Chapter 7 Using forestry biomass
7.1
As discussed in other chapters, there are considerable opportunities for
some wood-waste products to be used to generate energy and to store carbon. The
inquiry’s terms of reference instruct the Committee to examine the ‘potential
energy production from the forestry sector, including:
- biofuels;
- biomass;
- biochar;
- cogeneration; and,
- carbon sequestration.
7.2
These matters will be discussed in two sections: forestry bioenergy; and
carbon sequestration.
Forestry bioenergy
7.3
Bioenergy production from the forestry industry involves biomass and
biofuels. For the purposes of this discussion, Biomass refers to organic
material – forest residues, trees and woody plants, grasses and agricultural
residues – that can be used to produce energy. This can be done in two
principal ways. First, biomass can be used as a direct fuel, for example for
combustion. Second, biomass can also be used to produce a biofuel – a secondary
fuel – such as biodiesel, methane or ethanol.
7.4
As noted by the Department of Agriculture, Fisheries and Forestry:
Biofuels and bioenergy can play an important role in
expanding the range of renewable energy sources available in Australia.
Australian state and territory governments have adopted comprehensive
frameworks to ensure that environmentally responsible forest management
practices underpin the use of wood residues for bioenergy.[1]
7.5
There was considerable evidence to the Committee about the potential for
‘waste products’ from the forestry industry to be used as biomass or biofuel.
There are a number of important aspects of forestry bioenergy that warrant
discussion. They include environmental issues, the necessary supply chain to
make forestry bioenergy economically viable, and the potential sources of
biomass for forestry bioenergy.
Environmental performance
7.6
Because new biomass can be grown to replace used biomass, it is
considered a renewable energy. As described by Bioenergy Australia:
During the energy recovery process, the carbon dioxide bound
in the biomass is released to the atmosphere. Bioenergy is regarded as
renewable, when the biomass resource consumed in the energy conversion process
is replenished by the growth of an equivalent amount of biomass. Under the
Kyoto Protocol bioenergy is regarded as carbon dioxide neutral.[2]
Hence, whilst biomass emits carbon
dioxide when converted to energy, that carbon will be removed from the
atmosphere as a replacement crop of biomass is grown. The carbon is in a cycle.
This does not, however, account for the other gasses emitted when biomass is
converted into energy.
Cogeneration
7.7
Cogeneration is the use of technology so that the various ‘by-products’
of energy production are captured and utilised, rather than being wasted. In
the case of mill operations, biomass (waste products from timber processing)
are often used as to heat boilers, to produce steam for the mill. However, the
steam can also be used to run a turbine, and hence produce electricity.[3]
Mr Jim Bindon, of Big River Group, described how his mill in Grafton had used
cogeneration to capture extra energy from a forest-waste boiler system:
[We burn] mill waste. We already have a boiler and we already
process steam to run our plant. We added a steam engine in the middle, which is
the ultimate value-adding of the resource—it was free—in between[4].
7.8
The Institute of Foresters of Australia submitted that cogeneration can
be used to increase the efficiency of a mill, whilst also reducing the
consumption of electricity from the grid:
With most mills lucky to recover 40% of log volume,
generating power using mill residue as a fuel source creates two economic
solutions to what would otherwise be expenses. An expensive aspect of
processing in the softwood industry is seasoning and drying, using kilns. The
heat generated in cogeneration can be used to drive seasoning plants while
augmenting power supplies.[5]
7.9
Mr Andrew Lang, of SMARTimbers Cooperative, noted that other
possibilities exist for biomass to cogenerate electricity and heat.
Technologies have been developed and utilised in many other countries:
The pattern in the Scandinavian countries is to use the heat
energy for district heating (and for district cooling in summer). In Brazil and
India the heat energy is commonly used by the generating industry, as well as
some of the electricity.[6]
7.10
According to the Victorian Association of Forest Industries,
cogeneration can produce up to 90 percent efficiency in energy generation.[7]
According to Mr Peter Rutherford:
Production of heat and electrical energy from biomass has
been operating on a commercial basis in many overseas countries for many years.
There are limited examples in Australia, as the relatively mild climate does
not present the range of opportunities for combined heat and power plants that
are available in cooler northern hemisphere countries.[8]
7.11
Mr Jim Bindon noted the considerable financial investment required to
install cogeneration technology, and suggested that such investment relied on
native-forest biomass being treated as renewable energy.[9]
This matter will be discussed further, in ‘Sources of Biomass’, below.
Biomass potential and supply chain barriers
7.12
The Future Farm Industries Cooperative Research Centre submission notes
the considerable potential of bioenergy:
The potential scale of this new industry is dramatic; dozens
of biofuels/bioenergy plants are possible across the Australian agricultural
zone as energy tree cropping is developed alongside existing farming
activities. Such development will occur over many years, and each new renewable
energy/fuel plant will be a major, sustainable, new business in a regional
community. It is estimated that fabrication and installation of each commercial
plant will provide at least 200 man years of work. Once operational, biomass
supply, plant operation and maintenance for each biofuels facility will create
approximately 100 permanent jobs (direct and in-direct), including skilled,
unskilled and professional roles.[10]
7.13
However, as discussed in the Chapter 6, on Farm Forestry, expanding a
new sector relies on a number of conditions. These include the quality and
provision of infrastructure, access to markets, aggregation of numerous smaller
producers, and ongoing resource supply and security. Whether bioenergy
production is done at a local or regional level – as baseload power[11]
or otherwise – these factors will affect its viability.
7.14
As noted by Bioenergy Australia, some individual bioenergy projects are
hampered by market uncertainty and supply issues:
The Committee should be aware that there are a number of
bioenergy projects that have not as yet gone ahead for a variety of reasons,
mainly due to the low and uncertain market for bioenergy and also difficulties
and cost associated with fuel supply.[12]
7.15
Addressing these challenges is a central aim of Bioenergy Australia, a ‘nation-wide
government-industry alliance of some 83 organisations’. Two of its objectives
deserve particular attention:
Broaden the market for biomass by enhancing opportunities,
and by helping to reduce financial, regulatory, fuel supply, technical and
institutional barriers to enable widespread adoption of biomass energy.
Facilitate the development and deployment of biomass energy
business opportunities and projects.[13]
7.16
Australian Forest Growers have suggested that funding be made available
for:
Research, development and extension into biofuel, bioenergy
and Biochar technology, including upscaling the technology to a commercial
scale. This upscaling must include options for regionally based utilisation of
biomass at sufficient scale to be economically viable yet small enough to be
effectively utilised locally.[14]
Sources of Biomass
7.17
Many submissions to the inquiry note that the viability of bioenergy is
dependent on its treatment as renewable energy under the Renewable Energy
Target (RET) scheme.[15] Under the scheme, the
generation of renewable energy entitles the generator to a certain number of
renewable energy certificates. These are then sold to ‘liable entities’
(usually electricity retailers) who are obliged to acquire and then surrender a
certain number of certificates each year.
7.18
The application of the RET to energy created by using native forest wood
has been in a state of flux over the course of the inquiry. As noted by the
Department of Agriculture, Fisheries and Forestry in April 2011, native forest
wood waste was eligible for support under the RET according to the following
conditions:
- biomass must be
harvested primarily for purposes other than energy production;
- the value of the
primary wood products must be greater than the value of other products
resulting from harvesting (known as the ‘high-value’ test); and
- forestry operations
must be carried out in accordance with the principles of ecologically
sustainable management.[16]
7.19
However, under the proposed Clean Energy Future plan announced in
July 2011, native forest wood waste would no longer be an eligible source of
renewable energy:
The Renewable Energy Target regulations will be amended to
exclude biomass from native forest as an eligible renewable energy resource.
This includes products, by-products and waste associated with or produced from
clearing or harvesting of native forests, subject to appropriate transitional
arrangements for existing accredited power stations.[17]
7.20
The legislation for the Clean Energy Future plan passed the House
of Representatives on 12 October 2011, and will be considered by the Senate in
late 2011.
7.21
Some evidence to the Committee criticised the change in policy, and
called for native forest waste to continue to be eligible as renewable energy
under the RET. The Australian Forest Products Association made a submission to
the inquiry which stated:
AFPA is deeply concerned about the implications of this
decision as such a policy reversal is not only inconsistent with the
international science of the carbon neutrality of biomass - it places local
wood based businesses at a competitive disadvantage compared with other
renewable energy sources in Australia and with many overseas suppliers who have
favourable bioenergy incentives. This is particularly the case in Europe where wood
biomass represents a high proportion of total renewable energy. The RECs
provide an additional market incentive for the use of wood biomass for
renewable energy in Australia. The implications of such a policy would
disadvantage native forest growers and managers (both private and public), any
processors wishing to utilise native forest wood residues for bioenergy and
other renewable energy facilities and producers which rely on such a feedstock.[18]
7.22
Similar views were expressed by some witnesses, including Professor
Jerry Vanclay:
I am a little distressed at some of the current signals from
government about not allowing the use of wood residues from forests and
sawmills. I think that all of those wood residues should be used for bioenergy
of one form or another and should be eligible as a renewable energy material.
It is really important to get a sensible pathway to greenhouse reduction.[19]
7.23
Some submissions strongly opposed native forest waste being used to
generate energy: ‘Under no circumstances [should] such native forests be
considered for energy production.’[20] According the
MyEnvironment Inc, because of the ‘lack of governance and sustainability in
native forestry it is clear that any use of Native Forests for use in the
production of energy would be immoral.’[21]
Committee Comment
7.24
The Committee believes that bioenergy from the forestry industry is a promising
opportunity for the industry. As well as providing help to deal with climate
change, and reducing Australia’s reliance on fossil fuels, it provides another
way for the forestry industry to diversify and contribute to economic growth in
local areas.
7.25
Using the principle of cogeneration, it is also possible to ensure that
as much energy as possible is captured and used from the use of biomass. This
relies on technological innovation, and the Committee was pleased to visit
mills during the Inquiry that have invested in this promising approach to
energy.
7.26
As noted above, there remains a significant amount of work to be done by
the industry, in order to identify the barriers to expansion of bioenergy, and
to ensure that a secure fuel supply is maintained. Whilst the Government should
be supportive of these efforts, the Committee believes that it is up to the
industry to develop its own plan for the future of bioenergy, to ensure that it
can expand and deliver benefits for the forestry industry and the broader
community.
7.27
As for the question of native forest waste products being used to
produce energy, the Committee is aware that recent policy change is yet to be fully
implemented. As noted in Chapter 4, the Committee believes that the future of
native forestry in Australia lies in high-value appearance grade and structural
products. By ensuring that high value products are made, the use of native
forest waste for energy production will be more viable.
7.28
The Committee is of the view that under any version of the RET (or
similar scheme), bioenergy sourced from native forest biomass should continue
to qualify as renewable energy where the biomass is a true waste product and
does not become a driver for harvesting native forests. A workable definition
of ‘waste product’ must also be clearly agreed and enacted, on which a
Ministerial discretion can then rely.
7.29
If individual native forest bioenergy production satisfies those two
criteria, the appropriate legislation or regulation should direct the Minister to
grant an exemption from the native forest biomass exclusion.
7.30
The production of energy from native forest biomass should be subject to
reporting requirements, to ensure that only true waste products are used. This
should consist of reporting to the Minister’s Department of biomass volumes
used, energy produced and income generated. This will ensure that the use of
native forest biomass is widely supported in the community, and will help build
the social licence of forestry generally.
Recommendation 15 |
|
The Committee recommends that, under any version of the RET
(or similar scheme), bioenergy sourced from native forest biomass should
continue to qualify as renewable energy, where it is a true waste product and
it does not become a driver for the harvesting of native forests. |
Recommendation 16 |
|
The Committee recommends that, if the above principles are adhered to, legislation or regulation direct the Minister to grant an
individual exemption from native forest biomass exclusion.
|