Federal Renewable Fuels Regulation - Overview of Approach

May 22, 2009

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The Canadian approach relies heavily upon recordkeeping and reporting requirements to establish compliance

This figure visually shows that a primary supplier's gasoline pool consists of finished gasoline and unfinished gasoline (sub-octane), both of which could be produced at the primary supplier's refineries, or imported by the primary supplier. The pool is defined at a primary supplier's refinery gate and import points. The renewable fuel content requirement will apply on a company basis, not a facility basis.

The pool is defined at a primary supplier's refinery gate and import points

Limits apply on a company (not facility) basis

This figure visually shows that a primary supplier may either create compliance units or acquire compliance units from others. One compliance unit represents one litre of renewable fuel (RF) and may be created at any facility when RF is blended into fuel, at a refinery when bio-crude is used as feedstock, or when a fuel containing RF is imported. Compliance units which are not used in a compliance period may be re-created for use in the following period.

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

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

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