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Tuesday, October 8, 2013

Scaling up? Difficulties in the prioritization, selection, and evaluation of restoration sites for Oregon's ecosystem services market

I gave a talk today at the World Conference on Ecological Restoration here in Madison, WI. It's a take on how restoration sites in the Oregon wetland mitigation market are planned for, chosen, and evaluated, and ends with a discussion of what the case may suggest for other markets. It's something I've addressed in other ways, to other audiences, here, here and here. Oh, and here and here, too! My argument in the talk is that efforts to concentrate on watershed needs and processes may not be so easily implemented when it comes to mitigation markets, though that's likely to differ from region to region. Below you can find the slides and text.


Scaling up? SER 2013 presentation - Eric Nost from ericnost

Thanks for coming. I’ll be sharing just a slice of some recent research which is part of a larger NSF-funded project on stream mitigation banking here in the US.
The message I hope yall can take home today is this: efforts to concentrate on watershed needs and processes in ensuring greater ecological returns from restoration may not be so easily implemented when it comes to mitigation markets. Outcomes are likely to differ from region to region, however. PES promoters regularly call for spatially-explicit approaches to restoration, but on the ground their efforts run into resistance from the entrepreneurs at the heart of these markets. Their concerns are both economic and ecological.
I’ll make the argument by taking us through how restoration sites in the Oregon market are planned for, chosen, and evaluated, ending with a discussion of what the case may suggest for other markets.


We’ll start here. Welcome to the HML restoration site in exurban PDX.


It’s one site in a regional market for aquatic ecosystem services, providing several. The wetland you see stores and delays water, for instance, mitigating flood impacts for downstream homes.


The stream, OTOH, provides habitat for salmon that migrate into the foothills of the Coast Range.


And so on January 25, 2012, the Oregon Department of State Lands (DSL) authorized the sale of mitigation credits representing this salmon habitat to the Tualatin Hills Parks and Recreation Department (THPRD). Now, it’s absolutely worth taking just a second to make sure we’re on the same page about how mitigation markets work. In US markets for wetland and stream ecosystems, federal environmental regulatory agencies – ACOE, EPA, in conjunction with state agencies like DSL - permit developers to compensate for unavoidable resource degradation by paying entrepreneurs (or, “mitigation bankers”) who speculatively restore ecosystems. At HML, DSL is the banker, but usually it is private industry.
DSL did not sell the Half Mile Lane (HML) property itself to THPRD. Instead, it sold credits - measures of both the quality and quantity of habitat created after the agency replaced a culvert and performed other restoration there.


THPRD wanted these credits so it could tell regulators that it had adequately compensated for a trail bridge it is building that will degrade habitat elsewhere in the watershed.


The idea is to ensure some kind/degree of equivalence between resource impact and resource restored, in order to accomplish a no net loss of function and acreage. This is the art and science of assessment.


HML is operated by DSL, but it is a testing grounds for the WP, TNC and other cons developing what they see as more rigorous assessment methods and protocols for Oregon’s market and beyond. HML embodies 3 big moves in market-based environmental governance. While it’d be nice to go through all of them, given the growing number of calls for watershed approaches to how sites are chosen and evaluated - here at the conference, for instance - I want to focus on this last point. We can chat later about any of them.


Indeed, mapping and modelling landscape interactions at existing and possible restoration sites is increasingly recognized as an important component of site evaluation. The idea is that a site like HML’s ES are spatially dependent, or contextual - relative to what’s going on up and down the watershed. Think of it like this: if you restore a wetland in the middle of nowhere and no one’s around to benefit from how it retains flood waters, does it provide an ES? For many, the answer is no.
The international think-tank for ecosystem services accounting, TEEB, for instance, note that the specific provision of services depends on the site. The work of the wetland at HML to store and delay water matters because there are homes in the 100 year floodplain downstream that benefit.


Cons bio and head of NCP, Gretchen Daily concurs. She calls for focusing on the right places in the landscape that leverage high ecological returns on investments.


HML’s position, for instance, allows it to slow down and cycle the increased runoff from logging, quarrying operations.


Such calls from conservationists have in fact made it into policy. In 2008, ACOE and EPA put out a new rulemaking formalizing many aspects of the mitigation market nationally. The rule called for states and regions to implement strategic approaches to restoration siting, rather than sites being chosen opportunistically, in reference to cost or availability or interest..


And to bring it back to DSL, the value of a wetland means its opportunity to provide an ecological function/service based on where it is.


So not only is landscape ecological assessment and prioritization on the minds of conservationists and of official interest to the feds,  it’s central to DSL, and in the rules in OR. But it’s one thing to be on the books and another to be in force on the ground. The question is: how does restoration siting actually play out in OR?
There are three moments to it, but they are moments that put the interests of regs and cons against those of private entrepreneurs.  In the short-term, at least, entrepreneurs’ work is made difficult in 3 ways by regs and cons’ new metrics and approaches. In the rest of this talk I’ll walk us through these 3 moments and 3 difficulties to siting.


In the first moment, ecologically-trained consultants to bankers work in the office with several online mapping utilities to gage how ecological processes occur across the landscape and affect the site where bankers have chosen to do restoration.


Here’s one of the key mapping utilities consultants use, called Oregon Explorer. Hydric soils are the orange/yellow, but we also see the 100 year floodplain downstream of the HML. Consultants have to answer questions about landscape context by using OE to, for instance, draw a 2 mile radius circle around the site to see how many other similar habitats the site is connected to in the area, or what sources of ecological stress are nearby, like the quarry. The key point here is that the assessment of a banker’s site is relational to the site’s surroundings – but these are things which the banker has no or little control over.


Whatever their score, bankers then have to take their numbers to the agencies and staff judge the offsite stressors and risks consultants find in their assessment, approving, modifying, or denying an entrepreneur’s choice of where to do restoration.
Agencies also categorize wetlands. Some kinds of wetlands in the landscape mosaic are more market-worthy than others. For instance, DSL has written farmed floodplain wetland sites off the map in a recent rule. Based on a series of reports on long-term success and failure, DSL doesn’t think they restore a lot of the storm water retention services that the wetlands in urban areas - where the majority of impacts are  - provide. They didn’t meet watershed needs. In the rule, a farmed wetland is seen as not hydrologically degraded and so restoring it wouldn’t bring back hydrological functions. Bankers disagree on ecological grounds: these kinds of wetlands have been tilled, tiled, and plowed. They think those are precisely the sites that need to be restored in the landscape.


Now, when bankers finally do get their bank approved, they get credits to sell. What non-profit conservationists want to see happen in the market is that when a banker brings a site to the market, the amount of credits they can sell would depend in large part on the location of their project.


These are “priority areas” - habitat sites mapped by state environmental agencies, and collated by TNC.
The idea is that if they were doing restoration in a priority area bankers would get the full amount of credits they normally would and receive less if they were not in a priority area. But potentially restorable properties in priority areas are on average slightly more expensive than elsewhere, and this could cut into bankers’ profits. Perhaps more crucially, it drastically cuts into their potential range of sites to choose from, when finding a site tends to be more luck than anything anyway. And bankers also wonder how priority areas were chosen, often noting that their sites have plenty to offer as important.
The point is that this sort of watershed plan, something called for in the 2008 federal rule, makes some places obviously more valuable than others to do restoration, and that’s a big shift. It may make the market more like any other traditional market, but now working outside a priority may not earn bankers as many credits as it would have. To be clear, this isn’t yet implemented, but it’s very much on the table because of the federal rule.


So we can start wrapping up. We can pull out 3 points of difficulty in the market:
1) The priorities aren’t necessarily what bankers see as priorities, and even the idea of prioritizing is limiting, at least right now, in comparison with current practice.
2 The categorization of wetlands in the landscape isn’t how bankers would address watershed needs..
3)They’re asked to account for offsite processes they have little control over


Because of all this, bankers are hesitant about starting new projects. No private entrepreneur has done a project with the new landscape focused metrics and rules yet.
But this isn’t simply because bankers don’t get the gospel of landscape ecology. Bankers’ considerations are both economic and ecological - it’s sometimes bad for business, sometimes not what they see as the right ecological priority. So how have regs and cons been able to put forth such a strong vision of their own in the first place? Markets around the country vary and a lot of discretion about which watershed plans to choose and metrics to use is left to regional, district, or state staff. In a place like OR, with strong institutional momentum behind planning/zoning, regulators are more willing to make and point at maps and say, do resto here. With better data collection and availability, they’re also just more able to. Regs and cons’ ability to come out with a strong plan very much reflects the Oregon context..


The conclusion to takeaway is that in spite of calls from TEEB, Gretchen Daily, and others, efforts on the ground to improve the assessment and consideration of watershed/landscape needs in restoration run into resistance when implemented in restoration markets. The causes stem from both differing economic and ecological viewpoints, but this resistance will differ from place to place. What’s implied is that in some places, there may be other approaches to addressing watershed needs within a compensatory mitigation framework that are more effective than relying on private entrepreneurs, who have economic and ecological hesitations. We don’t have to look any further than HML - DSL’s own bank - for an example, and similar approaches exist nationally. But that’s going to have to be the topic of another talk.


Wednesday, September 4, 2013

A look at RESTORE Act implementation

What would you do if you had about a billion dollars for ecological restoration?

That's exactly what the Gulf Coast Ecosystem Restoration Council (or, Council) is trying to figure out. That's no easy task given that the Council is a powerhouse, high-level government entity composed of the five Gulf Coast governors and six executive branch Cabinet members (think secretaries of Agriculture, Interior, Homeland Security, Commerce, EPA administrator, etc.)The Council came into being when President Obama signed the RESTORE Act last year. That Act put 80% of the Clean Water Act fines BP and Transocean are going to pay for the 2010 Deepwater Horizon spill into the hands of the Council. It's the largest pot of money for restoration in the US ever.

Question is, how do you even go about spending that much money in a time when any sort of surplus in government hands seems like the work of a divine hand, and so usually gets cannibalized in the ritual sacrifices that follow? [Update: the sequester is already taking a 5% toll on RESTORE Act funds] Well, this Council has a comprehensive plan. More accurately, as of late last week the Council has put out their initial comprehensive plan that describes the principles for how it will distribute money to various Gulf Coast restoration projects and programs. I had the chance to read it; here are my initial reactions:

1. "The decisions made pursuant to the Plan will be based on the best available science, and this Plan will evolve over time to incorporate new science, information, and changing conditions. The Council will coordinate with the scientific community to improve decision-making." (5)It's a living, breathing document. It's meant to change over time, as funding levels and priorities change, but also with new science. Whether scientists can tell them what they want or need to hear, is of course another question.

2. No one actually knows how much money there is, since so much of it is tied to pending litigation. The number could go up past 10 billion when BP pays up.

3. The plan doesn't actually spell out how the Council will fund anything, nor what it would most like to fund. A funding strategy and priorities list come later.

4. "Storm risk, land loss, depletion of natural resources, compromised water quality and quantity, and sea-level rise are imperiling coastal communities’ natural defenses and ability to respond to natural and man-made disruptions." (4) It's clear that the Council sees ecosystem health as fundamental to community health, though no necessarily vice versa, and that this means a weaker ability to adapt to future climate and other disasters.

5. Scientists do seem to have gotten across the point that restoring species alone, on postage-stamp size sites is not the best approach to restoration. "The Council recognizes that upland, estuarine, and marine habitats are intrinsically connected, and will promote ecosystem-based and landscape-scale restoration without regard to geographic location within the Gulf Coast region." The planners apparently see themselves as immune to geographic bias and politics, and there's some good landscape ecology here.

6. It only comes up once, but it's unclear what the role of the private sector is here. However, much ado is made about coordinating with other efforts, in general: "The Council will encourage partnerships and welcome additional public and private financial and technical support to maximize outcomes and impacts. Such partnerships will add value through integration of public and private sector skills, knowledge, and expertise" (7) There are a growing number of voluntary restoration projects in the works, not to mention talk of linking up with California's cap and trade scheme for wetland blue carbon credits, and how to coordinate these market sector activities with a federal plan will be worth watching.

7. You don't spend a billion dollars and not have anything to show for it. "The Council recognizes the importance of measuring outcomes and impacts in order to achieve tangible results and ensure that funds are invested in a meaningful way." (7) There's an opening here for ecosystem services accounting, but we'll have to wait and see.

8. The money quote from the whole thing is the Council's definition of ecosystem restoration. That's kinda what they're about anyway:

"All activities, projects, methods, and procedures appropriate to enhance the health and resilience of the Gulf Coast ecosystem, as measured in terms of the physical, biological, or chemical properties of the ecosystem, or the services it provides, and to strengthen its ability to support the diverse economies, communities, and cultures of the region. It includes activity that initiates or accelerates the recovery of an ecosystem with respect to its health, integrity, and sustainability. It also includes protecting and conserving ecosystems so they can continue to reduce impacts from tropical storms and other disasters, support robust economies, and assist in mitigating and adapting to the impacts of climate change (per Executive Order 13554)."

There's a lot going on here! What is restoration? Well, it's not just bulldozers and backhoes, it's methods and procedures. In other words, it's science and technical expertise just as much as it is new wetlands. Watch for this to become controversial, with conservationists claiming that not enough money is being spent on the ground in actual projects. What's the goal? Health, resilience, and mitigation of climate impacts. It's not clear to me that there isn't potentially a huge tradeoff between the ecosystem health and ability to mitigate climate impacts, but we'll see. How do you get there? You initiate or accelerate recover, or you protect and conserve. And finally, how do you measure it all? Straight out of the CWA, it's physical, biological, or chemical properties. Or, ecosystem services.

9. The last point is, again, the Council won't be just drawing on existing marine and wetland science, and they won't just be incorporating the best available science as it hits the presses, they're producing it. The sense is that there's a lot yet to figure out yet in the planning, technical assistance, and implementation phases of restoration, and that the Council is more than ready to dish out money to "evaluation and establishment of monitoring requirements and methods to report outcomes and impacts; and measurement, evaluation, and reporting of outcomes and impacts of restoration activities." (15) The question will be, what kind of science is the Council interested in funding?

Wednesday, August 21, 2013

Forever forever? What the heck does permanent mitigation mean?

In a recent op-ed for USA Today, mitigation banker Wayne Walker argues for establishing prairie chicken conservation banks, as a way to prevent the looming "train wreck" between environmentalist and oil/gas industry interests. It's a well-written piece that tries to spell out in basic terms, what mitigation is all about (EcosystemMarketplace renamed it, "How to explain mitigation to your grandmother"). Sometimes, though, it's deceptively simple. A big part of Walker's case is that offsets, like diamonds, are forever. He points to wetland and stream mitigation: "The logic of permanent easements is straightforward: Draining a wetland to build something is permanent -- not temporary -- and therefore the mitigation should also be permanent. The same principle holds true for the chicken. Impacts to it and its habitat are both permanent – the offset should be as well." Problem is, there's a clear difference between a permanent easement and a permanent offset, a difference Walker doesn't sort out. An easement is no guarantee of ecological function. Sure, the Corps will require an easement, but are they going to come back to the site in 50 years and check in to see what's up? To assess whether the wetland, stream, or prairie habitat is in a condition or performs such that it will account for the original impact the site offset? Maybe, but even if the Corps/USFWS did come around, would they require the bank to do anything about it? Should we even care? If the wetlands your local Wal-Mart paved over today are going to dry up or sink into the sea anyway in the next 20 years because of climate change, does it matter that the compensatory mitigation site Wal-Mart buys credits from function in the same way the wetlands currently do? I've walked through similar issues here and here. If, as Walker notes, the goal for all sides is "certainty," these are key questions if mitigation banking is to gain a sense of (ecological) legitimacy in an era of rapidly changing climates.


Wednesday, July 24, 2013

New climate adaptation lawsuit in Louisiana

A flood protection agency in Southeast Louisiana is suing oil and gas companies including BP and Exxon Mobil for damages to wetlands caused by pipeline canals, and their case is making it above the fold of the NYT. Southeast Louisiana Flood Protection Authority-East claims that the canals have altered hydrology in the area in such a way that has caused hurricane damage to increase and that, over time, will cause coastal lands to "slip into the Gulf of Mexico by the end of this century, if not sooner." Though they don't state it as such (itself interesting), the object in question in this case is ecosystem services: "BP and Exxon Mobil, you've destroyed the flood mitigation service these wetlands are supposed to provide to us, and we're going to hold you accountable for our loss" As cities and states attempt to preserve, design, and restore dunes, marshes, reefs, wetlands, etc. in the aftermath of Hurricane Sandy, SLFPAE's case will tell us more about the extent to which not just these habitats, but the climate-buffering services they provide will be treated by the courts (see Keith Hirokawa's work here and here for excellent first answers).

At first glance, a water agency in SE LA doesn't seem like the sort of entity to be bringing suit against some of the world's most powerful corporations. But they're pulling absolutely. no. punches. The gem of the case is here - to them, the oil/gas pipelines constitute a:

“mercilessly efficient, continuously expanding system of ecological destruction”

BOOM. So what are they asking for? 

"many billions of dollars. Many, many billions of dollars.”

Um...It's hard not to think of a certain late 90s comedy here, making it difficult to take the agency's case seriously. From the starting gates, the flood protection agency is equivocating on the role of the federal government, namely the Army Corps of Engineers, and why that entity shouldn't be held liable as well for its part in reworking the bayou's hydrology.

At any rate, it seems the lawsuit's hooks are not in the Clean Water Act per se, but in common law: negligence, nuisance, and some archaic LA code dating back to French rule called "Servitude of Drain" requiring downstream landowners to provide means for conveying water off adjacent upstream properties. It's not spelled out for us how SLFPAE thinks it applies to this case, but I suppose the argument is that BP and Exxon Mobil have altered the area's hydrology in a way that downstream areas too effectively drain, indeed conveying stormwaters onto higher ground than before.

Bringing it back: we can probably think of this as perhaps the US's second major climate adaptation lawsuit - NYT explicitly makes the link to the first: Kivalina, the Alaskan community that sued Exxon Mobil for the effects of climate-caused sea level rise on their village. The court there said that Kivalina's case was more a political question than a justiciable one. We'll see how SLFPAE's case pans out, but hopefully it'll regain some ground, as common law applications to the environment become increasingly tenuous, from Kivalina to Wisconsin.

Thesis

I've been working for the past couple of years at the University of Kentucky on my master's thesis. Building from a bigger NSF-funded project on stream mitigation banking, my research has argued that market planning and design for wetland and stream ecosystem services in Oregon has not been as easy a task as some pundits might think it, nor has it as of yet been as devastating as others might imagine it. The thesis is available here:

http://uknowledge.uky.edu/geography_etds/9/

I'll be moving to the University of Wisconsin-Madison to carry on with the Ph.D. I look forward to keep exploring and communicating how market environmental law and policy is (not) equipped to account for climate change and its effects on ecosystem services.


Friday, July 19, 2013

Optimal natures

Recently, the Natural Capital Project released its new tool for watershed-based ecosystem services decision-making, the Resource Investment Optimization System, or RIOS (spanish for rivers). It builds on InVEST, NCP's tool for mapping and valuing all sorts of services. Where InVEST could tell you for instance where to invest in a watershed to achieve the best water quality gains (efficiency), RIOS is geared to help you decide between different sets of investment (optimization).

RIOS joins a fast-growing cadre of other ecosystem services decision-making software tools. A short list includes:

Social Values for Ecosystem Services (SOLVES) - the USGS's tool of choice
Integrated Water Resources planning suite  - led by the Army Corps of Engineers
Simple and Effective Resource for Valuing Ecosystem Services (SERVES) - from Earth Economics
i-Tree - USFS built this one
ARtificial Intelligence for Ecosystem Services (ARIES)

These models literally instantiate ecosystem services as a framework by providing the means for framing services - ES is a framework for understanding tradeoffs in managing nature and here are the algorithms for modeling them. One of the key points the tools have in common is that they are spatially-explicit; what might distinguish them is whether they aim to inform either investment or policy decisions. Or, since ecosystem service policy tends toward treating nature as always already an investment (or lack thereof), the distinction is probably: what kind of investment (public or private)?

These tools parallel a number of data analytics firms working with so-called Big Data on the environment. Many, like Cloudera and Ayasdi work with oil and gas companies to visualize optimize the use of their drilling equipment, in the name of preventing future environmental catastrophes. Others, like Remsoft's suite of tools aim to improve forestry practices by incorporating extensive data on tree health, location, etc. - Google and Microsoft are working on similar software for "seeing the trees and the forest."

In short, the stated goal of these models is to "optimize" environmental management, which, for many of them, also means optimizing business practice. Is there a difference between optimal and efficient? For some, maybe not. But Remsoft's tools, they claim, allow you to "understand and manage the supply-demand balance, identify current and future supply chain bottlenecks, manage production and delivery capacity, forecast costs and revenues, and generate plans that stay within budget." Clearly something more than the sense of efficiency as input/output is going on here. Indeed, optimization, in the language of mathematics and computer programming, means to choose the best from among several alternatives given a particular criteria. Yes, the criterion for Remsoft might be $, but that may or may not be the case for USFS's community forestry tool, i-Tree.

Where does all this talk of optimization come from? That's hard to say, and 600 pg. tomes have been written about it. But there is a curious perpendicular conversation happening in the weird realm of biology, computer programming, and artificial intelligence themselves meet: where NCP, Remsoft, and others want to optimize nature, these researchers think nature optimizes. They "use and abuse" evolutionary concepts (note: optimization is not necessarily about selection pressure) as metaphor for informing tech design, their goals ranging from the everyday to the lethal. Researchers have found that ants respond to disaster and disruption - to their environment - in ways that may inform optimal transmission of information over internet protocols. The US military has enrolled apiologists to use bee swarms as an analogue for drone maneuvering. The goal, of course, being to optimize surveillance and kill rates. What brings together the "optimize nature" modelers and the "nature optimizes" researchers and designers is the idea that the environment serves as a model for our treatment of it.

This is not to get us lost in the thickets of environmental philosophy or social theory. The question is: on the ground, what is lost and gained by thinking in terms of optimizing ecosystem services? Who stands to win and lose? These models are meant to inform land use decisions, and in doing so, they help to bring about the optimized world they only purport to represent. If you model it, they will come. In this performance, the way the models are programmed matters. And what differences are there between the flavor of optimization led by the conservationists using NCP and the timber managers using Remsoft's Spatial Optimizer? One has to inform policy, the other business - can optimization serve as an adequate guiding concept for both?

Wednesday, July 10, 2013

Militant climate particularism?

Militant climate particularism: it's a mouthful, but it's an idea to follow-up on recent posts about the tensions between local and global problems and solutions when it comes to restoring ecosystem services in the face of climate change.


Flood mitigation is an ecosystem service that this driver who abandoned their Ferrari during some recent severe flooding in Toronto, ON, Canada sorely could have used. Poor guy.

Don't feel to bad for 'em. In an editorial, the National Post argues for bailing out that driver and all the rich dudes who in the future may face that most dreaded decision to ditch their $200k PCV. Why spend money on climate mitigation - wind turbines, solar panels, and carbon sequestration - the newspaper asks, when what these floods and those recently in Alberta tell us is that we need to adapt to changing weather patterns.

Ignore the gross misunderstanding of climate science here (i.e. their claim that there is no link between extreme weather and climate change and that such extreme weather events and the problems they cause are entirely predictable), and even set aside the fact that this is the worst of "climate resignation" - giving up on the goal of preventing high concentrations of GHGs. Whistle past the part about the limited growth in renewables. Just about the only thing the editorial might have right is that carbon sequestration and offsetting are rabbit holes not worth falling into.

But what the National Post is calling for is not any flavor of "climate protectionism" either. Yea, they'd rather keep money in the province, but they're proposing raising tariffs on goods coming in from countries without carbon markets, because they're arguing against setting up something like a carbon market to being with. They're not suggesting taxing imported turbines and panels - the NP would rather have the province abandon new renewable energy projects all together. The argument here isn't even "climate austerity", in which taking action on climate change is believed to be the fix for shoring up dwindling coffers.

So what's going on here with the newspaper's utter rejection of climate as anything but a very local problem? David Harvey uses the term "militant particularism" to describe social movements that are based on particular struggles in particular times and places. He worries that although such struggles can produce intense solidarities and achieve immediately positive and perhaps necessary results, they often aren't informed by - and in turn contribute to - broader movements and approaches. These particular struggles may tend toward single issues over a short time frame, employing responsive tactics rather than embracing a long term strategy.

That's exactly what's going on with the Post's editorial: let's fix the problems of climate - which amount only to extreme weather - here and now, and call it a day. Let the Pacific Islanders eat carbonated saltwater.

Now, the National Post is a conservative rag, and what their approach would hardly fall within the realm of what would be called socially progressive to begin with. But as the drive towards climate resilience and adaptation grows stronger, we may see a retreat from the left into a militant climate particularism, where all that matters is saving in particular the city (After all, with all the doom and gloom that surrounds impending climate change as an urban phenomenon, it's easy to think: we have to do everything we can, here and now!). The idea that cities - "smart cities" especially - are at the heart of responding to a changing climate - and may be best suited to addressing ecosystem service provision - is perhaps the germ of this. Maybe. But even the influential US Mayors' Climate Protection Agreement is primarily about reducing carbon emissions. The question is, to what extent can climate planning qua city design overcome that most perennial problem of urban planning: the idea that the city is a containerized unit apart from the rest of the world.

At any rate, I can't imagine that a Toronto-only strategy is something the city will ultimately benefit from, at least with this guy in charge.