Suite du blog précédent https://vivrelarecherche.blogspot.com/2020/04/taxonomie-verte-consultation-europeenne.html
Energie
atomique : La France n’est pas seule ! Nuclear Energy : France is not alone
Dans le précedent blog, j’expliquais l’enjeu de la
taxonomie verte (qui, pour l’instant, mais avec une possibilité de repêchage),
excluait le nucléaire de l’accès à des financements privilégiés environnementaux,
et je me réjouissais du nombre de contributions françaises montrant la fin d’un
certain nuclear bashing.
Dans cette partie 2, je veux insister sur le nombre et la
qualité de contributions étrangères allant dans le même sens, montrant que la
rationnalité scientifique et technique, le bon sens, le refus de la démagogie
et de l’ignorance peuvent encore s’imposer. Et que si l’Allemagne et l’Autriche
persistaient dans leur volonté d’exclusion du nucléaire, l’Europe piurrait
entrer dans une grande période de tension ;;et même éclater !
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
contributions showing the end of a certain nuclear bashing.
In
Part 2, I want to emphasize the number and quality of foreign contributions
along the same lines, showing that scientific and technical rationality, common
sense, the rejection of demagoguery and ignorance can still prevail. And that
if Germany and Austria persisted in their desire to exclude nuclear power,
Europe would enter a great period of tension;; and even burst!
So
some contributions, starting with a very documented paper of the Czech government
:
Government of the Czech Republic
(Czech)
The
role and necessity of nuclear power have been acknowledged and well documented
by various credible sources. For example, the report of the Intergovernmental
Panel on Climate Change (IPCC) calls in its findings for the sharp increase of
nuclear energy production to keep the global temperature below 1.5°C. Likewise,
the study Nuclear Power in Clean Energy System published by the International
Energy Agency (IEA) focuses on achieving the pace of CO2 emission reductions in
line with the Paris Agreement and states, that accomplishing this goal is a
massive challenge for the developed economies. To make it possible substantial
increases in energy efficiency and a renewables investment, as well as an
increase in nuclear power generation is required. The Czech Republic further
supports the interpretation of the European Commission, which declares the
undisputable role of nuclear power as an energy source necessary for the
transformation towards climate-neutral EU and its role as a backbone of the
carbon-free European power system along with renewables. Not including the nuclear among sustainable activities in the
taxonomy would lead to an unfavourable signal to the financial institutions and
markets and consequently to its dismissal from the discourse and financing.
Lowering supply of financing of the nuclear would lead to higher interest rates
jeopardising the investments to new low-carbon sources with negatively affected
energy production and stability of the energy supply. Such an approach would
consequently hinder the efforts of some EU member states to decarbonize their
energy sectors and would lead to a negative economic outcome.
Almost
half of the EU member states do count with the use of nuclear power in the foreseeable
future, and it is imperative to ensure favourable framework including
investment conditions which are critical for the future development of new
nuclear sources. Given the strict general conditions under international and
national law for the operation of the nuclear power plants already guarantee
their safe operation as well as current requirements for the storage of the
used fuel respect the necessity to eliminate any potential safety,
environmental or health risks. Furthermore, continuous extensive research
tackling the issue of nuclear waste is underway and safe storage of spent
nuclear fuel while meeting the highest standard is paramount to all states that
use nuclear energy in the EU. Spent nuclear fuel and radioactive waste are
being tackled through various precaution measures, such as meeting strict
radiation safety standards and being subject to numerous controls from IAEA and
European Commission. Given the strict general conditions under aforementioned
international and national law for safe storage of radioactive waste as well as
current requirements for the storage of the spent fuel respect the necessity to
eliminate any potential safety, environmental or health risks. Furthermore,
continuous extensive research tackling the issue of nuclear waste (spent fuel
is considered as a resource) is underway and safe storage of spent nuclear fuel
while meeting the highest standard is paramount to all states that use nuclear
energy in the EU.
The Czech Republic believes in
technological neutrality
and that enough empirical data are sufficiently indicative regarding the
radioactive waste repositories in Finland, France and Sweden. Furthermore, even
countries that decided over nuclear energy phase-out, such as Germany, follow
this concept and proceed to build and operate a deep repository. As such, this
should have been reflected in the TEG report. The Czech Republic requests that
panel formed by experts from radiation safety, geology, and relevant scientific
areas with sufficient in-depth knowledge and in-situ experience should be
gathered and supplement the current TEG report with its findings. The Czech
Republic would like to further contribute with the following remarks:
· Regarding the long-term
management of High-Level Waste (HLW) or Spent nuclear Fuel (SNF), there is an
international consensus that a safe, long-term technical solution is needed. A
combination of temporary storage plus permanent disposal in geological
formation is the most promising. An
underground permanent repository is being built in Finland, the other EU member
states are in various stages of preparations (e.g. Sweden is finalising the
steps before construction). Such a process will take place in subsequent
countries, in the Czech Republic, for example, which are preparing necessary
steps to ensure such process as well.
· Materials that are used
throughout the nuclear power generation life cycle are mostly recyclable,
except for a small number of materials that become radioactive waste. Unlike
toxic waste that remains toxic, radioactive materials cease to be radioactive
over time. The impact of the end of the fuel cycle on the environment is
negligible. It is a material that is possible to safely secure, its effects on
the environment are entirely marginal and at the moment none at all. The used
fuel is in a clean environment, in formidable, proven containers in the
warehouse. There has been practically no effect on the surroundings. It does
not burden it - noise, dust, land use, not at all radiation (collective dose).
The real results of the (loosely) used fissile material on the surroundings can
be perfectly observed. For example, in
the Oklo natural habitat in Gabon (where there were natural nuclear reactors),
when there was no spread of substances into the environment, and its burden was
marginal.
· Nuclear energy has many
positives. For instance,
1)
Transition to the circular economy -
Spent fuel should not be taken as a waste but as a raw material. There is
app. 95% of usable uranium remaining. Through recycling, waste from spent fuel
is significantly reduced;
2) Prevention and reduction of pollution - Nuclear power plants
consume a minimum amount of material and have minimal impact on land use and
natural habitats per installed capacity, and consequently do not pollute the
environment;
3)
Protection of healthy ecosystems - The discharge of hot water into water
sources has a local effect, both positive and negative. It is always carried
out in accordance with national regulations and EU directives;
4) Nuclear energy (even considering the
impacts of previous accidents) causes the least deaths from TWh produced when compared esp.
with the impacts of coal energy production (and its air pollution
implications);
5)
Nuclear energy has the highest ratio of
Energy Return on Energy Invested (EROEI) among available energy sources.
The Czech Republic calls on the Commission to assess the DNSH criteria in a
timely manner and include the nuclear energy in the delegated act in 2020. The
Czech Republic reiterates that the Taxonomy regulation stipulates that all
relevant existing technologies need to be assessed based on the scientific and
technology neutral basis and that the climate change mitigation criteria should
be adopted in one delegated act.
Romanian Atomic Forum (Romania)
As the Taxonomy regulation
incorporates the principle of technology neutrality, and given that the TEG has
not treated all technologies in the same way, we do not believe this principle
has been met.
For example, the TEG Report recommends that certain renewable technologies be
exempted from an LCE assessment. We do not believe that such an exemption is
justified only for certain technologies. Therefore, the delegated act should
identify the criteria first and then apply it equally to all technologies. -
The Taxonomy regulation does not currently exclude specific low-carbon
technologies, indicating that they should be assessed against the criteria
developed. Given that the criteria have not yet been developed under the
Delegated Act, it would be premature to take forward the TEGs opinion that
nuclear should not be included at this stage. - In order to ensure a robust
scientific approach to the taxonomy, it is urgent as the independent group of
experts with an in-depth knowledge on the nuclear lifecycle
Teollisuuden
Voima Oyh (TVO Finland)
When
the nuclear power plant unit Olkiluoto 3 is completed, TVO will contribute
approx. 30% of Finland’s electricity. If
nuclear power’s crucial role is not recognized and it is excluded from the
taxonomy, the EU cannot achieve its climate targets.
This
was also acknowledged by the Technical Expert Group (TEG) in its final report
stating, that ‘Evidence on the potential substantial contribu-tion of nuclear
energy to climate change mitigation objective was extensive and clear’. TVO
supports TEG’s recommendation, that a group with in-depth knowledge on nu-clear
life cycle technologies is launched. The group must also evaluate the existing
and potential environmental impacts in such an assessment. In order to evaluate
nuclear energy within the EU context objectively and robustly, the Commission
needs to ensure the transparency and expertise of this group, including the
call for members and how the group is going to be organized and execute its
work.
In addition, the Platform on
Sustainable Finance must also have members with indepth exper-ise on nuclear. The principle of technology
neutrality must be included into the future Taxonomy regulation. TVO requests
that all power producing technologies are evaluated according to the same
criteria. The International Energy Agency (IEA, 2019) has shown that all
scientifically proven and commercially available low-carbon energy solutions
must be used in flexible and clean energy transition that is a must to reduce
the growth of emissions and to stop further climate change. The life cycle
emissions produced by nuclear energy compare reasonably with those from
renewable energy sources. According to the IPCC (2014), the nuclear life-cycle
emissions (12g of CO2/KWh) are equal to those of wind power and are four times
lower than from so-lar power. The IPCC analysis for nuclear includes the whole
nuclear life cycle, including uranium mining, enrichment and fuel fabrication,
plant construction, use, decommissioning and long-term waste management. In
Finland TVO already has a sustainable solution for high level waste (HLW)
– The
Finnish Government granted a licence a construction of a final disposal
facility for HLW in 2015, the first licence in the world. Currently HLW is
placed safely in interim storages for cooling and dealt with in a highly
responsible manner under the Eur-atom legal framework. The nuclear sector
produces a very small amount of all haz-ardous waste that is produced in the EU
each year. In the EU, responsible actions for radioactive waste and especially
for HLW are taken care of by the nuclear industry and national authorities
according to the EU’s Radioactive Waste and Spent Fuel Management Directive
(2011/70/Euratom). Each Member State has a national policy for spent fuel and
radioactive waste management. According to the Commission's 2nd report COM
(2019) 632 final on the progress over 95 % of the radioactive waste in the EU
territory had already been disposed of in 2016. HLW made up 0.2% of the
radioactive waste inventory in 2016 and in the stepwise process of implementing
ge-ological disposal solution for HLW Finland, France, and Sweden are the most
ad-vanced.
Finnish Energy (Finland)
Include
nuclear power and Waste-to-Energy in the sustainable finance scheme by
considering all energy sources according to equal, technology neutral,
principles. Including nuclear power in
the sustainable finance scheme is indispensable in order to achieve climate
neutrality. Demand for clean electricity is growing fast and nuclear power is
enabling the decarbonisation of other sectors. Financing must be secured for
maintenance, lifetime extensions of the existing nuclear fleet and new
construction. Nordic nuclear power most certainly meets the sustainability
criteria. The first final waste repositories are under construction in Finland
and Sweden.
Polish Electricity Association
(PKEE) (Poland)
The
taxonomy and the relevant technical screening criteria established in delegated
acts under the draft Regulation of the European Parliament and of the Council on
the establishment of a framework to facilitate sustainable investment (Taxonomy
Regulation) should be technology neutral
so as not to exclude enabling and transitional activities which reduce the
negative impact on the environment in comparison to activities which are not
regarded as sustainable. Transitional energy sources and bridging
technologies, such as generation sources based on natural gas should be the
important elements of energy transformation, significantly reducing emissions.
Nuclear energy should also play an important role in this transformation.
Energiforetagen/Swedenergy
(Sweden)
Although the TEG clearly state their ambition
to use technology agnostic screening criteria, a large part of their criteria
is in fact technology specific. Swedenergy
urges the Commission to express its technical screening criteria as technology
neutral as possible. One example is that waste management is expressed to be an
issue for some technologies but not for other….
Nuclear power competence is included in the
Sustainable Finance Platform to be established in the fall of 2020. Swedenergy
proposes that competence from the nuclear waste management programs of the
Nordic countries is included in the expert group. • Sustainability criteria for
nuclear power should be developed through a graded approach. The sustainability
of a once-through fuel strategy of a light-water reactor fleet can be described
in a first stage, whereas the sustainability of closed fuel cycles and
Generation IV systems etc. could be evaluated further on.
Confederation
of Finnish Industries EK (Finland)
There
are many economic activities central to the transition into carbon neutral
economy where the current form of the Taxonomy’s technical screening criteria
does not meet the above-mentioned principles according to which the EK is ready
to support the preparation of the Taxonomy. These fields vary
from gas infrastructure, biofuels and bio energy to nuclear energy.
Fortum
(Finland)
Nuclear: To
date, 54,1 % of electricity generated in the EU is CO2-free and more than half
of it, is produced from nuclear sources. A CO2-free power supply is a key
enabler to electrify and thereby decarbonise the essential parts of our
European economy. Fortum thus calls on
the European Commission to swiftly appoint a process with the aim to provide a
timely and in-depth assessment on nuclear’s environmental impact for the
preparation of the related delegated act by the European Commission. We favour
involvement of JRC experts and the Art 31 Committee (Euratom Treaty).
GEN Group (Slovenia)
Therefore
we propose to: - evaluate all technology
options described in taxonomy at the same level of details, contrary to the
report published on March 9, 2020, where only nuclear option is burdened with
questions regarding the waste;
-
perform strategic environmental impact assessment for the taxonomy, in
accordance with Strategic Environmental Assessment (SEA) directive , since
taxonomy is more than just the strategy;
- provide that all technology options
described in taxonomy are evaluated on same level with comparable requirements
for impacts and risk perception, based on life cycle impacts in accordance with
environmental impact assessment concept, since we live on the same planet;
-take
into consideration aspects of electricity grid stability parameters with
encouraging the deployment of flexible and dispatchable low-carbon
technologies, as nuclear is, to help back up variable renewables – thereby
maintaining reliability and resilience of the future energy system;
Eurelectric
(Belgium)
Additional expertise is needed regarding
nuclear to guide the adoption of DAs by the end of 2020. We call on the EC to
swiftly appoint an expert group of scientifically qualified radiation
protection specialists to finalise the assessment of nuclear energy under the
Taxonomy. Any delay in the nuclear
assessment risks undermining the ability of the Member States to develop a
pathway towards climate neutrality.
CEZ Group (Czech)
In energy sector, the ultimate goal of the
taxonomy should be to support cost–efficient decarbonisation through low-carbon
electricity production. The nuclear
electricity generation represents an important low-emission source of energy,
which has an irreplaceable role in climate mitigation, electrification and
reaching the climate goals, as recently stipulated in the IEA study IPCC
Report and EC long term strategy. It is also a backbone of energy mix of the
Czech Republic. Since TEG didn´t assess nuclear in its final report, there is a
strong need for additional expertise regarding nuclear to guide the adoption of
delegated acts by the end of 2020. An
expert group of scientifically qualified radiation protection specialists
representing all Member states should be established to finalise the assessment
of nuclear energy under the taxonomy. Any delay in the nuclear assessment could
lead to undermining the ability of the Member States to develop a pathway
towards climate neutrality, taking advantage of nuclear as a major low-carbon
source.
CEZ
Group strongly believes, nuclear should be included as sustainable in the
taxonomy, as there is sufficient evidence that nuclear waste is well accounted
for and managed. Spent Fuel and Radioactive Waste Management
are controlled and managed under the Euratom legislation and repositories are
subject to environmental impact assessments and Article 37 of the Euratom
Treaty in contrast to other technologies which generate toxic waste. The
nuclear industry stores and keeps records of its waste while isolating it from
the biosphere and from society. Since there is no actual harm proven, nuclear
with such a large mitigation potential should be included in the taxonomy as
sustainable.
FORATOM (Belgium)
Regarding the Climate Mitigation aspect, we
welcome the TEG’s recognition that nuclear has near to zero greenhouse gas
emissions. However, we do feel it necessary to clarify that this applies to the
entire nuclear life-cycle, and not just the energy generation phase as the TEG
indicates. The greenhouse gas emissions from the lifecycle of nuclear power are
very low (12 grammes CO2 eq/kWh), as recognised in the IPCC 2014 report.
Indeed, nuclear power plants have a long lifespan (60+ years) compared to some
other technologies. Furthermore, nuclear can be used to generate low-carbon
hydrogen. Together with low-carbon electricity, this will help decarbonise
other sectors such as industry and transport.
In the case of nuclear, for example, the DNSH
group have focused on the issue of waste and used it as an excuse not to
include this low-carbon technology in the taxonomy. For other technologies,
however, the waste criteria do not appear to have been applied in the same way
(eg power producing technologies which generate toxic waste at the end of their
useful life). Whilst we recognise that the Commission has organised various
stakeholder consultations on the Taxonomy, we
would like to draw attention to the fact that, as recognised by the TEG, a
group of experts with an in-depth knowledge of the nuclear life-cycle needs to
be established to tackle this matter. In our view it is essential that the Commission
continues to maintain an open and transparent dialogue with FORATOM – as
the voice of the nuclear industry – on this matter and so we call for the
opportunity to continue contributing to the debate.
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