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Transcript of SEA, horizontal environmental and climate issues and biodiversity for 2014-20 programming period...
SEA, horizontal environmental and climate issues and biodiversity for 2014-20 programming periodBudapest, 27.09.13
Ion Codescu, Head of Unit, DG ENV, ECE-mail: [email protected]
Benefits of SEA– Integration of environmental considerations into decision making of
plans and programmes (P&P).– “Greening“ of plans and programmes and monitoring of their
effects.– Strengthened role for environmental authorities through their
participation.– Better cooperation between different authorities (planning,
environment and health).– Increased transparency in decision making, due to the involvement
of all levels of society.– Less mitigation measures due to the early inclusion of
environmental considerations in the P&P.– Contribution of SEA to improved compliance with the requirements
of other specific environmental policy areas.– Less litigation at project level.– Consideration of cumulative effects and of alternatives upstream.– Absorption of EU co-financing made easier.– => The overall assessment is positive, e.g. in Cohesion Policy
The environmental assessment procedure
Scoping
Decision
Information on decision
Environmental Report/Study
Screening
Information and Consultation
Monitoring
Fo
r p
rog
ram
mes
scr
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(sh
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er p
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Scope and level of detailEAs to be consulted
The “Report” (including a non-Technical summary)
Public, environmental authorities, other MS...
Takes account of env. report and consultations
End of SEA process
Using screening criteria
Is the SEA Directive applicable to all programmes developed under Cohesion Policy?
– Programmes financed by the EU fall under the scope of the SEA.
– Provided that they fulfill certain requirements of the SEA.
Programme covers areas of art. 3(2) + sets framework for development consent of future EIA projects
SEA is needed (annex I criteria)
Programme determining use of small areas at local level, minor modifications of programmes, programmes in other areas than art. 3(2), programmes setting framework for development consent of future projects (not listed in EIA)
screening is needed (annex II criteria)
Programme does not set the framework for future development consent of projects or does not cover areas of art. 3(2) (e.g. ESF or interregional OPs)
no SEA + explanatory statement
*
Applying the SEA to Cohesion policy: information to be submitted to the Commission
– A non-technical summary of the information provided in the environmental report (annex I(j) of the SEA Directive.
– Information on the consultations with the public and the environmental authorities (article 6).
– A description of the measures concerning monitoring.
– A summary of how environmental considerations and the opinions expressed have been taken into account.
N.B.N.B. the final statement required by Article 9(1) of the SEA Directive is to be the final statement required by Article 9(1) of the SEA Directive is to be issued after the adoption of the programme by the Commission..issued after the adoption of the programme by the Commission..
SEA for transnational and cross-border programmes
In some cases transnational and cross-border programmes do not set the framework for future authorisation of projects.
Verify whether SEA is required.
When the SEA is applicable to transnational /cross-border programmes
– Consider whether separate or joint procedures should be carried out, or
– Whether some of the steps could be carried out jointly (joint environmental report subject to separate consultations..)
– Separate Article 9(1) statements need to be made available in each MS.
Attention!
MSs must evaluate that if following negotiations with the Commission whether the OP contains environmentally significant changes to justify an updated SEA and hence a new public consultation
Ensure co-ordination between the ex-ante evaluation (sensu strictu) and the SEA procedure to avoid overlaps and wasted resources (see Commission Guidance of January 2013)
Start the SEA process early as this increases environmental integration, social acceptability and allows better management of trade-offs (environment-social-economic).
A word about environmental integration
TFEU Art. 11 "Environmental protection requirements must be integrated into the definition and implementation of the Union policies and activities, in particular with a view to promoting sustainable development".
Reflected in Article 8 of the draft Common Provisions Regulation on sustainable development – one of the established cross-cutting principles of the Cohesion Policy
Important that this is not a 'paper tiger' exercise and that the environment is taken into account in each and every co-financed operation and fund (ERDF, CF, ESF, EAFRD, EMFF)
Consider using Technical Assistance (ERDF and ESF) to establish a national network under the ENEA-MA umbrella and to booster EIA-SEA capacity too (vis à vis the generic ex-ante conditionality)
Introduction (CH.1)
• Nature and purpose of the guidance• Overview
CC&B in SEA (CH.2)• Legal basis and spirit of Directive• Benefits of integrating CC (climate change) &
(biodiversity)• Challenges
Understanding CC & B (CH.3)
Section 1
Climate change
Section 2
Biodiversity
Section 3
Climate change & Biodiversity
Policy response Objectives and targetsUnited Nation Framework Convention on Climate Change (UNFCCC)
UNFCCC seeks to reduce international GHG emissions …
UNFCCC’s Kyoto Protocol ……
Key aspects of climate change mitigation policy
Policy response Objectives and targets
EU Strategy on Adaptation to Climate Change
The European Commission adopted a White Paper on Adapting to Climate Change in 2009, leading to an EU Adaptation Strategy in 2013 …
European Climate Adaptation Platform: CLIMATE-ADAPT
…
Key aspects of climate change adaptation policy
Policy response Objectives and targetsThe Habitats Directive and the Birds Directive
The Habitats Directive and the Birds Directive seek to protect sites of particular importance for biodiversity— these sites form a network referred to as Natura 2000. ..
The Convention on Biological Diversity (CBD)
…
…
Key aspects of biodiversity policy
ScopingScoping
Alternatives and assessing
effects
Alternatives and assessing
effects
Reporting, information & consultation
Reporting, information & consultation
SEA steps
Decision-making
Decision-making
ScreeningScreening
Monitoring and evaluation
Monitoring and evaluation
Key considerations (CH. 4: Screening & Scoping; CH. 5: other elements of the SEA process)
Would implementing the plan or programme (PP) be likely to have significant effects on, or be significantly affected by, CC&B issues? Is an SEA required?
Would implementing the plan or programme (PP) be likely to have significant effects on, or be significantly affected by, CC&B issues? Is an SEA required?
What are the key CC&B issues likely to be?
What is the current situation relating to CC&B and how is it likely to change in the future?
What is the CC&B policy context, what are the objectives and targets?
Who are the key stakeholders and environmental authorities with an interest in CC&B and how will they be involved throughout the SEA? What do they think are the key issues?
What are the best methods, tools and approaches to help understand and assess the key CC&B issues?
What are the key CC&B issues likely to be?
What is the current situation relating to CC&B and how is it likely to change in the future?
What is the CC&B policy context, what are the objectives and targets?
Who are the key stakeholders and environmental authorities with an interest in CC&B and how will they be involved throughout the SEA? What do they think are the key issues?
What are the best methods, tools and approaches to help understand and assess the key CC&B issues?
What alternatives are there to tackle key CC&B issues? How would implementing them affect CC&B objectives?
How can we avoid the negative effects on CC&B? If we cannot, how can they be reduced or offset? How can the positive effects be maximised?
How could CC&B measures be integrated into the PP?
What alternatives are there to tackle key CC&B issues? How would implementing them affect CC&B objectives?
How can we avoid the negative effects on CC&B? If we cannot, how can they be reduced or offset? How can the positive effects be maximised?
How could CC&B measures be integrated into the PP?
How to ensure that the environmental report clearly explained how CC&B issues have been identified, how uncertainty has been managed, etc.?
How can CC&B issues be integrated into the final PP?
How to ensure that the environmental report clearly explained how CC&B issues have been identified, how uncertainty has been managed, etc.?
How can CC&B issues be integrated into the final PP?
How will the effects on CC&B be monitored along with the implementation of mitigation measures and environmental management?
How will the effects on CC&B be monitored along with the implementation of mitigation measures and environmental management?
What are the key CC&B issues? (CH.4)
Climate change mitigation Climate change adaptation Biodiversity energy demand
(industry) energy demand (housing
& construction) GHG emissions in
agriculture GHG emissions (waste
management) travel patterns and GHG
emissions (transport) GHG emissions from
energy production land use, land-use
change, forestry and biodiversity
…
heat waves droughts flood management and
extreme rainfall events storms and high wind landslides sea level rise, extreme
storms, coastal erosion and saline intrusion
cold spells freeze-thaw damage …
degradation of ecosystem services
loss of habitats, fragmentation
loss of species diversity loss of genetic diversity …
How to assess effects related to CC&B in SEA? (CH.5)
5.1 Tools and approaches to integrate CC&B into SEAs
5.2 Consider CC scenarios at the outset of the SEA
5.3 Analyse evolving baseline trends5.3.1 Vulnerability5.3.2 Policy consistency and coherence
5.4 Assess alternatives that make a difference in terms of CC&B impacts
5.5 Assess CC&B cumulative effects
5.6 Seek to avoid adverse effects wherever possible, before considering mitigation
5.7 Monitoring significant effects and adaptive management
Key messages
Useful sources of information
Annex I of the Guidance document on ex ante evaluation explains SEA procedure (DG REGIO website) of January 2013
http://ec.europa.eu/regional_policy/sources/docoffic/2014/working/ex_ante_en.pdf
Guidance on Integrating Climate Change and Biodiversity into Strategic Environmental Assessment: http://ec.europa.eu/environment/eia/pdf/SEA%20Guidance.pdf
EIA / SEA Homepage (Guidance on the implementation of the SEA Directive)
http://ec.europa.eu/environment/eia/home.htm
GRDP Handbook on SEA for Cohesion Policy 2007-2013http://ec.europa.eu/regional_policy/sources/docoffic/working/doc/
sea_handbook_final_foreword.pdf