Canadian Association of Petroleum Producers (CAPP)
What do our scores mean?
The organizational score represents the degree to which the organization influencing climate policy and legislation. Corporations also have relationship scores reflecting their links with influencers like trade associations. Both are combined to place the corporation in a performance band. Full details can be found here.
Engagement Intensity
The engagement intensity (EI) is a metric of the extent to which the company is engaging on climate change policy matters, whether positively or negatively. It is a number from 0 (no engagement at all) to 100 (full engagement on all queries/data points). Clearly energy companies are more affected by climate regulations and will have a higher EI than, for example retailers. So an organization’s score should be looked at in conjunction with this metric to gauge the amount of evidence we are using in each case as a basis for scoring. On our scale, an EI of more than 35 indicates a relatively large amount of climate policy engagement.
Relationship Score, December 2020
A new batch of industry associations has been uploaded onto the InfluenceMap system and the relationship scores recalculated accordingly.
- Details of Organization Score
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What do the 0,1,2 and NSs, NAs mean?
Each cell in the organization's matrix presents a chance for us to assess each data source against our column of climate change policy queries. We score from -2 to 2, with negative scores representing evidence of obstructive influence. "NA" means "not applicable" and "NS" means "not scored" - that is we did not find any evidence either way. In both cases, the cell's weighting is re-distributed over others. Red and blue cells represent highly interesting negative or positive influence respectively. Full details can be found here.
QUERIES
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DATA SOURCES | |||||||
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Main Web Site
The main organizational Web site of the company and its direct links to major affiliates and attached documents. |
Social Media
We search other media and sites funded or controlled by the organization, such as social media (Twitter, Facebook) and direct advertising campaigns of the organization. |
CDP Responses
We assess and score responses to two questions from CDP's climate change information request (12.3 a & 12.3c) related to political influence questions (currently these are not numerically scored by the CDP process). |
Legislative Consultations
Comments from the entity being scored on governmental regulatory consultation processes, including those obtained by InfluenceMap through Freedom of Information requests. |
Media Reports
Here we search in a consistent manner (the organization name and relevant query search terms) a set of web sites of representing reputable news or data aggregations. Supported by targeted searches of proprietary databases. |
CEO Messaging
Here we search in a consistent manner (the CEO/Chairman, organization name and relevant query search terms) a set of web sites of representing reputable news or data aggregations. Supported by targeted searches of proprietary databases. |
Financial Disclosures
We search 10-K and 20-F SEC filings where available, and non US equivalents where not. . |
EU Register
Information provided by to the voluntary EU Transparency Register. |
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Climate Science Transparency
Is the organisation being transparent about climate change science? |
0
|
2
|
NA | NS |
2
|
NS | NA | NA |
Climate Science Stance
Is the organization supporting the science of climate change and the response demanded (as per the IPCC) |
-1
|
0
|
NA |
-1
|
0
|
1
|
NA | NA |
Need for Climate Regulation
To what extent does the organization express the need for climate policy and regulations in general. |
0
|
-1
|
NA |
-1
|
-1
|
-1
|
NA | NA |
UN Treaty Support
Is the organization supporting a global treaty on climate change and the UN FCCC process? |
0
|
NS | NA | NS | NS |
-1
|
NA | NA |
Transparency on Legislation
Is the organisation being transparent about their positions on climate change legislation and policy, including CEO statements. |
0
|
NA | NA | NA | NA | NA | NA | NA |
Carbon Tax
Is the organisation supporting policy and legislative measures to address climate change: carbon tax. |
0
|
-1
|
NA |
0
|
-1
|
0
|
NA | NA |
Emissions Trading
Is the organisation supporting policy and legislative measures to address climate change: emissions trading. |
-1
|
-1
|
NA |
-2
|
0
|
-1
|
NA | NA |
Energy Efficiency Standards
Is the organisation supporting policy and legislative measures to address climate change: Energy efficiency standards and targets |
NS | NS | NA | NS | NS | NS | NA | NA |
Renewable Energy Legislation
Is the organisation supporting policy and legislative measures to address climate change: Renewable energy targets, subsidies and legislation. |
NS |
-1
|
NA | NS | NS |
-2
|
NA | NA |
Energy Policy and Mix
Is the organisation supporting policy and legislative measures to address climate change: energy policy and the energy mix. We refer to IPCC thinking on renewables, coal, oil and gas. |
-1
|
-1
|
NA |
-1
|
-1
|
-1
|
NA | NA |
GHG Emission Standards
Is the organisation supporting policy and legislative measures to address climate change: GHG emission standards and targets. |
-1
|
0
|
NA |
-1
|
-1
|
0
|
NA | NA |
Disclosure on Relationships
The Caring for Climate “inventory” of climate change policy influences: Are companies being transparent about their business associations which may impact climate debate and policy |
1
|
NA | NA | NA | NA | NA | NA | NA |
Whilst CAPP has acknowledged climate change and the need for action, its lobbying clearly favours the Canadian oil and gas sector’s global competitiveness in opposition to climate change policy. The group has, for example, continuously warned of the threat posed by carbon leakage to counter ambitions in Canada to reduce emissions. Since 2016, the group appeared to have become more outwardly supportive of the concept of carbon pricing policy. However this support has been based on the condition that a federal policy “not only preserve, but enhance" the sector by recycling revenues from the scheme back to the oil and gas companies. In 2018, CAPP argued for the federal government to provide the oil and gas sector with increased subsidies to compensate for the costs of the federal carbon tax scheme as a “trade-exposed industry”. A December 2018 report indicated that oil and gas companies will have on average 80% of their emissions exempt from federal carbon pricing. At the same time, CAPP has lobbied to weaken carbon pricing regulation already implemented in several Canadian provinces, whilst opposing it in provinces without such regulation. For example, in Alberta, CAPP directly lobbied policymakers in 2018 to ensure exemptions for the sector until 2023 and in 2017 lobbied for a weaker carbon tax in British Columbia. In Ontario, CAPP appears to have funded a social media campaign attacking carbon pricing in the lead up to elections in June 2018. In 2016-17, CAPP directly lobbied the Canadian government to weaken proposed methane emission standards, advocating instead for voluntary standards and a delay in their introduction. It also opposed a “prescriptive” enforcement of methane rules in Alberta. In 2018, CAPP argued that the Clean Fuels Standard is duplicative and called on the Canadian government to limit its scope by exempting the upstream oil and natural gas sector. CAPP promotes policy to enable a “strong growth scenario” for oil and gas in Alberta and used its ’Energy Platform’ to influence voters on this issue prior to elections in the state in June 2018. In a September 2018 submission to Alberta policymakers, the group pushed for measures including streamlined regulatory timelines and a range of ‘financial levers’ to incentivise the expansion of oil sands exploitation.