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  • Forest Stewardship Council

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    FSC International Center GmbH Charles-de-Gaulle-Strae 5 53113 Bonn Germany

    T +49 (0) 228 367 66 0 F +49 (0) 228 367 66 30 [email protected] www.fsc.org FSC F000100

    Geschftsfhrer | Director: Dr. Hans-Joachim Droste Handelsregister | Commercial register: Bonn HRB12589

    ADVICE-40-005-21 DRAFT 1-0 2015-05-18

    The phase-out of company risk assessments, and rules for the transi-tion from version 2-1 to version 3-0 of the standard FSC-STD-40-005

    Normative reference FSC-STD-40-005 V2-1, FSC-DIR-40-005

    Approval Approved by the FSC Board of Directors on XX August 2015. This Advice is based on Motion 51 Strengthening the Controlled Wood system (2011), including related decisions by the FSC Board of Directors, and stakeholder input.

    Effective date 01 January 2016

    Background According to Motion 51 Strengthening the Controlled Wood system (2011) and subsequent decisions by the Board of Directors (2012, 2014), compa-ny1 risk assessments developed according to Annex 2 of the standard FSC-STD-40-005 V2-1 shall be phased out by 31 December 2015 and replaced by National Risk Assessments. The phase-out of company risk assessment was planned to occur through the revision of the standard. While the revised version of the standard, FSC-STD-40-005 V3-0, was intended to be effective as of 01 January 2016, it will be postponed due to the planned approval date (November 2015), as well as complexity of changes introduced in the revised standard, which require sufficient time for stakeholders to transition to the revised standard. This Advice regulates the use of FSC-STD-40-005 V2-1 after 31 December 2015 and during the transition period without the possibility to conduct company risk assessments.

    Stakeholder consultation note 1 This document as a whole specifies requirements relevant to the im-plementation of FSC-STD-40-005 V2-1 by Certificate Holders and audit by Certification Bodies. The final version of the new requirements consulted in this document may be presented in a separate Advice to be relevant for numerous FSC normative documents.

    Advice The phase-out company risk assessments 1 For suppliers included in the company's own FSC Controlled Wood

    verification program, the company shall not use Annex 2 of FSC-STD-40-005 V2-1 for determining the risk designation of a district of origin after 31 December 2015.

    2 After 31 December 2015 the company shall use risk designations

    for Controlled wood categories from the following sources:

    a) National Risk Assessment (NRA), or, if an NRA is not available;

    b) Centralized National Risk Assessment (CNRA; https://ic.fsc.org/centralized-national-risk-assessment.700.htm;

    https://ic.fsc.org/consultation-on-the-centralized-national-risk-assessment.777.htm), or, if the CNRA is not available;

    c) Global Forest Registry

    1 Company is synonymous with The Organization, Certificate Holder in this and other FSC documents.

    https://ic.fsc.org/centralized-national-risk-assessment.700.htm

    https://ic.fsc.org/consultation-on-the-centralized-national-risk-assessment.777.htm

    https://ic.fsc.org/consultation-on-the-centralized-national-risk-assessment.777.htm

  • Forest Stewardship Council

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    (GFR; http://www.globalforestregistry.org/map). When the National Risk Assessment or Centralized National Risk Assess-ment provides a specified risk designation, it shall be treated as unspeci-fied risk. Transition rules between versions 2-1 and 3-0 of the standard FSC-STD-40-005 3 During the transition period between versions 2-1 and 3-0 of the

    standard FSC-STD-40-005 (starting on the effective date of ver-sion 3-0 and ending one year later), existing Certificate Holders may choose to be evaluated by a certification body according to ei-ther version of the standard. For the evaluation to be scheduled during the transition period, the Certificate Holder shall inform its Certification Body which version of the standard has been chosen for the evaluation at least 8 weeks in advance.

    4 By the end of the transition period, all Certificate Holders shall have

    transitioned to the revised version of the standard. During the fol-lowing evaluation by the Certification Body, the Certificate Holders shall demonstrate that they were in conformance with the revised requirements by the end of the transition period.

    5 During the transition period, new applicants for FSC Chain of Cus-

    tody certification with Controlled Wood with the scope of products shall conform to the revised version of the standard.

    Stakeholder consultation note 2 Stakeholders are asked to provide feedback on the proposed possi-bility for existing certificate holders to choose which version of the standard they will be evaluated against during the transition period (Point number 3). As of the beginning of this public consultation, on-ly representatives of the environmental chamber in the Controlled Wood Technical Committee have provided feedback on this issue. The possibility to choose which version of the standard certificate holders can be evaluated against was not supported, because the current standard does not contain the same level of requirements for transparency and consultation as the draft revised standard.

    Stakeholder consultation note 3 Currently, the Certificate Holder can hire any external organization to conduct the supplier verification of unspecified risk sources (ac-cording to Annex 3 of FSC-STD-40-005 V2-1), excluding its own Cer-tification Body. Certification Bodies requested FSC to explore the opportunity for Certificate Holders to outsource the supplier verifica-tion to their own Certification Bodies, arguing that this approach would not create a conflict of interest and would be equal to the ex-tension of the current sampling rate of FMUs under the Certification Bodys evaluation. Acknowledging that the risk designation sources required by this Advice will lead to an increase in areas in which field verification is needed (due to an increase of unspecified risk areas), stakeholders

    http://www.globalforestregistry.org/map

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    are requested to provide their opinion on the above in respect to the potential conflict of interest.

    PSC.2015.15.DEC.Annex 2 Synopsis of the drafting and consultation of FSC-ADV-40-005-21 - updated for PSC.pdf

  • Synopsis of the drafting and

    consultation of FSC-ADV-40-005-

    21 for the phase-out of company

    risk assessments for sourcing

    Controlled Wood and relevant

    discussions

  • SYNOPSIS OF THE DRAFTING AND CONSULTATION OF FSC-ADV-40-005-21 FOR THE PHASE-OUT OF COMPANY RISK ASSESSMENTS FOR SOURCING CONTROLLED WOOD2015

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    Contents 1. Introduction .............................................................................................................................. 3

    2. Purpose of the Advice Note ............................................................................................. 3

    3. Discussion of the Advice Note: Controlled Wood Technical Committee .... 3

    4. Discussion of the Advice Note: Controlled Wood Steering Committee ...... 4

    5. Stakeholder Consultation .................................................................................................. 5

    5.2. Summary of feedback: Phase-out of company risk assessments ......... 6

    5.3. Summary of feedback: Transition period .................................................. 6

    5.4. Summary of feedback: Outsourcing of supplier verification to certification bodies ................................................................................................................ 7

    5.5. Summary of feedback: Other issues/feedback ...................................... 8

    6. Final discussion by CWSC ............................................................................................... 8

  • SYNOPSIS OF THE DRAFTING AND CONSULTATION OF FSC-ADV-40-005-21 FOR THE PHASE-OUT OF COMPANY RISK ASSESSMENTS FOR SOURCING CONTROLLED WOOD2015

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    1. Introduction This synopsis is intended to provide a summary of the discussions and feedback of the draft Advice Note FSC-ADV-40-005-21 The phase-out of company risk assessments, and rules for the transition from version 2-1 to version 3-0 of the standard FSC-STD-40-005. It contains information on the purpose of the Advice Note, and an overview of the discussions between the Controlled Wood Technical and Steering Committees on the Advice Note, and an analysis of the feedback received during its public consultation.

    2. Purpose of the Advice Note At the 2011 FSC General Assembly, Motion 51: Strengthening the Controlled Wood system was passed by the FSC membership. Central to the motion was the decision to phase-out company risk assessments conducted according to Annex 2 of the standard FSC-STD-40-005 V2-1. This phase-out was originally set to occur at the end of 2012. Decisions by the FSC Board of Directors later postponed this date to 31 December 2014, and then to 31 December 2015. The phase-out was intended to occur through the revision of the standard the revised standard would not contain the possibility for Organizations to conduct their own risk assessments. However, due to a difficult revision process and the need to conduct pilot testing of the standard (to be finished 31 July 2015), the standard will not be finalized in time to be made effective by 1 January 2016. The standard is currently planned to be made effective at a later date in 2016. This presents a need for changes to the FSC normative framework that enforce the phase-out of company risk assessments, and for this purpose, the Advice Note FSC-ADV-40-005-21 was drafted. The Advice Note contains requirements to effectively remove the possibility for Organizations to conduct their own risk assessment, and to direct organizations to the use of National Risk Assessments, Centralized National Risk Assessments or the Global Forest Registry (GFR: http://www.globalforestregistry.org/) to obtain the relevant risk designations in order to be able to implement the standard. The Advice Note also contains proposed rules for the transition from the current version of the standard (V2-1) to the revised version (V3-0) once it is effective, as well as a proposed modification to the rules for an Organizations own certification body to conduct field verification on its behalf, when the Organization is sourcing from unspecified risk areas (following the standard FSC-STD-40-005 V2-1).

    3. Discussion of the Advice Note: Controlled Wood Technical

    Committee The only feedback received by the Controlled Wood Program from the Controlled Wood Technical Committee (CWTC) before the Advice Note was publicly consulted came from representatives of the Environmental Chamber, whom generally supported the Advice Note for the phase-out of company risk assessments, but did not support the proposed transition rules. The contents of the Advice Note were later discussed by the Controlled Wood Technical Committee over email, and during a call. A summary of the feedback is as follows:

    Environmental and Social members supported the phase-out of company risk

    assessments by the date 31 December 2015, and the rules contained in the

    Advice Note for this. Economic chamber members were against the Advice Note,

    stating that the phase-out date should be reconsidered, and that NRAs or the

    CNRA are needed first.

    http://www.globalforestregistry.org/

  • SYNOPSIS OF THE DRAFTING AND CONSULTATION OF FSC-ADV-40-005-21 FOR THE PHASE-OUT OF COMPANY RISK ASSESSMENTS FOR SOURCING CONTROLLED WOOD2015

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    Economic chamber members described the Advice Note as complex, and costly

    to implement due to a lack of risk assessments, and unspecified risk designations

    on the GFR. To source from unspecified risk areas, companies must conduct

    field verification of their supplies according to Annex 3 of the standard. The

    environmental chamber didnt see the problem with this, citing experience in

    Australia where Annex 3 has been implemented by companies successfully for 4

    years.

    Advice from Technical experts stated that while many countries are unspecified

    risk on the GFR, low risk areas can be found when looking at areas at a smaller

    scale. A significant part of the world is unspecified due to low country scores on

    the Corruption Perception Index. The GFR is already used for benchmarking

    company risk assessments by most certification bodies. It was stated that

    previous decisions to postpone the approval of the revised standard, while

    keeping the phase-out date for company risk assessments posed the dilemma of

    having to design interim requirements instead of focusing effort on revising the

    system.

    The Environmental chamber described the transition rules as messy, the Social

    chamber and a Technical Expert stated they should be treated separately to rules

    for the phase-out of company risk assessments.

    4. Discussion of the Advice Note: Controlled Wood Steering

    Committee The Controlled Wood Steering Committee (CWSC) discussed the Advice Note and other potential solutions prior to and during the consultation of the Advice Note. Other potential solutions included:

    Postpone phase-out of company risk assessments (not seen as a real solution

    due to credibility issues)

    A maintenance of existing risk assessments (allow the sourcing of Controlled

    Wood with them) but do not allow new risk assessments to be conducted (this is

    a weakening of the current system, which requires risk assessments to be

    reviewed annually)

    Possibility to conduct company risk assessments following revised and

    strengthened risk assessment requirements (envisaged as an Interim Risk

    Assessment in the up-coming revised standard).

    Focus the development of possible scenarios and solutions for higher risk areas

    (first determine them, however risk determination is ongoing via CNRA and NRA,

    therefore outcomes will not be available within the timeframe needed)

    Conduct a review of the current company risk assessments in December so that

    they may continue for another year;

    It was discussed that adding an Advice Note to the normative framework increases complexity and goes against previous decisions. However, no other solution was seen to be better. The importance of scenario planning was highlighted such planning would need to map out the transition from the current Controlled Wood system to the revised one, in full, containing what would be the result of critical decision points. A final solution should be developed based on analysis of the various possible scenarios. Possible solutions will be provided by PSU based on consultation feedback, and discussion of the CWTC and CWSC. These will be further discussed by the Board.

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    Final requirements need to be well drafted and clear, and good communication of the decision will be crucial. The solution needs to be formally approved in order to provide stakeholders with credible information and to allow preparation to adapt to requirements prior to their implementation. Separate to comments made directly on the Advice Note itself, but related to the Controlled Wood revision in general, the CWSC discussed possible ways of moving forward in case the revised CW standard is not agreed by the CWTC.

    A CW strategy is needed to introduce major simplifications to the process. This

    was planned to be developed after finalization of the standard, according to

    Board conclusions from BM64 in November 2013.

    A scenario for the revision process in the absence of CWTC consensus for

    finalizing documents needs to be discussed in August 2015. The decision about

    further steps would be communicated to the CWTC and would inform their

    discussions that will take place after the Board meeting.

    A potential Controlled Wood summit that could take place if the Controlled

    Wood revision process was halted by lack of decisions or consensus within the

    CWTC on final requirements of the standard FSC-STD-40-005 was discussed.

    The summit would involve bringing together relevant people to make high level

    strategic decisions on Controlled Wood in order to ensure progress with the

    revision.

    For any scenario related to the finalization of the CW standard, a firm solution for

    the phase out date is needed, which can function for a longer time, prior to

    delivery of the standard.

    5. Stakeholder Consultation The draft Advice Note was consulted publicly from 18 May 18 June 2015. This involved the creation of a dedicated website (http://ic.fsc.org/fsc-adv-40-005-21.865.htm), a news item in the FSC newsletter (http://ic.fsc.org/technical-updates.325.1149.htm) and emails to the FSC membership, Network and certification body forum mailing lists. Two webinars were held on 26 May 2015 to explain the Advice note, provide more information and provide stakeholders the opportunity to have questions answered in real time each was attended by over 100 stakeholders. The summary of feedback contains views put forth by different stakeholders on the major topics, and does not include feedback on small issues, or those outside the scope of the consultation (e.g., the requirements of the draft revised standard FSC-STD-40-005).

    5.1. Overview of respondents 54 submissions of feedback (comment forms) were received. A basic breakdown of who submitted the responses, or on whose behalf they were sent, is as follows:

    39 FSC International Organizational members. Chambers and sub-chambers

    were as follows:

    o 22 Economic North

    o 3 Economic South

    o 13 Environmental North

    o 1 Social North

    29 certificate holders (9 of these are FSC International organizational members)

    6 FSC-Accredited Certification Bodies

    4 FSC Network Partners

    2 Other (Industry Associations)

    http://ic.fsc.org/fsc-adv-40-005-21.865.htm

    http://ic.fsc.org/technical-updates.325.1149.htm

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    These figures provide a general overview of the where the feedback has come from. It is important to note that some submissions submitted separately by different Organizations contained identical comments, other individual submissions were sent on behalf of more than one organization.

    5.2. Summary of feedback: Phase-out of company risk assessments The majority of feedback from certificate holders underlined a strong opposition to the introduction of the Advice Note. On the other hand, social and environmental stakeholders welcomed the Advice Note. Other stakeholders, such as certification bodies, FSC Network Partners and some certificate holders provided varied feedback along the spectrum provided by the opposing views of social/environmental stakeholders and many of the certificate holders. Many certificate holders argued that the transition to FSC-STD-40-005 V3-0 should only begin once it is made effective, and many argued further that the transition should only begin NRAs or the CNRA are also finalized. The requirements were often described as an unnecessary burden, caused by FSC not delivering NRAs. The burden was described as costs associated with implementing complicated, temporary requirements that do not help transition to the revised standard. The costs were largely attributed to the need for field verification according to Annex 3 of the standard in the increased area of unspecified risk, as indicated in CNRAs or on the GFR. The CNRA was criticized by some as not being credible, and having been conducted at too broad a scale; the GFR was criticized as lacking information, and containing dated information; both risk designation sources were criticized as containing unreasonable designations of unspecified risk. It was stated that Annex 3 has not been effectively used in North America and its implementation would be costly and prohibitive to the use of the standard. Opinions against the rules for the phase-out of risk assessments were not unanimous amongst all certificate holders however, with some supporting the phase-out rules. Respondents from the Environmental chamber supported the phase-out of company risk assessments and expressed opposition to any extension of the phase-out date. The approach taken in terms of use of the GFR was supported, due to its formalization of the GFR within the FSC system, argued to create a greater need for FSC to ensure the quality of information it contains. Responses from Certification Bodies and Network Partners were varied. Some stated that the phase-out requirements were reasonable and simplified the current requirements. Others were in complete opposition to the requirements, and argued that conformance with the Advice Note would not be possible for companies that have already been audited this year, as some companies have made orders (that cannot be cancelled) for 1 year of material based on their approved company risk assessments. The Advice Note was also described as not timely enough for certificate holders and certification bodies to update to the new requirements.

    5.3. Summary of feedback: Transition period It is important to note that the summary of feedback regarding the proposed transition rules relates to the proposed possibility for certificate holders to choose the version of the standard during the transition period, and not to the actual normative requirements that would be transitioned to or from during this period (i.e., this Advice Note, or requirements of FSC-STD-40-005 V3-0). Some environmental stakeholders described the proposed transition rules as acceptable (due to delays in the revision of the Controlled Wood system and development of FSC

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    Risk Assessments), but not ideal. Others indicated that support of the possibility of continued use of FSC-STD-40-005 2-1 during the transition period would be conditional on additional requirements for Annex 3 regarding transparency and stakeholder consultation so that requirements would be more in line with drafts of FSC-STD-40-005 V3-0. Most certificate holders were supportive of choice during the transition period, stating that a lot of time (at least 1 year) will be needed to update to the revised standard or approved NRA or CNRA. Those not in support stated that the rules caused confusion. Responses from certification bodies were mixed. Some supported the proposal for a choice of standard during the transition period, stating that companies would need time to adapt to the new standard. Those against the transition rules stated that the normal transition period as stated in FSC-PRO-01-001 should be followed. Between these arguments, a 6 month transition period with the proposed rules was suggested. Feedback from Network Partners was also mixed. Some argued that the proposed rules are complicated and that the deadline for phasing out company risk assessments should be aligned with the audit schedules of individual companies. Others supported choice during the transition period to provide more time for certificate holders Other, more technical comments or questions were received on how the rules could function in practice, highlighting potential issues that must be dealt with. Some comments were received that argued the 8 week notification rule was unnecessary.

    5.4. Summary of feedback: Outsourcing of supplier verification to certification bodies

    There was generally more agreement on this issue (between groups of stakeholders that disagreed on other issues), however feedback wasnt unanimous. Members of the Environmental and Social chambers were supportive of the proposal. Most, but not all, certificate holders were supportive of the proposed rules. Certification Bodies were generally supportive also, but other stakeholders from the economic chamber tended to be against the proposal. FSC Network Partners were supportive though some recognized that some conflict of interest would remain under the proposed rules. Reasons in support included:

    Increased efficiency and reduced cost of the verification for the certificate holder

    Certification bodies are credible and competent to do the work

    Dealing with competing certification bodies is difficult

    Some countries may have few available certification bodies (or few with required expertise, language, etc.)

    Conflict of interest does not exist when risk designations come from an NRA

    There is an added benefit of having a higher sampling of FMUs Reasons not in support included:

    Conflict of Interest still exists conflicts requirements for impartiality in FSC-STD-40-005

    Additional comments included:

    Verification by certification bodies should be closely monitored by ASI, at least in high risk countries

    FSC should define what sufficient expertise is for conducting the verification (at present, Controlled Wood Forest Management expertise is required)

    The requirements are more applicable to FSC-STD-20-011 (the accreditation standard for CoC certification), rather than FSC-STD-40-005.

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    5.5. Summary of feedback: Other issues/feedback Miscellaneous comments included:

    The Advice Note contains requirements for too many different issues

    The Advice Note was consulted too quickly and was not in line with FSC-PRO-

    01-001

    Advice Notes should no longer be issued, following previous FSC/membership

    decisions

    It is not clear what will happen if a certificate holder is shown to have not updated

    to the requirements (use of the correct risk assessment) by the phase-out date at

    the next audit.

    There is a need to communicate any final decision immediately and clearly, with

    supplementary information to assist understanding.

    A clear revision schedule is needed (not just this standard), as well as a

    communication strategy

    It is crucial that FSC takes planned decisions on revised standards and other

    requirements as soon as possible and gives the highest possible priority to

    developed risk assessments for key producer countries

    There is an urgent need for a Controlled Wood strategy the complexity of

    issues is demonstrated by time need for NRA development. Some stakeholders

    against the phase-out rules stated that the Controlled Wood revision should be

    delayed until a Controlled Wood or the FSC strategy is completed.

    Concern of repeated delays in CW revision, which have caused the need for the

    Advice Note. However, resources should be directed towards finalizing NRAs and

    the revised standard, rather than interim measures.

    6. Final discussion by CWSC Following the close of the stakeholder consultation, the CWSC discussed potential

    updates to the rules to be presented to the PSC for decision making.

    The CWSC agreed that phase-out date should be kept (not postponed) and

    implemented.

    Two amendments to rules regarding sources of risk designations to be used by

    companies implementing FSC-STD-40-005 were suggested, in the form of two

    additional sources Aside to the three sources contained in the draft Advice Note, it was

    suggested that:

    Certification Bodies shall be entitled or required to provide the risk assessment

    to companies, which would be based on information contained on the Global

    Forest Registry, but updated if needed. This could be difficult, as it would

    require a change in accreditation requirements for certification bodies, and there

    may not be sufficient time to formally (or fully) introduce the solution before the

    phase out date.

    Companies could be given the option of conducting a risk assessment

    according to the revised risk assessment requirements that were approved in

    November 2014. This option has been drafted as part of FSC-STD-40-005 V3-0,

    and termed an Interim Risk Assessment.

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    Following these suggestions, the draft Advice Note for the consideration by the PSC was been updated to include additional sources of risk designations to be used by companies, as follows:

    1. NRA 2. CNRA, if NRA is not available 3. A CB risk assessment (based on the Global Forest Registry), if neither of the

    above not available, 4. Interim Risk Assessment (new company risk assessment following revised risk

    assessment requirements approved in November 2014), if none of the above not available,

    5. GFR Requirements relevant to companies sourcing from unspecified risk areas (Annex 3 of FSC-STD-40-005 V2-1) were discussed in light of the stakeholder consultation, as well as the ongoing Controlled Wood pilot tests in Canada. Potential difficulties with implementing Annex 3 was reported by companies that have not yet had to do so, and there were complaints about the fixed sampling rate for field verification. The CWSC discussed modifications to current requirements that would allow the sampling rate to depend on the actual risk(s) found to be occurring within supply areas. It was also acknowledged that Annex 3 is being implemented in countries with an NRA, such as Australia. The resulting recommendation was that companies would be able to apply specific criteria (yet to be drafted, and no suggestions were made) for different parts of a district of origin, or different suppliers so that they could implement Annex 3 in a more flexible way in large areas. The criteria would have to be approved/verified by the companys certification body. The CWSC agreed to propose the outsourcing of field verification to a companys own certification body to the PSC. Conflict of interest was acknowledged, as were advantages, which include a potentially higher quality of field verification, the issue of very few certification bodies operating in a particular area would be addressed, and potential reductions in the effort needed by companies to implement field verification requirements. The CWSC agreed to propose a modification to the transition rules to allow certificate holders the choice of standard that they implement and are evaluated against during the transition period to the revised standard. The transition period would still begin with the effective date of the of the revised standard (V3-0), but certificate holders would not have to be evaluated according to the revised requirements at their next audit within that period they could choose to be evaluated according to then old requirements (V2-1 of the standard) (Figure 1). Aside to this modification, it was also suggested that a two year transition period could be an option, and that this should be presented to the Policy and Standards Committee.

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    Figure 1. Transition rules according to FSC-PRO-01-001 V3-0.

    General transition rules:

    Phase-in period of 12 months following effective date

    Certificate holders and applicants evaluated against revised normative document after the

    effective date

    By end of transition period, all CHs must have transitioned to revised document.

    Proposed modification of the general transition rules:

    Phase-in period of 24 months following effective date

    Certificate holders and applicants evaluated against revised OR PREVIOUS normative

    document after the effective date

    By end of transition period, all CHs must have transitioned to revised document.

    The CWSC agreed on the great importance of clear communication, and ensuring that stakeholders feel engaged in the process. The previous idea of a CW summit (see section 4) was stated to be ideal for this, but would not be possible this year. The schedule for communication of a final decision regarding the phase out of company risk assessments would include the following:

    decision made in August

    CWTC discussion of the revised standard, with knowledge of the Board decision

    (end of August)

    Decision communicated through a series of webinars for stakeholders during the

    first half of September. This would be associated with an announcement of the

    CW strategy process and plans to hold a stakeholder summit in 2016.

    Importantly, the communication would not have a goal to consult the Board

    decision, as this would disable any introduction of the final requirements

    regarding the phase out of company risk assessments on time

    Publication of the requirements by the end of September;

    PSC.2015.15.DEC.Annex 3 FSC-ADV-40-005-21 DRAFT 2-0.pdf

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    FSC International Center GmbH Charles-de-Gaulle-Strae 5 53113 Bonn Germany

    T +49 (0) 228 367 66 0 F +49 (0) 228 367 66 30 [email protected] www.fsc.org FSC F000100

    Geschftsfhrer | Director: Dr. Hans-Joachim Droste Handelsregister | Commercial register: Bonn HRB12589

    ADVICE-40-005-21 DRAFT 2-0 2015-06-29

    The phase-out of company risk assessments, and rules for the transi-tion from version 2-1 to version 3-0 of the standard FSC-STD-40-005

    Normative reference FSC-STD-40-005 V2-1, FSC-DIR-40-005

    Approval Approved by the FSC Board of Directors on XX August 2015. This Advice is based on Motion 51 Strengthening the Controlled Wood system (2011), including related decisions by the FSC Board of Directors, and stakeholder input.

    Effective date 01 January 2016

    Background According to Motion 51 Strengthening the Controlled Wood system (2011) and subsequent decisions by the Board of Directors (2012, 2014), compa-ny1 risk assessments developed according to Annex 2 of the standard FSC-STD-40-005 V2-1 shall be phased out by 31 December 2015 and replaced by National Risk Assessments. The phase-out of company risk assessments was planned to occur through the revision of the standard. While the revised version of the standard, FSC-STD-40-005 V3-0, was intended to be effective as of 01 January 2016, it will be postponed due to the planned approval date (November 2015), and the need to provide stakeholders sufficient time to transition to the revised standard, due to the complexity of changes it will introduce. This Advice regulates the use of FSC-STD-40-005 V2-1 after 31 December 2015 and during the transition period to FSC-STD-40-005 V3-0.

    Advice The phase-out company risk assessments 1 For suppliers included in the company's own FSC Controlled Wood

    verification program, the company shall not use Annex 2 of FSC-STD-40-005 V2-1 for determining the risk designation of a district of origin after 31 December 2015.

    2 After 31 December 2015 the company shall use risk designations

    for Controlled Wood categories from the following sources:

    a) National Risk Assessment (NRA), or, if an NRA is not available;

    b) Centralized National Risk Assessment (CNRA; http://ic.fsc.org/centralized-national-risk-assessment.700.htm;

    http://ic.fsc.org/consultation-on-the-centralized-national-risk-assessment.777.htm), or, if the CNRA is not available;

    c) A risk assessment provided by the companys certification body,

    based on the Global Forest Registry; or

    d) An Interim Risk Assessment conducted by the company according to FSC-PRO-60-002a FSC National Risk Assessment Framework; or

    e) Global Forest Registry (GFR; http://www.globalforestregistry.org/map).

    1 Company is synonymous with The Organization, Certificate Holder in this and other FSC documents.

    http://ic.fsc.org/centralized-national-risk-assessment.700.htm

    http://ic.fsc.org/consultation-on-the-centralized-national-risk-assessment.777.htm

    http://ic.fsc.org/consultation-on-the-centralized-national-risk-assessment.777.htm

    http://www.globalforestregistry.org/map

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    When the NRA, CNRA, or risk assessment by the company according to FSC-PRO-60-002a FSC National Risk Assessment Framework provide specified risk designations, these designations shall be treated as un-specified risk. Transition rules between FSC-STD-40-005 V2-1 and FSC-STD-40-005 3-0 3 During the transition period between versions 2-1 and 3-0 of the

    standard FSC-STD-40-005 (starting on the effective date of ver-sion 3-0 and ending one year later), existing Certificate Holders may choose to be evaluated by a certification body according to ei-ther version of the standard. For the evaluation according to version 2-1 of the standard to be scheduled during the transition period, the Certificate Holder shall inform its Certification Body which version of the standard has been chosen for the evaluation at least 8 weeks in advance. If the Certificate Holder does not do this, by default they will be audited against version 3-0 of the standard.

    4 By the end of the transition period, all Certificate Holders shall have

    transitioned to the revised version of the standard. During the fol-lowing evaluation by the Certification Body, the Certificate Holders shall demonstrate that they were in conformance with the revised requirements by the end of the transition period.

    5 During the transition period, new applicants for FSC Chain of Cus-

    tody certification with Controlled Wood with the scope of products shall conform to the revised version of the standard.

    Outsourcing the company verification program to a certification body

    6 Companies that must implement an FSC Controlled Wood verifica-

    tion program (FSC-STD-40-005 V2-1, Annex 3) to source from are-

    as that are unspecified risk may authorize the certification body re-

    sponsible for evaluating their conformance with the requirements of

    FSC-STD-40-005 V2-1 to conduct it.

    Sampling of forest management units within the company verifica-tion program section for PSC discussion

    7 When implementing Annex 3 of FSC-STD-40-005 V2-1 for a total number of FMUs greater than one hundred and fifty (150), a com-pany may reduce the required sampling rate for verification audits (FSC-STD-40-005 V2-1, Annex 3, 1.8) by up to 30%.

    8 Samples for field verification may be defined methodically (non-

    randomly) and determined by the company based on the following criteria:

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    - Different level of risk at the level of supplying FMUs/suppliers; - Different number of CW categories assessed as unspecified

    risk in different part of sourcing area; The criteria used, and the distribution of the FMUs sampled, must first be approved by the companys certification body.

    PSC.2015.15.DEC.pdf

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    FSC International Center GmbH ic.fsc.org FSC F000100

    Charles-de-Gaulle-Strae 5 53113 Bonn Germany

    T +49 (0) 228 367 66 0 F +49 (0) 228 367 66 30

    Geschftsfhrer | Director: Dr. Hans-Joachim Droste

    Handelsregister | Commercial Register: Bonn HRB12589

    Controlled Wood revision: the phase out of company risk assessments

    Document: PSC.2015.15 Author: Joanna Nowakowska / Darren Brown Action: Discussion and decision Status: Confidential

    Purpose of this document:

    1. Discuss the development of an Advice Note to implement the phase-out of company risk as-

    sessments in the absence of the revised Controlled Wood (CW) standard, and

    2. Request PSC decisions on the following:

    Shall company risk assessments be phased out by 31 December 2015, and if yes:

    What sources of risk designations shall be used by certificate holders;

    Shall transition rules be modified, and if so, how;

    Shall requirements for field verification sampling be modified, and if so, how;

    Shall field verification be allowed to be outsourced to the certification body responsible for

    evaluating the companys conformance with the standard;

    How shall any agreed requirements be implemented in the normative framework

    1. Background

    At the 2011 FSC General Assembly, Motion 51: Strengthening the Controlled Wood system decided

    that company-developed Risk Assessments shall be phased out and replaced by National Risk As-

    sessments after 31 December 2012, later postponed to 31 December 2015, due to delays in the CW

    revision, and the development of National Risk Assessments.

    Currently, company risk assessments are developed according to the standard FSC-STD-40-005 V2-1

    (Annex 2 of the standard). The phase-out was intended to occur through the revision of the standard,

    however the revised standard will not be able to be made effective by the phase out date due to addi-

    tional field tests organized in 2015. Furthermore, the revised standard may not be agreed upon by the

    working group, which may further delay its introduction. Different means for phasing out company risk

    assessments are therefore needed from 1 January 2016, until the revised version of the standard en-

    ters into force. For this purpose, and to facilitate the transition between the requirements, the Advice

    Note FSC-ADV-40-005-21 Draft 1-0 was drafted (Annex 1) and publicly consulted. The development

    process is summarized in Annex 2.

    2. Normative requirements for PSC discussion

    The draft Advice Note was revised based on feedback obtained (Annex 3). The FSC Secretariats rec-

    ommendations for its contents are as follows (see also Annex 2, Section 6):

    a) The phase out date of 31 December 2015 should be adhered to;

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    b) Different risk designation sources shall replace company risk assessment, according to the fol-

    lowing hierarchy:

    i. National Risk Assessment or, if an NRA is not available;

    ii. Centralized National Risk Assessment, or, if the CNRA is not available;

    iii. A risk assessment provided by the companys certification body, based upon the Global

    Forest Registry; or

    iv. An Interim Risk Assessment conducted by the company according to FSC-PRO-60-

    002a FSC National Risk Assessment Framework (revised risk assessment require-

    ments approved in November 2014); or

    v. Global Forest Registry (http://www.globalforestregistry.org/)

    c) Modification of transition rules:

    i. To allow companies to choose the version of the standard they are audited against during

    the one-year transition period, and

    ii. Extension of the transition period to two years.

    d) Outsourcing field verification (FSC-STD-40-005 V2-1 Annex 3):

    i. To allow outsourcing to the certification body that evaluates companys conformance to the

    standard

    ii. To allow modification of the sampling rate for verification to be based on particular criteria

    applied by the company and approved by the certification body. Discussion item: what crite-

    ria and reduction shall be applied?

    3. The format of approved requirements

    The proposed Advice Note (Annex 3) is only one option for implementing the proposed requirements.

    The PSC is requested to provide a decision on whether the requirements that are eventually approved

    shall be contained within a draft Advice Note.

    4. Impacts of the recommended decisions

    The impacts of the decisions recommended by the FSC Secretariat have been assessed based on the

    divided stakeholder feedback received through the public consultation, and the recommendations

    have been made in an attempt to balance the positions of the different stakeholder groups.

    Annexes:

    PSC.2015.15.DEC.Annex 1 FSC-ADV-40-005-21 DRAFT 1-0 Public Consultation

    PSC.2015.15.DEC.Annex 2 Synopsis of the drafting and consultation of FSC-ADV-40-005-21 -

    updated for PSC

    PSC.2015.15.DEC.Annex 3 FSC-ADV-40-005-21 DRAFT 2-0

    http://www.globalforestregistry.org/