{"id":6486,"date":"2022-11-21T19:52:09","date_gmt":"2022-11-21T19:52:09","guid":{"rendered":"https:\/\/acmanet.org\/2022\/11\/composites-sustainability-insider-november-23-2022\/"},"modified":"2022-11-21T19:52:09","modified_gmt":"2022-11-21T19:52:09","slug":"composites-sustainability-insider-november-23-2022","status":"publish","type":"post","link":"https:\/\/acmanet.org\/composites-sustainability-insider-november-23-2022\/","title":{"rendered":"Composites Sustainability – Insider – November 23, 2022"},"content":{"rendered":"

ACMA Joins European Counterparts to Discuss the Challenges of Recycling<\/strong><\/p>\n

ACMA\u2019s CEO, Cindy Squires, participated virtually in a panel at a conference hosted by\u00a0Composites UK<\/a>\u00a0entitled Recomp \u2013 Reuse and Recycling of Composites.\u00a0 The event focused on available options for sustainable management of waste and end-of-life composite materials.\u00a0 Bringing together composites manufacturers, companies involved in recycling, and leading academics and researchers, the in-person portion of the event was hosted at the Advanced manufacturing Research Centre outside Sheffield in the United Kingdom.<\/p>\n

Ms. Squires participated in the opening session titled \u201cthe Composites End-of-Life Challenge\u201d with other participants from the UK National Composite Center and the European Composites Industry Association.\u00a0 Her presentation focused on ACMA\u2019s efforts under the Climate Impact Project, ACMA\u2019s sustainability forums, and efforts by the Composites Growth Initiative to address this growing issue.<\/p>\n

ACMA\u2019s next sustainability forum will occur on February 14, 2023 as part of our Infrastructure and Sustainability Fly-In<\/a>.\u00a0 Please contact Dan Neumann<\/a> or John Schweitzer<\/a> for more information.<\/p>\n

Proposed Rule Would Require Climate Disclosure by Most Federal Contractors<\/span><\/b>\u00a0<\/span><\/p>\n

Changes to the Federal Acquisition Regulation <\/span>proposed<\/span><\/a> in the November 14 Federal Register would require suppliers of goods and services to the federal government to calculate and disclose the emission of climate warming gases associated with their operations.\u00a0<\/span>\u00a0<\/span><\/p>\n

The burden of climate impact reporting will be significant, particularly for companies not already collecting emission data. Medium sized contractors would be required to report emissions associated with company owned operations and purchased electricity, while most larger contractors will also have to report supply chain emissions and climate impacts associated with use and disposal of their products.<\/span>\u00a0<\/span><\/p>\n

The reporting requirements could be finalized as early as late 2023 and contractors would then have one year to comply.\u00a0 Comments are due January 13, 2023.<\/span>\u00a0<\/span><\/p>\n

The proposed requirements are shown in the table.\u00a0<\/span>\u00a0<\/span><\/p>\n\n\n\n\n\n\n
Category<\/span><\/b>\u00a0<\/span><\/td>\nAnnual value of federal contracts<\/span><\/b>\u00a0<\/span><\/td>\nDisclosure required for…<\/span><\/b>\u00a0<\/span><\/td>\nDisclosure required for climate-related financial risk?<\/span><\/b>\u00a0<\/span><\/td>\nScience-based emission reduction targets required?<\/span><\/b>\u00a0<\/span><\/td>\n<\/tr>\n
Major Contractors*<\/span>\u00a0<\/span><\/td>\nMore than $50M<\/span>\u00a0<\/span><\/td>\nScope 1, 2 and relevant Scope 3 emissions<\/span>\u00a0<\/span><\/td>\nYes<\/span>\u00a0<\/span><\/td>\nYes<\/span>\u00a0<\/span><\/td>\n<\/tr>\n
Significant Contractors<\/span>\u00a0<\/span><\/td>\nLess than $50M and more than $7.5M<\/span>\u00a0<\/span><\/td>\nScope 1 and 2 emissions<\/span>\u00a0<\/span><\/td>\nNo<\/span>\u00a0<\/span><\/td>\nNo<\/span>\u00a0<\/span><\/td>\n<\/tr>\n
Other Contractors<\/span>\u00a0<\/span><\/td>\nLess than $7.5M<\/span>\u00a0<\/span><\/td>\nNo reporting required<\/span>\u00a0<\/span><\/td>\nNo<\/span>\u00a0<\/span><\/td>\nNo<\/span>\u00a0<\/span><\/td>\n<\/tr>\n<\/tbody>\n<\/table>\n

* <\/span>Major Contractors that are small companies can opt to report under the requirements for Significant Contractors.<\/span>\u00a0<\/span><\/p>\n

Scope 1 emissions are those occurring as a result of company-owned operations, while Scope 2 result from the generation of electricity, heating, cooling or steam purchased by the company. Scope 3 emissions are from the company\u2019s supply chain and during downstream use and disposal of its products.<\/span>\u00a0<\/span><\/p>\n

Note that small companies supplying products to Major Contractors may need to account for climate impacts to support their customers\u2019 reporting of relevant Scope 3 emissions. Guidance for determining which of a reporting company\u2019s Scope 3 emissions are to be considered relevant is provided in the Greenhouse Gas Protocol\u2019s Corporate Value Chain (Scope 3) <\/span>Standard<\/span><\/a>.<\/span>\u00a0<\/span><\/p>\n

ACMA members potentially impacted by the proposed rule should contact <\/span>John Schweitzer<\/span><\/a> at ACMA.<\/span><\/p>\n

One year into implementation, Infrastructure Law has funded 6,900 projects<\/span><\/b>\u00a0<\/span><\/p>\n

According to a November 15 White House <\/span>fact sheet,<\/span><\/a> implementation of the Bipartisan Infrastructure Law signed into law one year ago has resulted in $185 billion (about $570 per person in the U.S.) in funding for projects in 4,000 communities across all 50 states. Many of these projects involve applications for which composites have long been the material of choice. <\/span>\u00a0<\/span><\/p>\n

For example, according to the White House,<\/span>\u00a0<\/span><\/p>\n