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KICLEI BC
LOCAL ACTION NATIONAL RESULTS
British Columbia Municipalities: Re-evaluation of Climate Action Plans and FCM-ICLEI Partners for Climate Protection Program
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This report advises British Columbia’s municipalities to critically reevaluate participation in the FCM-ICLEI Partners for Climate Protection (PCP) Program and the implementation of Climate Action Plans. While marketed as progressive climate initiatives, these programs often impose significant financial and administrative burdens on municipalities without yielding proportional benefits.
British Columbia is a net carbon sink, with its extensive forests, wetlands, and agricultural lands naturally absorbing more CO₂ than the province emits. This reality challenges the necessity and cost-effectiveness of adopting net-zero frameworks that may not align with local priorities.
Importantly, British Columbia’s municipalities are not legally required to achieve net-zero emissions under provincial or federal law. While the province has established long-term climate goals through the CleanBC Roadmap to 2030, including a target of net-zero emissions by 2050, these remain broad provincial objectives rather than mandatory municipal obligations. Participation in programs such as the PCP is entirely voluntary, and there are no penalties for opting out.
Furthermore, municipalities bear full financial and legal liability for any failures in implementing PCP programs, while ICLEI and its funding partners explicitly disclaim responsibility. This places undue risk on local governments, diverting critical resources from essential municipal priorities.
Redirecting municipal resources from externally driven climate programs to locally prioritized issues—such as housing affordability, energy security, wildfire resilience, adaptive infrastructure, and public safety—will better serve residents and ensure long-term resilience.
Key Recommendations:
Pause and Reevaluate PCP participation and Climate Action Plans, ensuring they align with local needs and fiscal realities.
Ensure Transparency through financial audits and public consultation regarding climate program costs and impacts.
Withdraw from the PCP Program and redirect funds to local initiatives that provide tangible community benefits.
Prioritize Practical Environmental Stewardship over costly net-zero targets, focusing on wildfire management, water conservation, and pollution prevention.
Address Immediate Municipal Needs, including housing affordability, infrastructure resilience, and economic development, to enhance community well-being.
By focusing on practical, locally driven solutions, municipalities can protect their financial stability, uphold property rights, and support community growth without unnecessary external obligations.
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Responsibilities of Council Members
Under Section 115 of the Community Charter, every council member has the following responsibilities:
To consider the well-being and interests of the municipality and its community.
To contribute to the development and evaluation of the policies and programs of the municipality respecting its services and other activities.
To participate in council meetings, committee meetings, and meetings of other bodies to which the member is appointed.
To carry out other duties assigned by the council.
To carry out other duties assigned under this or any other Act.
These provisions confirm that decision-making authority rests solely with the council, not with staff or consultants.
Oath of Office:
According to Section 120 of the Community Charter, a person elected or appointed to office on a municipal council must make an oath or solemn affirmation of office within the prescribed time limits. The specific wording of the oath is provided in the Local Government Oath of Office Regulation (B.C. Reg. 137/2022). The oath includes a commitment to:
"Truly, faithfully, and impartially execute the office to the best of my knowledge, skills, and ability."
This sworn commitment obligates councillors to uphold the law, act in the best interests of residents, and make independent, informed decisions.
While staff and consultants may advise, their role is not to decide. The council alone holds the final authority to approve, modify, or reject programs like the ICLEI Partners for Climate Protection (PCP) and associated Climate Action Plans.
Given this mandate, council must carefully evaluate whether such programs align with local priorities or impose unnecessary costs and external controls.
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Legal Context: International, Federal, and Provincial Requirements
Municipalities in British Columbia must navigate various climate policies within international, federal, and provincial frameworks. While agreements like the Paris Agreement set national targets, they do not legally bind municipalities. Federal and provincial policies provide guidance but allow local governments to set their own priorities and determine the most effective approaches to environmental stewardship.
The Paris Agreement
The Paris Agreement is an international treaty that commits countries, not municipalities, to Nationally Determined Contributions (NDCs) for greenhouse gas reductions.
Participation in programs like ICLEI’s Partners for Climate Protection (PCP) is voluntary, and British Columbia municipalities are under no legal obligation to implement net-zero policies aligned with the agreement.
Federal Legislation—The Canadian Net-Zero Emissions Accountability Act
The Canadian Net-Zero Emissions Accountability Act commits Canada to achieving net-zero GHG emissions by 2050 but imposes no mandatory requirements on municipalities.
Municipalities remain free to determine their own environmental priorities and strategies without federal enforcement under this act.
British Columbia’s Climate Policy and Legislative Framework
British Columbia has implemented climate-related policies, such as the CleanBC Roadmap to 2030, which outlines provincial emission reduction targets and strategies. However, these policies do not impose legally binding net-zero obligations on municipalities.
The BC Energy Step Code, a voluntary compliance pathway, allows municipalities to adopt higher building efficiency standards at their discretion but does not mandate net-zero adoption.
Municipalities have the authority to decide whether to integrate provincial climate initiatives into their local planning based on community needs and financial capacity.
British Columbia municipalities are not legally required to adopt net-zero policies or participate in programs like ICLEI’s PCP. Local governments maintain full autonomy to develop policies that reflect the unique needs, priorities, and financial considerations of their communities, ensuring a balanced and practical approach to environmental stewardship.
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Liability Waivers and What They Mean for Municipalities in British Columbia
Although ICLEI, the Federation of Canadian Municipalities (FCM), and the Government of Canada fund and administer programs such as the Partners for Climate Protection (PCP) program, these organizations have explicitly disclaimed liability for the outcomes or impacts of municipal participation.
Key Disclaimer (PCP Webpage):
“This project was carried out with assistance from the Green Municipal Fund, a Fund financed by the Government of Canada and administered by the Federation of Canadian Municipalities, and from ICLEI – Local Governments for Sustainability (Management) Inc. Notwithstanding this support, the views expressed are the personal views of the authors, and ICLEI Canada, the Federation of Canadian Municipalities, and the Government of Canada accept no responsibility for them.”
What Does This Mean for British Columbia Municipalities?
Voluntary Adoption:
Programs modeled after PCP milestones are voluntary, and municipalities are under no legal obligation to participate. Local governments can choose to withdraw from these programs at any time without facing legal penalties.
No External Accountability:
ICLEI, FCM, and the Government of Canada have waived responsibility for any financial losses, policy failures, or legal disputes arising from municipal participation. The burden of risk falls solely on the participating municipality.
Local Risk Exposure:
Municipalities bear full legal and financial accountability for any cost overruns, compliance challenges, or policy impacts associated with their climate plans. This includes potential liabilities related to infrastructure changes, regulatory compliance, and taxpayer-funded expenditures.
Financial Uncertainty:
While programs may offer initial grant funding, municipalities must cover the long-term costs of implementation, monitoring, and reporting. These expenses can amount to millions of dollars over time, without guarantees of success or financial protection from the funding organizations.
Given these liability disclaimers, municipalities in British Columbia should exercise caution when considering participation in externally driven climate programs, ensuring that any commitments align with local priorities, financial capacity, and risk tolerance.
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Data Collection Concerns
The Climate Action Plan requires extensive data collection at both the corporate (municipal operations) and community levels. These data collection requirements, outlined in the PCP Milestone One Protocol Handbook [8], are repeated annually or biannually and include:
Corporate Data Collection Requirements:
Tracking energy consumption from all sources, including non-CO₂-emitting sources.
Recording electricity usage for all municipal lighting annually.
Monitoring energy consumption for water and wastewater facilities.
Reporting fuel sources and emissions from all municipal buildings and facilities.
Conducting waste audits to categorize and measure all waste materials, from food waste to electronics.
Calculating the methane potential of landfill waste and assessing decay rates annually.
Collecting data on fuel usage for all municipal fleet vehicles, including public transit and staff commuting patterns.
Community-Wide Data Collection Requirements:
Emissions from residential, commercial, and industrial buildings, including fuel and electricity consumption.
Fuel sales data and kilometers traveled by all vehicle types, public transit, and private transportation within the county.
Monitoring emissions from industrial processes and wastewater treatment.
Detailed solid waste data, including livestock counts and methane potential.
These requirements represent a significant administrative burden and raise serious ethical and privacy concerns, such as:
Infringement on privacy: Residents and businesses may not be aware that their energy and waste habits are being tracked, leading to potential distrust in local government.
Data security risks: Sensitive information is often managed by third-party organizations such as ICLEI, raising concerns about data breaches and potential misuse.
Profit-driven motives: Data collected is often used to market "green energy" products, benefiting corporate interests rather than prioritizing genuine environmental stewardship.
This level of surveillance and data harvesting could be seen as disproportionate where local environmental initiatives can be achieved without such invasive measures.
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PCP Cost Projections
Participation in the PCP program is often marketed as a low-cost initiative; however, significant hidden costs exist [7]. These financial demands disproportionately burden rural and smaller municipalities with recurring expenses tied to externally driven objectives.
Estimated Costs for PCP Participation and Implementation
Milestone/Initiative
Estimated Cost Range*
Baseline Emissions Inventory
$10,000–$50,000
Emissions Reduction Targets
$5,000–$25,000
Local Action Plan Development
$20,000–100,000
Implement Action Plan
$50,000–1,000,000+
Monitor and Report Results
$10,000–50,000 annually
Municipal Fleet Upgrades
$500,000–5,000,000+
EV Charging Stations
$100,000–1,000,000+
Municipal Building Upgrades
Smart City Technology
$1,000,000–10,000,000+
$500,000–5,000,000+
Circular Economy Initiatives
$1,000,000–10,000,000+
15-Minute City Model
$5,000,000–50,000,000+
Active Transportation Networks
$1,000,000–20,000,000+
Urban Densification
$5,000,000–100,000,000+
Total Cost Range:
Modest Implementation: $8.2 million
Comprehensive Implementation: $212 million+
These conservative estimates underscore the financial burden imposed by PCP participation and Climate Action Plan implementation. A thorough cost analysis of the program expenditures to date and anticipated future costs is essential.
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British Columbia’s CO₂ Emissions and Carbon Sequestration Capacity
Provincial Emissions
British Columbia (BC) has a population of approximately 5.2 million residents. Using Canada's national average per capita emissions of 14.2 tonnes of CO₂ per year, BC’s estimated gross emissions are calculated as follows:
5.2 million residents × 14.2 tonnes CO₂ per resident per year = 73.84 million tonnes CO₂ annually. [(1)]
Thus, British Columbia’s gross annual CO₂ emissions are estimated at 73.84 million tonnes.
British Columbia’s Carbon Sequestration Capacity
BC's vast and diverse ecosystems serve as powerful carbon sinks, absorbing substantial amounts of CO₂ annually. Below is an overview of BC's major ecosystems, their estimated areas, and their carbon sequestration capacities.
1. Forests
Area: Approximately 55 million hectares, covering 58% of the province's land area. [(2)]
Sequestration Rate: An estimated 7.7 tonnes of CO₂ per hectare per year. [(3)]
Total Sequestration:
55 million hectares × 7.7 tonnes CO₂/hectare/year = 423.5 million tonnes of CO₂ absorbed annually.
2. Alpine Tundra, Icefields, and Glaciers
Area: Approximately 33 million hectares, covering about 35% of the province. [(2)]
Sequestration Contribution: Minimal, as icefields and glaciers do not actively sequester carbon, but they play a role in climate regulation and water storage.
3. Freshwater Ecosystems (Lakes, Rivers, and Wetlands)
Area: Approximately 2.5 million hectares. [(4)]
Sequestration Rate: An estimated 1.85 tonnes of CO₂ per hectare per year. [(5)]
Total Sequestration:
2.5 million hectares × 1.85 tonnes CO₂/hectare/year = 4.63 million tonnes of CO₂ absorbed annually.
4. Grasslands
Area: Approximately 1 million hectares, found in regions such as the Okanagan, Similkameen, and Kettle Valleys. [(6)]
Sequestration Rate: An estimated 2.5 tonnes of CO₂ per hectare per year. [(6)]
Total Sequestration:
1 million hectares × 2.5 tonnes CO₂/hectare/year = 2.5 million tonnes of CO₂ absorbed annually.
5. Agricultural Lands
Area: Approximately 4.6 million hectares, within BC’s Agricultural Land Reserve (ALR). [(7)]
Sequestration Rate: An estimated 0.5 tonnes of CO₂ per hectare per year, based on conservative soil management practices. [(8)]
Total Sequestration:
4.6 million hectares × 0.5 tonnes CO₂/hectare/year = 2.3 million tonnes of CO₂ absorbed annually.
6. Marine Ecosystems (Coastal Areas, Fjords, and Kelp Forests)
Area: Data not fully quantified.
Sequestration Contribution: Marine vegetation, such as kelp forests, has high sequestration potential, but reliable estimates are not yet available. [(9)]
Net CO₂ Balance Calculation
Total Estimated Annual Carbon Sequestration:
Forests: 423.5 million tonnes CO₂ [(3)]
Freshwater Ecosystems: 4.63 million tonnes CO₂ [(5)]
Grasslands: 2.5 million tonnes CO₂ [(6)]
Agricultural Lands: 2.3 million tonnes CO₂ [(8)]
Total Sequestration: 432.93 million tonnes CO₂ annually
Net Calculation:
Total Emissions: 73.84 million tonnes CO₂ [(1)]
Total Sequestration: 432.93 million tonnes CO₂
Net Balance: -359.09 million tonnes CO₂ annually
Conclusion:
British Columbia is a significant net carbon sink, absorbing approximately 359.09 million tonnes more CO₂ than it emits annually.Ecosystems Not Yet Fully Included in the Calculation
Several ecosystems contribute to carbon sequestration but have yet to be fully quantified, including:
Urban Green Spaces: Parks, green roofs, and urban forests. [(9)]
Riparian Zones: Vegetated areas along rivers and lakes that provide additional sequestration potential. [(9)]
Aquatic Vegetation: Underwater ecosystems, such as kelp forests, which sequester carbon at high rates. [(9)]
Note: The sequestration rates and areas are estimates based on available data and may vary with different management practices and environmental conditions. KICLEI Canada is available to collaborate with provincial and municipal GIS departments to refine these calculations using exact data for ecosystem coverage.
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Redirecting Resources to Local Priorities
Given British Columbia’s significant carbon-absorbing landscapes—forests, wetlands, and agricultural lands—continued participation in programs focused on net-zero targets diverts critical resources away from pressing local issues that fall under municipal jurisdiction.
In Canada, municipalities operate under the authority of provincial governments, which delegate specific responsibilities. While responsibilities may vary slightly across provinces, the core municipal duties in British Columbia generally include:
Housing Availability: Addressing rising housing costs and availability challenges to ensure safe, accessible housing for all residents. Municipal policies must protect property rights and prevent overregulation that restricts rural development, such as excessive zoning restrictions that limit housing expansion in small communities.
Energy Security: Ensuring affordable and reliable energy to support households, businesses, and community infrastructure. Expanding access to energy sources, including natural gas and alternative energy options, is crucial for supporting economic development, especially in rural and remote areas where energy options are limited.
Land Use Planning and Development: Promoting balanced growth through zoning policies that support both urban and rural communities. Municipalities should resist centralized “sustainable development” frameworks that impose rigid growth restrictions and disproportionately favor urban centers at the expense of rural livelihoods.
Infrastructure Maintenance and Expansion: Ensuring the upkeep and improvement of critical infrastructure such as roads, bridges, water, and wastewater systems to support growing communities and economic activity.
Transportation Planning: Providing accessible, efficient, and affordable transportation options while avoiding policies that discourage private vehicle use, impose mobility restrictions, or limit parking near local businesses in favor of restrictive urban development strategies.
Emergency Services and Public Safety: Supporting police, fire, and paramedic services to enhance community safety, including wildfire preparedness, rural emergency response capabilities, and mental health support initiatives.
Waste Management: Overseeing efficient waste collection, recycling, and disposal services that align with environmental stewardship goals without imposing costly regulatory burdens on residents and businesses.
Parks and Recreation: Maintaining and expanding green spaces, recreational facilities, and community programs that enhance quality of life, encouraging responsible land stewardship without excessive restrictions.
Economic Development: Promoting job creation and local industry growth to sustain vibrant, self-reliant communities. Municipal policies should prioritize the needs of small businesses, agriculture, and local entrepreneurship rather than relying on foreign investment and corporate chains that can undermine the local economy.
Public Health and Social Services: Collaborating with health authorities to address community well-being, including mental health resources, addiction services, and homelessness prevention, with a focus on locally driven solutions.
Government Accountability: Strengthening transparency and fiscal responsibility to restore public trust and ensure that taxpayer funds are used efficiently and effectively.
Municipal governments in British Columbia must focus on core responsibilities that directly impact residents and avoid diverting resources toward global climate initiatives that fall outside their jurisdiction.
Redirecting funds and efforts toward these critical community needs better serves residents and ensures that municipal governments remain focused on local priorities. This approach prevents the imposition of costly net-zero policies that do not align with British Columbia's natural environmental advantages or the immediate concerns of its citizens.
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Recommendations for British Columbia Municipalities
Pause and Reevaluate the PCP Program and Climate Action Plans:
Conduct a comprehensive review of the PCP program and climate action plans, including public consultation, to ensure they align with local priorities, economic realities, and financial capacities.
Assess the cost-effectiveness and feasibility of continuing with the data-driven milestone-based framework promoted by ICLEI and the FCM.
Improve Transparency and Accountability:
Disclose all costs already incurred under the PCP program and Climate Action Plans, including consultation fees, data collection expenses, and projected liabilities to taxpayers.
Conduct an independent financial audit of climate-related spending to determine the long-term fiscal impact on municipal budgets and ensure prudent use of public funds.
Engage residents and stakeholders in public consultations to restore trust, foster transparency, and allow for informed decision-making.
Withdraw from the PCP Program and Halt Climate Action Plan Implementation:
Immediately withdraw from the ICLEI Partners for Climate Protection (PCP) program or similar externally driven milestone frameworks that may not reflect British Columbia’s natural carbon sink advantages or local priorities.
Cease the development and implementation of climate action plans that impose unnecessary financial and administrative burdens tied to net-zero targets.
Redirect municipal resources toward practical, community-driven initiatives that provide measurable local benefits without undue regulatory constraints.
Prioritize Local Environmental Stewardship and Practical Solutions:
Focus on protecting and enhancing natural carbon sinks—forests, wetlands, and agricultural lands—that already absorb significant amounts of CO₂, reinforcing BC’s environmental strengths.
Develop cost-effective programs to address pollution prevention, water quality, and waste management that align with local needs and economic sustainability.
Support practical, locally driven environmental programs that enhance carbon sequestration through responsible land management rather than relying on expensive “green” technologies and data-driven monitoring.
Invest in infrastructure resilience and emergency preparedness to safeguard communities from wildfires, flooding, and other natural disasters.
Address Immediate Municipal Priorities:
Housing: Reduce regulatory barriers and “green tape” to expand housing options, promote affordability, and support responsible development that meets local needs.
Energy Security: Invest in reliable and affordable energy solutions, ensuring access to energy resources, particularly in rural and remote areas, to support economic growth.
Economic Development: Focus on local job creation and business development by supporting small businesses, agriculture, and resource industries that are vital to community well-being.
Public Safety and Community Programs: Strengthen emergency response services, including wildfire management, policing, and mental health supports to enhance community safety.
Government Accountability: Maintain transparency and fiscal responsibility by ensuring all major policy decisions are made in the best interests of residents, with full disclosure of financial commitments.
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Conclusion
British Columbia’s vast natural landscape provides significant carbon sequestration benefits, making net-zero frameworks and externally driven climate action plans misaligned with the province’s environmental strengths and immediate municipal responsibilities.
We respectfully urge British Columbia’s municipal councils to reevaluate climate policies, prioritize transparency, and focus on practical, community-driven solutions that reflect the unique needs and financial realities of their communities.
Sincerely,
Maggie Braun, KICLEI Canada, info@kiclei.ca
Concerned Residents and Stakeholders of British Columbia Municipalities -
References
British Columbia Community Charter, [SBC 2003] Chapter 26. Retrieved from: https://www.bclaws.gov.bc.ca/civix/document/id/complete/statreg/03026_00
Section 115: Responsibilities of Council Members
Section 120: Oath of Office
Local Government Oath of Office Regulation, B.C. Reg. 137/2022. Retrieved from: https://www.bclaws.gov.bc.ca/civix/document/id/complete/statreg/137_2022
Government of Canada. (2021). Canadian Net-Zero Emissions Accountability Act, S.C. 2021, c. 22. Retrieved from: https://laws-lois.justice.gc.ca/eng/acts/C-19.3/
United Nations. (2015). Paris Agreement. Retrieved from: https://unfccc.int/process-and-meetings/the-paris-agreement/the-paris-agreement
Government of British Columbia. (2021). CleanBC Roadmap to 2030. Retrieved from: https://www2.gov.bc.ca/gov/content/environment/climate-change/planning-and-action/cleanbc
Government of British Columbia. (2017). BC Energy Step Code. Retrieved from: https://energystepcode.ca
Partners for Climate Protection (FCM). PCP Program Disclaimer. Retrieved from: https://www.pcp-ppc.ca/membership
KICLEI Report. 2024. Cost Breakdown for Municipalities Participating in the PCP Program and Climate Action Plans. Retrieved from https://kiclei.substack.com/p/cost-breakdown-for-municipalities
PCP Milestone One Protocol Handbook. 2025. Retrieved from https://assets-global.website-files.com/6022ab403a6b2126c03ebf95/620d73c877f300b64e148909_pcp-milestone-1-instruction-manual.pdf
KICLEI. 2024. Open Letter to ICLEI Canada: Request for Information on ICLEI's Origin, Program Implementation, and Funding Sources. Retrieved from https://kiclei.substack.com/p/open-letter-to-iclei-canada-request
Government of British Columbia. British Columbia Population Statistics. Retrieved from: https://www2.gov.bc.ca
Wikipedia. Geography of British Columbia. Retrieved from: https://en.wikipedia.org/wiki/Geography_of_British_Columbia
The Global Education Project. Forests of British Columbia. Retrieved from: https://www.theglobaleducationproject.org
Government of British Columbia. Wetland Conservation in BC. Retrieved from: https://www2.gov.bc.ca
Council of Canadian Academies. Carbon Sinks in Inland Freshwater Ecosystems. Retrieved from: https://cca-reports.ca
BC Grasslands Conservation Council. The Value of BC’s Grasslands. Retrieved from: https://bcgrasslands.org
Agricultural Land Commission. Agricultural Land Reserve. Retrieved from: https://www.alc.gov.bc.ca
FMO. Carbon Sequestration in Agricultural Soils. Retrieved from: https://www.fmo.nl
BC Parks. Coastal Marine Ecosystems in BC. Retrieved from: https://bcparks.ca
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Subject: Request for Municipal Re-evaluation of Climate Action Plans and FCM-ICLEI Partners for Climate Protection Program Participation
Dear [Mayor and Council Members],
I am writing to you as a concerned resident of [Municipality] to formally request that Council pause and critically reevaluate our municipality’s participation in the FCM-ICLEI Partners for Climate Protection (PCP) Program and the implementation of associated Climate Action Plans.
A recently released report titled "British Columbia Municipalities: Re-evaluation of Climate Action Plans and FCM ICLEI Partners for Climate Protection Program Participation" raises several significant concerns regarding the financial, administrative, and legal implications of these programs. It highlights how these initiatives often impose considerable costs on municipalities without delivering proportional local benefits.
It is important to note that participation in the PCP program and the adoption of net-zero policies are not legally mandated at the municipal level by either the federal or provincial government. Municipalities have full autonomy to decide whether these initiatives align with local priorities, financial capacities, and community needs.
Key Concerns Raised in the Report:
British Columbia is Already a Net Carbon Sink:
British Columbia’s forests, wetlands, and agricultural lands naturally absorb more CO₂ than the province emits. This raises questions about the necessity of costly net-zero policies when local environmental stewardship efforts could be prioritized instead.
Significant Financial and Legal Liabilities:
The report outlines that while municipalities bear full financial and legal responsibility for implementation failures, ICLEI and its funding partners, including the Federation of Canadian Municipalities (FCM), disclaim all liability.
Cost estimates for full PCP implementation can range from $8.2 million to over $200 million, which could be better directed toward local priorities such as housing, infrastructure, and public safety.
Transparency and Accountability Issues:
Many municipalities have entered into these programs without comprehensive financial audits or extensive public consultation.
The report recommends ensuring transparency by conducting audits and disclosing all climate-related expenditures to residents.
Data Collection and Privacy Concerns:
Participation in the PCP program requires extensive data collection at both municipal and community levels, raising potential privacy and security risks for residents and local businesses.
This data is often shared with third-party organizations such as ICLEI for corporate marketing and profit, with limited municipal oversight.
Focus on Practical Local Solutions Instead:
The report suggests redirecting funds toward pressing municipal issues such as:
Housing availability and affordability
Energy security and economic development
Infrastructure improvements and public safety
Pollution prevention and environmental stewardship
Recommendations for Council Consideration:
Pause and Reevaluate Participation: Conduct a full review of our Climate Action Plan and PCP membership to ensure alignment with local priorities and financial capacities.
Improve Transparency: Disclose all program-related expenditures and engage in public consultations to gather resident input.
Withdraw from the PCP Program: End participation in externally driven climate programs that do not directly benefit our community.
Prioritize Local Needs: Redirect resources toward housing, energy, public safety, and economic development initiatives that provide tangible benefits to our residents.
As stewards of our municipality, it is essential that Council exercises its authority under the British Columbia Community Charter, which requires elected officials to represent the public interest, ensure transparency, and make informed, independent decisions.
The full report is available for your review here: British Columbia Municipalities: Re-evaluation of Climate Action Plans and FCM-ICLEI Partners for Climate Protection Program Participation
I urge you to carefully review the findings and recommendations outlined in the report and consider taking immediate action to realign municipal efforts with the real needs of our community.
Thank you for your time and dedication to our municipality’s well-being. I look forward to your response and hope for a transparent discussion on this matter.
Sincerely,
[Your Full Name]
[Your Address]
[Your Email]
[Your Phone Number] -
5-Minute Deputation Script to [Municipality Name] Council
Introduction (1 Minute)
Good [morning/afternoon/evening], Mayor [Last Name], Councillors, and staff.
My name is [Your Name], and I am here today as a concerned resident of [Municipality Name] to respectfully request that Council pause and reevaluate our participation in the ICLEI Partners for Climate Protection (PCP) Program and the associated Climate Action Plan.
Along with other residents, I have submitted a detailed report titled "Ontario Municipalities: Re-evaluation of Climate Action Plans and ICLEI Partners for Climate Protection Program Participation," which outlines significant concerns regarding the financial, legal, and administrative burdens of these initiatives.
Additionally, a petition signed by [X number] residents has been submitted, demonstrating strong public opposition to these voluntary global net-zero policies. A recent community survey further confirms that the majority of residents want Council to focus on core municipal responsibilities—such as housing, infrastructure, and public safety—rather than externally driven climate programs.
Key Issue (1 Minute)
Participation in the PCP program is not legally mandated by the federal or provincial governments. Our municipality has the full authority to determine whether these programs align with local priorities, and many residents believe they do not.
The report highlights that Ontario is already a net carbon sink, with our forests, wetlands, and agricultural lands absorbing more CO₂ than the province emits. This challenges the necessity of costly net-zero frameworks that do not reflect our environmental reality.
Financial and Legal Concerns (1 Minute)
The report and petition emphasize that PCP participation imposes significant financial burdens, with costs estimated between $8.2 million and over $200 million for implementation, monitoring, and compliance. These funds could be better directed toward pressing local needs.
Moreover, ICLEI and funding partners such as the Federation of Canadian Municipalities (FCM) explicitly waive financial and legal liability, leaving our municipality solely responsible for any failures or unforeseen expenses. This is an unacceptable risk to taxpayers.
Transparency and Privacy Risks (1 Minute)
Our community survey results reveal that residents feel uninformed about the extent of data collection under the Climate Action Plan. The PCP program requires tracking of energy use, waste audits, and even private transportation habits, raising serious privacy concerns regarding how this data is stored, used, and shared with third-party organizations such as ICLEI.
Residents deserve full transparency and the opportunity to provide meaningful input before Council makes further commitments.
Call to Action (1 Minute)
Based on the findings of the report, the petition, and survey feedback, I respectfully urge Council to:
Pause and Reevaluate Participation: Conduct a full review of the Climate Action Plan and its financial implications.
Improve Transparency: Hold public consultations and disclose all climate-related spending to date.
Redirect Resources: Focus on core municipal responsibilities such as affordable housing, energy security, and public safety.
Thank you for your time and commitment to our community. I look forward to your response and am happy to answer any questions you may have.
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Statement of Support & Petition to Pause and Reevaluate Municipal Participation in the FCM- ICLEI Partners for Climate Protection (PCP) Program
To: [Municipality Name] Mayor and Council
From: Concerned Residents of [Municipality Name]We, the undersigned residents of [Municipality Name], respectfully request that Council pause and thoroughly reevaluate our municipality’s participation in the ICLEI Partners for Climate Protection (PCP) Program and the implementation of the Climate Action Plan.
Participation in this program is not legally mandated by federal or provincial governments, and we believe municipal resources should focus on core priorities that directly benefit our community, such as housing, infrastructure, energy security, and public safety.
Our Concerns:
Financial Burden: Implementation and compliance costs for the PCP program could reach millions of taxpayer dollars, which could be better allocated to pressing local needs.
Lack of Transparency: Many residents were unaware of the municipality’s commitment to this program, and decisions were made without adequate public consultation or financial disclosure.
Privacy Concerns: The PCP program requires extensive data collection on energy use, transportation, and waste, raising concerns about data security and potential misuse by third parties.
Local Autonomy: Our municipality should have the freedom to develop practical, locally driven environmental stewardship initiatives that respect our economic realities and existing environmental strengths.
Ontario is Already a Net Carbon Sink: Our forests, wetlands, and agricultural lands absorb more CO₂ than we emit, making costly net-zero policies unnecessary and misaligned with our environmental reality.
We urge Council to:
Pause and review the program's financial, legal, and administrative impacts.
Hold public consultations to allow residents to voice their concerns.
Redirect resources to address urgent community needs, such as housing affordability, road maintenance, and emergency services.
By signing this petition, we affirm our support for a thorough reassessment of our municipality’s climate policies to ensure they align with local priorities and financial realities.
Name (Printed) | Signature | Address | Email (Optional)
Thank you for your attention to this matter.
Take action today in BC…
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KICLEI Zoom Meeting
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Petition
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British Columbia
Municipalities Participating in the FCM ICLEI Partners for Climate Protection Program
Regional Districts and Municipalities
Metro Vancouver
Comox Valley Regional District
Cowichan Valley Regional District
Capital Island District
Regional District of Central Kootenay
Regional District of Central Okanagan
Regional District of East Kootenay
Regional District of Kootenay Boundary
Regional District of Nanaimo
Regional District of Okanagan-Similkameen
Strathcona Regional District
Sunshine Coast Regional District
Peace River Regional District
Miscellaneous Regional Districts
Each municipality link connects to its official website for further details on PCP involvement and environmental initiatives. Let me know if you need more information on specific communities.