2017 Fall Reports of the Commissioner of the Environment and Sustainable Development to the Parliament of Canada Independent Auditor’s ReportReport 3—Funding Clean Energy Technologies

2017 Fall Reports of the Commissioner of the Environment and Sustainable Development to the Parliament of Canada Report 3—Funding Clean Energy Technologies

Independent Auditor’s Report

Introduction

Background

3.1 Scientists have documented the causes and impacts of climate change in all regions of the planet. A primary cause of climate change is the increase of greenhouse gases in the atmosphere. These gases include carbon dioxide, methane, nitrous oxide, and ozone. In 2015, more than 80 percent of Canada’s greenhouse gas emissions came from energy production and use. According to Environment and Climate Change Canada, the main sources of these emissions were the oil and gas sector (26 percent), transportation (24 percent), buildings (12 percent), and electricity generation (11 percent).

3.2 In 2015, under the Paris Agreement, part of the United Nations Framework Convention on Climate Change, Canada committed to a reduction of 30 percent in greenhouse gas emissions below 2005 levels by the year 2030. Clean energy technologies are one way to decrease greenhouse gas emissions from energy production and use. They include technologies that bring about the production, transmission, distribution, and use of energy with low or no greenhouse gas or other air emissions. Examples of clean energy production technologies include

3.3 Clean energy technologies also include innovations that reduce energy use, increase energy efficiency, or support other low- or non-emitting energy technologies, rather than producing energy themselves.

3.4 According to the International Energy Agency, three major strategies could contribute to reducing greenhouse gas emissions: 38 percent of cumulative global emission reductions between 2013 and 2050 could come from energy efficiency, 32 percent from renewable energy sources, and 12 percent from a technology called carbon capture, utilization, and storage (CCUS).

3.5 The CCUS technology involves capturing carbon dioxide from industrial operations such as coal-fired electricity plants, oil sands upgrading, natural gas processing, or cement manufacturing plants. Because it involves large capital costs, CCUS is suitable primarily in large facilities. The carbon that is captured is transported for storage underground, or for use in other operations—most often to facilitate the extraction of oil through a process called enhanced oil recovery (Exhibit 3.1). According to the Intergovernmental Panel on Climate Change, CCUS creates a net reduction of emissions by 80 to 90 percent when the carbon is captured from coal-fired electricity plants and stored underground.

Exhibit 3.1—Greenhouse gas emissions can be reduced in large facilities by capturing carbon dioxide (CO2) and using or storing it

Image showing how large facilities can reduce greenhouse gas emissions by capturing carbon dioxide and using it or storing it underground

Source: Adapted from a Pembina Institute diagram

Exhibit 3.1—text version

This image shows how large facilities can reduce greenhouse gas emissions by capturing carbon dioxide and using it or storing it underground. The image shows the surface layer and many underground layers.

Above ground are four industrial plants that produce carbon dioxide: a coal-fired electricity plant, a chemical and fertilizer plant, an oil and gas production plant, and a steel and cement production plant.

These plants can capture the carbon dioxide they produce and send it through pipes that go deep underground. Each pipe passes through layers of impermeable rock.

One of the pipes transports carbon dioxide to oil underground to help with the extraction of this oil through a process called enhanced oil recovery. An oil pump brings the oil from this underground reservoir to the surface through a different pipe.

Another pipe transports carbon dioxide for storage underground in a depleted oil or gas reservoir.

Another pipe transports carbon dioxide for storage two kilometres underground in a deep saline formation.

This image was adapted from a Pembina Institute diagram.

3.6 To meet regulations that set limits on emissions, Canadian coal-fired electricity plants that are new or that have been operating for 50 years or more will be able to operate only if they use CCUS. The federal government announced in 2016 that it plans to phase out plants that exceed the emission limits by 2030.

3.7 While many clean energy technologies are already in use, some are not yet at the commercialization stage, because they have not yet demonstrated their technological and economic potential. Private sector funding is often hard to secure at this demonstration stage, given the high-risk nature of unproven technologies.

3.8 The federal government has recognized that innovation in technology is key to meeting its commitments to reduce greenhouse gas emissions and has taken steps to fund demonstration projects through various initiatives. Private sector funding may be easier to obtain if a project has received government funding.

3.9 Federal funding for clean energy technologies is supported by other federal, provincial, and territorial measures, such as regulations and standards that limit emission intensity, government procurement policies that promote the purchasing of low-carbon goods and services, and carbon-pricing mechanisms for the use of carbon-emitting energy.

3.10 Several federal organizations are involved in supporting clean energy technology demonstration projects:

Focus of the audit

3.11 This audit focused on whether Natural Resources Canada and Sustainable Development Technology Canada managed demonstration projects in three federal funds for clean energy technologies in compliance with the conditions of the funds. It also focused on whether Natural Resources Canada and Sustainable Development Technology Canada articulated how selected funded projects were contributing to reducing greenhouse gas emissions.

3.12 We looked at projects funded with the expected long-term outcome of contributing to greenhouse gas reductions. The funds we examined also had projects with other environmental and socio-economic objectives. The audit examined clean energy technology demonstration projects in three funds:

3.13 The scope of our audit included all commercial-scale CCUS projects in Canada, with one exception. The CCUS demonstration project at the Boundary Dam coal-fired electricity plant in Estevan, Saskatchewan, was not included, because it received funding through the 2008 federal budget and not through any of the funds we examined. Under the provisions of the federal budget, $240 million was transferred from the Government of Canada to the Government of Saskatchewan for this project.

3.14 This audit is important because clean energy technologies are a key means of reducing greenhouse gas emissions from energy production and use.

3.15 More details about the audit objectives, scope, approach, and criteria are in About the Audit at the end of this report.

Findings, Recommendations, and Responses

Assessing, approving, and monitoring projects

Projects were funded through rigorous and objective processes

Overall message

3.16 Overall, we found that both Natural Resources Canada and Sustainable Development Technology Canada (SDTC) had rigorous and objective processes in place to assess, approve, and monitor projects.

3.17 This finding matters because the government spent significant amounts to fund clean energy technology projects. It is important for the federal organizations involved to demonstrate due diligence in assessing and approving projects.

3.18 Our analysis supporting this finding presents what we examined and discusses the following topics:

3.19 Clean Energy Fund. The Clean Energy Fund, administered by Natural Resources Canada, had two demonstration program components: one for large-scale carbon capture, utilization, and storage (CCUS) projects and one for small-scale renewable energy and clean energy systems.

3.20 The main objective of the Clean Energy Fund was to support the development of new technologies that would reduce greenhouse gas emissions from energy production. This included co-funding two or three large-scale CCUS demonstration projects, in partnership with the private sector and provinces, and generating new knowledge about the performance and operational characteristics of small-scale demonstration projects. The Shell Quest carbon capture and storage project was one of the projects funded (Exhibit 3.2).

Exhibit 3.2—The Clean Energy Fund supported the Shell Quest carbon capture and storage project

Between 2012 and 2015, the Clean Energy Fund provided $120 million for Shell Canada’s carbon capture and storage project at its Scotford upgrader plant located 45 kilometres northeast of Edmonton, Alberta. The total project cost for 10 years of operation is expected to be $1.3 billion. The plant converts bitumen into crude oil by adding hydrogen. The system can capture up to 1.2 megatonnes of carbon dioxide yearly from the hydrogen manufacturing units—roughly a third of the carbon dioxide produced at the plant. The carbon dioxide is compressed and transported through a pipeline to a storage complex 70 kilometres northeast of the plant, then stored in a saline formation about 2 kilometres underground.

This photograph shows the Scotford upgrader plant in Alberta

Scotford upgrader plant

Photo: Office of the Auditor General of Canada

3.21 EcoENERGY Technology Initiative. The ecoENERGY Technology Initiative, also administered by Natural Resources Canada, had two demonstration components, including one dedicated to CCUS projects, which we examined. This fund was intended to accelerate the development and market readiness of technology solutions in clean energy.

3.22 SD Tech Fund. The SD Tech Fund, administered by Sustainable Development Technology Canada, supports the development and demonstration of clean technologies that address climate change, air quality, clean water, and clean soil. We examined only projects that had climate change as a primary environmental benefit, such as the development of zero-emission fuel cells for vehicles (Exhibit 3.3).

Exhibit 3.3—The SD Tech Fund supported the development of a fuel cell

This photograph shows the inner workings of a vehicle powered by a fuel cell

Vehicle powered by a fuel cell

Photo: © AFCC Automotive Fuel Cell Cooperation CorporationCorp.

The SD Tech Fund provided $11.5 million between 2010 and 2014 to support a $56.6 million project intended to help bridge the technological gap toward the commercialization of fuel cell vehicles, which use a zero-emission technology that relies on hydrogen power.

The project’s focus was on increasing the lifetime, manufacturability, and power density of the fuel cell while reducing product costs. The project was successfully completed, and efforts to commercialize the technology were under way at the time of our audit.

3.23 For the three funds we examined, the total amount allocated from 2006 to 2017 for clean energy technology demonstration projects that had climate change as a primary environmental benefit was $1.4 billion. The three funds spent almost $714 million on demonstration projects over that period (Exhibit 3.4). A large portion of the allocated money was not spent, including three quarters of the CCUS portion of the Clean Energy Fund. This was because some of the projects were cancelled, and because the government reduced the amount available to the program and reallocated some funds to other programs.

Exhibit 3.4—Three federal programs that we examined funded demonstration projects on clean energy technologies

Image showing the three funding programs we examined that supported clean energy projects

Source: Analysis based on information provided by Natural Resources Canada and Sustainable Development Technology Canada

Exhibit 3.4—text version

This image shows the three funding programs we examined in our audit, the federal organizations that administered them, and the demonstration projects on clean energy technologies that the three programs funded.

Natural Resources Canada administered two funding programs we examined: the ecoENERGY Technology Initiative and the Clean Energy Fund.

  • The ecoENERGY Technology Initiative funded demonstration projects from 2007 to 2012. The fund spent $96 million on carbon capture, utilization, and storage projects, and $14 million on other clean energy projects.
  • The Clean Energy Fund funded demonstration projects from 2009 to 2016. The fund spent $111 million on renewable energy projects and $147 million on carbon capture, utilization, and storage projects.

Sustainable Development Technology Canada administered the third funding program we examined: the SD Tech Fund.

  • The SD Tech Fund started supporting demonstration projects in 2001 and is expected to continue doing so until 2022. Over the period of the audit, this fund spent $346 million on technologies with climate change as a primary environmental benefit.

This analysis was based on information provided by Natural Resources Canada and Sustainable Development Technology Canada.

3.24 Each of the funds was established with standard steps for calls for submissions, assessment of proposals, and recommendation or approval of projects by key committees. After the initiation of a contribution agreement, the funding organizations would monitor projects and provide payments in response to the recipient’s progress against milestones and incurring of eligible costs.

3.25 Our recommendations in this area of examination appear at paragraphs 3.34 and 3.39.

3.26 What we examined. We examined processes for proposal submission, assessment, approval, and support of clean energy technology demonstration projects in three funds. We examined 65 projects from these funds. We looked at how Natural Resources Canada and Sustainable Development Technology Canada solicited, assessed, and approved projects. We also looked at whether appropriate conflict of interest mechanisms were in place, and whether controls were used to ensure that payments were made in compliance with funding conditions. We looked at processing times, from initial project submission to the first payment, to see whether financial support was timely. Finally, we looked at the monitoring of funded projects and the management of payments.

3.27 Proposal submission processes. We found that, in most cases, the funds held public calls for submission of proposals. At the SD Tech Fund, until July 2016, project submissions were accepted twice a year; after this date, the Fund accepted submissions continuously.

3.28 Natural Resources Canada also used public calls for proposals, with the exception of CCUS proposals, for the Clean Energy Fund. These proposals were subject to a separate solicitation process, which targeted companies that had already applied to the ecoENERGY Technology Initiative or to the Government of Alberta’s Carbon Capture and Storage Fund. Natural Resources Canada officials told us that this approach ensured that federal funding could be combined with existing provincial and other types of funding, such as Alberta’s Carbon Capture and Storage Fund, to target companies that had expertise in large-scale CCUS demonstration projects.

3.29 We did not find evidence of this type of targeted submission process for any other type of technology at the demonstration stage. We found that Natural Resources Canada had planned to spend $784 million on CCUS projects out of the nearly $1 billion initially planned for demonstration projects. Of the $368 million actually spent on demonstration projects, $243 million was spent on CCUS projects. We did not find parallel plans for other types of technologies, such as fuel cells or geothermal initiatives.

3.30 Sustainable Development Technology Canada’s project assessment and approval. We found that Sustainable Development Technology Canada (SDTC) had a comprehensive process in place for proposal review and approval for the SD Tech Fund, against predetermined criteria. This process included reviews by internal and external experts, followed by review and recommendation by the SDTC Investment Committee (comprising SDTC executives, select Board members, and external advisers), review and recommendation by a subcommittee of the Board of Directors, and approval by the full Board.

3.31 We found that SDTC had measures in place to mitigate potential conflict of interest for all those involved in assessing and approving proposals. Board and committee members involved in decision making about funds were subject to a trading policy that prohibited them from disclosing information and from buying or selling shares from companies that were applying for funding.

3.32 For the 28 projects we examined—all of which aimed to have greenhouse gas emission reduction as a primary environmental benefit—internal SDTC experts and external reviewers from industry assessed proposals against several criteria, including intended emission reductions, technological capability and feasibility, and financial leverage and risk. We found evidence of substantial review and challenge at this stage, including verification of environmental benefit forecasts by a specialist on staff. Since 2012, SDTC had also used a standardized ranking tool to ensure consistent assessment of the potential benefits and performance of proposals.

3.33 The reviewers also provided summaries of their assessments, including assessments of the intended environmental benefits, such as emission reduction forecasts, to the SDTC Investment Committee. However, for 18 of the 28 projects we reviewed, we did not find documented evidence of the Investment Committee’s consideration of environmental benefits. Two projects that were funded had received low ratings on their environmental benefits by some of the internal and external reviewers, but were nevertheless recommended by the Investment Committee and approved by the Board, with no documented rationale related to environmental benefits.

3.34 Recommendation. Sustainable Development Technology Canada should clearly document the assessment of potential greenhouse gas emission reductions that it undertakes when approving projects that have this as an intended long-term outcome.

Sustainable Development Technology Canada’s response. Agreed. Sustainable Development Technology Canada (SDTC) assesses and challenges the greenhouse gas emission reduction performance of project proposals at several steps in the evaluation process. Summaries of greenhouse gas reductions are provided to the SDTC Investment Committee for consideration in the final project selection process. The SDTC Investment Committee will document, in the committee minutes, its assessment of potential greenhouse gas emission reductions that it undertakes when approving projects that have this as an intended long-term outcome. The President and Chief Executive Officer will ensure that the Investment Committee implements this approach immediately, as part of the permanent minute-taking procedure.

3.35 Natural Resources Canada’s project assessment and approval. We found that Natural Resources Canada had comprehensive processes in place to assess proposals against predetermined criteria. Both the Clean Energy Fund and the ecoENERGY Technology Initiative had technical committees that reviewed and rated projects in terms of their technical merit, their expected environmental benefits (including emission reductions), and their economic impact and risk. The technical committee for each fund made recommendations to a panel of assistant deputy ministers from Natural Resources Canada and other federal science-based organizations. This panel in turn advised the Deputy Minister of Natural Resources Canada on which projects to fund.

3.36 To mitigate potential conflict of interest, all participants in the technical committees and the panel were, as public servants, subject to the Values and Ethics Code for the Public Sector and were required to sign conflict of interest declarations.

3.37 We found some inconsistencies between the funds’ long-term expected outcomes for emission reductions and the way assessments were carried out. Proponents were required to submit estimates of potential emission reductions in their proposals, which were to be considered as part of the assessments. We found evidence that these estimates were submitted and considered for CCUS projects in both funds, and for the small-scale project applications to the Clean Energy Fund that we examined. However, for half of the ecoENERGY Technology Initiative projects that were expected to lead directly to emission reductions in the longer term, information on emission reductions was incomplete. Despite this lack of information, the projects were approved for funding without any explanation in the project files.

3.38 We found that files for three other CCUS projects, on which Natural Resources Canada spent $83 million, were not adequately documented. For one project, Natural Resources Canada officials were unable to locate the signed risk assessment, the financial due diligence documentation, or the approval of the amended contribution agreement. Appropriate documentation of project analysis, review, and key decisions is important to supporting decisions to allocate these large sums of money. We found that the lack of adequate documentation in these cases made it difficult for Natural Resources Canada to demonstrate due diligence clearly.

3.39 Recommendation. Natural Resources Canada should clearly document its project assessment and approval decisions, to show due diligence in the assessment of potential greenhouse gas emission reductions for demonstration projects that have this as an intended long-term outcome.

Natural Resources Canada’s response. Agreed. Natural Resources Canada has developed and implemented a clear and rigorous proposal assessment and approval documentation process that demonstrates due diligence, and that has been in place for programs that followed the ecoENERGY Technology Initiative and the Clean Energy Fund. Natural Resources Canada will further strengthen this process by including supplementary information on the assessment of potential greenhouse gas emission reductions for demonstration projects that have this as an intended long-term outcome for new programs starting in the 2017–18 fiscal year.

3.40 Processing times. Timely financial support is key for companies entering fast-moving market sectors such as clean energy technology. Timely diffusion of new technologies is a key objective of the SD Tech Fund. Funding recipients told us that processing time was especially important for small and medium-sized companies that might not have the resources to operate for long periods before receiving funding.

3.41 We found that the processing times were long for both the SD Tech Fund and the small-scale component of the Clean Energy Fund. For the 28 SD Tech Fund projects we reviewed, we looked at the time elapsed from initial project submission to the first payment, and found that the process averaged 22 months. We found that this was partly attributable to SDTC’s extensive due diligence process, and to the time required for applicants to secure additional funding and meet other conditions. At the end of the period covered by the audit, SDTC was taking action to shorten timelines by up to 4 months.

3.42 We also found that the process for the small-scale component of the Clean Energy Fund took 16 months on average. This fund also required applicants to go through an extensive due diligence process.

3.43 Monitoring and payments. Once a demonstration project was launched, recipients had to meet certain conditions to continue to receive funding for the full term of the project. Both Natural Resources Canada and Sustainable Development Technology Canada (SDTC) were required to monitor the projects against milestones and objectives. We found that Natural Resources Canada and SDTC had adequate mechanisms in place to monitor projects. Both prepared standard contribution agreements for each recipient and modified the contribution agreements appropriately when major changes occurred in the course of a project. Natural Resources Canada and SDTC applied the required 10 percent holdback on payments for all funded projects, when applicable. These final holdback payment sums were released once all conditions of the contribution agreements were met.

3.44 We found that both SDTC and Natural Resources Canada carried out adequate checks and made adjustments, as appropriate, to ensure that claims for payments were made against eligible costs and were based on actual costs incurred. Natural Resources Canada also carried out audits of funding recipients. SDTC assessed the recipients’ achievements against project milestones, made payments based on those assessments, and ensured that funding was directed to eligible project costs.

Measuring and reporting on results

Reporting on estimated greenhouse gas emission reductions for some of the funds we examined was insufficient to provide an overall picture of results

Overall message

3.45 Overall, we found that tracking and reporting on estimated greenhouse gas emissions from some of the funds that we examined was not sufficient to provide an overall picture of estimated reductions. While reductions from the SD Tech Fund and from the carbon capture, utilization, and storage (CCUS) projects in the Clean Energy Fund were reported, results from other projects in the Natural Resources Canada funds were not reported publicly, even though they were tracked internally in many cases.

3.46 This finding matters because tracking and reporting on funded clean energy technologies help to clarify how the funds are contributing to greenhouse gas reductions. Building better data helps to focus these activities and ensure that they achieve intended results.

3.47 Our analysis supporting this finding presents what we examined and discusses the following topics:

3.48 Since the 1990s, the federal government has had a goal of reducing greenhouse gas emissions to mitigate the impacts of climate change. To meet Canada’s most recent commitment under the 2015 Paris Agreement, Canada must reduce its emissions to 523 megatonnes by 2030. In 2015, Canada’s emissions were 722 megatonnes.

3.49 Canada reports its progress toward greenhouse gas emission reduction targets internationally through various means, including a biennial report and a national communication report. Environment and Climate Change Canada submits these reports to the United Nations Framework Convention on Climate Change. The reports list key policies and measures addressing emissions, including the funds we examined.

3.50 The Pan-Canadian Framework on Clean Growth and Climate Change, released in December 2016, sets out the various levers available to government to work toward greenhouse gas emission reductions. The Framework identifies investing in “clean technology, innovation, and jobs” as one of its pillars; it also highlights the need for clear measurements of the effects of government activities.

3.51 Our recommendations in this area of examination appear at paragraphs 3.59 and 3.61.

3.52 What we examined. We examined whether the results of selected federal clean energy technology funds were adequately measured, tracked, and reported. We looked at how this was done by project, by fund, and at the national level.

3.53 Project-level reporting. Proponents were required to submit annual reports that included annual estimates of greenhouse gas emission reductions after project completion. Natural Resources Canada did not require this for projects that were not expected to reduce emissions directly (for example, smart grid technologies that enable better integration of renewable electricity into the electric grid).

3.54 We found that both Natural Resources Canada and Sustainable Development Technology Canada (SDTC) had difficulty obtaining these post-completion reports for many of the projects we reviewed. In some cases, there was little incentive for companies to report after receiving all the funding. For SDTC, most of the project reports we expected to find were missing. For Natural Resources Canada, reports were missing for a quarter of the companies funded.

3.55 We found that SDTC had additional processes in place to estimate greenhouse gas emission reductions as projects progressed. SDTC required funding recipients to provide environmental benefit reports, both at the beginning and at the end of a project, to estimate the potential contribution to greenhouse gas emission reductions. We found that this requirement was met for all of the SD Tech Fund projects we reviewed, where applicable. Funding recipients used the services of specialized third parties to prepare these reports. SDTC also contracted consultants to conduct a review of these forecasts upon project completion. We found that, in response to our 2006 audit, SDTC modified its approach to calculating the emission reduction estimates attributable to projects funded through the SD Tech Fund, to improve clarity in its reports to Parliament.

3.56 We found that Natural Resources Canada verified estimates provided by companies and modified estimates that were not realistic. However, its approach was not consistent for all projects. In 2016, Natural Resources Canada hired a specialist to improve consistency in verifying estimates. By the end of the period covered by the audit, it was too early to assess whether results had improved.

3.57 Fund-level reporting. For the SD Tech Fund, we found that Environment and Climate Change Canada and Sustainable Development Technology Canada included greenhouse gas emission reduction estimates in their annual reports to Parliament. In 2015, projects funded through the SD Tech Fund were credited with over six megatonnes in emission reductions, of which approximately two megatonnes were within Canada.

3.58 We found that there was no overall figure for emission reductions for the Natural Resources Canada funds we examined. We found that the Department tracked and reported internally on the emission reductions achieved for all projects funded through the Clean Energy Fund, but these figures were not reported publicly, with the exception of estimates for one large CCUS project. We found that the Department did not track the emission reduction estimates for all projects in the ecoENERGY Technology Initiative, and that it reported this information for only two of eight projects on its website.

3.59 Recommendation. Natural Resources Canada should report publicly on greenhouse gas emission reductions resulting from all the demonstration projects it funds that are intended to achieve emission reductions.

Natural Resources Canada’s response. Agreed. Natural Resources Canada already reports publicly on greenhouse gas emission reductions resulting from large demonstration projects that it funds, in program evaluation reports and on its website. Natural Resources Canada will supplement this information by publicly reporting on direct greenhouse gas emission reductions resulting from smaller demonstration projects that it funds, where such reductions exceed 0.01 megatonne per year per project, aggregated at the appropriate program level, for new programs starting in the 2017–18 fiscal year.

3.60 National reporting. Environment and Climate Change Canada’s national biennial report provided a consolidated list of greenhouse gas reduction measures in Canada and an estimate of their effect on emissions in 2020. This report listed all three funds we examined. We found that the report included greenhouse gas emission information for CCUS projects, but not for other clean technology projects we examined. Officials told us that these reports did not include all projects in their overall emission estimates because of the uncertainty of the potential results in some cases, and because of the interaction of different measures. Given that funding clean energy technologies is one of the federal government’s key levers in contributing to emission reduction targets, reporting nationally on the results of these funds would help to focus efforts and ensure that they achieve their intended results.

3.61 Recommendation. Natural Resources Canada and Innovation, Science and Economic Development Canada, in consultation with Environment and Climate Change Canada, should create a plan to measure and report on outcomes for funded clean energy technology demonstration projects that aim to reduce greenhouse gas emissions.

The departments’ response. Agreed. Natural Resources Canada and Innovation, Science and Economic Development Canada (which is responsible for Sustainable Development Technology Canada), in consultation with Environment and Climate Change Canada, will develop an approach to measuring and reporting on expected outcomes for funded clean energy technology demonstration projects that have as a goal reducing greenhouse gas emissions for new funding received as of the 2017–18 fiscal year.

Conclusion

3.62 We concluded that Natural Resources Canada and Sustainable Development Technology Canada (SDTC) managed selected clean energy technology projects in compliance with the conditions of the funds. They both had rigorous and objective processes in place to assess, approve, and monitor projects.

3.63 We also concluded that Natural Resources Canada and SDTC had articulated the environmental benefits of their funds. SDTC tracked and reported estimated greenhouse gas emission reductions. Natural Resources Canada tracked and reported on the results of completed carbon capture, utilization, and storage projects that it funded but did not consistently track and report this for other projects. Despite the greater uncertainty involved in tracking these results, reporting nationally on results would help ensure they achieve their intended results.

Subsequent Event

3.64 On 22 March 2017, the federal government released Budget 2017, which identified clean technology and clean energy as one of the government’s innovation priorities. New funding for clean technology companies, notably at the demonstration stage, included

About the Audit

This independent assurance report was prepared by the Office of the Auditor General of Canada on funding clean energy technologies. Our responsibility was to provide objective information, advice, and assurance to assist Parliament in its scrutiny of the government’s management of resources and programs, and to conclude on whether the federal funding of clean energy technologies complied in all significant respects with the applicable criteria.

All work in this audit was performed to a reasonable level of assurance in accordance with the Canadian Standard for Assurance Engagements (CSAE) 3001—Direct Engagements set out by the Chartered Professional Accountants of Canada (CPA Canada) in the CPA Canada Handbook—Assurance.

The Office applies Canadian Standard on Quality Control 1 and, accordingly, maintains a comprehensive system of quality control, including documented policies and procedures regarding compliance with ethical requirements, professional standards, and applicable legal and regulatory requirements.

In conducting the audit work, we have complied with the independence and other ethical requirements of the Rules of Professional Conduct of Chartered Professional Accountants of Ontario and the Code of Values, Ethics and Professional Conduct of the Office of the Auditor General of Canada. Both the Rules and the Code are founded on fundamental principles of integrity, objectivity, professional competence and due care, confidentiality, and professional behaviour.

In accordance with our regular audit process, we obtained the following from management:

Audit objectives

The objectives of this audit were to determine whether Natural Resources Canada and Sustainable Development Technology Canada managed demonstration projects in selected federal funds for clean energy technologies in compliance with the conditions of the funds, and whether selected federal organizations articulated how funded clean energy technology projects would contribute to greenhouse gas emission reductions.

Scope and approach

The audit examined the framework, process, compliance against funding conditions, and results associated with federal funding of clean energy technologies and carbon capture, utilization, and storage (CCUS).

We reviewed the existing climate change framework and project documentation from Natural Resources Canada and Sustainable Development Technology Canada related to the selection and management of projects. We visited several sites of projects that received funding through the funds we examined.

This audit examined federal funding for clean energy technology demonstration projects. As part of this, we examined, with a focus on projects that contributed to reducing greenhouse gas emissions, three federal programs that funded the demonstration of clean energy technologies.

We examined all 23 clean energy projects from the Natural Resources Canada Clean Energy Fund. We examined all 4 CCUS projects from the Natural Resources Canada Clean Energy Fund and all 10 CCUS projects from the Natural Resources Canada ecoENERGY Technology Initiative. We looked at 2 projects that were included by Natural Resources Canada with the ecoENERGY Technology Initiative projects, but we did not comment on them because they were misclassified. We selected 28 clean energy technology projects (of 142 that had climate change as a primary environmental benefit at the time of sample selection) for examination from Sustainable Development Technology Canada’s SD Tech Fund. This sample was selected with consideration of the projects’ total dollar values and the projects’ distribution across regions and energy sectors.

We interviewed staff from Natural Resources Canada; Environment and Climate Change Canada; Innovation, Science and Economic Development Canada; and Sustainable Development Technology Canada. We also interviewed staff of the organizations that received funding.

We did not undertake a detailed examination of Natural Resources Canada’s ecoENERGY Innovation Initiative or Sustainable Development Technology Canada’s NextGen Biofuels Fund. We also did not look at funding provided at early or later project stages by the Business Development Bank of Canada, Export Development Canada, or the Industrial Research Assistance Program run by the National Research Council.

Criteria

To determine whether Natural Resources Canada and Sustainable Development Technology Canada managed demonstration projects in selected federal funds for clean energy technologies in compliance with the conditions of the funds, and whether selected federal organizations articulated how funded clean energy technology projects would contribute to greenhouse gas emission reductions, we used the following criteria:

Criteria Sources

There is a framework for the federal funding of clean energy technologies, with the reduction of greenhouse gas emissions as one of its objectives.

  • Federal Budget 2005
  • 2006–2007 Report on Plans and Priorities, Natural Resources Canada
  • 2007–2008 Report on Plans and Priorities, Natural Resources Canada
  • Clean Energy Logic Model for the Clean Air Agenda, Natural Resources Canada, 2008
  • Terms and Conditions of the Clean Energy Fund, Natural Resources Canada

Selected clean energy technology funds are aligned with the clean energy technology framework.

  • Management, Resources, and Results Structure Policy, Treasury Board, 2005
  • Policy on Management, Resources and Results Structures, Treasury Board, 2008 and 2010
  • Policy on Transfer Payments, Treasury Board, 2000 and 2008

Projects in the federal clean technology funds we examined are selected and carried out in compliance with the funds’ conditions.

  • Terms and Conditions of the Clean Energy Fund, Natural Resources Canada
  • Terms and Conditions of the ecoENERGY Technology Initiative, Natural Resources Canada
  • SD Tech Fund Agreement, Sustainable Development Technology Canada and Natural Resources Canada
  • SD Tech Fund Agreement, Sustainable Development Technology Canada and Environment and Climate Change Canada
  • SD Tech Fund Agreement, Sustainable Development Technology Canada and Innovation, Science and Economic Development Canada

Projects in the federal clean technology funds we examined articulate how they contribute to greenhouse gas emission reductions.

  • Terms and Conditions of the Clean Energy Fund, Natural Resources Canada
  • Terms and Conditions of the ecoENERGY Technology Initiative, Natural Resources Canada
  • SD Tech Fund Agreement, Sustainable Development Technology Canada and Natural Resources Canada
  • SD Tech Fund Agreement, Sustainable Development Technology Canada and Environment and Climate Change Canada
  • SD Tech Fund Agreement, Sustainable Development Technology Canada and Innovation, Science and Economic Development Canada

Natural Resources Canada, Environment and Climate Change Canada, and Innovation, Science and Economic Development Canada have carried out oversight of Sustainable Development Technology Canada.

  • Policy on Transfer Payments, Treasury Board, 2000 and 2008
  • Planning for a Sustainable Future: A Federal Sustainable Development Strategy for Canada 2013–2016, Environment Canada, 2013
  • 2014–2015 Report on Plans and Priorities, Natural Resources Canada
  • Annual Report 2014, Sustainable Development Technology Canada
  • SD Tech Fund Agreement, Sustainable Development Technology Canada and Natural Resources Canada
  • SD Tech Fund Agreement, Sustainable Development Technology Canada and Environment and Climate Change Canada
  • SD Tech Fund Agreement, Sustainable Development Technology Canada and Innovation, Science and Economic Development Canada

The results (related to greenhouse gas emission reductions) of selected federal clean energy technology funds are adequately measured, tracked, and reported.

  • Policy on Transfer Payments, Treasury Board, 2000 and 2008
  • Policy on the Management of Projects, Treasury Board, 2009

The results of evaluations or reviews of the selected federal clean energy technology funds are taken into consideration, and appropriate action is taken.

  • Policy on Transfer Payments, Treasury Board, 2000 and 2008

Period covered by the audit

The audit covered the period between January 2006 and February 2017. This is the period to which the audit conclusion applies.

Date of the report

We obtained sufficient and appropriate audit evidence on which to base our conclusion on 15 February 2017, in Ottawa, Ontario.

Audit team

Principal: Sharon Clark
Director: Milan Duvnjak

Amélie Beaupré-Moreau
Tanya Burger
Leslie Lapp
Kristin Lutes
Geneviève Nadeau
Ludovic Silvestre
Anthony Stock

List of Recommendations

The following table lists the recommendations and responses found in this report. The paragraph number preceding the recommendation indicates the location of the recommendation in the report, and the numbers in parentheses indicate the location of the related discussion.

Assessing, approving, and monitoring projects

Recommendation Response

3.34 Sustainable Development Technology Canada should clearly document the assessment of potential greenhouse gas emission reductions that it undertakes when approving projects that have this as an intended long-term outcome. (3.30–3.33)

Sustainable Development Technology Canada’s response. Agreed. Sustainable Development Technology Canada (SDTC) assesses and challenges the greenhouse gas emission reduction performance of project proposals at several steps in the evaluation process. Summaries of greenhouse gas reductions are provided to the SDTC Investment Committee for consideration in the final project selection process. The SDTC Investment Committee will document, in the committee minutes, its assessment of potential greenhouse gas emission reductions that it undertakes when approving projects that have this as an intended long-term outcome. The President and Chief Executive Officer will ensure that the Investment Committee implements this approach immediately, as part of the permanent minute-taking procedure.

3.39 Natural Resources Canada should clearly document its project assessment and approval decisions, to show due diligence in the assessment of potential greenhouse gas emission reductions for demonstration projects that have this as an intended long-term outcome. (3.35–3.38)

Natural Resources Canada’s response. Agreed. Natural Resources Canada has developed and implemented a clear and rigorous proposal assessment and approval documentation process that demonstrates due diligence, and that has been in place for programs that followed the ecoENERGY Technology Initiative and the Clean Energy Fund. Natural Resources Canada will further strengthen this process by including supplementary information on the assessment of potential greenhouse gas emission reductions for demonstration projects that have this as an intended long-term outcome for new programs starting in the 2017–18 fiscal year.

Measuring and reporting on results

Recommendation Response

3.59 Natural Resources Canada should report publicly on greenhouse gas emission reductions resulting from all the demonstration projects it funds that are intended to achieve emission reductions. (3.53–3.58)

Natural Resources Canada’s response. Agreed. Natural Resources Canada already reports publicly on greenhouse gas emission reductions resulting from large demonstration projects that it funds, in program evaluation reports and on its website. Natural Resources Canada will supplement this information by publicly reporting on direct greenhouse gas emission reductions resulting from smaller demonstration projects that it funds, where such reductions exceed 0.01 megatonne per year per project, aggregated at the appropriate program level, for new programs starting in the 2017–18 fiscal year.

3.61 Natural Resources Canada and Innovation, Science and Economic Development Canada, in consultation with Environment and Climate Change Canada, should create a plan to measure and report on outcomes for funded clean energy technology demonstration projects that aim to reduce greenhouse gas emissions. (3.60)

The departments’ response. Agreed. Natural Resources Canada and Innovation, Science and Economic Development Canada (which is responsible for Sustainable Development Technology Canada), in consultation with Environment and Climate Change Canada, will develop an approach to measuring and reporting on expected outcomes for funded clean energy technology demonstration projects that have as a goal reducing greenhouse gas emissions for new funding received as of the 2017–18 fiscal year.