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Update on Intensive Water Grazing recent amendments

5/12/2022

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The government has recently released amendments to the intensive winter grazing rules (IWG) which form part of the NES-F 2020 after the consultation that took place on them last year. This consultation occurred because a number of concerns were raised on the practicality of implementing the original rules set out in the NES-F.

The parts of the legislation that remain the same and the parts that have been amended are discussed below. These will all come into effect in November 2022. So, they will be enforced NEXT winter (2023).

What’s remained the same:
  • Period of IWG 1st May – 30th September (in the same year).
  • 50 ha or 10% whichever is the greater (with exceptions of whichever is the lesser in parts of Canterbury) or the maximum area that was grazed in any winter within the reference period (1st July 2014- 30th June 2019).
  • Stock (remember this is all livestock) must be kept at least 5 m away from the bed of any river, lake, wetland, or drain (regardless of whether there is water in it at the time).

Amended IWG rules:
  • Critical Source Area (CSA): (this is the new sticking point)
    • Is defined as a landscape feature e.g. gully, swale or depression that accumulates runoff from adjacent land and has the potential to deliver contaminants to rivers, lakes, wetlands, or drains (excluding subsurface). Regardless of whether there is any water in it at the time.
    • Within the IWG period (1st May- 30th September) these areas must not be grazed
    • Also within the IWG period (1st May-30th September) vegetation must be maintained as  ground cover over ALL the CSA and maintaining that vegetation does not include any cultivation or harvesting of annual forage crops.
  • Slope: any land under IWG must be 10 degrees or less – this will now be determined by measuring the slope of any land over a 20m distance.
  • Pugging: Must take all reasonably practicable steps to minimise the effects to freshwater from pugging.
  • Resowing dates have been replaced with Ground cover standards which state that
    • Ground cover is established as soon as practicable after livestock have finished grazing the land.
  • The definition of a drain in relation to the winter grazing regulations is no longer inclusive of subsurface drains.

These amendments will mean that farmers that are winter grazing on rolling hill country will need to start thinking about applying for a consent as the majority of them will fall within the 10 degree slope threshold. The consent is a way of demonstrating that plans are in place to manage winter grazing and as the vast majority of farmers will already have good management practices in place, these just need to be articulated and further developed to ensure any impacts on the receiving environments are mitigated.

Any questions or scenarios that you have please feel free to sing out.it.
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He Waka Eke Noa Pricing options

3/21/2022

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In 2019 the government decided to put a price on agricultural greenhouse gas emissions and a committee proposed that to do this agriculture enter the NZ emissions trading scheme (ETS). The agricultural industry did not think this was the best option for the industry and they formed a body called He Waka Eke Noa (we are in this together) to come up with an alternative way of pricing emissions. Their pricing options are currently open for consultation with farmers before the final feedback is given to the government in the middle of this year. Feedback closes on Sunday 27th March so be sure to give yours here.

The options on the table are:
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The Emissions Trading Scheme
  • The agricultural sector will end up in the ETS if we either: do not come up with a suitable replacement pricing option or if we vote to be part of the ETS.
  • The ETS treats all GHGs the same so methane, nitrous oxide and CO2 would all be priced the same. This pricing would start off with a 95% discount off the ETS value of carbon which is expected to be around $85/tonne by 2025 making the cost to farmers 0.05 x $85 = $4.25/ Tonne of CO2 equivalents. The discount on emissions would decrease by 1% per year.
  • Forests can enter the ETS if they are larger than 1 ha and meet other entry requirements.
  • The government will be in charge of revenue gathered from agriculture through the ETS although it is likely the will recycle it back into the industry.
  • Emissions are calculated based on national emission factors rather than on farm specific calculations
  • There would be a relatively low setup cost to this option as it is already in existence. Estimated establishment cost of $3m and operating cost of $10m per annum.
  • Modelling predicts that this option would result in the lowest reduction in emissions, it is doubtful that the 10% reduction target for 2030 would be met.

Farm-level levy
  • Emissions would be priced separately for methane and nitrous oxide/CO2. The pricing would be decided by an administrative body and would follow the ETS price of CO2 at the discount rate until 2030 and then the administrative body would look to decrease the price of methane.
  • On farm sequestration that doesn't meet the entry requirements of the ETS (ie is less than 1 ha or less than 5 m in height) would still be accepted as an emission offset.
  • The sector would be in charge of the revenue generated through this scheme, to be directed to research and payment of offsets.
  • Emissions are calculated at a farm scale through a singular calculator to ensure consistency.
  • There would be high setup costs to this option. Estimated establishment cost of $117-141m and administration costs to the farmer and organisation of $69-$84m per annum.
  • Modelling predicts that this option would have the greatest impact on reducing emissions and help in reach the 10% reduction target for 2030.

Processor-level Hybrid levy
  • The processor (meat, milk, fert company) would be responsible for charging farmers per kg of product they produce.
  • Emissions would be priced separately for Methane and nitrous oxide/CO2. The pricing would be decided by an administrative body and would follow the ETS price of CO2 at the discount rate until 2030 and then the administrative body would look to decrease the price of methane.
  • On farm sequestration that doesn't meet the entry requirements of the ETS (ie is less than 1 ha or less than 5 m in height) would still be accepted as an emission offset.
  • The sector would be in charge of the revenue generated through this scheme, to be directed to research and payments of offsets.
  • Emissions are calculated using national averages to produce a kg of various products, these would be reviewed by He Waka and updated.
  • Farms can apply for an emission management contract if they are employing mitigation practices that are recognised to reduce their emissions or have reduced emissions over time, then their emissions would be calculated at the farm scale.
  • There would still be a high setup cost for this option but not as high as the farm level levy. Estimated establishment costs of $79-$120m and administration costs to the farmer and organisation of $39-$66m per annum. The majority of all of these costs are due to the rebates paid to farmers employing mitigation practices and on farm sequestration. Otherwise this system is very straightforward.
  • Modelling predicts this option would result in just less than the farm level levy and would still result in reaching the 10% reduction target for 2030.

Processor-level Hybrid levy transition to Farm-level Levy
  • An additional option is to start with the Processor level levy, as this would be easier to setup, and transition to the Farm level levy over time allowing for farm scale accounting and recognition.
  • This would ensure the agricultural industry still meets its key milestone commitment (that we have a pricing system in place by 2025) but would allow an easier start to the administration of pricing and the cost to setup the system.
 
More options and case studies on the options can be found here. To ensure the success of He Waka Eke Noa and ensure the industry is not forced to enter the ETS there are a few milestones that need to be met:
  • End of 2022, all farmers to know their GHG number
  • End of 2023 pilot project for reporting of farm emissions
  • 2025 all farms to have a written plan in place to measure and manage their GHG emissions
 
If you have any questions regarding the above or for help running your farm through one of the calculators available to determine your GHG number call our team on 0800 458 636 or email [email protected].

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Regenerative Agriculture: reclaiming the 'it' word

2/13/2022

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Regenerative Agriculture is a hot topic being discussed in rural circles around the world currently as consumers and hence our supply chains look for more sustainable options for food and fibre production.  Here in NZ, there’s a lot of confusion out there on what regen entails as well as considerable pressure on farmers to adopt these principles. 

Lumen resource management advisor Jenna Sutton says “it’s important to compare apples with apples and consider that NZ farmers are world leaders who have been using many regen principles for years.  In many cases only small changes are needed on farm to continue this journey.  As an industry, we need to pause and reclaim this ‘it’ word.​

​Read more below:
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Soil Moisture Sensors

11/24/2021

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What is the difference in soil moisture sensors and how do I get the best bang for my buck?
Below is a brief explanation of the main types of soil moisture sensors and where they are suited.

Capacitance
Capacitance sensors means the sensor sends out an electrical current from one end towards a receiving end. Water collects and stores current a lot better than air and soil therefore the amount of water in the soil can be determined. Because this method relies on the electrical conductivity of water the presence of ions for instance salt (soils closer to the sea) can give inaccurate results. These sensors may need calibrating to adjust their outputs according to a sensor of known accuracy.
The majority of the sensors on the market will be capacitance sensors, they are very common and are good because they are easy to install, read and are reasonably priced. However it is important to remember that not all of these sensors are equal ask what the warranty is on the probe, do a quick review online to try and access credibility and ask to have the display that you will read off set up so that you know the units being reported and your limits (target and trigger point).

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New Low Slope Map

7/22/2021

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NPS-FM - New Low Slope Map
Kia Ora Katoa

The first of the stock exclusion regulations in the National Policy Statement on freshwater management (NPS-FM) are set to come in for the 1st July 2023. The first level of requirements states that all dairy cattle and all beef cattle and deer that are break fenced or grazing on annual forage crops or irrigated pasture, be fenced to a minimum three meter setback from lakes and rivers with beds wider than 1m.
Table 1 shows more timelines laid out in the NPS-FM and states that for 1st July 2025 all dairy support cattle must be fenced from water bodies wider than 1m but all beef and deer must be fenced off from the waterbodies when the land is low slope as shown on MFE's low slope maps.
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Table 1: Timeline for stock exclusion as laid out in the NPS-FM 2020

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