Federal Renewable Fuels Regulation - Overview of Approach
May 22, 2009
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- The 2006 Notice of Intent set out that we would look closely at the Renewable Fuel Standard developed by the U.S. EPA
- The approach generally harmonizes with that of the U.S. rule
- The renewable fuel requirement applies to the volume of petroleum fuel produced and imported
- Tradeable compliance units are the basis for complying with the regulations
- Each compliance unit represents one litre of renewable fuel
- The key simplification is that producers and importers of renewable fuel are not involved in creating compliance units
- This avoids the need for complex provisions regarding "RINs"
- Creation of 38-digit RINs, assignment to batches of renewable fuel, separation upon blending, etc
- EPA indicates that the RIN approach has been problematic
- The change means record-keeping provisions can be used instead of RINs to substantiate compliance units
- This avoids the need for complex provisions regarding "RINs"
The Canadian approach relies heavily upon recordkeeping and reporting requirements to establish compliance
- This is to be implemented by 2011 or earlier, subject to technical feasibility
- Questions remain from industry and end-users relating to cold weather operation, long-term storage, impacts on engines and equipment, distribution infrastructure
- Work has commenced to address the issues
- NRCan has launched a demonstration initiative building on the Alberta Renewable Diesel Demonstration
- The working document for consultation is an integrated package with a "place holder" for the distillate requirement
- It sets out the full approach
- The regulation will require renewable fuel volumes of at least:
- 5% of a primary supplier's gasoline pool (its annual production/importation of gasoline - both finished fuel and sub-octane blendstock)
- 2% of a primary supplier's distillate pool (its annual production / importation of diesel fuel and heating oil)
- Compliance is based on ownership of compliance units at the end of the year
- 1 distillate compliance unit = 1 litre of renewable fuel in diesel or heating oil
- 1 gasoline compliance unit = 1 litre of renewable fuel in gasoline or other fuels
- Compliance units may be transferred between primary suppliers

The pool is defined at a primary supplier's refinery gate and import points
Limits apply on a company (not facility) basis

- Through the same type of actions:
- Blending renewable fuel with petroleum fuel
- Importing blended fuel other than gasoline, diesel fuel or heating oil
- (note that importers of gasoline / distillate are primary suppliers)
- Producing fuel other than gasoline, diesel fuel or heating oil using bio-crude feedstock
- (note that persons producing gasoline / distillate from bio-crude are primary suppliers)
Persons creating compliance units must notify the Minister that they elect to participate in the trading system and provide registration information
Recipient | ||||
---|---|---|---|---|
Primary supplier | Non-PS trading system participant | Another party | ||
Transferor | Primary supplier | Yes | No | No |
Non-PS trading system participant | Yes | No | No | |
Another party | No | No | No |
The restrictions on trading are intended to ensure that compliance units reach obligated parties
- Enforcement rests solely upon records and reports
- Requirements apply to primary suppliers, trading system participants, and producers and importers of renewable fuel
- Information is required on:
- Fuel type
- Volume produced / imported / exported
- Renewable fuel content
- Renewable fuel volume produced, imported, acquired, sold, blended
- Compliance units created, transferred, received
- Year-to-date balance of compliance units
- A third part audit of records and reports is required annually
- Method for measuring volumes
- Election to participate in trading system
- Ownership and cancellation of compliance units
- One-time registration report for regulatees
- Third-party audits
- Retention of records
Requirement | Primary supplier (producer or importer) | Non-PS trading system participant (e.g., blender) | Seller for export | Producer or importer of renewable fuel |
---|---|---|---|---|
Renewable fuel in gasoline, diesel fuel, and heating distillate oil | Yes | No | No | No |
Election into the trading system | Automatic | Optional | No | No |
One-time registration | Yes | Yes | No | Yes |
Annual reports | Yes | Yes | Yes | Yes |
Compliance unit account book | Yes | Yes | No | No |
Other records | Yes | Yes | Yes | Yes |
Third-party audits | Yes | Yes | No | Yes |
- Part 1 - Requirements Pertaining to Gasoline, Diesel Fuel and Heating Distillate Oil
- Interpretation
- Application
- Prescribed Quantities
- Calculation of Pools
- Quantity of Renewable Fuel
- Method for Measuring Volumes of Fuels
- Registration as a Primary Supplier
- Compliance Period Report by Primary Suppliers
- Record of Type of Fuel
- General Records by Primary Suppliers
- Retention of Records
- Submission of Samples, Records and Reports
- Part 2 - Requirements Pertaining to a System of Tradeable Compliance Units
- Election to Participate in a Trading System for Compliance Units
- Creation of Compliance Units
- Ownership of Compliance Units
- Exchange of Compliance Units
- Use and Cancellation of Compliance Units
- Compliance Unit Account Book
- Additional Records for Trading System Participants
- Compliance Period Report for Trading System Participants
- Records and Reporting on Sales of Fuel for Export
- Records and Reporting on Renewable Fuel
- Auditor's Report
- Coming Into Force
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