in 1989, the year AB 939 was passed. This year, despite the progress of recycling, 42 million tons of waste will be placed in the state’s landfills. As the state’s population is expected to grow by some 10 million people over the next 25 years, this trend is expected to continue.

It is folly to adopt the position that the volume of material that is being placed in California’s landfills can be significantly reduced through source reduction, traditional means of recycling and composting alone. All methods of disposal must be incorporated in any effective plan, and this includes the complete disposal (i.e., destruction) of carbon-based wastes in the process of producing the liquid and electric energy so desperately needed by the state.

Approximately 70% of the residual materials placed in landfills consist of various types of biomass, only a portion of which may be feasibly composted or recycled. In short, new tools are needed. For example, compostable organics (i.e. food and vegetative wastes), comprise only about 25% of this stream. Similarly, there is no estimate of additional biomass materials, such as paper, which may be recovered through intensified commercial recycling efforts, although markets for the major portion of this stream may have already been optimized, with residuals having limited commodity market value.

In contrast, new biomass conversion technologies, such as in-vessel hydrolysis/fermentation and thermal/fermentation processes, have the potential to convert the full spectrum of landfill-bound carbonaceous waste materials into renewable energy products, including power, fuels, and chemicals. Because of their unprecedented potential to divert waste materials to beneficial use, the development of clean technology bioenergy facilities is an essential and necessary component of future landfill abatement strategies.

GHG Reduction Potential

The Draft Scoping Plan notes that commercial recycling and composting programs “could have substantial greenhouse gas benefits but their in-state reductions have not been quantified at this time.” Indeed, data on the effectiveness of current waste management practices as climate change strategies are both inconclusive and incomplete.

Composting operations, for example, have their own set of air quality concerns, including VOCs and GHG precursors. In fact, an independent study recently completed by the Los Angeles County Sanitation Districts1 concluded that placement of urban green waste in landfills as alternative daily cover was superior to composting these materials in terms of net GHG emissions.

The climate change benefits of recycling are generally assumed to derive from the avoidance of virgin material extraction and reintroduction of recovered materials with “intrinsic energy value” back into the remanufacturing process, although the Draft Scoping Plan admits that such benefits may not occur in California. Indeed, the majority of California’s recyclables leave the state for distant domestic or foreign markets, with the largest volume of these commodities, namely paper and plastics, being shipped to China.

The life cycle analyses on which recycling climate change benefits are based seldom calculate the global GHG impacts of trans-Pacific shipping, or of transferring the remanufacturing burden to developing nations where environmental controls are minimal or nonexistent. These atmospheric industrial pollutants drift eastward and find their way back to California in a matter of days, contributing further to the state’s GHG reduction challenge.

The CIWMB’s own studies point out the critical need to both reevaluate and expand the range of technologies employed to meet future landfill abatement and climate change objectives. For example, a comprehensive life cycle analysis of waste management practices completed in 2004 by the Research Triangle Institute2 concluded that new waste conversion technologies (acid hydrolysis, gasification, and catalytic cracking) were superior to recycling and composting with regard to energy balance, NOx emissions, and carbon emissions. Similarly, a 2006 study of thermal waste conversion technologies prepared for the CIWMB by UC Riverside3 stated:
“If conversion technologies were able to process a significant portion of California’s waste that is currently landfilled, benefits could be realized in a number of areas. These include reductions in overall greenhouse gas emissions, fugitive landfill gas emissions, and diesel truck emissions. On the energy production side, the avoided costs and impacts in exploration, production, and transportation of traditional fuels could be substantial.”

This same study concluded:
“Thermochemical technologies can process a wider variety of feedstocks and can have a greater effect on landfill reduction. Thermochemical technologies can also produce a larger variety of products, which can displace the need for non-renewable sources of energy and fuels. Other indirect effects include eliminating diesel truck trips and reducing landfill gas emissions.”

Thermochemical conversion technologies are clean technologies because nothing enters the atmosphere as a result of the gasification (waste disposal) step. The resulting synthesis gases and waste heat from the processes can be converted to liquid and electric energy. The opposition to conversion technologies that is influencing legislative and administrative policy in California stems from those who refuse to accept that 21st century technology can achieve environmentally superior waste-to-energy technologies; from the traditional recycling industry which wants to suppress competition for the state’s waste streams and from waste management firms that view conversion technologies as threats to landfills.

It is time for the state to look past these short-sighted positions and embrace these emerging technologies with the same commitment as the federal government, other states and nations. More than 100 of these plants are now operating or will be constructed in Europe and Asia during the next decade.

California should be a leader in encouraging such technologies.
However, private enterprise will continue to take these projects elsewhere until the state adopts a practical, efficient and supportive statutory and regulatory environment for their implementation and operation.

Recommendation

The BioEnergy Producers Association supports the expansion of California’s source reduction, recycling, and composting programs. At the same time, we urge that new clean-technology bioenergy strategies be applied to the state’s growing post-recycled waste stream in order to meet urgent landfill abatement and climate change goals. Timely deployment of waste-based biorefineries can provide a vehicle for integrating California’s renewable energy, AB 118, and AB32 policy objectives.

References:
1 Evaluation of Green Waste Management Impacts on GHG Emissions, Alternative Daily Cover Compared with Composting. Los Angeles County Sanitation Districts, April 2008.
2 Life Cycle and Market Impact Assessment of Noncombustion Waste Conversion Technologies. Prepared for the CIWMB by the Research Triangle Institute International, 2004.
3 Evaluation of Environmental Impacts of Thermochemical Conversion Technologies Using Municipal Solid Waste Feedstocks. Prepared for the CIWMB by the University of California , Riverside, April 2006.


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July 31, 2007

Navigating to Zero Waste in California

The non-profit California Resource Recovery Association (CRRA) recently held its 31st annual CRRA Conference and Trade Show in the coastal city of San Pedro in Los Angeles County attracting recycling professionals from throughout the state. The theme of this year's event was "Navigating to Zero Waste." As a global leader in the environmental sustainability field...
The CRRA works to expand markets for recycled materials, promotes sustainable materials policies and is a clearinghouse for information, innovation, and industry and governmental initiatives. CRRA newsletters, workshops and conferences provide up-to-the-minute information on issues that shape the recycling and composting fields.

Responding to the goals of California's landmark Integrated Waste Management Act (AB 939) of 1989 the CRRA is to be credited for helping communities throughout the state divert over 54% of its urban waste from landfills through recycling. What goes unrecorded is the amount of waste that never makes it to the municipal recovery facilities (MRFs) through many of the coordinated programs it has helped to foster and implement to significantly reduce the source of waste. This is achieved by identifying major sources of waste production and helping the producers recognize their responsibility to streamline wasteful and waste producing practices.

Unfortunately, "Navigating to Zero Waste" will never be reached simply through application of the 3 R's (Reduce, Reuse, and Recycle) using existing technologies at the rate at which waste grows in the state. Even if 60% of waste is diverted, the same principal volume is likely to remain. This threatens urban landfills like L.A.'s vast Puente Hills landfill (which will close in 2013) and a San Diego landfill (which will close in 2012) and other close proximity urban repositories. The remaining refuse will then be shipped at great expense and fuel usage to outlaying landfills as far as 200 miles away.

So it was heartening to see that two of the plenary speakers were Councilmember Greig Smith and California Integrated Waste Management Board (CIWMB) member Rosalie Mulé.

Greig is a refreshing example of a local politician who responds to the voting public by listening to their concerns, enlisting professionals to create a solution, and making sure that the solution gets significant political support that will outlive the terms of the signatories. L.A.'s 20-year RENEW LA plan obligates the Los Angeles Bureau of Sanitation to divert unrecycled trash to biorefineries located at MRFs thereby reducing waste volume by 85% while co-generating electricity and very possibly producing biofuels (biooils and ethanol). He reported that selection of the exact technology to be implemented at the first site will be made later this summer.

Rosalie Mulé was appointed to the CIWMB by Governor Arnold Schwarzenegger because of her experience working in the private sector waste industry. She reiterated the Board's commitment to advancing programs that minimize waste, manage landfills, promote producer responsibility, and maximize waste usage. She applauded the efforts of organizations such as CRRA to make California a leader in the world for how to create and implement recycling programs. During her speech she stated:
We also want to encourage innovations and technologies that will provide for the most efficient and effective management and reuse of material. There are a lot of new technologies on the horizon, some of them are proven and some of them are not but I like to compare them to space exploration. We would not have the things we have today had we not gone out there and conducted the research and done the exploration and navigated the uncharted waters.

It is time to move beyond the current established methods of waste reuse to develop new waste conversion alternatives. Many of these practices are being employed successfully in Europe and Japan where population density mandates technological solutions that place waste conversion facilities within close proximity to populated areas. We have the luxury of space but new popular standards, like AB32 the Global Warming Solutions Act, require renewed industry action on a timely basis.

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April 22, 2007

Hurdles to Waste Conversion Technologies

At the 23rd Annual BioCycle West Coast Conference in San Diego April 16th, 2007, Coby Skye of the Los Angeles County Department of Public Works (LA/DPW) gave a presentation about the hurdles waste conversion technologies (CTs) face in Southern California.

Coby leads a group within the Solid Waste Management Committee/Integrated Waste Management Task Force (SWMC) that has been given the responsibility of recommending a CT for construction of a demonstration facility in Los Angeles that would be co-located with a materials recovery facility (MRF). The objective is to provide a first step toward significant diversion of otherwise un-recyclable waste from landfill to conversion into biofuels, green electricity, and bioproducts. Among the five technologies under review are Arrow Ecology (anaerobic digestion), Interstate Waste Technologies (pyrolysis/gasification), Changing World Technologies (thermal depolymerization), International Environmental Solutions (pyrolysis), and Ntech Environmental (gasification).

During his presentation, Coby cited many of the hurdles that the LA/DPW expects to face aside from the substantial technological ones.
The three main that we have been facing, especially in California, are Cost, Regulatory Hurdles, and Misconceptions.

Cost is an issue because landfill disposal in California is relatively cheap. We still have landfills within Los Angeles County that charge $25 or so per ton. It is very difficult for a new technology that doesn’t have the infrastructure to compete. That’s definitely going to change as we move forward. We are disposing in farther locations. There’s going to be more regulations on landfills due to AB32 (California’s Global Warming Solutions legislation) and other laws relating to environmental controls to limit greenhouse gas emissions. So we are going to see costs, probably within a decade, going toward the $75-$100/ton range. The technologies we are looking at would fall between the $50-$75 per ton range. You can see how the changes in the economy and the markets will come very quickly.

The Regulatory Hurdles [suffer] from not having any kind of framework. We are looking at our demonstration project as we are moving forward and we are not sure which permits will be required or how they will be processed. There is no “check box” for us [indicating allowable technologies] when we are trying to permit these. As a government agency we want to make sure that we go through every requirement and meet or exceed every environmental regulation so it is especially a challenge for us when we have regulations that don’t exist for the facility that we want to develop or that are unrealistic - for example, the zero air emissions requirement that is currently a statute.

The third challenge is Misconceptions. There are environmental groups that perceive all of these technologies or some of them as the same as incineration. We want to make sure that the public that is going to be most impacted by these facilities understand what they really are and [we want to know] what their concerns might be so we can address these concerns as early on in the process as possible. That is why Los Angeles County has a public outreach component specifically for relating with the public and for accurately getting the word out about conversion technologies.

Tens of millions of dollars are being invested in an effort to face the future squarely now, to begin a process to mitigate the challenges posed by growing trash demands, shrinking landfills, greenhouse gas emissions, and the need for renewable energy alternatives to fossil fuels. The efforts of the LA/DPW to surmount these hurdles are commendable.

However, it is imperative that the public outreach program succeed in painting an accurate assessment of the looming dangers of the status quo and the necessity of allowing the utilities to deploy new clean technologies in their neighborhoods. It is imperative that the CA state legislature enact regulatory reform that will enable practical, expensive developments such as this LA/DPW demonstration project to proceed.

So far these efforts have been derailed by the political power of well-meaning but mis-directed "environmental" groups who are stubbornly misinformed about the difference between incineration and gasification. The costs of delay and of doing nothing far outweigh the perceived dangers of deployment, especially given the strict oversight of the Air Quality Management District (AQMD) and the California Integrated Waste Management Board (CIWMB).

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March 15, 2007

Fortune looks at waste source reduction

California generates roughly 40 million tons of unrecyclable waste each year. When asked what alternatives do recycling activists have planned for diverting this waste from landfills the first response is usually "source reduction."

Is source reduction a realistic answer to the problem of landfills? Will it satisfy the needs of urban centers like Los Angeles which are running out of landfill space at an alarming rate - faster than even herculean efforts to reduce, reuse, and recycle can attain? Marc Gunther of Fortune magazine recently wrote a positive yet simplistic sounding essay on the subject.

While any reduction is a welcome development, it stretches credibility to believe that source reduction alone will solve the landfill problem - particularly in a free enterprise and free trade country that imports more than it produces. The costs of re-engineering will impact competitive pricing ceding even more business to developing countries not saddled with our idealism.

Here are some excerpts from Marc's article...

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The end of garbage
Can you imagine a world of zero waste? Cities and towns across the world - and a surprising number of companies - have adopted that goal, says Fortune's Marc Gunther
By Marc Gunther, Fortune senior writer

Zero waste is just what it sounds like - producing, consuming, and recycling products without throwing anything away. Getting to a wasteless world will require nothing less than a total makeover of the global economy, which thinkers such as entrepreneur Paul Hawken, consultant Amory Lovins, and architect William McDonough have called the Next Industrial Revolution.

They want industry to mimic biology, where one species' excrement is another's food. "We're not talking here about eliminating waste," McDonough explains. "We're talking about eliminating the entire concept of waste."

While the concept of zero waste is as old as nature, recycling is newer. In 1968, Madison, Wis., became the first U.S. city to offer curbside recycling, for newspapers. Recycling got a boost with Earth Day in 1970, and again after the EPA imposed strict regulations on landfills in 1991. When done right, recycling saves energy, preserves natural resources, reduces greenhouse-gas emissions, and keeps toxins from leaking out of landfills.

"When you look at a dumpster, you see trash," David Redfield says. "When I look at it, I see materials and money." Redfield, a Bentonville, Ark., native who has put in 15 years at Wal-Mart, is the man in charge of getting the world's biggest retailer closer to its zero-waste goal. It's good for the planet, he says, and for the company's bottom line. As Wal-Mart CEO Lee Scott has explained, "If we had to throw it away, we had to buy it first. So we pay twice: once to get it, once to take it away."


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January 26, 2007

Expanded Recycling - a Key to Cutting Fossil Fuels and Global Warming

What is "expanded recycling?"

To governmental agencies and utilities "expanded recycling" means changing regulations so we can move more trash from the black bin into the blue bin... or making more pre-sorted pickups available from multi-family dwellings (apartment buildings and condos). Some (Californian's Against Wastes and other environmental groups) see it as reducing the source of waste - reducing packaging while manufacturing products out of more biodegradable and recyclable materials. To them it also means holding manufacturers accountable for recovering their spent products and reusing their components. Certainly "expanded recycling" is all of these.

But to a growing legion of waste management professionals expanded recycling can also be achieved through biomass conversion technologies (CTs). According to their preferred waste management hierarchy, after the source of waste has been reduced and reused, and as much of the trash has been recycled and composted as possible, the bulk of the residual should be recycled molecularly using clean conversion technologies.

How big is this mountain of residuals? In spite of our best efforts at recycling, it is as big as it was when recycling started back decades ago - roughly 40 million tons per year in California. Why?... because of population growth and expanded consumption of packaged goods. Since most of these goods are imports, reducing or redesigning the source of waste is an unreal expectation without draconian change in consumer behavior and trade regulations.

Isn't halting growth good enough? No - because the only "ultimate" solution now is landfills and they are filling up fast. Los Angeles Co. Department of Sanitations' gargantuan landfill in Puente Hills (13,200 tons per day or approximately 65% of their responsibility) will run out of room within seven years. Their backup site is 200 miles away. That means using a new expensive "waste-by-rail" train system to ship the residuals to the desert. That will require the equivalent of a 3-mile long train each day!

So time is running out. Currently under evaluation for deployment of a new CT facility by the Los Angeles Department of Public Works are a number of suppliers - one supplier using anaerobic digestion, two using waste-to-fuel technology, and six using thermal technology. Using various clean biological and thermal processes they seek to recycle as much as 85% of the residual waste volume by converting it into its molecular components and reforming them into synthesis gas, sugars and oils, low sulfer diesel, and "green" chemicals.

The synthesis gas (primarily CO and H2) could be combusted - but a cleaner more cost-effective alternative would be to ferment it into ethanol or reap the hydrogen - the cleaner air renewable fuel alternatives for ending gasoline dependence. The thermal technologies would also provide a clean alternative source of steam for co-generating electricity.

What relevance is "expanded recycling" to global warming and California's AB32? Landfills reek methane (21 times more toxic than C02 as a greenhouse gas) and although modern landfills capture much of this gas, they have been identified as one of the principal targets of the carbon cap legislation. Other major targets are electrical power plants, oil refineries, and utilities. By using conversion technologies, positive emissions impacts can be made on all of these - fewer fossil fuel burning power plants; less dependence on high-polluting oil and oil refining process; more reliance on cleaner fuel vehicles and hybrids; fewer landfills and cleaner wastewater and solid waste disposal. A side benefit - the use of noisy, polluting trucks and trains to haul trash from sorting centers to landfills will be cut by an estimated 60%.

The utilities - mostly LA/Department of Public Works and LA/Department of Sanitation - need public understanding and support for their efforts to permit and deploy conversion technologies. These people are heroes in my book because in an age of increasing media exploited cynicism they are in the background valiantly solving problems. Warrantless legal battles with local communities and idealists puts a counter-productive strain on problem-solving. These problems are real and their social costs are mounting.

The status quo is the real enemy. We, the public and its media, need to support "our soldiers" on the front line - the utilities.


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January 21, 2007

CALIFORNIA: L.A. Politicians Talk Clean Air

Los Angeles is the nation's crucible for clean air politics.

Its harbors are the nation's largest entry port for fossil fuels, automobiles, and other Pacific Rim merchandise - which are, in turn, shipped via diesel-spewing haulers and trains to the four corners of the North America. Its clogged freeways are a study in idle vehicle emissions. Its oil refineries befoul the air while the concrete-lined L.A. "River" rushes debris and stinking pollution to our oft-tainted ocean playgrounds. Add infrequent rainfall, brush fires, and the seasonal inversion layers that hover over its suburban valleys and you can easily understand why Los Angeles annually ranks highest as the home of the dirtiest air in the country by the American Lung Association.

This was the backdrop to a very convivial evening featuring key L.A. politicians and environmentalists at L.A.'s Museum of Tolerance Theater on October 5th. The topic under discussion - "The Impact of the November Initiatives." It was an opportunity to meet and listen to political stakeholders explain their positions on key environmental legislation before the voters - in particular Prop 87, The Clean Alternative Energy Initiative. The 90-minute panel discussion was video-taped by the California League of Conservation Voters (CLCV) for eventual airing on television.

The line-ups were impressive. When scheduled Speaker of the California Assembly Fabian Nunez was unable to make it, we were treated to three distinguished substitutes - Assemblymember Fran Pavley (co-author of AB32, the historic California Global Warming Solutions Act of 2006, Assemblymember Judy Chu (Chair of the Appropriations Committee), and State Senator Debra Bowen (candidate for CA Secretary of State). All represent districts in Southern California. The other slated politicians included L.A. Supervisor Zev Yaroslavsky and my own L.A. City Councilmember Wendy Greuel (District 2).

The environmentalists on the panel included the leaders of The Nature Conservancy (Mark Burget), the Coalition for Clean Air (Tim Carmichael), The TreePeople (Andy Lipkis), and the Department of Water and Power (David Nahai).

There were four proposed state measures that came up repeatedly in the discussion. There was general agreement that voters should support Proposition 1B (the $19.9 billion Highway Safety, Traffic Reduction, Air Quality, and Port Security Bond Act) to reinforce California's traffic infrastructure. Also supported was the $5.4 billion Proposition 84 (Water Quality, Safety and Supply, Food Control, Natural Resource Protection, Park Improvements Bonds Initiatives Statute).

Soundly condemned was Proposition 90 (the Government Acquisition, Regulation of Private Property, Initiative Constitutional Amendment). The audience was warned that this was not to be confused with the controversial national eminent domain judgements that the proponents would have us believe. Passage of this amendment would significantly hamstring the state's ability to implement necessary zoning changes to advance public interests.

The main focus, however, was on Prop 87 - for which there was no opposition voiced in the discussion. The local concern for the state of air quality and pollution, particularly in the coastal waters around Southern California's tourist attraction beaches, has trumped any other concern about the efficacy of the bureaucracy the proposition would establish or the impact on business in California. It appears that these politicians, representing every level of L.A. leadership, are hungry to find popular approval for some measures that would otherwise be beyond the reach of Sacramento to even consider much less enact (see CLCV 2005 California Environmental Scorecard).

While 2006 has seen election-year passage of vote-getting environmental and alternative energy legislation - The Million Solar Roofs Plan (SB1) and the CA Global Warming Solutions Act (AB32) - the key to true improvement in clean air will come through "boring" regulatory reform and a loosening of advanced technology permitting.

Without reform many of the innovative responses to the mandates of AB32 (such as L.A.'s revolutionary RENEW L.A. plan) will never be implemented. As a result, landfill and wastewater pollution, truncated recycling efforts, inefficient waste management, environmental injustice, and fossil fuel electricity generation - the true clean air challenges - will remain intransigently the status quo.

With reform, innovative business ventures will raise investment capital and begin deploying new technological solutions that will achieve the target emissions reductions of AB32.


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January 20, 2007

BioConversion Stakeholders’ Gallery

This is a listing of speakers at the Southern California Emerging Waste Technologies Forum held at UCLA on July 27, 2006. Almost all are in favor of RENEW L.A. and advancing R&D and deployment of CTs in California. More biographical details are available by clicking on their links.

Richard Alarcon - CA State Senator

Cynthia Babich – Del Amo Action Committee
Nicole Bernson - City of Los Angeles Councilman Smith, Sr. Policy Advisor, RENEW L.A.
Fernando Berton - California Integrated Waste Management Board
Susan Brown - California Energy Commission
Julie Butcher – General Manager, SEIU Local 347

Karen Coca - L.A. City Bureau of Sanitation

Vijay Dhir - UCLA  School of Engineering Dean

Evan Edgar – California Refuse Removal Council

Brendan Huffman – Valley Industry and Commerce Association

Dan Jacobson – Environment California

James Liao - UCLA Vice Chair of Chemical and Biomolecular

Ellen Mackey – East Valley Coalition
Vasilios Manousiouthakis - UCLA Chair of Chemical and Biomolecular Engineering
Dr. Kay Martin – BioEnergy Producers’ Association
Rhonda Mills – Center for Energy Efficiency and Renewable Technologies
Cindy Montanez - CA Assembly Member
Mark Murray – Californians Against Waste

Randall Neudeck - Board of Directors, Valley Industry and Commerce

Romel Pascual - L.A. Mayor's Office, Associate Director for Environment
Cheryl Peace - Board Member, California Integrated Waste Management Board
Roberto Peccei - UCLA Vice Chancellor for Research

David Roberti - CA State Senator (Ret.), BioEnergy Producers’ Association
Rita Robinson – Los Angeles Bureau of Sanitation

Ron Saldana - Los Angeles County Disposal Association
Greig Smith - City of Los Angeles Councilman
Coby Skye - Los Angeles County Department of Public Works
Nancy Sutley - Los Angeles Deputy Mayor for Energy and the Environment

Eugene Tseng - UCLA Extension, Recycling and MSW Management Certificate Program
Charles Tupac – Southern California Air Quality Management District

Lee Wallach – The Coalition on the Environment and Jewish Life of Southern California
William Welch – University of California, Riverside
Jane Williams – California Communities Against Toxics

Yair Zadik - Arrow Ecology


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Recycling’s “China Syndrome”

At last month's Southern California Emerging Waste Technologies Forum State Senator David Roberti (ret.) made a statement about the duplicity of state policy on "diversion credits" for specific forms of recycling. I had heard Roberti make a similar statement at a hearing last November but hadn't researched it. Here is what I have learned since...

What are "diversion credits"?

In 1989, Assembly Bill 939, known as the Integrated Waste Management Act was passed because of the increase in California's waste stream and the decrease of its landfill capacity. As a result, the current California Integrated Waste Management Board (CIWMB) was established. A disposal reporting system with CIWMB oversight was created and facility and program planning was implemented.

AB 939 mandates a reduction of waste being disposed: jurisdictions were required to meet diversion goals of 25% by 1995 and 50% by the year 2000. Those that didn't meet these deadlines were liable to receive noncompliance fines. Whether a form of diversion receives credit toward the target or not is based on an ongoing refinement of legal definitions in the state's legislature.

Currently, California municipalities qualify for diversion credits on trash that recyclers ship to the China. China can process waste far less expensively than we can in the U.S. because of cheap labor and their incredibly toxic emissions and health standards. As long as the waste is segregated as recyclable it makes no difference how it is processed afterwards as far as our diversion counting is concerned. Talk about sweeping a problem under the rug!

Even waste China is not asking for, e.g. the e-waste piling up in China’s coastal river valleys, is considered diverted according to our counting methodology. Whether the Chinese dump it or we dump it - it shouldn't receive diversion credit.

Believe it or not, if local municipalities instead opt to build clean CTs - conversion technology facilities using gasification or pyrolysis to significantly reduce the volume of waste to be landfilled while generating green energy and clean fuels - they would NOT receive diversion credit! This in spite of the fact that it would represent an ultimate and environmentally responsible processing of the waste near the source.

Why should facilities that convert waste into heat, electricity, and renewable fuels not earn credits for the municipalities that build them? The answer is that recycling groups are afraid of losing control of any portion of the waste stream - that such credits would create irresistable incentives to municipalities at risk of being fined for non-compliance. Once municipalities gain control of their waste streams, recyclers may get less, or as Scott Smithline of Californians Against Waste (CAW) worded it, "“We are concerned that demand, that hunger for feedstock, is going to pull materials from other traditional recycling uses.”

So the environmental interests are taking second seat to bickering over control of the waste stream. But the duplicity is far worse than that. Consider the trail of the waste that goes to China -

1 - The ships that transport the trash thousands of miles to China spew tons of greenhouse gases from burning bulk fuel (the least refined and most toxic oil-based fuel sold). These emissions into the atmosphere return to California and points in-between.

2 - The destinations in China are unregulated, polluting factories that, among other repugnant policies, employ children as sorters within close proximity to toxic ovens that smelt and reform the plastic. Are we so unprincipled that we would ship recyclables to foreign destinations knowing that their low health standards would endanger the workers that handle our trash? Should we credit those shipments for landfill diversion?

3 - Airbourne particulate matter from all unregulated Chinese combustion factories reaches back to the U.S. In a recent article in the San Diego Union Tribune entitled China's growing air pollution reaches American skies, UC/David researchers have evidence that as China consumes more fossil fuels to feed its energy-hungry economy, the U.S. is seeing a sharp increase in trans-Pacific pollution that could affect human health, worsen air quality and alter climate patterns.

4 - Plastic and trash debris from throughout Asia accumulates and returns to North America via Pacific ocean currents. In a story titled Plague of Plastic Chokes the Seas writers for the Los Angeles Times detailed evidence of waste that was accumulating in giant offshore gyres:
The debris can spin for decades in one of a dozen or more gigantic gyres around the globe, only to be spat out and carried by currents to distant lands. The U.N. Environment Program estimates that 46,000 pieces of plastic litter are floating on every square mile of the oceans. About 70% will eventually sink.


The purpose of this article is not to point fingers at the recycling industry. Rather, to insist that the California Integrated Waste Management Board's attempts to modernize California's recycling policies, including diversion credits, receive the full backing and support of the California legislature – which it clearly has not. California not only needs to reduce the source of its waste and expand programs for dealing with more types of waste, but also must update the definition of transformation and conversion technologies so that we can process more waste, more completely while creating "green collar jobs" for our own workers. These are the objectives of AB 2118, currently hung up in negotiation before the California Assembly Natural Resources Committee.

Exporting our waste to poorer countries is unprincipled and uncivilized. Furthermore, CTs represent a new opportunity to significantly expand our recycling efforts, reduce landfill demand, suppress pollution of our atmosphere and oceans, reduce greenhouse gases, and create new energy resources to help meet the electricity and fuel needs of future generations both here and abroad.


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CALIFORNIA: Identifying the New Environmentalists

There is a battle raging in the halls of Sacramento over the future of waste disposal in California. In many ways identification of the true guardians of waste disposal environmentalism is being brought into question.

The crux of the debate concerns overdue changes in state regulations defining "conversion technologies" (CTs) and their place in the current waste hierarchy. The outcome of the struggle will determine whether the environmental movement to recycle the state's growing waste problem will stall or move forward. At stake are a myriad of growing public concerns - not only waste disposal but also landfill availability, global warming, gas prices, ground pollution, air pollution, electricity generation, ethanol production, environmental justice, employment, and war-related oil dependency.

On one side are "old guard" idealists of established recycling and emissions watchdog organizations and their non-scientific supporters who have built the recycling infrastructure that exists today. As much progress as has been achieved to date, recycling has only managed to handle the growth of trash in the state and has failed to divert the original volume it was set up to reduce.

On the other side are "new guard" professional environmentalists from the scientific community, universities, government boards, utilities, and industry who have been actively involved in identifying, developing, and testing new CTs. These renewable bioenergy alternatives will significantly extend the amount of waste biomass that can be recycled.

Regrettably, the idealists have become the obstructive establishment that needs to open their eyes to new CTs (like gasification and pyrolysis) and the clearcut evidence of the innovation’s problem-solving potential and emissions-free performance. In their arguments, they insist that CTs conform to standards much more stringent than those established by the Air Quality Management District. When the positive test results are provided, the data is not challenged - it is ignored - frustrating the communication process.

As Ed Begley, Jr. wrote in November, 2005 in a letter to Assemblymember Loni Hancock of the Assembly Natural Resources Committee:

I recognize and applaud my colleagues in the environmental arena for the benefits their efforts and work over these many decades of Earth Days have accomplished. Perhaps the lack of a defining difference between pyrolytic conversion and incineration has clouded the ability of the non-scientific community’s mind to understand the difference.

Please consider comparing the environmental performance of conversion technologies against other methods of recycling, such as smelting plants that are not subject to the same repressive statutory and regulatory restrictions. In addition, consider the economic impact on California’s labor force of exporting recycled materials to China, when they could be put to better use here at home.


In March 2006, a Director of the Bioenergy Producers Association, Paul Relis, wrote an enlightening article for BioCycle magazine tracing the history of recycling and its potential for the future. Mr. Relis has been a chief negotiator in support of CT legislation in Sacramento (AB1090 and AB2118).

Below is the entirety of the article he wrote...

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Conversion Technologies, Recycling and Renewable Energy subscriber only
by Paul Relis
BioCycle, Vol. 47, No. 3

With the state's recycling rate at over 50 percent but landfilled waste still high, California debates best ways to convert organic residuals into sustainable power - and get support of environmental opponents.

Paul Relis is founding Executive Director of the Community Environmental Council of Santa Barbara, California, and is now President of its Board of Directors. From 1991-1998, he was the Environmental Member of the California Integrated Waste Management Board. In 1998, he became Senior Vice President of CR&R, Inc. - a company which operates transfer stations and MRFs, and is building a green waste composting facility. He has visited conversion facilities worldwide.

THERE is a vigorous debate underway in California over whether or not to encourage the development of conversion technologies (CTs). Conversion technologies refer to systems that can thermochemically (high temperature) or biochemically (low temperature) convert solid wastes now being landfilled into energy, liquid fuels such as ethanol, or chemicals.

The debate has pitted proponents of conversion technologies, mostly very small companies who have spent decades trying to apply specific technologies such as gasification, pyrolysis, and distillation to the management of the solid waste stream against California's major environmental and recycling organizations. Why should there be such a raging debate over CTs in California that has among the most ambitious recycling laws in the nation and progressive renewable energy policy? And why is this debate important to the future of waste and materials management in the U.S.?

The roots of the California debate go back to the mid-1980s when recycling was the long unfulfilled dream of environmentalists and recycling organizations. They were pitted against the incinerator firms, financial institutions and several large local governments such as Los Angeles, San Diego and Contra Costa Counties where proposals were under consideration to build large waste-to-energy facilities that required at least several thousand tons per day of dedicated waste. The facility opponents believed that if these projects were approved, they would doom recycling and foul California's already dirty air.

By the late 1980s, incineration proposals had politically been defeated. The elimination of waste incineration as a disposal option, coupled with a projected landfill crisis in Southern California, caused the California Assembly and Senate to embrace recycling. With the support of California's governor, the nation's most ambitious recycling bill (AB 939) was signed into law in 1989.

This far reaching statute set in motion a multibillion dollar investment in a recycling collection infrastructure - undoubtedly the largest investment by any state in the country. As a result of this investment, California's near 90 percent dependency on landfill in 1990 was reduced by nearly 40 percent by 2005. According to the most recent information from the California Integrated Waste Management Board, the state's diversion rate from landfill is at 50 percent.

While AB 939 extensively promoted recycling, it was also explicitly an antiincineration bill. For the handful of incinerators that existed at the time of its passage, it limited diversion credit for these facilities and discouraged any future development of incineration. It also lumped any technologies even remotely related to incineration, such as pyrolysis and gasification, into the same category as incineration along with distillation. Consequently, for the next 15 years little, if any development of these technologies were undertaken in California.

FACTORS CONVERGE

By 2003, a convergence of factors were beginning to manifest in California that gave rise to taking another look at so called “noncombustion” thermochemical technologies such as gasification. Spiraling energy prices in California spurned on by the Enron debacle and poorly conceived deregulation of the utility industry vastly increased California's expenditures for electricity. By 2004, concerns about global warming along with the reemergence of concerns over landfill capacity, particularly in Southern California, prompted a fresh look at what role CTs might play in California's integrated waste management system.

Responding to these and other considerations, the California Integrated Waste Management Board (CIWMB) was directed by the California legislature to undertake an extensive study of CT and to report back to the legislature on the status of these technologies, their public health impacts and their compatibility or conflict with recycling. The University of California was given a prime contract to evaluate the technical, economic and health impacts of conversion technology while RTI, a private consulting firm, was assigned the task of evaluating what impacts CTs might have on the recycling collection infrastructure.

SEVEN REGIONAL CONVERSION TECHNOLOGY FACILITIES

While these studies were underway, several local governments within the state undertook their own investigations of CTs by soliciting requests for qualifications from conversion technology vendors and subjecting these requests to third party evaluations. Los Angeles commissioned its own independent studies to determine if CTs might help meet its solid waste management needs. In total, more than $3 million have been spent on studies over the past two years to probe CTs' commercial viability, their environmental risks and benefits, and their relationship to continued development of recycling in California.

The Los Angeles study, Evaluation of Alternative Solid Waste Processing Technologies, conducted by URS Corporation, found that with respect to air emissions both thermochemical and biochemical systems are “expected to result in emissions well below regulatory limits.” With respect to life cycle analysis, the study concluded that thermochemical and biochemical conversion technologies could be expected to “create significant energy savings when compared to landfilling. This energy savings results from a combination of syngas and electrical energy production, as well as from materials recovery and recycling.”

According to a recent resource management blueprint for Los Angeles, RENEW L.A., the City of Los Angeles, in spite of its 62 percent diversion rate, still generates 14,000 tons of landfilled waste - enough waste to produce 100-340 megawatts of renewable energy a day or enough electrical power for 100,000 to 300,000 households.

The plan calls for the development of seven regional CT facilities over the next 20 years and argues that these facilities will have the following benefits for the City of Los Angeles:
• Drastic reductions in truck and rail transportation of waste and their associated air quality and traffic congestion impacts;
• Conservation of limited virgin resources;
• Significant reduction in environmental impacts from landfill;
• and Generation of renewable energy.

CONVERSION TECHNOLOGIES COMPLEMENT RECYCLING INFRASTRUCTURE

The findings in the comprehensive study of CTs by the Riverside and Davis campuses of the University of California (UC) are consistent with the L.A. study with respect to environmental benefits, health concerns and renewable energy. In addition, the UC and RTI studies suggest that conversion technologies should complement, rather than conflict with, California's AB 939 recycling infrastructure. This is because most conversion facilities proposed in the state include either front end MRFs to further extract recyclables or extract recyclables within the conversion process itself. Estimates of further extraction of recyclables range from about five to 15 percent and these recyclables would come from the processing of garbage that is not currently being addressed by existing recycling programs. In cities and counties where recycling rates are already at 50 percent or greater, overall recycling rates with conversion technology could range from between the mid-50 percent range to as high as 70 percent.

The UC study found that “CTs provide the potential of converting materials that are currently landfilled into electricity, chemical, or other products such as synthetic diesel and gasoline transportation fuels.” As much as 10 percent of California's electrical demand could be met through the development of CTs. CTs could meet much of California's ethanol demand using currently disposed MSW.

The UC study states that: “Existing data and facilities in locations around the world indicated that conversion technologies can operate within constraints established by regulatory requirements…These factors indicated that it is very likely that conversion technologies with the most advanced environmental controls would be able to meet regulatory requirements in California.”

These findings were based upon extensive information on CTs gathered from around the world, particularly in Europe and Japan where the most conversion facilities exist that have used municipal wastes as a fuel source. Actual emission levels from operating facilities were obtained from government regulators in these countries rather than reliance upon industry sponsored data. In addition, several pilot facilities in the United States provided their data to the UC. Researchers from the UC were allowed to witness the actual emissions testing and review the results.

The UC study concluded that conversion technologies can meet California's regulatory requirements with respect to specific emissions concerns such as dioxins and furans, and that test results suggest that emissions would be many times below the regulatory requirements of the Federal Republic of Germany, Japan, the U.S. EPA and California's South Coast Air Quality Management District.

DEBATE CONTINUES ABOUT MOVING FORWARD

Proponents of CT point to Europe's massive commitment to curbing greenhouse emissions as a rationale for CT development in the U.S. On a personal note, I was in Berlin last winter and visited several thermochemical and biochemical systems in neighboring Brandenburg and Saxony. I met with German officials from the State of Brandenburg and the German Green Party to discuss attitudes towards conversion technologies with respect to global warming, compatibility with recycling and their ability to meet Germany's tough air and other emissions standards. In Germany, and indeed throughout the European Union, global warming is taken much more seriously than in the U.S. Since landfills are a large source of greenhouse gas emissions, the German officials I talked to expressed the position that any system that removes more material from landfill such as recycling, composting and CTs is greatly preferable to continued reliance on landfill.

However, even with these positive findings, many environmental and recycling organizations remain opposed to conversion technology and some are fighting tooth and nail to defeat any proposed facilities. Why is this so? Why would organizations identified with protecting the environment fall on the sword, so to speak, to prevent their use given the comprehensive environmental benefits that the independent studies suggest will ensue from the use of CTs? Answers to these questions from an objective standpoint remain perplexing.

Conditions have changed markedly in California since the state enacted AB 939. Unlike 15 years ago, there are thousands of collection programs for recyclables; hundreds of processing facilities now exist, and they are considered by the state and most local governments to be sacrosanct. At the same time, the state population has grown by nearly more than seven million people and there has been no reduction in per capital waste generation. Disposal remains at nearly 40 million tons, and there is little prospect that recycling programs will grow to significantly impact this figure over the next decade. Meanwhile California faces acute energy shortages in the form of electricity, and it has virtually no in-state sources of ethanol to meet its liquid fuel requirements. Landfills remain one of the largest sources of greenhouse emissions in a state that has an expressed public policy to reduce greenhouse emissions. CTs offer among the few viable means of responding to these critical environmental needs.

In spite of the impartial studies by the state's most esteemed research university, in spite of actual emission test results using post-MRF municipal solid waste (MSW) from California, in spite of the evidence that CTs can contribute significantly to the reduction of greenhouse gases and improve air quality by reducing the transportation of solid waste throughout the state, opposition to CTs by the state's environmental and recycling organizations remains intractable.

At the time of this writing, legislation is being considered that would make conditions for the development of conversion technologies feasible. Negotiations are in progress to try to move this legislation to move forward. Whether these negotiations will prove successful or not, remains to be seen. The outcome will have important implications for the State of California. And to the degree that California is a trend setting state, to the rest of the nation.



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The Benefits of Conversion Technologies


The Los Angeles City Council hired URS Corporation to make a study, HEALTH IMPACTS OF CONVERSION TECHNOLOGIES IN CALIFORNIA, to identify technologies that would help it reach its landfill diversion goals through conversion technologies. That study was released late last year.

A followup story written by Mr. Predpall has appeared in a recent issue of MSW Management magazine. Within its content is a well-written summary of the benefits of CTs (see below). I have also included his identification of the California opposition to them - which concurs with mine. I highly recommend reading the entire article.

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The Time Has Come for Conversion Technologies
by Dan Predpall, V.P. of URS Corp.

The benefits offered by CTs have not been publicized well. The benefits of CTs will be brought into public awareness as entities such as the city of Los Angeles and the county of Los Angeles continue to pursue development of CTs as a way to manage disposal of their residual MSW streams.

The key benefits of CTs are:

Increased Recycling. This benefit is not well recognized. The CTs under development today are being designed to process residuals from materials recovery facilities (MRFs) or trash (residuals after source separation).

These residuals still contain considerable amounts of recyclable materials that can be recovered in pre-processing. In addition, materials produced by the conversion units, such as slag and bottom ash, can be recycled. Some question why the operator would want to remove the recyclables from the input stream. The answer is simple: The facility will earn greater revenues by recycling additional metals, glass, and paper than it will by processing this material in the conversion unit, typically with a loss in overall efficiency. Further, “unrecyclable” plastics that would otherwise go to a landfill are excellent feedstocks for CTs.

Generation Of Renewable Energy. Processing MSW residuals to generate energy or green fuels qualifies in most states as a source of renewable energy. In addition, processing MSW to energy qualifies as a renewable energy under Renewable Portfolio Standards and can be used to create renewable energy credits in some states. If about one-third of the residential MSW collected annually in the city of Los Angeles were processed by CTs, about 50 MW of renewable energy could be produced.

Reduced Landfill Impacts. The byproducts created by CTs are typically very small in quantity, and inert. Therefore, the material that cannot be recycled in a CT and must be sent to a landfill will not result in impacts to the environment. The situation is quite different when MSW (or MSW residuals) are landfilled. Even modern landfills impact the environment via release of methane (a greenhouse gas) not captured by landfill gas collection, air emissions from equipment operating the landfill, and leakage through failures of landfill liners.

Offsets To Fossil Fuel Usage. CTs can generate electricity or green fuels by processing MSW. This in turn reduces the amount of fossil fuels needed to supply the energy requirement of a region. Energy savings result when the entire life cycle of the MSW collection and processing system is evaluated, and all of the energy usage and energy production and recycling benefits are considered.

The energy savings can be significant. For example, according to the California Integrated Waste Management BoardÂ’s (CIWMB) CT report to the legislature, energy savings in the Los Angeles region could be equivalent to a 150 MW power plant (this assumes treating about one-third of the total residential MSW collected annually in the City of Los Angeles).

Lower Air Emissions. The use of CTs can result in reductions in emissions of NOx, SOx, and particulates. For example, NOx emissions, which are precursors of smog, acid deposition, and reduced visibility, are primarily the result of fuel combustion processes. Through the use of CTs, NOx emissions can be avoided by displacing combustion activities and electricity production and increasing the recycling of materials.

Using similar data and assumptions as noted above, the NOx emissions avoided by building CTs in Los Angeles would be equivalent to those emitted from a 1,000-MW, gas-fired power plant.

Reduced Carbon Emissions. Carbon emissions contribute to the greenhouse effect, and, therefore, can lead to climate change. Carbon emissions result from the combustion of fossil fuels and the degradation of organics. Methane emissions from landfills represent a significant source of carbon emissions, since methane has a global warming potential about 21 times that of CO2. The use of CTs can create offsets for carbon emissions through increased recycling, diversion of organics from landfills, and displacement of fossil fuels.

Based upon data in the CIWMB report to the legislature, processing about one-third of the residential MSW collected annually in Los Angeles would reduce carbon emissions by about 1,000,000 metric tons per year.

The overall benefit of CTs is that of increased environmental sustainability. In general, environmental sustainability involves a number of issues, including:

• Reliance on renewable energy
• Improving environmental quality
• Reducing waste
• Conserving natural resources
• Responsible consumption
• Long-term focus

Therefore, the use of CTs closely complies with the goals of environmental sustainability.

Opposition.

As more CT projects are being proposed, opposition from specific groups is growing. One is the global environmental organization that opposes mass-burn incineration. This group has typically opposed CT implementation on the grounds that CTs are actually “incinerators in disguise”. This is untrue; in fact, there are many significant technological differences between CTs and mass-burn incinerators. Another opposition group is the recycling industry. This industry sees CTs as a threat to its business because it claims that CTs will process all MSW, including recyclables. As mentioned above, this is unlikely because, A.) projects under development are using MSW residuals, and B.) the value of residuals as a recycled material is higher than its value for CT processing.

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The Los Angeles Bureau of Sanitation just released a detailed assessment of conversion technologies, which can be found at Evaluation of Alternative Solid Waste Processing Technologies .


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Southern California Emerging Waste Technologies Forum

On July 27, 2006, the UCLA Hydrogen Energy Research Consortium played host to roughly 250 area “stakeholders” at The Southern California Emerging Waste Technologies Forum. Mayor Antonio Villaraigosa, State Senator Richard Alarcon, Assemblywoman Cindy Montanez, Councilman Greig Smith, and the City and County agencies responsible for public works and sanitation were among the sponsors. The list of speakers, their bios, and most of their presentations are available online along with the forum's agenda.

The purpose of the meeting was to provide Southern California waste and energy stakeholders the opportunity to learn about Conversion Technologies (CTs) and their potential for helping the state cope with its growing waste disposal problem in light of dwindling landfill alternatives. Also discussed was the potential of capturing the energy content of the waste material to help allay California’s gas import, ethanol import, electricity production, budgetary, employment and pollution problems.

The centerpiece of the forum is the Los Angeles City Council’s ambitious and well-researched RENEW L.A. program, a 20-year plan to divert waste from the county’s numerous landfills to biorefineries. These clean facilities convert roughly 80% of the unrecyclable trash to energy (most likely ethanol) and electricity, drastically reduce greenhouse gases from landfills and waste transport, create skilled "green collar" jobs throughout the city, while they enhance environmental justice in Los Angeles County. The plan was passed unanimously in March of this year and has earned the support of the Mayor's office. Furthermore, it is fully in compliance with the Governor's recently signed BioEnergy Action Plan.

The current obstacle to implementation is state legislature (specifically the Assembly Natural Resources Committee and the Senate Environmental Quality Committee) where for two years proponents have been unable to get action on even the simplest of changes in statute to correct scientifically inaccurate definitions that govern the permitting of these technologies.

The afternoon session was organized around a lively panel discussion of the 5 issues deemed crucial to implementation of CTs in California: What is the best way to achieve zero waste? Can emissions from landfills and CTs be mitigated? How can environmental justice best be achieved? What is the economic viability of CTs? What role do CTs play in energy sustainability?

For approximately 3/4 of the panelists and a sizeable majority of the audience, the need and viability of CTs is not questioned. The status quo of processing and trucking a growing volume of waste to fewer landfills at greater distances mandates that existing CTs be evaluated and deployed in carefully monitored stages to implement the timetable of the RENEW LA plan. Through the cooperation of government, universities, and industry, any problems that occur during deployment can be resolved, but at no time will existing recycling programs be reduced or regional emissions statutes be violated. Indeed, recycling will enhanced dramatically and existing emissions data demonstrates that CTs will provide significant improvement in the reduction of toxins and greenhouse gases.

Among those opposing implementation of CTs was Californians Against Waste (CAW). CAW has been actively involved in the development, negotiation and passage of waste reduction and recycling legislation in California. However, CAW strongly believes there is no basis for counting CTs as recycling at this time and that CTs will, through success, gradually reduce recycling efforts in the state.

Other environmental groups, none of which have expressed any interest in learning about the environmental advances of 21 Century CT technologies, attempted to promote skepticism about the emissions impact of CTs on the health in local communities - objective UC/CE-CERT measurement of emissions data notwithstanding.

The only alternative to CTs offered by its opposition was "source reduction" - reducing the amount of products going to waste by simultaneously educating the public on more efficient waste reduction practices and enforcing new legislation and enforcement policies - requiring manufacturers to redesign their packaging to eliminate waste or take responsibility for the waste disposal of products they sell.

My opinion

1 - The rate at which recycling can increase by source reduction alone is not likely to exceed the amount of additional waste entering the system. Meanwhile, RENEW L.A. is moving forward so that, within 20 years, L.A. will no longer be dependent on landfills for waste disposal. Without the permitting and deployment of CTs, waste disposal in California will become increasingly expensive and environmentally dangerous.

2 - CTs represent a true opportunity to not only expand recycling through mass reduction and conversion into useful products (like electricity, ethanol, and "green" chemicals) but also help California meet its bioenergy goals in the Governors BioEnergy Action Plan.

3 - AB 2118 should be negotiated in good faith with the BioEnergy Producers Association input, and passed immediately so that the investment, R&D and deployment permitting of clean CTs in California can proceed apace.

4 - Only through deployment will the final processes be refined and required emissions data be collected. All parties can be assured that through constant monitoring, new facilities will meet every emissions requirement or they will be shut down until they do.

5 - California is a "can do" state that needs to take advantage of new opportunities to right its own budgetary ship and solve its landfill, waste, employment, electricity, pollution, and renewable fuels problems. Conversion Technologies will help achieve those goals.


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