环境会计外文文献及其翻译(可编辑修改word版)
外文:环境会计

环境会计我们现在在哪里,我们将走向何方作者:Joy E. Hecht国民收入核算制度不断改变,利率处于上升趋势,增加对经济和环境之间联系的理解。
环境成本会计领域取得了大的进步是在过去20年里,成为数十个几个国家一个变化而神秘的努力,并且在一些国家建立起来。
但是这种观点可能结合国家的经济作用账目环境问题纳入他们的收入,既不是快速销售,也不是很快的过程,自从20世纪60年代就已经进行讨论。
尽管本文介绍了困难和争议,但是利息在不断变化的国民收入核算体系中增长,以促进了解的经济与环境的关系为什么要改变?世界各国政府在发展被称为国民收入账户经济数据系统作为计算总的宏观经济指标,例如国内产品。
建设一个国家的经济把环境放入这样一个账户,是对一些明显的作为国家确定、联合国与国际通用的账户的弊端在全国系统账户体系(SNA)的一个回应。
SNA的一个缺陷往往是他们对环境的保护成本无法确定。
因此,花的钱,比如说,把污染控制设备的烟囱来算作增加国内生产总值,即使开支不是经济生产,一些争论这样说。
这些批评者要求从其他人的账户内区分“防御性”的支出。
更误导人的是,事实上一些环境商品没有被销售,虽然他们提供了经济价值。
薪材聚集在森林,肉类和鱼类聚集消费,药用植物就是例子。
那么,饮用水和灌溉水,其销售价格反映分配和处理基础设施的成本,而不是水本身。
虽然有些国家也把这些商品放在的国民收入账户中,但是没有这样做的标准存在。
当商品包括在账目中,他们仍然不能被从那些有销售的中分辨出来。
衡量是环境服务困难的,例如的水的保护由森林承担,和农作物是由昆虫提供的。
虽然有些专家呼吁将其列入对环境调整账目,通常既没有经济价值,也不是服务退化涵盖的。
另一方面,然而,替代品和服务的需要,以取代他们,例如水处理植物,对GDP是有贡献的,可是令人误解。
还有一个问题是,国家收入账户对待制造折旧资本和自然折旧资本是不同的。
体育资本建筑物或一台机器,例如,在计算折旧按照传统的会计核算原则,而所有的自然是资本消耗计为收入。
会计学毕业论文中英文资料外文翻译文献

会计学中英文资料外文翻译外文原文Title:Future of SME finance(Background – the environment for SME finance has changedFuture economic recovery will depend on the possibility of Crafts, Trades and SMEs to exploit their potential for growth and employment creation.SMEs make a major contribution to growth and employment in the EU and are at the heart of the Lisbon Strategy, whose main objective is to turn Europe into the most competitive and dynamic knowledge-based economy in the world. However, the ability of SMEs to grow depends highly on their potential to invest in restructuring, innovation and qualification. All of these investments need capital and therefore access to finance.Against this background the consistently repeated complaint of SMEs about their problems regarding access to finance is a highly relevant constraint that endangers the economic recovery of Europe.Changes in the finance sector influence the behavior of credit institutes towards Crafts, Trades and SMEs. Recent and ongoing developments in the banking sector add to the concerns of SMEs and will further endanger their access to finance. The main changes in the banking sector which influence SME finance are:•Globalization and internationalization have increased the competition and the profit orientation in the sector;•worsening of the economic situations in some institutes (burst of the ITC bubble, insolvencies) strengthen the focus on profitability further;•Mergers and restructuring created larger structures and many local branches, which had direct and personalized contacts with small enterprises, were closed;•up-coming implementation of new capital adequacy rules (Basel II) will also change SME business of the credit sector and will increase its administrative costs;•Stricter interpretation of State-Aide Rules by the European Commission eliminates the support of banks by public guarantees; many of the effected banks arevery active in SME finance.All these changes result in a higher sensitivity for risks and profits in the finance sector.The changes in the finance sector affect the accessibility of SMEs to finance.Higher risk awareness in the credit sector, a stronger focus on profitability and the ongoing restructuring in the finance sector change the framework for SME finance and influence the accessibility of SMEs to finance. The most important changes are: •In order to make the higher risk awareness operational, the credit sector introduces new rating systems and instruments for credit scoring;•Risk assessment of SMEs by banks will force the enterprises to present more and better quality information on their businesses;•Banks will try to pass through their additional costs for implementing and running the new capital regulations (Basel II) to their business clients;•due to the increase of competition on interest rates, the bank sector demands more and higher fees for its services (administration of accounts, payments systems, etc.), which are not only additional costs for SMEs but also limit their liquidity;•Small enterprises will lose their personal relationship with decision-makers in local branches –the credit application process will become more formal and anonymous and will probably lose longer;•the credit sector will lose more and more its “public function” to provide access to finance for a wide range of economic actors, which it has in a number of countries, in order to support and facilitate economic growth; the profitability of lending becomes the main focus of private credit institutions.All of these developments will make access to finance for SMEs even more difficult and / or will increase the cost of external finance. Business start-ups and SMEs, which want to enter new markets, may especially suffer from shortages regarding finance. A European Code of Conduct between Banks and SMEs would have allowed at least more transparency in the relations between Banks and SMEs and UEAPME regrets that the bank sector was not able to agree on such a commitment.Towards an encompassing policy approach to improve the access of Crafts, Trades and SMEs to financeAll analyses show that credits and loans will stay the main source of finance forthe SME sector in Europe. Access to finance was always a main concern for SMEs, but the recent developments in the finance sector worsen the situation even more. Shortage of finance is already a relevant factor, which hinders economic recovery in Europe. Many SMEs are not able to finance their needs for investment.Therefore, UEAPME expects the new European Commission and the new European Parliament to strengthen their efforts to improve the framework conditions for SME finance. Europe’s Crafts, Trades and SMEs ask for an encompassing policy approach, which includes not only the conditions for SMEs’ access to lending, but will also strengthen their capacity for internal finance and their access to external risk capital.From UEAPME’s point of view such an encompassing approach should be based on three guiding principles:•Risk-sharing between private investors, financial institutes, SMEs and public sector;•Increase of transparency of SMEs towards their external investors and lenders;•improving the regulatory environment for SME finance.Based on these principles and against the background of the changing environment for SME finance, UEAPME proposes policy measures in the following areas:1. New Capital Requirement Directive: SME friendly implementation of Basel IIDue to intensive lobbying activities, UEAPME, together with other Business Associations in Europe, has achieved some improvements in favour of SMEs regarding the new Basel Agreement on regulatory capital (Basel II). The final agreement from the Basel Committee contains a much more realistic approach toward the real risk situation of SME lending for the finance market and will allow the necessary room for adaptations, which respect the different regional traditions and institutional structures.However, the new regulatory system will influence the relations between Banks and SMEs and it will depend very much on the way it will be implemented into European law, whether Basel II becomes burdensome for SMEs and if it will reduce access to finance for them.The new Capital Accord form the Basel Committee gives the financial marketauthorities and herewith the European Institutions, a lot of flexibility. In about 70 areas they have room to adapt the Accord to their specific needs when implementing it into EU law. Some of them will have important effects on the costs and the accessibility of finance for SMEs.UEAPME expects therefore from the new European Commission and the new European Parliament:•The implementation of the new Capital Requirement Directive will be costly for the Finance Sector (up to 30 Billion Euro till 2006) and its clients will have to pay for it. Therefore, the implementation – especially for smaller banks, which are often very active in SME finance –has to be carried out with as little administrative burdensome as possible (reporting obligations, statistics, etc.).•The European Regulators must recognize traditional instruments for collaterals (guarantees, etc.) as far as possible.•The European Commission and later the Member States should take over the recommendations from the European Parliament with regard to granularity, access to retail portfolio, maturity, partial use, adaptation of thresholds, etc., which will ease the burden on SME finance.2. SMEs need transparent rating proceduresDue to higher risk awareness of the finance sector and the needs of Basel II, many SMEs will be confronted for the first time with internal rating procedures or credit scoring systems by their banks. The bank will require more and better quality information from their clients and will assess them in a new way. Both up-coming developments are already causing increasing uncertainty amongst SMEs.In order to reduce this uncertainty and to allow SMEs to understand the principles of the new risk assessment, UEAPME demands transparent rating procedures –rating procedures may not become a “Black Box” for SMEs:•The bank should communicate the relevant criteria affecting the rating of SMEs.•The bank should inform SMEs about its assessment in order to allow SMEs to improve.The negotiations on a European Code of Conduct between Banks and SMEs , which would have included a self-commitment for transparent rating procedures by Banks, failed. Therefore, UEAPME expects from the new European Commission andthe new European Parliament support for:•binding rules in the framework of the new Capital Adequacy Directive, which ensure the transparency of rating procedures and credit scoring systems for SMEs;•Elaboration of national Codes of Conduct in order to improve the relations between Banks and SMEs and to support the adaptation of SMEs to the new financial environment.3. SMEs need an extension of credit guarantee systems with a special focus on Micro-LendingBusiness start-ups, the transfer of businesses and innovative fast growth SMEs also depended in the past very often on public support to get access to finance. Increasing risk awareness by banks and the stricter interpretation of State Aid Rules will further increase the need for public support.Already now, there are credit guarantee schemes in many countries on the limit of their capacity and too many investment projects cannot be realized by SMEs.Experiences show that Public money, spent for supporting credit guarantees systems, is a very efficient instrument and has a much higher multiplying effect than other instruments. One Euro form the European Investment Funds can stimulate 30 Euro investments in SMEs (for venture capital funds the relation is only 1:2).Therefore, UEAPME expects the new European Commission and the new European Parliament to support:•The extension of funds for national credit guarantees schemes in the framework of the new Multi-Annual Programmed for Enterprises;•The development of new instruments for securitizations of SME portfolios;•The recognition of existing and well functioning credit guarantees schemes as collateral;•More flexibility within the European Instruments, because of national differences in the situation of SME finance;•The development of credit guarantees schemes in the new Member States;•The development of an SBIC-like scheme in the Member States to close the equity gap (0.2 – 2.5 Mio Euro, according to the expert meeting on PACE on April 27 in Luxemburg).•the development of a financial support scheme to encourage the internalizations of SMEs (currently there is no scheme available at EU level:termination of JOP, fading out of JEV).4. SMEs need company and income taxation systems, which strengthen their capacity for self-financingMany EU Member States have company and income taxation systems with negative incentives to build-up capital within the company by re-investing their profits. This is especially true for companies, which have to pay income taxes. Already in the past tax-regimes was one of the reasons for the higher dependence of Europe’s SMEs on bank lending. In future, the result of rating will also depend on the amount of capital in the company; the high dependence on lending will influence the access to lending. This is a vicious cycle, which has to be broken.Even though company and income taxation falls under the competence of Member States, UEAPME asks the new European Commission and the new European Parliament to publicly support tax-reforms, which will strengthen the capacity of Crafts, Trades and SME for self-financing. Thereby, a special focus on non-corporate companies is needed.5. Risk Capital – equity financingExternal equity financing does not have a real tradition in the SME sector. On the one hand, small enterprises and family business in general have traditionally not been very open towards external equity financing and are not used to informing transparently about their business.On the other hand, many investors of venture capital and similar forms of equity finance are very reluctant regarding investing their funds in smaller companies, which is more costly than investing bigger amounts in larger companies. Furthermore it is much more difficult to set out of such investments in smaller companies.Even though equity financing will never become the main source of financing for SMEs, it is an important instrument for highly innovative start-ups and fast growing companies and it has therefore to be further developed. UEAPME sees three pillars for such an approach where policy support is needed:Availability of venture capital•The Member States should review their taxation systems in order to create incentives to invest private money in all forms of venture capital.•Guarantee instruments for equity financing should be further developed.Improve the conditions for investing venture capital into SMEs•The development of secondary markets for venture capital investments inSMEs should be supported.•Accounting Standards for SMEs should be revised in order to ease transparent exchange of information between investor and owner-manager.Owner-managers must become more aware about the need for transparency towards investors•SME owners will have to realise that in future access to external finance (venture capital or lending) will depend much more on a transparent and open exchange of information about the situation and the perspectives of their companies.•In order to fulfil the new needs for transparency, SMEs will have to use new information instruments (business plans, financial reporting, etc.) and new management instruments (risk-management, financial management, etc.).外文资料翻译题目:未来的中小企业融资背景:中小企业融资已经改变未来的经济复苏将取决于能否工艺品,贸易和中小企业利用其潜在的增长和创造就业。
绿色会计理论与可持续发展外文文献翻译

毕业设计附件外文文献翻译:原文+译文文献出处: Markus S. Green accounting theory and sustainable development [J]. Accounting, Auditing & Accountability Journal, 2016, 2(1): 29-46.原文Green accounting theory and sustainable developmentMarkus SAbstractGreen accounting, also known as environmental accounting, combining accounting and natural environment, the diversity of measurement methods and properties, on the basis of relevant environmental laws and regulations, and examined the relationship between economic development and environmental resources, and using the method of special, cause social resources and environment of the enterprise profit and loss revealed, recognition, measurement and analysis, in order to provide the environmental information of accounting theory and methods. The basic theories of green accounting are in the correction and criticism of the traditional accounting theory on the basis of the emergence and development. For a long time, the traditional accounting theory from the Angle of human economic activities, only reflect and supervision enterprise capital and its movement, according to the accrual basis, the historical cost and double-entry these three basic pillar of the economic accounting matters for accounting recognition, measurement, recording and reporting, caused by the environment of economic problems in this is not the answer. Green accounting for all the human activities and the whole ecological environment resources as the starting point, around how to compensate the cost of natural resources, efforts to fulfill the duties of the environmental management in all levels make the recognition, measurement and reporting, fundamentally changed the traditional accounting theory for the definition of accounting elements. Keywords: sustainable development; Green accounting; the basic theory1 IntroductionHuman industrial activities along with the rapid development of economic growth, people's living standard had the very significantly improved. But at the same time, the human scale of thedestruction of the earth's resources is also unprecedented. Due to the excessive open the calculation of environmental resources, ecological environment suffered serious damage, has appeared to make ends meet. Can say, is to rely on human to overdraw the future development. And, the environment problem has become a global problem, breakthrough the limitation of the country and region. The protection of environment, governance, the effective use of resources has become a global consensus. The emerging topic of green accounting is on the premise of this. Green accounting object of study is the content of environmental accounting in the accounting and supervision, is the enterprise production activities and environmental resources between consumption and supply process. Traditional accounting object itself contains only the enterprise production activities, capital contains only into three parts, operation and exit enterprises. Green accounting on the basis of the traditional accounting, increase the content of the environmental resources, the consumption and compensation of the natural environment of the enterprise up objectively reflect the role of, make its production activities impact on the environment are subject to supervision by the society and the country, so as to realize the virtuous circle of natural resource consumption and complement, make environment don't have to pay for economic growth, ultimately achieve sustainable development.2 Literature reviewIn the 1980 s, the western developed countries first proposed the term "sustainable development".1992, held in environment and development conference in governments and international institutions generally achieved consensus, recognized and accepted this view. These cases show that the theory has validity, universality, and urgent need. Sustainable development in macroscopic Angle of human survival and development, the protection of the environment and resources, and the logic of the dialectical relationship between economic activities, is the research content of macroeconomics in the aspect of environmental problems. Its role is to the coordinated development of the economic growth and environmental policies are discussed. The theory is the overall goal of the green accounting system and the basis, is a green accounting system began to expand and build theoretical basis. The starting point of green accounting, as well as the ultimate goal is to promote the sustainable development of economy and environment; this determines the starting point of the green accounting research and belonging. Sustainable development theory is the most important theoretical basis for green accounting; green accounting is one of the importantmeasures to promote the sustainable development, both in full accord. The implementation of sustainable development, the realization of the essence of which is environmental management; And environmental management responsibility, is held by government agencies. The implementation of environmental management responsibility, to identify by the independent audit department. Thus, as a social control mechanism of the green accounting is a top-down bear the responsibility of environmental protection and management, is also an important way of implementing sustainable development strategy.The connotation of sustainable development has two aspects: development and continuous. Development is the fundamental premise and foundation, only development, only necessary to discuss sustainability. Persistence is the key, there is no continuity, and it could have been. Development includes the following two aspects: first, the development is the accumulation of human material civilization, it directly reflects on the economic growth. Second, development is a national economic and social system construction of course, the ultimate goal is to increase the interests of all, is looking for social progress. Continuous meaning also contains two aspects: the first is that environmental resources storage and carrying capacity is limited. Because of the limitation, conflicts with the necessity of economically, have become the restriction conditions of economic development. Second, shouldn't overdraw the future economic development, considering their own interests at the same time, also for future generations to develop interests do consider. Sustainable development includes the resources and environment and the sustainable development of ecological planning, the sustainable development of the economic activities of production and social cultural sustainable development of three parts, is a long-term development strategy. You need to first on the basis of the sustainable use of resources and ecological environment, achieve economic production activities under the premise of sustainable development. Finally, the sustainable development center problem is, the ultimate goal is to seek the overall progress of society. Sustainable development strategy to achieve the ecological balance, the unification of the economic production and social development benefits, the extensive economic growth mode to intensive changes, keep the economic development and environment in harmony. Is beneficial to improve the level of people's whole life, promote the new industrialization, the adjustment of agricultural structure and the protection of the ecological environment, finally realizes the fast, stable, sustainable and healthy development of nationaleconomy.3 The basic theory of green accountingGreen accounting is the environment, environmental economics and development economics, the product of the combination of accounting. Green accounting theory problem should be to look at environmental issues stand in the perspective of accounting, with the thought of the accounting system and method system to think and analyze, in order to solve the contradiction between economic development and maintaining ecological environment. As a branch of modern accounting, green accounting should establish a goal, the basic theory of structural system composed of assumptions and principles.3.1 Green accounting targetAs the goal of green accounting behavior guidelines can be divided into two levels. One is the basic goal. Use accounting to measuring, reflect and control the social environment resources, improving social environment and resource problems, achieve economic benefit, ecological benefit and social benefit of synchronous optimization. Based on the requirements of environmental macro management, the enterprise in the production and business operation and obtain economic benefits at the same time, must attach great importance to the ecological environment and material circulation rule, reasonable development and utilization of natural resources, insist on sustainable development strategy, try to improve the environmental benefit and social benefit. Second, the specific objectives. For the corresponding accounting, the value of natural resources, the cost of natural resources, environmental protection, improve resource environment recognition and measurement, the benefits of environmental protection for the government departments and the competent department of industry, investors and social public enterprise environmental objectives, environmental policy and planning and other relevant information. Provide related object with the ultimate goal of environmental accounting information is control and coordinate the relationship between economic benefit and environmental resources, realize the environmental benefits, social benefits and economic benefits of synchronous optimization, to achieve economic development, social progress and environmental protection harmonious and unified.3.2 The basic hypothesis of green accountingThe sustainable development of assumptions. Hypothesis refers to the sustainabledevelopment of green accounting to accounting subject in natural resource depletion, ecological resources do not drop, on the basis of guarantee the social and economic sustainable development. Sustainable development contains a large amount for the contents of the ecological environment; the request must be coordinated development of economy and environment. Although the green accounting in the accounting entity's economic activities, there is a lot of uncertainty but accounting and supervision procedures and methods should be based on the sustainable development. Sustainable development is to establish the basic premise of green accounting, is the basis of constructing green accounting theory and method system conditions.Environmental value assumptions. In Marx's labor theory of value, only for the exchange of labor value. Only use environmental resources value, there is no exchange of value and price, do not belong to the scope of the traditional accounting, but must carry on the green accounting must first admit that environmental resources are valuable, although it does not apply to the labor theory of value, is applicable to the marginal value theory. Multiple measurement assumptions. Because of the complexity of the environmental factors and vagueness of the green benefit, if the only unit of measurement for money, will not be able to objectively reflect the environmental condition of the accounting entity and green benefit, therefore green accounting on the measurement should be multiple. Should be given priority by money value, supplemented by physical, percentage, or index, etc., sometimes even can use the graph and text notes, and should adopt combination of quantitative and qualitative, accuracy and fuzziness of compatible measurement method.4 The basic principles of green accounting4.1 Social principlesSocial principle refers to the green accounting requires enterprises must stand in the perspective of society, to stand in the Angle of the responsible for the environment and resources, consider the interests of the enterprise. For the evaluation of enterprises have to abandon a purely on the basis of enterprise operating profit idea, to enterprise profit created by green. At the same time, the enterprise to provide accounting information must also be conducive to the management and the macro control of the country.4.2 Principle of both economic and environmental benefitsGreen accounting should not only consider the economic interests of the enterprise itself, and should take the social ecological and environmental benefits, to comprehensively reflect andcontrol the enterprise's economic efficiency, resources and environment, waste and the ecological environment, the accounting main body in ecological environment, the whole social production, consumption and the corresponding ecological cycle are reflected in the accounting mode, the comprehensive measurement and reveal the enterprise production activities to the consequences of the ecological environment to the society, in order to standardize enterprise behavior, realize the sustainable development of economy.4.3 Principle of mandatory disclosure and voluntary disclosureIn green accounting system, the relevant government department or organization to deal with enterprise minimum levels of environmental resources, the mandatory provisions of the disclosure of information to make clear, at the same time, encourage enterprises to consciously to the public and the government related department or group provides environmental resources information as much as possible.译文绿色会计理论与可持续发展Markus S摘要绿色会计,又称环境会计,是将会计学和自然环境相结合,采用多元化的计量手段和属性,以有关环境法律、法规为依据,研究经济发展与环境资源之间关系,并运用专门的方法,对企业给社会资源环境造成的收益和损失进行确认、计量、揭示、分析,以便为决策者提供环境信息的会计理论和方法。
环境会计【外文翻译】

外文翻译外文出处Business & Economic Review,2006(4):21-27外文作者布莱恩.斯坦科,艾琳.布罗根,艾琳,亚历山大,约瑟芬.蔡.梅齐原文:Environmental AccountingHere's why projected cleanup costs from hazardous waste sites will be findingtheir way onto the balance sheets of Corporate America.Monitoring the production and disposal of hazardous waste has been a top priority of the United States government and the Environmental Protection Agency (EPA) since the mid-1970s, largely as a result of the Love Canal environmental disaster. Unfortunately, the remediation of hazardous waste sites is not finished, and cleanup cost estimates range anywhere between $500 billion and $1 trillion. American corporations will ultimately be held accountable for these costs. What remains to be seen, however, is exactly who, when, and how much.In terms of corporate responsibilities, this article discusses requirements regarding the financial reporting of environmental liabilities and current initiativesthat should improve the measurement and disclosure of these liabilities. Investors and business professionals alike must understand the significance of these obligations asthey relate to current and future corporate financial statements.Financial ReportingFinancial reporting requirements have evolved over time under several governing bodies. The Securities Act of 1934 created the Securities and Exchange Commission (SEC) and gave it the authority to administer federal securities laws and prescribe accounting principles and reporting practices. Companies that are considered under the jurisdiction of the SEC include any company whose stock is publicly traded. As a result, these companies are required to follow SEC disclosure requirements in their filings.The Financial Accounting Standards Board (FASB) is responsible for establishing the current standards of financial accounting and reporting. The standards or pronouncements that the FASB issues, "Statements of Financial Accounting Standards" (SFASs), are officially recognized as authoritative by the Securities and Exchange Commission and the American Institute of Certified Public Accountants (AICPA), the national professional organization of CPAs.Until recently, the AICPA played a prominent role in the accounting and reporting environment. But as a result of the Sarbanes-Oxley Act of 2002, the AlCPA's Auditing Standards Board (ASB) was limited in its role of establishing Generally Accepted Auditing Standards. Auditing and related professional practice standards as they pertain to public companies are now established by the Public Company Accounting Oversight Board (PCAOB), a private-sector, nonprofit corporation created to oversee the auditors of public companies in order to protect the interests of investors and further the public interest in the preparation of informative, fair, and independent audit reports.Evolution of Environmental Accounting StandardsThe common definition of "environmental accounting" is "the identification, measurement, and allocation of environmental costs, the integration of these environmental costs into business decisions, and the subsequent communication of the information to a company's stakeholders" (AICPA).Typical environmental costs include off-site waste disposal costs, cleanup costs, litigation costs, and other related costs.The first accounting standards or interpretation of standards that could be applied to environmental liabilities were enacted by the FASB in 1975 and 1976. These rules covered a generic grouping of contingent liabilities (including environmental liabilities). Initially the FASB stated that contingent liabilities arising from environmental cleanup costs should be accounted for and disclosed according to Statement of Financial Accounting Standards (SFAS) No. 5, "Accounting for Contingencies" (FASB 1975). One year later, the FASB issued Interpretation (FIN) No. 14, "Reasonable Estimation of the Amount of a Loss" (FASB 1976), offeringadditional guidance regarding loss contingencies. Essentially, the standard required losses to be accrued for when they became "probable and reasonably estimable." SFAS No. 5 is still followed today by accountants who are considering the measurement and disclosure of environmental liabilities.SuperfundPrior to Congress passing legislation granting the EPA authority to identify and sanction Potentially Responsible Parties (PRPs), most reported environmental liabilities were minimal. That changed in 1980 when Congress passed the Comprehensive Environmental Response, Compensation and Liability Act of 1980 (CERCLA), commonly known as the Superfund Act. CERCLA established strict regulatory requirements regarding the release of hazardous substances from existing or future waste sites.Six years later, Congress amended CERCLA with the Superfund Amendment and Reauthorization Act (SARA).This strengthened the EPA’s authority and increased the agency’s fund balance. Under the new Superfund Act, the EPA became responsible for identifying and listing those locations throughout the United States where hazardous substances or waste either have caused or may cause damage to the environment. The EPA, through administrative or legal action, seeks to require PRPs to accept responsibility for the remediation of contaminated sites.Under CERCLA, a PRP is defined as any individual or company that is potentially responsible for, or contributed to, the contamination problems at a Superfund site. According to Paul D. Hutchinson, this can include:• Current owners or operato rs of facilities where hazardous substances have been deposited• Owners or operators of facilities at the time hazardous substances were deposited• Generators of hazardous substances deposited at facilities• Transporters of hazardous substances to facilities• Persons who arranged for disposal or treatment of hazardous substances at facilitiesOnce the EPA identifies a PRP, a liability-based program is used to address the cleanup of the site. Under the liability-based program, a potentially responsible party is classified into one of three categories:• Strict Liability - the PRP is liable for cleanup costs even when there was no negligence• Joint and Several Liability – any one party can be forced to bear the full cost of the remedy, even if several parties contributed to the waste at a site• Retroactive Liability - the provisions apply to actions that took place before CERCLA was passedAfter the EPA identifies the PRPs and their respective liability, it sends notification to the SEC and the respective companies or individuals.Regulation S-K and FRR 36With the increased environmental regulation, the accounting regulatory bodies began to issue standards regarding the reporting and disclosure of environmental liabilities. In 1982, the SEC integrated all of its environmental disclosure requirements into Regulation S-K, requiring disclosure if pollution expenditures had a material effect on the company's earnings. Regulation S-K Item 101, known as the Description of Business, requires registrants to disclose, among other things, the material effects of complying or failing to comply with environmental requirements on the capital expenditures, earnings, and competitive position of the registrant and its subsidiaries. S-K Item 103 requires registrants to describe any material concerning pending legal proceedings unless the legal proceedings involve ordinary routine litigation incidental to the business. S-K Item 303, often referred to as Management Discussion and Analysis of Financial Condition and Results of Operations, requires the disclosure of environmental contingencies that may reasonably have a material impact on net sales, revenue, or income from continuing operations.In 1989, the SEC provided further guidance by issuing Financial Reporting Release (FRR) 36. FRR 36 discusses and illustrates various disclosure requirements for the Management's Discussion and Analysis (MD&A) component of the SEC annual report 10-K filing and the shareholder annual report.Staff Accounting Bulletin (SAB) 92Even with this increase in regulation, companies were still finding it difficult to estimate liabilities that needed to be disclosed. In response, the SEC issued Staff Accounting Bulletin No.92 (SAB 92) to further clarify its disclosure requirements. SAB 92 specifically discussed the disclosure of environmental liabilities in the balance sheet. The SEC's position on the disclosure of environmental liabilities was strengthened through an agreement with the EPA in 1990. Essentially, the EPA would provide the SEC with certain quarterly information, including names of PRPs, a list of all cases filed under CERCLA, and a list of civil and criminal cases under federal environmental laws. In exchange for this information, the SEC agreed to target the enforcement of environmental disclosures.AICPA Statement of Position 96-1By 1996, the EPA had identified more than 36,000 hazardous waste sites in the United States. The EPA then took what they considered to be the most severe of the contaminated sites and developed the National Priorities List (NPL). This list contained 1,405 sites, each referred to as a Superfund site. From these Superfund sites alone, the EPA proceeded to identify 15,000 PRPs connected to these sites. These PRPs would eventually be responsible for cleanup costs that would range from $35 million to $1 billion per site. The release of this information revealed to the accounting profession that the remedial liabilities of the PRPs were significant and, therefore, required better accounting and disclosure. As a result, the AICPA issued Statement of Position (SOP) 96-1, "Environmental Remediation Liabilities," which provided specific guidance on estimation and the financial reporting of environmental accruals and contingencies.Analysis of the Standards (Past and Present)(A) Recognition of Environmental LiabilitiesRecognition pertains to when a liability should be reported in the financial statements. Contingent liabilities are obligations that are dependent upon the occurrence or nonoccurrence of one or more future events to confirm the amount payable, the payee, the date payable or its existence. The most significant liability thata firm faces in relation to environmental accounting comprises the remediation costs. Remediation costs typically include cleanup costs, litigation costs, and other costs associated with legal compliance.FAS No. 5,mentioned earlier,requires that a provision for a loss contingency be recorded and a liability recognized in financial statements when both of the following conditions are met:• It is probable that an asset has been impaired or a liability has been incurred at the date of the financial statements• The amount of the loss can be reasonably estimatedFASB Interpretation (FIN) No. 14 provides additional guidance on how to recognize a loss contingency when the estimated loss is within a specified range. It recommends that the minimum amount of the range be accrued, unless some amount within the range appears at the time to be a better estimate than any other amount within the range.The AICPA SOP 96-1 expands the types of costs that may be appropriately accrued and the ability to consider technologies under development in order to help assess the ultimate cost of remediation efforts more accurately. PRPs must now use a more conservative approach (increase the probability of loss recognition) than under the prior provisions of SFAS No. 5 to ascertain if they should accrue such liabilities. According to the SOP 96-1, the probability criterion of SFAS No. 5 is met if the EPA has decided (or probably will) that the company must participate in remediation. Liabilities must now be recognized when litigation has commenced or an assertion of a claim is probable whenever the PRP is associated with that site. In addition, PRPs must now accrue potential environmental remediation liabilities "up front," all at once, rather than recognize the expenses when they are actually paid.(B) Accounting for Recognized Environmental LiabilitiesWhen a company has determined that an environmental obligation exists, it must be measured and accounted for based on available information. Key accounting issues related to the recognition of environmental liabilities are highlighted below: Estimates of the Environmental LiabilityAccording to AlCPA's SOP 96-1, once a liability is determined, its magnitude must be estimated. In developing the estimates, according to Kathleen Blackburn Hethcox, Richard Riley, and Jan R. Williams writing in National Public Accountant, the factors below should be considered:• The extent and type of hazardous substances at the site, and the costs to be included in the estimate• The effect of expected future events or developments• The range of technologies that can be used in remediation• The number and financial condition of other PRPs• T he effect of potential recoveriesEarly estimates of loss can be revised later if new information gives cause for a change. The revisions should be accounted for as a change in accounting estimate, thereby only affecting current and future financial reporting. No retroactive restatement of prior year financial statements is allowed under SOP 96-1. The SOP 96-1 also recommends that for various stages of remediation, benchmarks be used to evaluate the extent of the amount that can be estimated. At a minimum, the estimate should be evaluated as each benchmark occurs; which includes identification of the company as a PRP, receipt of a unilateral administrative order requiring a removal action, participation in a remedial investigation (Rl) or feasibility study (FS) as a PRP, completion of a feasibility study, and issuance of a record of decision.Source: Brian B Stanko, Erin Brogan, Erin Alexander, and Josephine Choy-Mee Chay.Environmental Accounting[J]. Buinese & Economic Review, 2006,(4):21-27. 译文:环境会计本文讲述了,为什么从预算有害废物的清除成本可以看出美国公司编制资产负债表的方式。
环境会计信息披露外文文献翻译中英文.pdf

外文文献翻译原文及译文(本文档归max118 网hh2018 所有,仅供下载使用)中文标题:印度环境会计披露实践的影响因素:来自NIFTY 公司的经验证据文献出处:The IUP Journal of Accounting Research & Audit Practices, Vol. 15, No. 1, 2016译文字数:3900 多字原文Factors Influencing Environmental Accounting and Disclosure Practices in India: Empirical Evidence from NIFTY CompaniesB Omnamasivaya* and M S V PrasadThe study examines the factors determining the level of environmental disclosure information by taking a sample of NIFTY 50 companies from National Stock Exchange (NSE). The environmental information disclosure is measured by using an Environmental Accounting Disclosure Index (EADI) and the variables used in the study are profitability, corporate size, age, financial leverage, industry type, legal ownership and foreign operations. The relationship is tested using multiple regression analysis. The results show that there is a positive relationship between EADI and profitability, financial leverage, industry type and legal ownership, and a negative relationship between EADI and corporate size, age and foreign operations.IntroductionClimate change is one of the greatest challenges that the world is facing today. Climate change is the variation in the global climate over time. The climate change creates manifold problems like global warming, glacier meltdown, soil erosion, land degradation, deforestation, loss of biodiversity and all kinds of pollution. Human influence on the nature is one of the major causes of such problems. Indiscriminate use of resourcesand undue influence on nature in the name of development can be identified as the prime causes of climate change. As a result, in the last few decades, the adverse effect of environmental pollution on economic development has become a public concern all over the world (Goswami, 2014).The state of world‘s environment and the impact of mankind on the ecology of the world have led to increased public concern and scrutiny of the operations and performance of organizations. Globally, corporations are expected to include environmental concerns in business operations and interaction with stakeholders. As a result, firms can no longer ignore the problems of the society in which they operate. This has thus instituted a social contract between organizations and the environment, thereby making environmental responsibility a corporate dictate (Olayinka and Oluwamayowa, 2014).Every business has responsibility to use the resources at judiciously. Every enterprise needs to behave like a good corporate citizen, and the corporate behavior is judged by its actions related to the community, the steps taken to protect the environment or pollution control. In the context of the Indian corporate sector, companies are not performing as good citizens. Due to this reason many laws have been laid down by the government for making the companies good corporate citizens and fulfill their social responsibility (Chauhan, 2005).In India, the economic reforms initiated in the 1990s have unwittingly contributed to a rise in environmental problems. The awareness level of stakeholders and public regarding the environmental issues has increased the pressure on companies to disclose environmental information. As a result, the companies have started disclosing the environmental information in annual reports and sustainability reports to satisfy all their stakeholders.The Indian government has taken several steps to protect the environment. It has set up the Ministry of Environment, Forest and Climate Change (MoEFCC) with the aim to coordinate, among the states and the various ministries, the issues relating to environmental protection and antipollution measures. Necessary legislation has also been passed. In India, Central Pollution Control Board (CPCB) and State Pollution Control Board (SPCB) were established under the Water Act. The CPCB has identified 17 categories of industries which are highly polluting (Joshi et al., 2011).In India, specific environmental accounting rules or environmental disclosure guidelines for communication to different stakeholder groups are not available for Indian companies. There is no mandatory requirement for quantitative disclosure of (financial) environmental information in annual reports either under the Companies Act or as per the Indian Accounting Standards. Furthermore there are 23 stockexchanges in India which are controlled by the Securities Exchange Board of India (SEBI) Act, 1992. Each of these stock exchanges has different listing requirement for Indian companies to disclose environmental information. Therefore, any environmental disclosure by Indian companies is purely voluntary (Makori and Jagongo, 2013). Against this backdrop, the present study examines the factors determining the level of environmental disclosure information in India.Legitimacy TheoryIn order to explain the reasons for environmental disclosure, we use legitimacy theory. There are many theories which explain the various reasons for social and environmental accounting disclosures, but legitimacy theory is the most suitable theory to explain the environmental disclosure. Organizations cannot survive without meeting the societal expectations. The society expects that the organizations should be proactive in protecting the environment and minimizing the environmental hazards. In case organizations fail to meet the societal expectations, there is a severe threat to their existence. Nowadays Indian companies are legitimizing because of the awareness about environmental disclosure practices in the society. Therefore, Indian companies are taking several steps to protect the environment and are disclosing the relevant environmental information in their annual reports and company websites.Legitimacy relates to the environmental issues which are disclosedin the companies’ annual reports. This indicates the management concerns towards the community. Therefore, the management of different companies or managers have different ideas or thoughts about what the society expects and managers will adapt different strategies to show the society that the organization is meeting the expectations of the community (Zain, 2006).The theory of legitimacy is based on two fundamental ideas: companies need to legitimize their activities, and the process of legitimacy that confers benefits to businesses. Thus, the first element is compatible with the idea that environmental disclosure is related to the social pressure. In this context, the need for legitimacy is not the same for all companies due to the degree of social pressure the company is exposed to, and the level of response to this pressure. There are a number of factors which determine the degree of social pressure on companies and their responses to the pressure. These factors are potential determinants of corporate social disclosure. The second component is based on the idea that companies can expect to benefit by a legitimate behavior based on the social responsibility activity. In addition to that, the legitimacy theory provides a comprehensive framework to explain both the determinants and consequences of social disclosure (Mohamed et al., 2014).Literature ReviewKokubu et al. (2001) examined the annual reports of 1,203 companies to investigate the determinants of environmental disclosure. Environmental disclosure was measured by using an environmental disclosure index and the six independent variables used in the study were company size, financial performance, strength of consumer relations, dependence on debt, dependence on the capital market and type of industry. The study found that company size and industry type influence environmental disclosure.Elijido-Ten (2004) conducted a study on the determinants of environmental disclosures by using 40 Malaysian companies by applying stakeholder theory. The environmental disclosure was measured by using an environmental disclosure index. The study used three determinants: stakeholder power, strategic posture and economic performance. The study found that both top management and government power were the determinants of environmental disclosure, and it was also found that there was no relationship between economic performance and environmental disclosure.Yuen et al. (2009) examined 200 companies to investigate the relationship between firm characteristics and voluntary disclosure. Voluntary disclosure practices were measured by using a disclosure index and the independent variables used in the study were concentration of ownership, ownership by state, individual ownership, firm size, leverage,profitability and type of industry. The study found that individual ownership, audit committee, firm size, and leverage positively related to voluntary disclosure.Galani et al. (2011) examined the relationship between environmental disclosure and firm size by using 100 Greek companies. Environmental disclosure was measured by using environmental disclosure index and the independent variables tested in the study were profitability, size and listing status. The study found that there was a positive significant relationship between environmental disclosure and size of the firm and it was also found that there was no relationship between environmental disclosure and profitability listing requirements.Joshi et al. (2011) analyzed as ma ny as 45 Indian companies’ annual reports to investigate the factors influencing environmental disclosure. The environmental disclosure was measured using environmental disclosure index and the independent variables used in the study were profitability, size, accounting firm, industry, foreign operations, age, ownership and financial leverage. The study found that size and industry were significant determinants for environmental disclosure.Rouf (2011) examined the relationship between firm-specific characteristics and Corporate Social Responsibility Disclosure (CSRD) by taking 176 Bangladesh companies. CSRD was measured by using the CSRD index and the variables in the study were independent directorsand firm size. The study found that there was a positive relationship between CSRD and independent directors and firm size did not affect CSRD.Abdo and Al-Drugi (2012) studied whether any company characteristics influenced environmental disclosures by using 43 Libyan oil and gas companies. Environmental disclosures were measured using content analysis through word count and four characteristics were selected: company’s size, privatization, age, and nationality. The study found that there was a positive association between environmental disclosure and company’s size, company’s privatization, and company’s nationality; and it was also found that the age of the company was significant and negatively related to the level of environmental disclosure.Oba and Fodio (2012) examined the relationship between board characteristics and quality of environmental disclosure by taking 21 companies in Nigeria. Environmental disclosure was measured by using an environmental disclosure index and the independent variables used in the study were board size, foreign directors, gender mix, and board independence. The study found that there was no relationship between board size and environmental disclosure.Suttipun and Stanton (2012) conducted a study on the determinants of environmental disclosure by using 75 Thai companies. The environmental disclosure was measured by word count and the fiveindependent variables used in the study were size of the company, type of industry, ownership status, profitability and country of origin of the company. The study found that there was a positive relationship between environmental disclosure and size of the company.Development of HypothesesCorporate SizeMany of the researchers found a positive relationship between environmental disclosure and size, and many studies supported that large- sized firms disclose more on environment (e.g., Kokubu et al. 2001; Joshi et al., 2011; Suttipun and Stanton, 2012; Makori and Jagongo, 2013; Akbaş , 2014; and Sulaimana et al., 2014).There is a contrast between small enterprises and large enterprises. Large companies require more funds and for that they raise funds through external sources. For attracting the investors and to reduce the agency cost, large companies disclose more information and therefore get public support (Joshi et al., 2011).ProfitabilityThe profitability of a firm is an important factor in determining the environmental disclosure practices. As for whether environmental issues are important or not, it is argued that when the profit is low, the importance of environmental issues is low (Joshi et al., 2011). Many studies have reported that there is a positive relationship betweenprofitability and environmental disclosure (e.g., Nurhayati et al., 2015). A very few studies did not support that (e.g., Galani et al. 2011; Rouf, 2011; Akbaş , 2014; and Sulaimana et al., 2014).Many studies have used the profitability ratios like Return on Assets (ROA), Return on Investment (ROI), Return on Equity (ROE), Net Profit Margin and Dividend Per Share (DPS) to measure the firm profitability. This study uses ROE to measure profitability.Financial LeverageThe agency theory states that with the increase of debt proportion in capital structure, the greater is likely to be the conflict of interest between shareholders, creditors and managers; and the higher the agency cost, the greater is the incentive for managers to disclose more information. From the perspective of social and environmental responsibilities, companies with higher financial leverage are willing to disclose more environmental information to maintain good relationship with stakeholders (Joshi et al., 2011).Many studies have supported the association between financial leverage and environmental disclosure (Joshi et al., 2011; and Sulaimana et al., 2014). They reported that financial leverage has no impact on the disclosure level in India. Kokubu et al. (2001) stated that debt did not significantly influence the corporate environmental reports in Japan. However, this study uses debt-equity ratio for measuring financialleverage.Industry TypeMany studies have examined whether the industry influences the disclosure of environmental information, and many studies have supported strongly that environmental-sensitive companies disclose more environmental information than non-environmental-sensitive companies. Joshi et al. (2011) stated that environmental-sensitive companies in India are likely to disclose more environmental protection information than others. Akbaş (2014) reported that t here is a significant positive relationship between industry membership and the extent of environmental disclosure.ConclusionThe study examined the factors influencing EADI by taking a sample of 50 companies listed on NSE. The environmental accounting disclosure is measured by EADI, and the independent variables used in the study are corporate size, age, profitability, financial leverage, legal ownership, industry and foreign operations. The relationship is tested using multiple regression analysis. The R2 under the model is 0.6033, which indicates that the model is capable of explaining 60.33% of variability in the disclosure of environmental information in the sample companies. The adjusted R2 indicates that 53.72% of variation in the dependent variable is explained by the variations in the independentvariables. The results of multiple regression reveal that there is a positive relationship between EADI and profitability, financial leverage, industry type, and legal ownership, and a negative relationship between EADI and corporate size, age and foreign operations.Limitations: The main limitation of the study is that the data was selected only for one year. The sample size was also limited. Another limitation of the study is that there are many variables which may influence environmental disclosure like board of directors, CEO’s role, audit firm size, etc., but we have selected very few variables.Future Scope: There is huge scope for further research on environmental accounting disclosure in the Indian context, as there is less amount of research on this subject. Further research can focus on the relationship between environmental accounting disclosure practices and financial performance of the companies.译文印度环境会计披露实践的影响因素:来自NIFTY 公司的经验证据B Omnamasivaya,M S V Prasad该研究通过从国家证券交易所(NSE)获取NIFTY 50 公司的样本来分析环境披露信息水平的影响因素。
外文文献翻译译文

环境管理会计(EMA)是管理会计发展的趋势Christine Jasch摘要:组织机构和会计师们为什么应该关心环境问题?来自供应链、资金提供商、监管机构以及其他利益相关者对于环境绩效及其信息披露的压力,导致组织机构的与环境相关的成本不断增加。
但同时提高环境绩效能够带来潜在的货币利益这一观点也逐渐得到人们的认同,传统的会计实务不能充分提供对于环境管理和与之相关的战略决策所需要的信息。
由于联合国可持续发展事务署下的环境管理会计工作组的成立,以及由它主办的出版物的发行,环境管理会计得到了促进和提升。
最近,国际会计师联合会发行了一份关于环境管理会计的指导性文件,这将进一步推动环境管理会计在会计师中的应用。
这期《清洁生产》杂志的关于环境管理会计的这个特别问题,侧重于它的方法论背景,以及来自澳大利亚、奥地利、阿根廷、加拿大、日本和立陶宛的案例研究经验。
正文:环境问题伴随者相关费用,收入和利益,正被世界上大多数国家的公民,政府组织,合作型领导人给予越来越多的关注.但是,有一个越来越广泛的共识,那就是,传统的会计不能为合理的支持在环境管理责任方面的决策制定提供准确的信息.为了填补这个差距,目前,EMA的新兴领域已经受到持续增加的关注.在19世纪九十年代早期,美国环保署是第一个成立了正式的项目去促进EMA的采纳的国家机构.从那时起,在30个国家的组织已经开始推动和落实EMA的许多不同类型的与环保相关的管理措施. 对于EMA的广泛关注是由于联合国可持续发展事务司对EMA的提倡以及其对EMA书籍的委托出版。
国际会计师联合会决定授权在由联合国科学发展司EMA工作组发表的最早的关于EMA 两本出版物的基础上发展一个关于EMA的指导性文件以整合关于EMA的最好的信息并与此同时进行必要的更新和添加.这个文件既不是有规定的要求的标准,也不是个描述性研究报告.它意在成为一个提供指导性信息的文件,作为监管要求,标准和纯粹信息的中间地带.这样, 它的目标是提供了一个总体框架和EMA的定义是相当全面,这是一致的可能与其他现有的,广泛应用于环境会计框架与EMA必须通力合作,以减少一些就这一重要议题的国际混乱功能。
环境工程英文文献附带带翻译

Environmental problems caused by Istanbul subwayexcavation and suggestions for remediationIbrahim OcakAbstract:Many environmental problems caused by subway excavations have inevitably become an important point in city life. These problems can be categorized as transporting and stocking of excavated material, traffic jams, noise, vibrations, piles of dust mud and lack of supplies. Although these problems cause many difficulties, the most pressing for a big city like Istanbul is excavation, since other li sted difficulties result from it. Moreover, these problems are environmentally and regionally restricted to the period over which construction projects are underway and disappear when construction is finished. Currently, in Istanbul, there are nine subway construction projects in operation, covering approximately 73 km in length; over 200 km to be constructed in the near future. The amount of material excavated from ongoing construction projects covers approximately 12 million m3. In this study, problems—primarily, the problem with excavation waste (EW)—caused by subway excavation are analyzed and suggestions for remediation are offered.Keywords: Environmental problems Subway excavation Waste managementIntroductionNowadays, cities are spreading over larger areas with increasing demand on extending transport facilities. Thus, all over the world, especially in cities where the population exceeds 300,000–400,000 people, railway-based means of transportation is being accepted as the ultimate solution. Therefore, large investments in subway and light rail construction are required. The construction of stated systems requires surface excavations, cut and cover tunnel excavations, bored tunnel excavations, redirection of infrastructures and tunnel construction projects. These elements disturb the environment and affect everyday life of citizens in terms of running water, natural gas, sewer systems and telephone lines.One reason why metro excavations affect the environment is the huge amount of excavated material produced. Moreover, a large amount of this excavated material is composed of muddy and bentonite material. Storing excavated material then becomes crucial. A considerable amount of pressure has been placed on officials to store and recycle any kind of excavated material. Waste management has become a branch of study by itself. Many studies have been carried out on the destruction, recycling and storing of solid, (Vlachos 1975; Huang et al. 2001; Winkler 2005; Huang et al. 2006; Khan et al. 1987; Boadi and Kuitunen 2003; Staudt and Schroll 1999; Wang 2001; Okuda and Thomson 2007; Yang and Innes 2007), organic (Edwards et al. 1998, Jackson 2006; Debra et al. 1991; Akhtar and Mahmood 1996; Bruun et al. 2006; Minh et al. 2006), plastic (Idris et al. 2004; Karani and Stan Jewasikiewitz 2007; Ali et al. 2004; Nishino et al. 2003; Vasile et al.2006; Kato et al. 2003; Kasakura et al. 1999; Hayashi et al. 2000), toxic (Rodgers et al. 1996; Bell and Wilson 1988; Chen et al. 1997; Sullivan and Yelton 1988), oily(Ahumada et al. 2004; Al-Masri and Suman 2003), farming(Garnier et al. 1998; Mohanty 2001) and radioactive materials(Rocco and Zucchetti 1997; Walker et al. 2001; Adamov et al. 1992; Krinitsyn et al. 2003).Today, traditional materials, including sand, stone, gravel, cement, brick and tiles are being used as major building components in the construction sector. All of these materials have been produced from existing natural resources and may have intrinsic distinctions that damage the environment due to their continuous exploitation. In addition, the cost of construction materials is incrementally increasing. In Turkey, the prices of construction materials have increased over the last few years. Therefore, it is very important to use excavation and demolition wastes (DW) in construction operations to limit the environmental impact and excessive increase of raw material prices. Recycling ratios for excavation waste (EW) and DW of some countries are in shown Table 1 (Hendriks and Pietersen 2000). The recycling ratio for Turkey is 10%. Every year, 14 million tons of waste materials are generated in Istanbul. These waste materials consist of 7.6 million tons EW, 1.6 million tons organic materials and 2.7 million tons DW (IMM 2007). Approximately, 3.7 million tons of municipal wastes are produced in Istanbul every year. However, the recycling rate is approximately equal to only 7%. This rate will increase to 27%, when the construction of the plant is completed. Medical wastes are another problem, with over 9,000 tons dumped every year. Medical wastes are disposed by burning. Distributions of municipal wastes are given in Fig. 1Country Concentration of CWin total waste (in%)CW and DW recycled (in%)Japan36 65Australia44 51Germany19 50Finland14 40United Kingdom over 50 40USA29 25France25 25Spain70 17Italy30 10Brazil15 8Table 1 C omparison of a few countries’ construction waste concentrationFig. 1 Current status of municipal waste distribution in IstanbulIn this study, environmental problems in Istanbul, such as EW resulting from tunnelling operations, DW resulting from building demolition and home wastes, are evaluated. Resources of EW, material properties and alternatives of possible usage are also evaluated.Railway system studiesThree preliminary studies concerning transportation in Istanbul were conducted in 1985, 1987 and 1997. A fourth study is currently being conducted. The Istanbul Transportation Main Plan states that railway systems must constitute the main facet of Istanbul’s transportation net-work (IMM 2005). In addition to existing lines, within the scope of the Marmaray Project, 36 km of metro, 96 km of light rail, and 7 km of tram, with a total of 205 km of new railway lines, must be constructed. Consequently, the total length of railway line will exceed 250 km.Environmental problems caused by subway excavationsTransporting and storing excavated materialAlmost all land in Istanbul is inhabited. Therefore, it is of utmost importance to store and recycle excavated material obtained either from metro excavations or other construction activities, causing minimal damage and disturbance to the city. The collection, temporary storage, recycling, reuse, transportation and destruction of excavated material and construction waste are controlled by environmental law number 2872. According to this law, it is essential that:1. Waste must be reduced at its source.2. Management must take necessary precautions to reduce the harmful effects of waste.3. Excavated material must be recycled and reused, especially within the construction infrastructure.4. Excavated material and construction waste must not be mixed.5. Waste must be separated from its source and subjected to “selective destruction” in order to form a sound system for recycling and destruction.6. Producers of excavated material or construction waste must provide required funds to destroy waste.According to environmental laws, municipalities are responsible for finding areas within their province limits to excavate and operate these systems. Both the Istanbul Metropolitan Municipality Environmental Protection and Waste Recycling Company are the foundations that actively carryout all operations regarding excavated material.Since dumping areas have limited space, they are quickly filled, without a ny available plausible solution for remediation. In addition, existing dumping areas are far away from metro excavation areas. This means that loaded trucks are competing with city traffic, causing traffic congestion with their low speed and pollutants dropping off their wheels or bodies. Furthermore, this results in a loss of money and labour.The approximate amount of excavated material from ongoing railway excavation will be equal to 12 million m3. All tunnels have been excavated with new Austrian tunnelling method (NATM), earth pressure balance method (EPBM), tunnel boring machine (TBM), and cut and cover method.Existing dumping areas in Istanbul are listed in Table 2. It can be seen that existing dumping areas can only accommodate material excavated from the metro construction. Another important matter according to Table 2 is that 93% of existing dumping areas are on the European side of Istanbul, with 88% of them in Kemerburgaz. Thus, all excavated material on the Anatolian side must cross over European site every day for a distance of approximately 150 km. Every day, on average, 3,000 trucks carry various types of excavated material to Kemerburgaz from other parts of Istanbul. This leads to a waste of time and increased environmental pollution.Name of firm Dumping Capacity (m3)%Total of European side13,984,158 93.3 Total of Anatolian side (six companies)Various 1,011,486 6.7Table 2 Existing dumping areas in IstanbulAnother problem related to excavation is that the materials, obtained from EPBM machines and muddy areas, cannot be directly sent to dumping facilities. They have to be kept in suitable places, so that water can be drained off from the materialand then sent to proper facilities. However, this causes muddy material to drop from trucks, causing increased litter in cities.Traffic jamSince most of the railway constructions are carried out in the most densely populated areas, city traffic must be cl osed and redirected during the construction. In most cases, an entire area must be closed for traffic. For example, Uskudar square is now closed due to the Marmaray project and most bus stops and piers have been moved to other locations.With cut and cover constructions, the case becomes even more complicated. In this case, an entire route is closed to traffic because cut and cover tunnels are constructed across streets. In order to ensure that machine operation and construction can continue uninterrupted and to minimize the risk of accidents to the people living around the construction zone, streets are either totally closed to traffic or traffic is redirected. This causes long-term difficulties. For example, shop owners on closed streets have difficulties re aching their shops, stocking and transporting their goods and retaining customers.Noise and vibrationFor metro excavations, a lot of different machines are used. These machines seriously disturb the environment with their noise and vibrations. In some regions, excavation may be as close as 5–6 m away from inhabited apartment blocks. In such cases, people are disturbed as excavation may take a significant p eriod of time to be completed.Drilling–blasting may be needed in conventional methods for drilling through hard rock. In this case, no matter how controlled the blasting is, people who are living in the area experience both noise and vibrations. Some become scared, thinking that an earthquake is happening. In blasting areas, the intensity of vibrations is measured. In order to keep them within accepted limits, delayed capsules are used.In order to minimize vibration and noise caused by machines and to reduce the effects of blasting, working areas are surrounded by fences. Super ficial blasting shaft rims are covered with a large canvas and fences are covered with wet broadcloths. However, these precautions can only reduce negative effects; they cannot totally eliminate them.The formation of dust and mudDepending on the season, both dust and mud disturb the environment. During removal of excavated material, especially muddy material, trucks may pollute the environment despite all precautions taken. Mud that forms around the excavation area may slide down the slope and cover the ground. In this case although roads are frequently cleaned, the environment is still disturbed. Trucks, which travel from dumping areas to areas that are mud dy cannot enter traffic until their wheels and bodies are washed. However, this cannot prevent the truck wheel from dropping mud on the roads while on move.Interrupted utilitiesInterrupted utilities are also one of the most crucial problems facing citizens during excavation projects due to the fact that telephone, natural gas, electricity, water, and infrastructure lines must be cut off and moved to other areas. During the transfer of these lines, services may remain unavailable for some time. Some institutions will not allow others to do this and carry out operations themselves. With so many providers conducting individual moves, services may be interrupted for an extended term of time.Damage to neighbouring buildingsMetro excavations cause deformations around the excavation area. These deformations are continuously checked and efforts are made to keep them under control. However, some deformations may become extensive; including cracks or even collapses of neighbouring buildings. Every metro tunnel excavation in Istanbul causes problems as mentioned earlier. These kinds of problems are more frequent in shallow tunnels. In such cases, although people’s financial losses are compen sated, their overall livelihood and way of life is compromised. For example, in a landslip during the first stage of the Istanbul Metro excavation, five people died. Obviously, no amount of money can compensate the death of a person.Suggestions for remedying environmental problemsEnvironmental problems that arise during tunnel excavations include traffic jams, noise, vibrations, dust, mud and deformation of surrounding buildings. Some possible solutions are recommended as listed below:• In big cities, railway systems are crucial to city transportation. However, a tram should not be considered as a viable railway system due to its low transportation capacity (approximately 1/3 of the metro). At the same time, a tram uses the same route as wheeled transportation devices. Therefore, trams occupy the same space as regular traffic a nd do not offer substantial advantages.• The most crucial problem facing metro excavations is not providing railway lines in a timely manner. Proof of this exists in big cities, including London, Paris, Moscow or Berlin, where metro lines of over 500 km exist. However, in Istanbul, there are only 8 km of metro line. Had the metro been built earlier when the city was not overcrowded, many problems facing the city would not currently exist. Now, officials must do their best to reduce troubles that future generations are likely to face.• Any kind of railway construction carried out above the ground causes serious problems to people living in the area. In addition, these kinds of construction cause both noise and litter. All railway lines are constructed completely underground in many parts of the world. This has two advantages; first, since excavation is carried out underground, it causes minimal interruption in utilities and provides a more comfortable area to work. Thus, the environment is exposed to very little damage because all operations are carried out underground.• Before beginning metro excavations, the route must be carefully examined for weaknesses in infrastructures and existing historical buildings. Otherwise, these elements cause problems, including interruptions in excavation when work must stop until the environment is stabilized. An example of this is that during the second stage of the Taksim–Yenikapi route of the Istanbul Metro, the construction of the Halic Bridge could not be started due to historical ramparts.• A lack of coordination among related institutions providing utility services is a major problem. Therefore, founding of an institution that strictly deals with relocating natural gas lines, telephone lines, sewer systems, and electricity will definitely accelerate the transfer of energy lines and avert accidents and inconveniences caused by this lack of coordination.•In order to increase benefits of railway systems both in constr uction and operational stages, projects must be continuously revised from time to time. This is the main problem facing Istanbul metro excavations. It has taken 110 years to restart metro projects in Istanbul, with the last project, the opening of the Karakoy tunnel, established in 1876 (Ocak 2004).From this time onward, initiated projects must have been stable and continuous. In 1935, 314,000 passengers were travelling daily. In the 1950s, the total length of tram lines reached 130 km (Kayserilioglu 2001). However, as the trolleybus was introduced in 1961, all tram lines on the European side, and in 1966, all lines on the Anatolian side were removed in order to make way for private vehicles (Kayserilioglu 2001).Results and discussionTBM and classic tunnel construction methods are widely used in Istanbul for different purposes, like metro, sewerage and water tunnels. Waste from rock is rarely used as construct ion material as the suitability of the material for this purpose is not well examined. However, it is believed that the muck may be used for some applications. If this suitability is realized, cost savings may be significant for tunnel construction, where the use of aggregate is a common requirement. A review of standard construction aggregate specifications indicates th at hard rock TBM waste would be suitable for several construction applications, including pavement and structural concrete (Gertsch et al. 2000). Size distributions of waste materials produced by tunnel boring machines are less (up to 125mm) than the waste materials produced by using classical construction methods. Muck size distribution is uniform, generally larger (up to 30–40 cm) and can be changed to meet a wide range of classical construction methods, making the reuse of waste more common. The waste product is used as construction materials. Fifty -seven percent of EW generated during tunnel excavations result from classical tunnel construction, 33.5% from TBM, while the remaining percentage stems from EPBM and slurry TBM. Different from TBM waste materials generated by EPB and slurry, TBM include mud and chemical materials.The annual quantity of EW generated in Istanbul is approximately 7.6 million tons. 13.8% of this total is clay and fill. The rest is composed of rock. Rock material can be properly used in roadway structures, fillings, road slopes, for erosion controland as a sub-base material, as long as it conforms to local standards (TS706, TS1114). Sand and clay have properties appropriate for use as raw materials for industrial use, depending on local standards. More studies should be completed to determine other potential uses for this material. Only 10% of rock material generated during tunnel excavation can be evaluated. A large percentage of soil material, nearly 70,000 m3, can be recycled.Generally, for any subway construction project, plans for recycling waste materials should be implemented prior to work commencement. These plans should identify which types of waste will be generated and the methods that will be used to handle, recycle and dispose these materials. Additionally, areas for temporary accumulation or storage should be clearly designated. A waste management plan directs construction activities towards an environmentally friendly process by reducing the amount of used and unused waste materials. Environmental andecon omic advantages occurring when waste materials are diverted from landfills include the following (Batayneh et al. 2007):1. The conservation of raw materials2. A reduction in the cost of waste disposal3. An efficient use of materials.EW materials mu st be kept clean and separate in order for them to be efficiently used or recycled. Storage methods should be investigated to prevent material from being lost due to mishandling. In addition, orders for materials should be placed just before work commences. To complete a waste management plan, an estimation of the amount and type of usable and unusable EW materials expected to be generated should be developed. Listing all expected quantities of each type of waste will give an indication of what type of man agement activities are appropriate for each specific waste material. At each stage of excavation, specific ways to reduce, reuse or recycle produced EW should be implement ed. The flow chart in Fig. 2 includes suggestions for an EW management plan.This paper focuses on EW produced by metro tunnel excavation through hard rock and soil. TBM and classical tunnelling wastes can be successfully used in many construction and speciality applications, including aggregates, erosion control, roadway structures, fill, sub-base material and road slopes. In order to minimize negative effects caused by excavated material both on the environment and on people, it must be reduced at its source. Including forcible decrees through the acceptance of environmental laws would also be useful. Soil and clay material, excavated through the use of EPBM machines, must be reused. It is possible to separate clay and sand, making its reuse possible and minimizing harmful environmental effect.Waste and recycling management plans should be developed for any construction project prior to commencement in order to sustain environmental, economic, and social development principles. Waste management is a critical issue facing the construction industry in Istanbul as the industry is one of the biggest generators of pollution. During different excavation projects, construction, demolitions and domestic activities, Istanbul produces about 14 million tons of solid waste each year, posing major environmental and ecological problems, including the need for a large area of land to be used as storage and disposal facilities. This wasteconsists of EW (7.6 million tons), DW (2.7 million tons) and municipal waste (3.7 million tons). The recycling rate of municipal waste is only 7%. The recycling rate of EW and DW is below 10% (IMM 2007).Fig. 2 Flow chart for EW management伊斯坦布尔地铁开挖引起的环境问题及补救建议摘要:许多地铁开挖引起的环境问题不可避免地成为城市生活的重要部分。
会计学中英文对照外文翻译文献

(文档含英文原文和中文翻译)中英文资料外文翻译文献Title:Future of SME finance(Background – the environment for SME finance has changedFuture economic recovery will depend on the possibility of Crafts, Trades and SMEs to exploit their potential for growth and employment creation.SMEs make a major contribution to growth and employment in the EU and are at the heart of the Lisbon Strategy, whose main objective is to turn Europe into the most competitive and dynamic knowledge-based economy in the world. However, the ability of SMEs to grow depends highly on their potential to invest in restructuring, innovation and qualification. All of these investments need capital and thereforeaccess to finance.Against this background the consistently repeated complaint of SMEs about their problems regarding access to finance is a highly relevant constraint that endangers the economic recovery of Europe.Changes in the finance sector influence the behavior of credit institutes towards Crafts, Trades and SMEs. Recent and ongoing developments in the banking sector add to the concerns of SMEs and will further endanger their access to finance. The main changes in the banking sector which influence SME finance are:•Globalization and internationalization have increased the competition and the profit orientation in the sector;•worsening of the economic situations in some institutes (burst of the ITC bubble, insolvencies) strengthen the focus on profitability further;•Mergers and restructuring created larger structures and many local branches, which had direct and personalized contacts with small enterprises, were closed;•up-coming implementation of new capital adequacy rules (Basel II) will also change SME business of the credit sector and will increase its administrative costs;•Stricter interpretation of State-Aide Rules by the European Commission eliminates the support of banks by public guarantees; many of the effected banks are very active in SME finance.All these changes result in a higher sensitivity for risks and profits in the finance sector.The changes in the finance sector affect the accessibility of SMEs to finance.Higher risk awareness in the credit sector, a stronger focus on profitability and the ongoing restructuring in the finance sector change the framework for SME finance and influence the accessibility of SMEs to finance. The most important changes are: •In order to make the higher risk awareness operational, the credit sector introduces new rating systems and instruments for credit scoring;•Risk assessment of SMEs by banks will force the enterprises to present more and better quality information on their businesses;•Banks will try to pass through their additional costs for implementing and running the new capital regulations (Basel II) to their business clients;•due to the increase of competition on interest rates, the bank sector demands more and higher fees for its services (administration of accounts, payments systems,etc.), which are not only additional costs for SMEs but also limit their liquidity;•Small enterprises will lose their personal relationship with decision-makers in local branches –the credit application process will become more formal and anonymous and will probably lose longer;•the credit sector will lose more and more its “public function” to provide access to finance for a wide range of economic actors, which it has in a number of countries, in order to support and facilitate economic growth; the profitability of lending becomes the main focus of private credit institutions.All of these developments will make access to finance for SMEs even more difficult and / or will increase the cost of external finance. Business start-ups and SMEs, which want to enter new markets, may especially suffer from shortages regarding finance. A European Code of Conduct between Banks and SMEs would have allowed at least more transparency in the relations between Banks and SMEs and UEAPME regrets that the bank sector was not able to agree on such a commitment.Towards an encompassing policy approach to improve the access of Crafts, Trades and SMEs to financeAll analyses show that credits and loans will stay the main source of finance for the SME sector in Europe. Access to finance was always a main concern for SMEs, but the recent developments in the finance sector worsen the situation even more. Shortage of finance is already a relevant factor, which hinders economic recovery in Europe. Many SMEs are not able to finance their needs for investment.Therefore, UEAPME expects the new European Commission and the new European Parliament to strengthen their efforts to improve the framework conditions for SME finance. Europe’s Crafts, Trades and SMEs ask for an encompassing policy approach, which includes not only the conditions for SMEs’ access to lending, bu t will also strengthen their capacity for internal finance and their access to external risk capital.From UEAPME’s point of view such an encompassing approach should be based on three guiding principles:•Risk-sharing between private investors, financial institutes, SMEs and public sector;•Increase of transparency of SMEs towards their external investors and lenders;•improving the regulatory environment for SME finance.Based on these principles and against the background of the changing environment for SME finance, UEAPME proposes policy measures in the following areas:1. New Capital Requirement Directive: SME friendly implementation of Basel IIDue to intensive lobbying activities, UEAPME, together with other Business Associations in Europe, has achieved some improvements in favour of SMEs regarding the new Basel Agreement on regulatory capital (Basel II). The final agreement from the Basel Committee contains a much more realistic approach toward the real risk situation of SME lending for the finance market and will allow the necessary room for adaptations, which respect the different regional traditions and institutional structures.However, the new regulatory system will influence the relations between Banks and SMEs and it will depend very much on the way it will be implemented into European law, whether Basel II becomes burdensome for SMEs and if it will reduce access to finance for them.The new Capital Accord form the Basel Committee gives the financial market authorities and herewith the European Institutions, a lot of flexibility. In about 70 areas they have room to adapt the Accord to their specific needs when implementing it into EU law. Some of them will have important effects on the costs and the accessibility of finance for SMEs.UEAPME expects therefore from the new European Commission and the new European Parliament:•The implementation of the new Capital Requirement Directive will be costly for the Finance Sector (up to 30 Billion Euro till 2006) and its clients will have to pay for it. Therefore, the implementation – especially for smaller banks, which are often very active in SME finance –has to be carried out with as little administrative burdensome as possible (reporting obligations, statistics, etc.).•The European Regulators must recognize traditional instruments for collaterals (guarantees, etc.) as far as possible.•The European Commission and later the Member States should take over the recommendations from the European Parliament with regard to granularity, access to retail portfolio, maturity, partial use, adaptation of thresholds, etc., which will easethe burden on SME finance.2. SMEs need transparent rating proceduresDue to higher risk awareness of the finance sector and the needs of Basel II, many SMEs will be confronted for the first time with internal rating procedures or credit scoring systems by their banks. The bank will require more and better quality information from their clients and will assess them in a new way. Both up-coming developments are already causing increasing uncertainty amongst SMEs.In order to reduce this uncertainty and to allow SMEs to understand the principles of the new risk assessment, UEAPME demands transparent rating procedures –rating procedures may not become a “Black Box” for SMEs:•The bank should communicate the relevant criteria affecting the rating of SMEs.•The bank should inform SMEs about its assessment in order to allow SMEs to improve.The negotiations on a European Code of Conduct between Banks and SMEs , which would have included a self-commitment for transparent rating procedures by Banks, failed. Therefore, UEAPME expects from the new European Commission and the new European Parliament support for:•binding rules in the framework of the new Capital Adequacy Directive, which ensure the transparency of rating procedures and credit scoring systems for SMEs;•Elaboration of national Codes of Conduct in order to improve the relations between Banks and SMEs and to support the adaptation of SMEs to the new financial environment.3. SMEs need an extension of credit guarantee systems with a special focus on Micro-LendingBusiness start-ups, the transfer of businesses and innovative fast growth SMEs also depended in the past very often on public support to get access to finance. Increasing risk awareness by banks and the stricter interpretation of State Aid Rules will further increase the need for public support.Already now, there are credit guarantee schemes in many countries on the limit of their capacity and too many investment projects cannot be realized by SMEs.Experiences show that Public money, spent for supporting credit guaranteessystems, is a very efficient instrument and has a much higher multiplying effect than other instruments. One Euro form the European Investment Funds can stimulate 30 Euro investments in SMEs (for venture capital funds the relation is only 1:2).Therefore, UEAPME expects the new European Commission and the new European Parliament to support:•The extension of funds for national credit guarantees schemes in the framework of the new Multi-Annual Programmed for Enterprises;•The development of new instruments for securitizations of SME portfolios;•The recognition of existing and well functioning credit guarantees schemes as collateral;•More flexibility within the European Instruments, because of national differences in the situation of SME finance;•The development of credit guarantees schemes in the new Member States;•The development of an SBIC-like scheme in the Member States to close the equity gap (0.2 – 2.5 Mio Euro, according to the expert meeting on PACE on April 27 in Luxemburg).•the development of a financial support scheme to encourage the internalizations of SMEs (currently there is no scheme available at EU level: termination of JOP, fading out of JEV).4. SMEs need company and income taxation systems, which strengthen their capacity for self-financingMany EU Member States have company and income taxation systems with negative incentives to build-up capital within the company by re-investing their profits. This is especially true for companies, which have to pay income taxes. Already in the past tax-regimes was one of the reasons for the higher dependence of Europe’s SMEs on bank lending. In future, the result of rating will also d epend on the amount of capital in the company; the high dependence on lending will influence the access to lending. This is a vicious cycle, which has to be broken.Even though company and income taxation falls under the competence of Member States, UEAPME asks the new European Commission and the new European Parliament to publicly support tax-reforms, which will strengthen the capacity of Crafts, Trades and SME for self-financing. Thereby, a special focus on non-corporate companies is needed.5. Risk Capital – equity financingExternal equity financing does not have a real tradition in the SME sector. On the one hand, small enterprises and family business in general have traditionally not been very open towards external equity financing and are not used to informing transparently about their business.On the other hand, many investors of venture capital and similar forms of equity finance are very reluctant regarding investing their funds in smaller companies, which is more costly than investing bigger amounts in larger companies. Furthermore it is much more difficult to set out of such investments in smaller companies.Even though equity financing will never become the main source of financing for SMEs, it is an important instrument for highly innovative start-ups and fast growing companies and it has therefore to be further developed. UEAPME sees three pillars for such an approach where policy support is needed:Availability of venture capital•The Member States should review their taxation systems in order to create incentives to invest private money in all forms of venture capital.•Guarantee instruments for equity financing should be further developed.Improve the conditions for investing venture capital into SMEs•The development of secondary markets for venture capital investments in SMEs should be supported.•Accounting Standards for SMEs should be revised in order to ease transparent exchange of information between investor and owner-manager.Owner-managers must become more aware about the need for transparency towards investors•SME owners will have to realise that in future access to external finance (venture capital or lending) will depend much more on a transparent and open exchange of information about the situation and the perspectives of their companies.•In order to fulfil the new needs for transparency, SMEs will have to use new information instruments (business plans, financial reporting, etc.) and new management instruments (risk-management, financial management, etc.).外文资料翻译题目:未来的中小企业融资背景:中小企业融资已经改变未来的经济复苏将取决于能否工艺品,贸易和中小企业利用其潜在的增长和创造就业。
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河南科技学院新科学院2013 届本科毕业论文(设计)外文文献及翻译Environmental Accounting学生姓名:叶乃润所在系别:经济系所学专业:国际经济与贸易导师姓名:郭晓明(助教)完成时间:2013 年 4 月 18 日Environmental Accountingby Joy E. HechtInterest is growing in modifying national income accounting systems to promote understanding of the links between economy and environment.The field of environmental accounting has made great strides in the past two decades, moving from a rather arcane endeavor to one tested in dozens of countries and well established in a few. But the idea that nations might integrate the economic role of the environment into their income accounts is neither a quick sell nor a quick process; it has been under discussion since the 1960s. Despite the difficulties and controversies described in this article, however, interest is growing in modifying national income accounting systems to promote understanding of the links between economy and environment.Environmental accounting is underway in several dozen countries, where bureaucrats, statisticians, and other proponents both foreign and domestic have initiated activities over the past few decades. Several countries have made continuous investments in building routine data systems, which are integrated into existing statistical systems and economic planning activities. Others have made more limited efforts to calculate a few indicators, or analyze a single sector. Some of the earliest research on environmental accounting was done at RFF by Henry Peskin, working on the design of accounts for the United States.One of the first countries to build environmental accounts is Norway, which began collecting data on energy sources, fisheries, forests, and minerals in the 1970s to address resource scarcity. Over time, the Norwegians have expanded their accounts to include data on air pollutant emissions. Their accounts feed into a model of the national economy, which policymakers use to assess the energy implications of alternate growth strategies. Inclusion of these data also allows them to anticipate the impacts of different growth patterns on compliance with international conventions on pollutant emissions.More recently, a number of resource-dependent countries have become interested in measuring depreciation of their natural assets and adjusting their GDPs environmentally. One impetus for their interest was the 1989 study “Wasting Assets: Natural Resources in the National Income Accounts,” in which Robert Repetto and his colleagues at the World Resources Institute estimated the depreciation of Indonesia’s forests, petroleum reserves, and soil assets. Once adjusted to account for that depreciation, Indonesia’s GDP and growth rates both sank significantly below conventional figures. While “Wasting Assets” called many to action, it also operated as a brake, leading many economists and statisticians to warn against a focus on green GDP, because it tells decision makers nothing about the causes or solutions for environmental problems.Since that time, several developing countries have made long-term commitments to broad-based environmental accounting. Namibia began work on resource accounts in 1994, addressing such questions as whether the government has been able tocapture rents from the minerals and fisheries sectors, how to allocate scarce water supplies, and how rangeland degradation affects the value of livestock.The Philippines began work on environmental accounts in 1990. The approach used there is to build all economic inputs and outputs into the accounts, including non marketed goods and services of the environment. Thus Filipinos estimate monetary values for such items as gathered fuel wood and the waste disposal services provided by air, water, and land; they then add in direct consumption of such services as recreation and aesthetic appreciation of the natural world. While their methodology is controversial, these accounts have provided Philippine government agencies and researchers with a rich array of data for policymaking and analysis.The United States has not been a leader in the environmental accounting arena. At the start of the Clinton administration, the Bureau of Economic Analysis (BEA) made a foray into environmental accounting in the minerals sector, but this preliminary attempt became embroiled in political controversy and faced opposition from the minerals industry. Congress then asked the National Research Council (NRC) to form a blue ribbon panel to consider what the nation should do in the way of environmental accounting. Since then, Congressional appropriations to BEA have been accompanied by an explicit prohibition on environmental accounting work. The ban may be lifted, however, once the recommendations of the NRC study are made public.How environmental accounting is being done varies in a number of respects, notably the magnitude of the investment required, the objectivity of the data, the ability to compare different kinds of environmental impacts, and the kinds of policy purposes to which they may be applied. Here are some of the methods currently in u se.Natural Resource Accounts. These include data on stocks of natural resources and changes in them caused by either natural processes or human use. Such accounts typically cover agricultural land, fisheries, forests, minerals and petroleum, and water. In some countries, the accounts also include monetary data on the value of such resources. But attempts at valuation raise significant technical difficulties. It is fairly easy to track the value of resource flows when the goods are sold in markets, as in the case of timber and fish. Valuing changes in the stocks, however, is more difficult because they could be the result either of a physical change in the resource or of a fluctuation in market price.Green GDP. Developing a gross domestic product that includes the environment is also a matter of controversy. Most people actively involved in building environmental accounts minimize its importance. Because environmental accounting methods are not standardized, a green GDP can have a different meaning in each project that calculates it, so values are not comparable across countries. Moreover, while a green GDP can draw attention to policy problems, it is not useful for figuring out how to resolve them. Nevertheless, most accounting projects that include monetary values do calculate this indicator. Great interest in it exists despite its limitations.Environmental accounting would receive a substantial boost if an international consensus could be reached on methodology. The UN Statistics Department has coordinated some of the ongoing efforts toward this end since the 1980s. In 1993, theUN published the System for Integrated Economic and Environmental Accounting (SEEA) as an annex to the 1993 revisions of the SNA. SEEA is structured as a series of methodological options, which include most of the different accounting activities described above; users choose the options most appropriate to their needs.No consensus exists on the various methods that the UN recommended. In fact, SEEA is now undergoing revision by the so-called “London Group,” comprised primarily of national income accountants and statisticians from OECD countries. The group’s work will be an important step toward con sensus on accounting methods, but the process will be lengthy: Development of the conventional SNA took some forty years.A number of steps can be taken now toward the goal of ensuring that environmental accounting is as well established as the SNA. First, information must circulate freely about existing environmental accounts and how they are contributing to economic and environmental policy. Ongoing work needs to be identified and systematically reviewed and analyzed to learn lessons, which may inform the design and implementation of future accounting activities. The Green Accounting Initiative of the World Conservation Union has embarked on this effort, and a number of other organizations are calling for similar activities. Use of the World Wide Web may facilitate access to unpublished work, although it will require a concerted effort to obtain accounting reports and seek permission to load them on the Internet.Second, development of a core of internationally standardized methods will contribute to willingness to adopt environmental accounting. Experts in the field—including economists, environmentalists, academics, and others outside of the national statistical offices—should take a proactive role in tracking the work of the London Group and insist that the standard- setting process involve participants representing a spectrum of viewpoints, countries, and interested stakeholders. An opportunity exists for research institutes to take a lead in identifying the financial resources needed to facilitate a broader standard setting process, and to elicit a full range of voices to build a consensus on methodology.Finally, and perhaps most importantly, the more countries institutionalize construction of environmental accounts, the greater the momentum for more of the same.Still, building accounts—like developing any time series statistics—will not happen overnight. Their construction will require sustained institutional and financial commitment to ensure that the investment lasts long enough to yield results. But the experiences of Norway, Namibia, and the Philippines show that such a commitment can pay off; it is a commitment that more countries around the world need to make.环境会计by Joy E. Hecht由利益增长改变国民收入核算制度以促进了解经济和环境之间的联系。