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Federal Government Releases Strategic Assessment of Climate Change

July 29, 2020

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Written By Stephanie Ridge, Sean Assié and Brad Gilmour

On July 16, 2020, Environment and Climate Change Canada (ECCC) released its Strategic Assessment of Climate Change (SACC). The SACC provides detailed new guidance to project proponents required to assess climate change impacts within a federal impact assessment under the Impact Assessment Act, SC 2019, c 28, s 1 (IAA). The SACC will also inform consideration under the IAA of the extent to which a designated project hinders or contributes to the Government of Canada's ability to meet its commitments in respect of climate change.

The process leading to the publication of the SACC was launched in July 2018 following the introduction of Bill C-69 to replace the Canadian Environmental Assessment Act, 2012. In addition to explicitly adding climate change and Canada's international commitments to the list of factors considered in a federal impact assessment, the IAA introduces new powers that allow the Minister of ECCC to conduct a "strategic assessment" of any Government of Canada policy, plan, or program, or of any issue that is relevant to conducting impact assessments (IAA, section 95).

While the development of the SACC was begun before the IAA came into force, the SACC is deemed to be a strategic assessment pursuant to section 95(2) of the IAA (SACC, Annex II). 

What Is the SACC?

The stated objective of the SACC is to "…enable consistent, predictable, efficient and transparent consideration of climate change throughout the impact assessment process" (SACC, section 1.1).

The SACC applies first and foremost to designated projects required to complete an impact assessment under the IAA. A "designated project" is defined broadly in the IAA as an activity or activities designated in the Physical Activities Regulations or by the Minister of ECCC under section 9, and includes all ancillary activities.

The SACC also notes that the principles and objectives underlying the SACC will be built into guidance for the review of non-designated projects on federal lands and outside Canada under the IAA, and that "[g]uidance for projects regulated by the Canada Energy Regulator (CER) will similarly consider the principles and objectives of the strategic assessment of climate change."

The SACC provides explicit guidelines for its application at every stage of an impact assessment, including in relation to quantification of greenhouse gas (GHG) emissions and assessment of emission reduction technologies.

Key Takeaways

While current and potential project proponents will wish to review the SACC in detail, the following provides a summary of some key points of interest:

Conclusions and Next Steps

The SACC is the first strategic assessment issued under the IAA. Notwithstanding its title, the SACC is less a strategic assessment of the federal government's process for assessing impacts of GHG emissions in Canada as it is a detailed, action-oriented checklist that proponents are required to adhere to when engaging in a federal impact assessment. For all intents and purposes, the SACC purports to set out binding legal requirements for impact assessment that are not otherwise contained in the IAA or its associated regulations.

While coordination with provincial and territorial legislation and policies is mentioned as a potential GHG mitigation measure (SACC, page 13), provincial GHG reduction measures appear to factor very little into the SACC. Instead, the SACC appears to be consistent with the federal government's ongoing efforts to take unilateral action on climate change and GHG emissions, as evidenced through legislation such as the Greenhouse Gas Pollution Pricing Act and the proposed Clean Fuel Standard.

ECCC intends to publish technical guides in 2020-21 to provide more details on the following specific elements of the SACC: 

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