October 2008

California's Renewable-Energy Disconnect

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By Kay Martin

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California has been heralded as a national and international leader for its aggressive policies on renewable energy, climate change, and low-carbon fuels. A critical lInchpin in reaching its green power, greenhouse-gas-reduction, and petroleum-reduction goals is maximizing use of the state’s abundant biomass resources from the forestry, agricultural, and urban sectors.

Governor Arnold Schwarzenegger, in announcing his executive order to expand biofuels production, stated: “Turning waste products into energy is good for the state’s economy, local job creation, and our environment. By implementing biomass programs in California, we will help fight critical waste-disposal and environmental problems, including the risk of wildfires, air pollution from open field burning, and greenhouse gas emissions from landfills.”

California’s single largest source of biomass is found in the MSW stream. According to a recent state-sponsored biomass-resource assessment, 38 million tons of MSW biomass are generated each year, or 1 dry ton per person. Annually, about 6-8 million tons of these organic materials are utilized to produce compost and mulch, and an additional 1.5 million tons are used to produce power by traditional biomass burn facilities. The remainder, about 70%–75% of the more than 40 million tons disposed annually, represents a tremendous untapped resource for in-state biopower and biofuel production.

Technologies that can safely and efficiently produce alternative energy from biomass-waste feedstocks are now commercially available. Given the state’s vanguard energy initiatives, the runaway cost of petroleum, increased global-warming concerns, and a willing set of new industry partners, one would expect to find a wealth of state incentives for biorefinery development. Unfortunately, this is not the case. Current laws and regulations are, in fact, skewed to prevent this.

The root problem is a chronic disconnect between California’s energy and waste-management policies. New state bioenergy initiatives call for the creation of a favorable legal, regulatory, and economic environment to stimulate industry investments in technologies that utilize biomass for green power and green fuel production. Waste-management policy, in contrast, is mired in a decades-old hierarchical framework that artificially limits bioindustry access to these same resources. It does so by favoring certain landfill-diversion technologies and products over others through the maintenance of statutory barriers and the granting or withholding of incentives.

Specifically, “low-temperature” processes for the conversion and beneficial use of MSW biomass, such as composting and anaerobic digestion, are encouraged through the granting of landfill-diversion credit, state funding, and clear permitting pathways, whereas “high-temperature” technologies, such as gasification and pyrolysis, are specifically discouraged through onerous permitting standards and state-funding ineligibility.

Favored Technologies
The persistent bias toward low-temperature biomass-conversion technologies in California, and the de facto disqualification of biorefineries with thermal-process elements, presents a significant limiting factor in the achievement of reduction goals for greenhouse gas (GHG) and the fostering of a viable bioenergy platform. Low-temperature processes that are currently being promoted by state laws and regulations, to the virtual exclusion of others, include composting, anaerobic digestion, and acid and enzymatic hydrolysis.

Composting
In June of this year, the California Air Resources Board (CARB) released its Climate Change Draft Scoping Document, a so-called “market-based roadmap” to guide the state in achieving the ambitious GHG-reduction goals set forth in the California Global Warming Solutions Act (AB 32). The report focuses on landfill methane emissions as the principal challenge for the waste-management sector, and it promotes the composting of landfill-bound organics as the operational strategy for GHG reductions.

Renewed emphasis has also been placed by the California Integrated Waste Management Board (CIWMB) on programs to increase the diversion of “compostable organics,” along with the siting of new composting facilities. The state legislature has followed suit this session with bills that promote expansion of the compost industry. While never clearly defined, “compostable organics” generally include such separated materials as food wastes and green wastes, which comprise about 30% of disposed waste (as opposed to over 70% for biomass generally).

The favored-technology status of composting is grounded in the California Integrated Waste Management Act and the allegedly superior life cycle benefits of both recycling and composting over all other potential diversion technologies. When this hierarchy of management practices was drafted more than 20 years ago, it was based largely upon presumption and folklore rather than hard science. This notion of inherent superiority, however, has been extremely resistant to change or scientific scrutiny, despite the availability of several scholarly peer-reviewed studies that reach alternative conclusions.

While composting has a definite role to play in the diversion of waste from disposal, its utility as an effective GHG-reduction strategy is limited by the following:

Fugitive emissions—Composting facilities have their own set of air quality challenges, including VOCs and gases that can contribute to GHG formation. A recent study contracted by the Los Angeles County Sanitation Districts challenges the notion that the composting of greenwaste is more effective in reducing GHG emissions than is alternative utilization of these materials in a landfill as alternative daily cover (ADC).

Feedstock/processing limitations—Due to product-quality requirements, composting technologies can effectively deal with only a minor portion (30%) of the total biomass disposed of in landfills, i.e., organics that are source-separated, preprocessed, and relatively homogeneous.

Marginal economics—While compost products remain valuable as soil amendments, markets for these products are generally weak. Except in situations of in situ processing and usage, such as in agricultural operations, the composting industry has suffered under the dual burden of narrow profit margins and stringent regulatory requirements.

Siting obstacles—Public perception of composting facilities, fueled by their urban land-use interface and historic issues of odor, emissions, and water quality, has made the siting of new facilities extremely challenging.

No bioenergy element—Composting produces no energy, and it diverts biomass feedstock from other technologies that can produce biopower/biofuels and that are arguably more effective in net GHG reduction.

Anaerobic Digestion
Current California statute is silent on anaerobic digestion (AD) technology, but it does place “biological processes other than composting” under the “transformation” umbrella (a category that also includes incineration). The CIWMB has chosen to address this silence by drafting regulations that define AD as, in essence, in-vessel composting. Favored-technology status has thus been conferred on AD, including clear permitting pathways and landfill-diversion credit. Legislative amendments have recently been proposed to codify this interpretation in statute.

AD technologies have significant advantages over traditional composting, including the efficient capture of organic decomposition gases and their beneficial conversion to electricity, pipeline gas and, potentially, hydrogen. AD bioenergy applications seem particularly well-suited to agricultural operations, but they share similar constraints with traditional composting in the following critical areas:

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Feedstock/processing limitations—In order to optimize the performance of acetogenic and methanogenic bacterial cultures, the feedstock for AD processes must be uniform and limited to specific types of separated, preprocessed biomass. It is particularly compatible with high-moisture streams, such as manures and foodwastes, but it cannot effectively handle the heterogeneous fractions that make up the bulk of California’s biomass supply. An Israeli company has developed an AD-technology facility that recovers various biomass feedstocks from mixed waste via a front-end water-separation system. The end result is a wet-biomass sludge feedstock, rather than a separated dry-biomass feed to which water is added.

Marginal economics—A major economic challenge for AD operations is finding a home for the large quantities of digestate byproduct resulting from the in-vessel gas-production process. The marketability of digestate is potentially affected by the nature and quality of the feedstock (separated “clean green” versus mixed biomass derived from the MSW residual stream). In the absence of a geographically proximate end use for these tonnages, their removal and/or further processing can be cost-prohibitive and contribute to secondary GHG effects. Next Page >

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