California Air Resources Board Adopts Updated Scoping Plan

After conducting a series of workshops over the last year and a half, the California Air Resources Board approved an updated version of their scoping plan in December 2022. The plan itself is essentially a roadmap on how the fourth largest economy in the world will achieve carbon neutrality by 2045 and reducing GHG’s by 48% by 2030. The Scoping Plan is required to be updated by CARB every five years. The adopted plan lays out new mid- and long-term GHG and clean energy targets for several economic sectors, including mobile, stationary, and working lands-based sources. A high-level summary of the adopted Scoping Plan scenario can be found below:

Transportation Sector

Some of the more significant transportation-related targets included in the Scoping Plan that will be needed to achieve the plan’s 2030 and 2045 targets include: Reducing vehicle miles traveled (VMT) per capita by 25 percent below 2019 levels by 2030, and 30% by 2045; ensuring all new medium and heavy duty truck sales are zero emission by 2040, 20% of aviation fuel demand is met by electricity or hydrogen in 2045; cargo handling at ports is zero emission by 2037 and that all drayage trucks are zero emission by 2035; and that 100% of passenger and other locomotive sales are zero emission models by 2030.

Building Decarbonization

One of the primary objectives of the Scoping Plan is to decarbonize buildings, with CARB projecting a 90% reduction in natural gas demand by 2045; 3 million all electric buildings by 2030 and 7 million by 2035; and the inclusion of 6 million heat pumps installed by 2030. This means that the Scoping Plan is estimating that 80% of heating, ventilation, air conditioning and water heater sales will be electric by 2030 in both the residential and commercial and industrial building sectors. For reference, CARB assumes that the state currently sees 15% of HVAC sales will be electric.

Electric Generation

For electric generation, the scoping plan forecasts reaching GHG emissions of 38 million metric tons (MMT) in 2030, and 30 MMT by 2035; deploying 20 gigawatts of offshore wind power by 2045; and meeting additional electrification demand without new fossil-fueled power generation resources. This includes the retirement of all combined heat and power generation facilities in the state by 2040.

The 2022 Scoping Plan also includes the development of carbon management and hydrogen production at a scale that was not incorporated in earlier iterations. This is welcome news, as both Carbon Capture and Sequestration (CCS) and Hydrogen are sources of clean firm power that can contribute to California’s carbon neutrality goals. CalChamber has long advocated for technology neutral solutions in the spirit of Cap-and-Trade, which is a technology neutral approach to emissions reductions. The inclusion of CCS and Hydrogen could allow the state to expand its “toolbox” for achieving these ambitious targets. However, SB 905 (Caballero), Chapter 359, Statutes of 2022, created a restrictive framework around carbon capture that will limit it’s potential to offer a meaningful solution to the state’s overall emissions reduction targets.

These are ambitious targets that are designed to further underscore California’s role as a leader in emissions reductions. Beyond that, the inclusion of CCS and Hydrogen in this Scoping Plan show the state’s willingness to incorporate innovative solutions to achieve emissions reductions targets, even if they don’t unlock their full potential.

Many Questions Remain

However, there are a few open-ended questions that the Scoping Plan did not address. For example, implementing several of the key proposals included in the plan will require coordination between one or more other state agency. The plan did not articulate beyond the identified target how that coordinated effort will work. In early January, the LAO issued a report that drew many of the same conclusions. In that report, the LAO took issue with the lack of detail included in the Scoping Plan on how the state intends on achieving its near-term targets, noting that it is unclear as to which mechanism(s) the state will rely on to achieve its 2030 GHG emissions targets. Referring to the lack of specificity as to whether the state will rely on financial incentives, regulatory action, or cap-and-trade, as a missed opportunity with significant ramifications.

Forecasted energy demand stemming from this updated plan means that we simply cannot afford to discourage development. Clean energy generation would need to be 70% above our current capacity to meet the demands envisioned in the 2022 Scoping Plan. For this plan to become a reality there will need to be significant modifications to the current siting and permitting process. Projects currently remain in queue for several years before development can begin, and that is clearly at odds with the ambitious targets set forth in this Scoping Plan. In addition to siting and permitting, the September heatwave that threatened California’s grid is not too far in the distant past that we can forget that there is still an ongoing need for clean-firm power. This ongoing need for clean-firm generation is partly what drove CalChamber to support the extension of Diablo Canyon – to buttress the grid when intermittent renewables are not able to meet the state’s net peak demand needs. As demand continues to grow through greater electrification, it will be imperative that the state build out a diverse energy portfolio that can meet the energy needs of the state at any given time.

Brady Van Engelen, Policy Advocate