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Michael S Snow Executive Director American Hardwood Export Council. Environmental Policies, Illegal Logging, Trade and the US Hardwood Industry. www.ahec.org www.sustainablehardwoods.info. Presentation Structure.
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Michael S Snow Executive Director American Hardwood Export Council Environmental Policies, Illegal Logging, Trade and the US Hardwood Industry www.ahec.org www.sustainablehardwoods.info
Presentation Structure • What is driving the “green procurement” movement for wood products around the globe • Environmental concerns about wood: • Tropical deforestation • Illegal logging • Policy responses: • Forest certification • Green building policies • Procurement policies • Towards a comprehensive solution • The need for risk assessment and science-based policies
Growing Importance of US Hardwood Exports:Exports as a % of US Production Source: Hardwood Review,
Drivers of Environmental Policies: The European Perspective www.ahec.org www.sustainablehardwoods.info
Illegal Logging • Illegal material depresses world prices for wood by up to16% • Severely undermines markets for legal operators • Undermines reputation of the wood industry
Driving force 1: international political processes • EU Forest Law Enforcement and Trade Action Plan • Voluntary bilateral agreements with producing countries, mainly in the tropics • Legality licensing procedures for log, lumber, plywood, veneer imports • Recommendation that EU governments adopt timber procurement policies • Support for private sector initiatives
Driving Force 2: ENGOs • Greenpeace targeting use of wood from “illegal sources” in high profile public sector construction projects • European Commission Offices, UK Government Cabinet Offices, Buckingham Palace. • WWF working with green party and other political allies in European and National Parliaments to agitate for more rapid change
Driving force 3: EU domestic supply • Over 60% of EU commercial forest area certified to either FSC or PEFC • 9000 chain of custody certificates issued in Europe. • Rising at rate > 1000/year over last 3 years • European hardwoods now readily available FSC or PEFC certified with no need to pay a premium • Availability of certified, or at least legally verified, tropical hardwoods improving • MTCC certified meranti can be obtained for 2-3% premium • Leading Ghanaian shippers committed to FSC • Major European-owned operations in Congo Basin developing legality verification procedures and committed longer term to FSC • Gabon national certification scheme aligned with PEFC • Indonesian producers shifting to FSC, with support from USAID • World Bank support for certification in developing & transition countries
Driving force 4: Retail/Post Secondary Consumption • Easiest solution to environmental problems • Reduce risks of association with illegal wood • Return on investment in chain of custody • High costs of mixing certified & uncertified stock mean there is a big incentive to shift over 100% certified material as supplies improve • Trade association procurement policies • Risk assessment of suppliers’ environmental credentials • Favour wood from “low risk” suppliers • Support certification as the “best tool” to demonstrate legality and sustainability • UK, Spain, France, Netherlands, Belgium
Policy Options: Boycott Wood? Certification? Public/Private Procurement Policies? Green Building Initiatives? www.ahec.org www.sustainablehardwoods.info
Certification: A Partial Solution, but not “the” Solution www.ahec.org www.sustainablehardwoods.info
Forest Stewardship Council • Initial development led by environmental campaigning groups, notably WWF • In the 1990s used as a political tool to promote forestry activities oriented more towards forest protection and social welfare than economic viability • More recently, acquired more support from sections of the commercial forest sector • Now more business oriented approach
World’s Leading Hardwood Lumber Exporters: 2008 Source: Global Trade Atlas
Over 70% of US timberland is privately-owned Private Total Area = 204 Million Hectares
Private lands supply 90% of the timber produced in the US Other Public 6% National Forests 4% Private 90% Source: Seneca Creek Estimates
Labelling challenges Certified Forest Certified company Certified Forest Certified Forest
Certified log production 300 million m3 Barrier of traceability Limited delivery of certified products
Green Building Schemes: Another Partial Solution www.ahec.org www.sustainablehardwoods.info
LEED: Challenges for Wood • Recyclability given more credit than renewability • Definition of renewable too confining • Only gives credit for “Rapidly Renewable” = less than 10 year rotation (i.e. bamboo, straw, agri-fiber) • Encourages conversion of forests to agriculture • Fails to recognize all credible forest certification systems • FSC is mandatory, greatly reducing sourcing options • Easier to chase points by using other, less environmentally friendly materials
BREEAM: Good for Wood • Heavy emphasis on energy efficiency of buildings plays to wood’s strengths as a superior insulator • Favours “use of materials that have less impact on the environment taking account of the full life cycle”. • Wood is recognised for its properties of renewability, carbon sequestration, low embodied energy, durability, ease of disposal • Timber certification is not mandatory, but bonus credits are offered where it is available • Credits offered for all credible forest certification systems (FSC, PEFC, CSA, SFI) based on objective assessment of merits of each system undertaken by UK government
Green Procurement Policies: www.ahec.org www.sustainablehardwoods.info
Timber procurement policies: • Central and Local Government procurement policies coming online in several European and Asian countries • Various European trade associations implementing Codes of Conduct • Require wood to be verified legal and preferably from sustainable sources
Procurement Policy Limitations • Only small percentage of illegally felled timber enters international trade • Markets can easily shift and divert wood to less restrictive buyers • Does NOT address root causes of deforestation • Risk of widening gap between illegal and legitimate production
Is there a better way? YES: Risk Based Assessment www.ahec.org www.sustainablehardwoods.info
Non-tropical forests are the main source of timber and are increasing in size
A fence to the sun and back… • During the 1990s, volume of wood standing in temperate and boreal forests increased by 21,000 million m3. • That’s enough wood to build a 1m x 8cm fence to the sun and back (or 7500 times round the earth)
U.S. Hardwood Growth & Removals Million M3
US Hardwood Inventory Billion M3
Risk Assessment: A Sensible Approach • Requirements established for legality verification and certification should be based on an objective assessment of the risk of illegal and unsustainable forestry practices in timber supplying regions • To prevent imposition of unnecessary controls on suppliers where there is little risk of poor practice • To ensure resources are focused on problem regions • To ensure the response is proportionate to the scale of the problem • To help prevent technical barriers to trade for timber from small relatively low intensity managed forests
Goal: Reduce the Cost Spread Legitimate Material Cost GOAL Illegal Material + RISK Source: Seneca Creek Associates, LLC
Sourcing of Non-Certified Wood • SFI, PEFC and FSC have developed standards for using non-certified wood: • FSC Controlled Wood Standard • SFI Procurement Standard • PEFC Controversial Sourcing Standard • CoC labeled products must meet sourcing standards
New EU Illegal Logging Legislative Proposal • Requires “Due Diligence” • References to CoC removed from final proposal • Encourages risk assessment and due diligence • Only pertains to operators who “first place wood in the market” • Proportionate to the scale of the problem • Must be passed by EU Parliament/Member States • ENGOs will vigorously oppose implementation
US Combat Illegal Logging Act 2008 • It is an offence within the U.S. to trade in a wood product that has been “taken, possessed, transported, or sold” in violation of any foreign law. • An amendment to the U.S. Lacey Act which currently regulates trade in fish, wildlife and limited subset of plants. • Burden of proof with the prosecution who would have to demonstrate that wood derived from an illegal source • Only likely to be applied to the worst offenders - importers with actual knowledge and intent to import illegal shipments • Does not establish detailed requirements for legality verification • Actively encourages importers’ risk assessment and greater diligence and action in regions of high risk
AHEC/Seneca Creek Risk Assessment Findings – Low Risk • While timber theft occurs and is of concern to private landowners, it is not believed or perceived to be a systemic problem, especially with regards to US hardwood exports • US re-exports of temperate hardwoods relatively small and mostly sourced in Canada (similarly robust governance) • High regard for the rule of law, an effective environmental, labor and public welfare regulatory environment, and a low level of corruption • Rights of timber ownership are well-established and respected.
U.S. Hardwoods and AHEC RPP Satisfy “Due Diligence” Requirements: • “Lacey Act” in US • Japanese “Green Procurement” Policy • EU Illegal Logging Legislation