In
the previous blog, I explained the issue of green taxonomy (which, for now, but
with a possibility of change), excluded nuclear power from access to privileged
environmental financing, and I was pleased with the number of French and
foreign contributions showing the end of
a certain nuclear bashing.
In
Part 3, I want to communicate extracts of
a major French Trade Union (CFE-CGC Energie) contribution, one of the few trade
unions that acknowledges and answered to the concerns provoked by the Green
Taxonomy.
Sustainable
Finance and "Green Taxonomy" - POSITION of CFE-CGC Energy on the
report of the Technical Expert Group (TEG) April 2020)
The
European Union, through the Green Deal, has confirmed its desire to achieve a
carbon-neutral economy by 2050, and, to go beyond wishful thinking, to draw up
a concrete and responsible roadmap to carry out this agenda. The Green Taxonomy
Regulation is a way to put in place a framework that directs investors and
facilitates significant investment flows to the most relevant innovations,
technologies and projects to achieve this goal. As a representative
organisation of employees of the energy sector, the second trade union of the
branch in France, a member of the European trade unions EPSU and Industriall,
the CFE_CGC Energy federation legitimately wishes to contribute to the
Technical Expert Group's evaluation on taxonomy and to relay a number of
criticisms or concerns expressed by its constituents.
The
CFE-CGC Energy Federation supports the Commission's objectives and the sustainable
financing initiative, which is an essential tool with important consequences
that needs to be carefully evaluated and weighed. Our organization shares the
international consensus on the technologies to be embarked on to succeed the
Green Deal, and fully agrees with the
IEA calling on industrialized countries to focus on renewable energy, nuclear
and gas, the latter as a substitute for more carbon-intensive fossil fuels such
as oil and coal. As a result, we wish to clarify the following points.
1) Low-carbon technological neutrality has
not been respected.
Only an agnostic technological approach can
properly identify the most effective and relevant outcomes. However, the TEG
report does not follow this method ; in particular, it does not require all
energy sources without exception to be
evaluated over their entire life cycle, and according to a methodology whose
rigour is validated and internationally recognized (for example, ISO 14040 and
14044). Any choice that would not be supported by this type of analysis
seriously undermines the credibility of this text. The facts that Renewables Energies are
exempted of this whole life cycle
analysis and that, for nuclear, it is
not recognized that the low greenhouse gas emissions not only results from the
exploitation phase, but also from the entire life cycle (12gCO2/kWh according
to the 5th GIEC report) constitute flagrant violations of the principle of
technological neutrality that need to be corrected.
Finally,
the DSNH (Do Not Significantly Harm) criterion, if necessary, is rather vague
and must also be considered according to the criterion of technological
neutrality and the state of scientific knowledge, and not according to criteria
depending on the desired result.
This obviously has not always been
the case, especially for nuclear waste (see below). This reflects the consideration of the
non-technical and highly political agendas of certain countries or
organisations that have no monopoly on scientific ecology and seriously
undermines the very relevance of the TEG report.
2) Exclusion “at this stage” of
nuclear energy from the “green” taxonomy.
While
nuclear power is well identified as a highly decarbonised energy source (6g
CO2/kWh in French industry, according to Ademe assessment), it is not sufficiently stressed that it is non-intermittent and
flexible and does not need to be combined with other means of power generation
or large-scale storage; its low impact on, among others, air pollution,
consumption of raw materials, use of lands are not highlighted, and, in
general, the lack of consideration of these criteria constitutes a general and
important methodological weakness of the TEG work on taxonomy.
The
exclusion of nuclear power at this stage is claimed to come from the fact that
the management of its waste would not meet the DNSH criterion. CFE-CGC Energy
disagrees with this claim, which clearly
ignores the technological realities and the state of science. Radioactive waste is managed according to
strict protocols and its management is supervised by national security
authorities and is subject to numerous Euratom Treaty specifications; it
would be appropriate that taxonomy do
not ignore the existing European treaties!
With
regard to low-level radioactive waste, there is a European consensus to define
a threshold for release from which these materials can be considered as
ordinary materials: IAEA (RS-G-1.7 guide), directive 2013/59/ Euratom.
Recycling of nuclear fuel can be expanded to make better use of uranium
resources and reduce waste. The volume
of high-activity waste, after reprocessing, represents 3% of all radioactive waste in France, i.e. the
equivalent of an Olympic swimming pool for the entire French nuclear park since its creation. For those ultimate
waste, deep burial in geological deposits (stability greater than 150 million
years against a detectable radioactivity of 15,000 years for waste) is a
solution validated by the security authorities of many countries (France,
Finland, Switzerland for Europe, but also USA, Japan, Canada, Russia, China).
In France, CFE-CGC Energy supports the Cigéo project.
It
should be noted that the TEG, after its principled position on the exclusion of
nuclear power, nevertheless acknowledges its lack of competence on the subject
and opens the door to a specific international expertise. CFE-CGG Energy calls for this recommendation to be followed and to
appoint an expert group to assess the sustainability and the DNSH aspect of
known solutions for the treatment of nuclear waste, respecting technological
neutrality. This group should be made up
of experts from national security authorities, public agencies in charge of
radioactive waste management, representatives of research organizations active
in nuclear science and technology, and radiation protection.
CFE-CGC Energy stresses the importance of dealing with this
problem rationally and quickly. The TEG report does not treat with due
importance an abundant, competitive, highly contributor to GDP energy, which is
currently the main source of decarbonised energy in Europe ! It is necessary to eliminate the
current uncertainty about nuclear power: firstly, for its own importance in the
climate challenge (remember that electricity is also bound to replace massively
some uses of fossil fuels); and secondly, because the exclusion of nuclear
power from green taxonomy would also have a strong impact on all user
industries that would be denied access to preferred financing to optimize their
energy transition processes….
4) Responsibility of
Member-States in their energy mix
CFE-CGC Energy recalls that energy policy mix
are the responsibility of Member-States that have very different geographical,
economic and historical contexts and constraints, and which must be able to
choose their range of low-carbon tools and make their own technological choices
to succeed in their energy transition. Again, respect for technological
neutrality is essential, for if States
were to be denied access to green financing for important and structuring
projects according to technologically unjustified criteria (for example in the
case of nuclear projects in Finland, Czech Republic, Slovakia, Romania,
Bulgaria, Hungary), this could simply cause the explosion of institutional
Europe at a time when it is facing multifaceted and unprecedented crises
and tensions.
5) The DSNH criteria must take
into account social and strategic aspects
A green investment cannot be an investment
that would violate the minimum social guarantees recognised by the
Member-States, or that would cause serious employment difficulties, even
temporary ones, without offering satisfactory solutions for retraining.
Moreover, the current sanitary
Covid crisis obliges us to review our dependence on foreign countries and
industries and to embark
on a policy of re-industrialisation. Green investments must take into account
the negative aspects of an excessive and uncontrolled globalization, as well as
strategic aspects. European green funding should not lead to an increase in
dependence on states outside the EU, which everyone can now see as dangerous,
nor should they be used to finance value chains almost exclusively established
outside the EU.
Finally, it would be absurd to
label green funding which would simply outsource the negative impacts (CO2
emissions, pollution, health consequences, costs and negative externalities of
transport) outside Europe.
The lessons of the financing of wind and especially solar industries by Europe and Member-States resulting in the
massive creation of value and jobs in China must not be forgotten.
Green
taxonomy is an important tool for the success of a climate-efficient,
economically favourable and socially just energy transition. Its potential is
immense, its consequences must be carefully evaluated. CFE-CGC Energy considers
it essential to respect technological neutrality in all its aspects, otherwise
this tool will lose all legitimacy and will face the refusal of Member States
and their citizens and employees. It
hopes that future discussions on taxonomy will include social and strategic
aspects, be transparent and open to stakeholders, and will enable the
development of a European model of more environmentally and socially
responsible companies.
These
are essential conditions for taxonomy to achieve its objectives and be indeed
useful in directing investments towards a successful and Green Deal-compliant
energy transition.
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