Fuels - International Council on Clean Transportation https://theicct.org/sector/fuels/ Independent research to benefit public health and mitigate climate change Thu, 13 Feb 2025 20:55:29 +0000 en-US hourly 1 https://wordpress.org/?v=6.7.1 https://theicct.org/wp-content/uploads/2022/01/favicon-150x150.png Fuels - International Council on Clean Transportation https://theicct.org/sector/fuels/ 32 32 Proposed safeguards in Washington State’s Clean Fuel Standard are crucial https://theicct.org/proposed-safeguards-in-washington-states-clean-fuel-standard-are-crucial-feb25/ Fri, 14 Feb 2025 05:01:39 +0000 https://theicct.org/?p=56118 If adopted as written, Washington State’s SB 5601 could endanger the effectiveness of the state’s Clean Fuel Standard.

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A new bill being considered in Washington State would delay, for at least a couple of years, implementation of proposed rules that constrain crediting of avoided-methane offsets in the state’s Clean Fuel Standard (CFS). These offsets expand the scope of greenhouse gas (GHG) accounting for renewable natural gas (RNG) pathways to include avoided emissions from agricultural waste management and organic waste diverted from landfills. While RNG from waste is a low-GHG resource suitable for producing alternative fuels, such offsets divert CFS support to the agricultural sector and away from transport, the largest source of GHG emissions in Washington State.

That means the constraints on the offsets, which were proposed by the Department of Ecology, are important safeguards. Any delay would endanger the effectiveness of the CFS. Let’s review why.

The ICCT has extensively highlighted issues with unrestricted avoided-methane offset crediting for RNG in clean fuels programs, and California indeed adopted some restrictions in its recent Low Carbon Fuel Standard (LCFS) rulemaking. Washington’s proposed CFS update follows suit and would introduce a 15-year limit on avoided methane crediting for each RNG project. It would also require that participants demonstrate that at least some RNG is physically flowing into Washington; this starts in 2032 for fuel used in vehicles and in 2037 for RNG used for production of other alternative fuels. But there’s also a provision in Senate Bill (SB) 5601 that would override these safeguards, at a minimum through 2026. Its language targets RNG used for producing sustainable aviation fuel (SAF). But the proposed rules are not SAF-specific. Therefore, the safeguards could be jeopardized if SB 5601 is adopted as currently written.

There are two primary reasons for the concern. First, for as long as avoided-methane offsets are in use, a fuels program is not technology neutral because it allows some pathways to benefit from offset accounting but not others. A recent ICCT paper highlighted this issue by demonstrating the excessive policy value of avoided-methane hydrogen pathways under the LCFS compared with a technologically advanced green hydrogen pathway with near-zero in-sector emissions. Under a $75-per-credit scenario, dairy-RNG hydrogen in California could receive $3.30 per kg in credits compared with only $1.40 for green hydrogen. Similar outcomes are expected when comparing RNG-based SAF production with more scalable advanced solutions like e-kerosene, which is already being pioneered in Washington State. If the provision in SB 5601 that overrides safeguards on avoided-methane offsets takes effect, CFS support for innovative transportation technologies like e-kerosene could instead be diverted to pathways that rely on avoided-methane offsets.

Second, avoided-methane offsets can endanger the stability of a fuels program by disrupting the balance between the supply and demand of credits. This happens because offsets can enable deeply negative carbon intensity values that lead to a decoupling of credit generation from the supply of fuel. In other words, credits would be generated not from displacing fossil fuel, but from crediting changes in manure management practices at farms across the country. As shown in the figure, credit generation from dairy digester/animal waste compressed natural gas in the LCFS rapidly outpaced fuel volumes. In the second quarter of 2024, dairy and swine RNG generated 20% of program credits while making up only 3% of the alternative fuel used in California. This oversupply has contributed to a growing credit bank and declining LCFS credit values.

Figure. Share of compressed natural gas volumes by feedstock type in diesel gallon equivalent (left) and share of compressed natural gas credits by feedstock type (right)
Chart illustrates the percent difference between real-world range and the nominal value for range for each car in the sample with dots representing “all conditions” in gray and dots for “very cold” in light blue, “cold” in darker blue, “high speed” in green, and “hot” conditions in red.

With credit values in the Washington CFS already declining to $22.93 per MT in January 2025, an influx of methane-offset-supported, negative-carbon-intensity RNG pathways would drive the price down further. This could severely damage the CFS’s ability to support in-sector emission reductions. In particular, low credit prices could stymie any CFS support for zero-emission vehicles and charging infrastructure aligned with Washington’s ambitious Clean Vehicles Program. This support is especially critical now that federal support for zero-emission vehicle adoption and charging infrastructure deployment is in question.

Allowing avoided-methane offsets without restrictions is all risk and no reward. It has the perverse effect of providing greater incentives to pathways that have less impact on in-sector emissions. If any language in SB 5601 serves to prevent or delay the implementation of the proposed safeguards, this would be the likely, unfortunate outcome.

Authors

Andy Navarrete
Researcher

Jennifer Callahan
Managing Editor

Related Publications

2030 California renewable natural gas outlook: Resource assessment, market opportunities, and environmental performance

This paper provides an assessment of RNG’s potential as a low-carbon fuel in California in 2030, considering its resource availability, production cost, and climate performance.

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How upstream methane leakage further weakens the argument for natural gas trucks https://theicct.org/how-upstream-methane-leakage-further-weakens-the-argument-for-natural-gas-trucks-jan25/ Tue, 21 Jan 2025 15:24:20 +0000 https://theicct.org/?p=54649 Natural gas trucks’ greenhouse gas benefits are marginal when accounting for methane leakage—and could lock out better zero-emission alternatives.

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A recent report by the North American Council for Freight Efficiency (NACFE) highlighted the role of natural gas as a transport fuel and estimated that the greenhouse gas (GHG) emission savings from a natural gas engine are in the range of 13%–18% compared with diesel fuel. However, NACFE “focused most [its] discussion on the tank-to-wheels effects of the alternate fuels” in comparing a natural gas-powered truck with a diesel truck doing the same route. An analysis of the complete fuel-cycle GHG emissions (i.e., well-to-wheel) would cover emissions associated with all the steps of producing, transporting, and consuming the natural gas and diesel used for those trucks. As I’ll show here, the emission impacts of the upstream natural gas supply chain complicate the climate benefits of using natural gas for trucks.

The primary issue is methane leakage. Natural gas is mostly methane (85%–90% by volume) and its production involves multiple steps during which methane could be released into the atmosphere through leaks and venting. This happens all along the supply chain and these upstream emissions are noteworthy because methane is a potent GHG.

Upstream methane emissions can be substantial and they’re not easy to estimate. For example, using ground-based measurements validated by aircraft observations, researchers have estimated that methane emissions from the oil and natural gas (O&NG) industry are much higher than previously estimated by the U.S. Environmental Protection Agency (EPA). Methane emission estimates reported in EPA’s national GHG inventory are based on adding up the emissions from individual components of natural gas production equipment. Although this kind of bottom-up methodology provides detailed data from routine equipment behavior, it does not detect super-emitters, which can be unpredictable and can emit unusually large amounts of methane (one example is malfunctioning equipment). Alternate measurement approaches such as remote sensing of methane emissions via satellites or aerial surveys can help cover vast areas and detect these super-emitters, but such top-down emission estimates can also overestimate emissions. For instance, this technique might not be able to differentiate between O&NG sites and other sources of methane, such as landfills or dairy farms.

It’s also important to differentiate between emissions from combined O&NG production and emissions from producing just natural gas. For sites that produce both fuels, part of the methane emissions should be attributed to the oil produced alongside natural gas on an energy-weighted basis. The left column in Figure 1 illustrates the range of methane losses from O&NG production normalized by natural gas production using data from recent literature. These losses are calculated by dividing methane emissions by the amount of methane produced. The data from both bottom-up (e.g., EPA) and hybrid methodologies (i.e., a mix of bottom-up data and satellite or aerial surveys) were used for these estimates. The methane loss estimates in the right column in Figure 1 illustrate the emissions allocated solely to natural gas production, so they are allocation-adjusted loss rates. When the O&NG sector is considered, the methane loss rate ranges between 0.4% and 9.6%, with a mean of 3.4%. When losses are allocation adjusted, it ranges between 0.4% and 4.8%, with 1.8% as the mean.

Figure 1. Methane emissions from oil and natural gas (O&NG) production and emissions allocated to natural gas (NG) production from recent literature
Chart illustrates the percent difference between real-world range and the nominal value for range for each car in the sample with dots representing “all conditions” in gray and dots for “very cold” in light blue, “cold” in darker blue, “high speed” in green, and “hot” conditions in red.

Note: Methane emissions from O&NG production are from Alvarez et al. (2018), EPA (2024), and Sherwin et al. (2024). Methane emissions allocated to NG production are from Omara (2018) and Sherwin et al. (2024)

To understand the climate impacts of upstream methane losses, let’s explore the fuel cycle GHG emissions of natural gas-powered heavy-duty trucks. Figure 2 illustrates the differences in well-to-wheel GHG emissions for 40-tonne trucks that run on compressed natural gas (CNG), normalized per mile, for each fuel option analyzed. We used the mean methane loss rate for natural gas production (1.8%) as well as the minimum (0.4%) and maximum (4.8%) loss rates from Figure 1 to provide the range of emissions estimates indicated by the error bar. The fuel economy of a heavy truck running on natural gas of 6.5 miles per diesel gallon equivalent was taken from the NACFE report. To compare our analysis with diesel-powered trucks, we used the U.S. national average for the carbon intensity of diesel fuel from the U.S. Renewable Fuel Standard, 91.9 g CO2e/MJ. Non-CO2 tailpipe emissions (methane and nitrous oxide) from GREET 2023 were included as equivalent amounts of CO2 in the combustion emissions for diesel and natural gas-powered trucks. The system boundary for natural gas includes extraction, processing, transport, fuel refining and distribution, and methane leakage for all steps. As illustrated in Figure 2, with the mean methane emissions rate of 1.8%, our estimates are a 6% GHG emission savings from CNG trucks compared with diesel ones. However, the same estimate shows that if there is a methane leakage rate greater than 2.5%, that would make CNG trucks worse than diesel ones from a climate perspective.

Figure 2. Fuel-cycle greenhouse gas emissions from a 40-tonne tractor-trailer for diesel and compressed natural gas (CNG)

Note: Fossil CNG results are estimated using GREET 2023 and assumptions therein for CNG production and combustion in dedicated CNG-fueled vehicles using a 100-year global warming potential for greenhouse gases. 

Thus, even with optimistic assumptions for upstream methane leakage, we estimate that CNG trucks only offer mild GHG reductions, if any, compared with petroleum diesel. This means that the estimated GHG savings for switching to natural gas trucks are marginal at best. However, there is also a long-term problem: Purchasing natural gas trucks may create technology lock-in. The CNG trucks purchased today and in the next several years could be on the road well into the 2030s, when zero-emission vehicles that provide much larger emission benefits could be more widely available. Battery electric trucks using grid-average electricity already generate deeper GHG savings than CNG trucks in many regions, and these GHG savings will grow over time as the grid decarbonizes. Adopting CNG could mean foregoing substantial GHG savings in the future from zero-emission vehicles.

Author

Gonca Seber Olcay
Researcher

Related Publications
A comparison of the life-cycle greenhouse gas emissions of European heavy-duty vehicles and fuels

This study is a life-cycle comparison of the greenhouse gas emissions from combustion, electric, and hydrogen trucks and buses in Europe. The analysis evaluates the lifetime emissions of different powertrains on a fully harmonized basis, comparing both the emissions attributable to fuel production and consumption as well as the emissions attributable to the vehicle’s manufacturing.

Life-cycle analyses
Fuels

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How can U.S. state SAF policies pave the way for decarbonization? https://theicct.org/event/how-can-u-s-state-saf-policies-pave-the-way-for-decarbonization-jan25/ Fri, 10 Jan 2025 15:04:03 +0000 https://theicct.org/?post_type=event&p=54587 The post How can U.S. state SAF policies pave the way for decarbonization? appeared first on International Council on Clean Transportation.

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Sustainable aviation fuels (SAFs) are essential for aviation decarbonization but make up less than 1% of United States jet fuel consumption. Coupled with federal tax incentives, U.S. states have adopted their own policies to incentivize SAF consumption. And while U.S. state policies can contribute to further SAF adoption, getting the details right can ensure that SAF policies achieve intended benefits.

This webinar will review existing and proposed statewide SAF policies with an emphasis on the risks and opportunities presented by different types of alternative fuels. ICCT experts will discuss their assessment of domestic supply potential for different SAFs, the risk of policy-driven shuffling of fuels between states and sectors, and recommendations for how state SAF policies can best contribute to long-term aviation decarbonization.

After the presentation, there will be a Q&A on the role of SAF and SAF policies in reducing U.S. transportation greenhouse gas emissions.

Prepare for the discussion by exploring our latest publication, SAF policy scorecard: Evaluating state-level sustainable aviation fuel policies in the United States, and reading the fact sheet here.

January 28, 2025
10:00 AM PST

Location: Virtual

Event Contact

Jessica Peyton, Associate Communications Specialist
communications@theicct.org

Speakers

Nik Pavlenko

Nik Pavlenko

ICCT Programs Director, Fuels and Aviation

Andy Navarrate

Andy Navarrate

ICCT Researcher

Jane O'Malley

Jane O'Malley

ICCT Senior Researcher

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Camila Viveiros https://theicct.org/team-member/camila-viveiros/ Wed, 18 Dec 2024 16:24:57 +0000 https://theicct.org/?post_type=team-member&p=54122 Camila Viveiros is a Associate Reseacher at the ICCT. Camila contributes to policy and technical research focused on the deployment of fuels in Brazil. Prior to joining the ICCT Camila has worked as a process engineer in first and second generation ethanol and biomethane, in areas of technology and economic analysis. She is currently doing […]

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Camila Viveiros is a Associate Reseacher at the ICCT. Camila contributes to policy and technical research focused on the deployment of fuels in Brazil. Prior to joining the ICCT Camila has worked as a process engineer in first and second generation ethanol and biomethane, in areas of technology and economic analysis. She is currently doing a M.A in bioprocess and bioproducts at Federal University of São Paulo and holds a B.A in chemical engineering from Santa Cecilia University in Brazil.

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Key characteristics of relevant SAF pathways in the United States https://theicct.org/viz-key-characteristics-of-relevant-saf-pathways-in-the-united-states/ Wed, 20 Nov 2024 16:39:12 +0000 https://theicct.org/?p=54517   Several U.S. states have recently implemented or are considering policies to encourage the use of sustainable aviation fuel (SAF). While existing pathways can deliver significant reductions, their limited supply covers only a fraction of U.S. jet fuel consumption. This ICCT visual shows the most promising candidates for decarbonizing aviation. Read more in SAF policy […]

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Several U.S. states have recently implemented or are considering policies to encourage the use of sustainable aviation fuel (SAF). While existing pathways can deliver significant reductions, their limited supply covers only a fraction of U.S. jet fuel consumption. This ICCT visual shows the most promising candidates for decarbonizing aviation.

Read more in SAF policy scorecard: Evaluating state-level sustainable aviation fuel policies in the United States.

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SAF policy scorecard: Evaluating state-level sustainable aviation fuel policies in the United States https://theicct.org/publication/saf-policy-scorecard-us-nov24/ Wed, 20 Nov 2024 05:01:59 +0000 https://theicct.org/?post_type=publication&p=50946 This paper compares key provisions in current and planned state SAF policies and assesses their strengths and weaknesses.

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Several states have recently implemented or are considering policies to encourage the use of sustainable aviation fuel (SAF). However, as this analysis highlights, many current state-level SAF policies have shortcomings. As a result, state support may not lead to an increase in the total supply of low-carbon fuel or trigger long-term investments in advanced pathways for producing SAF.

This analysis developed criteria and ranked the strengths and weaknesses of state policies related to three overall goals: long-term decarbonization, sustainability, and equity. As seen in the illustration below, current and proposed SAF polices generally lack provisions to ensure that these goals are all fully met.

 

Recommendations for improving state SAF policies include the following principles:

  • Prioritize low-carbon second-generation pathways for producing SAF.
  • Develop policies that provide certainty to investors over longer time frames.
  • Establish binding policies to disincentivize the use of fossil jet fuel and drive SAF deployment.

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International Council on Clean Transportation comments on the Second Notice of 15-day changes to the Proposed Regulation Order https://theicct.org/icct-comments-on-the-second-notice-of-15-day-changes-to-the-proposed-regulation-order-oct24/ Fri, 25 Oct 2024 15:12:17 +0000 https://theicct.org/?p=51090 The post International Council on Clean Transportation comments on the Second Notice of 15-day changes to the Proposed Regulation Order appeared first on International Council on Clean Transportation.

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The impact of the proposed “first productive use” requirement for biogas for Inflation Reduction Act 45V tax credits https://theicct.org/publication/the-impact-of-the-proposed-first-productive-use-requirement-for-biogas-for-inflation-reduction-act-45v-tax-credits-oct24/ Mon, 07 Oct 2024 04:01:42 +0000 https://theicct.org/?post_type=publication&p=49022 This brief highlights the importance of the “first productive use requirement” in the proposed guidance for the Section 45V tax credits.

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A “first productive use” requirement for biogas or biogas-derived renewable natural gas (RNG) in the Inflation Reduction Act (IRA) Section 45V tax credits would safeguard against unintended displacement emissions and ensure that eligible hydrogen pathways deliver the largest greenhouse gas (GHG) savings possible. This requirement would mean that the biogas used to produce hydrogen should not have previously been used for any other valuable application.

This brief estimates the fuel cycle GHG emissions of landfill gas (LFG)-derived RNG, electricity, and hydrogen when used as fuel for trucks, and analyzes the GHG impact of diverting biogas from electricity production for powering a battery electric truck to hydrogen production to power a fuel-cell electric truck (FCET). The analysis illustrates how diverting existing biogas from electricity production to hydrogen production could induce indirect emissions that reduce the overall GHG savings from that hydrogen.

Figure. Diversion from the current uses of biogas as RNG or electricity to hydrogen to power trucks in the absence of a first productive use requirement

If the first productive use requirement is removed from the proposed guidance for the Section 45V tax credits, hydrogen producers could claim billions of dollars in tax credits even though the hydrogen production may induce more GHG emissions than would have occurred in the absence of the tax incentive. In the case illustrated in the brief, hydrogen producers would receive around $1.6 billion in tax incentives for hydrogen that would not have qualified for the tax credit if the GHG emissions associated with diverting the biogas from its first productive use were considered.

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ICCT comments on the Proposed 15-day changes to Proposed Regulation Order https://theicct.org/icct-comments-on-the-proposed-15-day-changes-to-proposed-regulation-order-sept24/ Mon, 23 Sep 2024 21:52:08 +0000 https://theicct.org/?p=48440 The post ICCT comments on the Proposed 15-day changes to Proposed Regulation Order appeared first on International Council on Clean Transportation.

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Evaluating the policy value of dairy biomethane-derived hydrogen in California’s Low Carbon Fuel Standard https://theicct.org/publication/evaluating-the-policy-value-of-dairy-biomethane-derived-hydrogen-in-californias-lcfs-sept24/ Tue, 17 Sep 2024 04:00:48 +0000 https://theicct.org/?post_type=publication&p=47362 This brief provides key takeaways and recommendations for policies to limit the contribution of out-of-state, out-of-sector Low Carbon Fuel Standard credits.

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Livestock operations and manure management practices together are responsible for around half of the methane emissions in California. California’s Senate Bill 1383 requires the Air Resources Board to adopt regulations to reduce methane emissions by 40% by 2030, focusing on improving dairy manure management operations.

One way to reduce methane emissions is to collect biogas, produced during manure decomposition, instead of releasing it into the atmosphere. California’s Low Carbon Fuel Standard (LCFS) provides a strong incentive, in the form of credits, for projects that can demonstrate they result in avoided methane emissions. Hydrogen produced from biomethane using conventional techniques is also eligible for these credits. Currently, dairy manure pathways have an outsized contribution to the LCFS program due to avoided methane emissions crediting that lead to highly negative carbon intensities (CI). LCFS credit value for dairy hydrogen could even surpass the credit for electrolysis hydrogen from renewable electricity. In addition, LCFS allows hydrogen producers in California to claim credits for biogas captured anywhere in the United States. This system could end up supporting out-of-state digester projects rather than advancing sustainable technologies for low-CI hydrogen production within California.

This brief:

  • Estimates the policy value of dairy-biomethane derived hydrogen, including the impact of assumptions about avoided methane, on the CI of this pathway.
  • Illustrates the potential of livestock biomethane projects that may be incentivized under this system, particularly outside of California.

The brief concludes with key takeaways and recommendations for policies to limit the contribution of out-of-state, out-of-sector LCFS credits from manure-based pathways:

  1. The high policy value derived from the dairy biomethane-derived hydrogen pathways does not go towards advanced hydrogen production technologies or in-sector emissions reductions for transportation.
  2. Phasing out avoided methane emissions for biomethane pathways would better align it with its impact on transport-sector emissions in California.
  3. Stricter deliverability requirements for manure-based pathways would help ensure that these pathways help achieve emissions reduction goals in California. /li>

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