Thank you, Mr. Chairman.
Thank you for the invitation.
I will make my remarks in English, and I'd be happy to take questions in either language.
The Canadian Electricity Association is, as many of you know, the national voice of the electricity sector in Canada. Our members represent the full value chain from production through to delivery to the customer.
On behalf of the association's membership, we appreciate the opportunity to meet with the committee and explore how the industry is taking action today to help us meet the challenges of tomorrow.
At the Canadian Electricity Association, we believe electricity is a critical enabler of the economy and of Canadians' expectations for an enhanced quality of life. We share the standing committee's interest in a sustainable electricity future, and our members--the companies that deliver electricity to Canadians--work every day to ensure that we meet that goal.
We are committed to a sustainable, safe, secure, reliable, and competitively priced supply of electricity as being essential to Canada's prosperity tomorrow just as it is today.
Electricity is a vital component of our quality of life and the foundation of a sustainable and thriving economy. Twenty-four hours a day, 365 days of the year, Canadian utilities must plan to match production from generating plants with customer demand, while maintaining reliability, meeting environmental targets, and keeping operating costs low.
The result is a highly complex and developed system that optimizes generation, transmission, and distribution technologies in an effort to provide reliable and competitively priced electricity to meet demanding consumer expectations. The comparative advantage of electricity services in Canada is a key driver that underpins and enables growth in other sectors of the Canadian economy while contributing significantly to Canada's export revenues.
Electric utility programs for energy efficiency in Canada have been emulated in jurisdictions around the world. Nevertheless, there are opportunities for greater action through renewed and accelerated cooperation between governments and industry. Energy efficiency is an effective strategy to help mitigate demand, moderate the impact of rising electricity prices, reduce energy use and emissions, and improve economic competitiveness.
Governments and industry must focus on energy efficiency as a strategic energy policy that is supported by a long-term and sustained commitment to energy efficiency programs and incentives. There is considerable potential for energy efficiency in Canada, and through collaboration between government and industry, action is being taken. However, more needs to be done.
Notwithstanding steady progress through end-use energy efficiency improvements, electricity demand continues to grow, as you heard from the earlier witnesses. Based on the results of a study sponsored jointly last year by CEA, CGA, and NRCan's Office of Energy Efficiency--which, again, was referred to earlier--overall energy demand is expected to grow across all sectors by 22% from 2000 to 2025. This is an annual average growth rate of about .85%.
For the electricity sector, demand is expected to grow on an annual basis of about .75% or three-quarters of a percent in the commercial sector, a little over 1% in the residential sector, and about one-half of one percent in the industrial sector. Other projections that we have from different sources indicate that demand for electricity could be considerably greater.
Concerning energy efficiency potential, the same study that provided an overview of expected consumption trends also looked at the potential for energy efficiency. I believe you must have that data, because it was referred to in the earlier testimony. That was the Marbek and Jaccard study, which found that energy efficiency measures implemented would result in a 3% to 10% reduction in total energy demand by 2025. Of course, the high end of that would represent about a 50% reduction in demand growth.
The growth in housing and building stock, larger homes, market penetration of more energy-using devices in homes and in commercial enterprises, and industrial production growth offsets the effects of energy efficiency improvements.
As an example, a recent study by the Consumer Electronics Association in the United States noted that residential consumer electronics, excluding DTV, accounts for 11% of household electricity use in the U.S. and 4% of total U.S. electricity consumption. Further, in 1975 the average number of consumer electronics devices per U.S. household was 1.3, compared to 25 in 2005.
Electric utilities have successfully delivered programs to help their customers better manage their energy use for over a decade. Utilities continue to enhance their program offerings and increase their funding commitments. Across Canada, to a greater or lesser degree, utilities are augmenting, ramping up, or reconstituting energy efficiency programs.
Utilities have an established relationship with consumers and are an effective delivery channel for programs. In fact, our research has shown that consumers place a high value on receiving information to help them manage their electricity consumption, and further, they look to their electric utility to provide energy efficiency programs and information. For example, to the end of 2005-06, Manitoba Hydro's Power Smart efforts have achieved estimated electricity demand and energy savings of 434 megawatts, and Manitoba Hydro's 2006 Power Smart plan entails a detailed plan to achieve electricity savings of 616 megawatts.
Lighting is responsible for a significant portion of the electricity consumed by buildings: 18,000 gigawatt hours annually of residential electricity in Canada, or 4% of total use, and almost 40,000 gigawatt hours annually, or 14% of total use, for the commercial sector. CEA member companies are partnering with federal and provincial governments, standards bodies, and others to transform the lighting market in Canada to high-efficiency alternatives. Activities include standards, data acquisition, regulation, influencing product design, code changes, and information gathering and deployment to be undertaken on a collective basis.
Toronto Hydro's summer challenge program rewarded eligible customers with a 10% rebate if they used 10% less electricity between July 15 and September 15 based on weather-normalized data from their 2005 electricity bill. During the summer challenge, energy reduction was almost 80 million kilowatt hours, equal to taking 80,000 homes off the electricity grid for an entire month. Greenhouse gas emissions were also significantly reduced, with a CO2-emissions reduction in Toronto of 43,000 tonnes, equivalent to taking 56,000 cars off the road for two months.
At the conclusion of the summer challenge, 153,000 Toronto Hydro customers, or more than one in four eligible customers, had earned rebates totalling $3.1 million by reaching the 10% target. Interestingly, 51,000 of those customers had succeeded in reducing their electricity use by 25% or more. The average rebate for residential customers was $17. It doesn't sound like much, but you can see what was achieved.
Although progress is being made in reducing the demand for electricity, the take-up on energy efficiency is often lower than expected due to market barriers. These include lack of awareness about energy efficiency opportunities, benefits, and products. There are many simple actions that can yield significant results, and yet CEA research shows that almost 30% of Canadian households do not have even one compact fluorescent light bulb, and 19% of households report that they have not taken any energy efficient actions over the past year. The primary reason for this inaction seems to be that “it won't make a difference”. High first costs for energy efficiency equipment combined with lack of access to appropriate financing is another barrier. The levels of effort and challenge to become informed, select products, choose contractors, and install equipment is yet another.
The individual who pays for the energy efficiency measure may not be the individual who will benefit from it, an example being low-income housing residents or, in other settings, apartment residents who are not responsible for their electricity bills.
Program churn, the turnover of programs, can become confusing to individuals.
Finally, there's a need for improved rates of return on utility investment in energy efficiency programs, especially when programs exceed expectations, i.e., there should be a good business case to be made for energy efficiency.
We have a number of recommendations that we think could help. By addressing these fundamental market barriers, public policy and programs can influence the adoption of greater energy efficiency in the economy.
The first is a long-term and sustained commitment to funding for energy efficiency programs, commensurate with renewable energy and other supply options. The Government of Canada, with provincial, territorial, and utility partners, should ensure that energy efficiency programs are funded on a long-term basis in order to reap the full benefits of these programs.
The second is a greater emphasis on outreach and providing information to Canadians concerning energy efficiency opportunities and benefits.
The third is programs to benefit those who are least able to invest in their own efficiency.
Fourth, the Government of Canada should also establish a federal energy efficiency grant program in order to fund energy efficiency programs. One example of some initiatives to be funded would be support for programs that yield significant energy savings but are not yet cost-effective to deploy on an individual utility or regional basis. There are a number of possibilities there, such as insulation programs and equipment efficiency. There are various regional programs for which a one-size-fits-all national approach may not be appropriate.
The government should also provide additional resources where individual organizations cannot provide incentives and resources of sufficient significance to influence the market or where a national focus on improved energy efficiency is needed to complement regional efforts to significantly increase market impact. For example, programs for low-income Canadians or first nations would fall into this category.
Multi-year support is needed for housing and equipment standards and labelling to reflect the timeframes required to put regulations in place. As you heard earlier, NRCan is working on codes, standards, and labelling, but funding traditionally has been on an annual basis, whereas the process to put codes and standards in place takes many years.
Programs for commercial facilities such as ice rinks and community centres might be a useful target.
Tax incentives, such as a rebate program for residential, commercial, and institutional markets, are required to encourage widespread upgrading to Energy Star appliances, such as dishwashers, stoves, and refrigerators.
In summary, the experience of the Canadian electricity industry in responding to customer needs for energy efficiency information and support has produced significant results, and it promises to deliver more in the future. Canadians look to their energy providers for such support. With appropriate regulatory decisions regarding cost recovery and transparent market signals through the price mechanism, many of the barriers to achieving even better results can be overcome.
Finally, governments have a role in helping to support code and standard development; in raising the performance bar for broad classes of energy-consuming equipment; and in ensuring that social goals are met, particularly with respect to the special needs of low-income Canadians and first nations.
I thank you for the opportunity to share our views. I look forward to your questions.