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Edition:

August - December 2015

Jl. Sempur Kaler No. 62 Bogor Jawa Barat, 16129

Indonesia

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2

The Development of Regulation Related to Implementation of Timber Legality Verification System in Indonesia

8

Back-Door

Relaxation of Legal Timber Scheme Weakens Forest Governance Reform, Threatens EU Market Access for Indonesia’s Furniture Exports, and Undermines Brand Indonesia

11

Disobedience of TLAS, Provisions Disavowal of Forest and Peatlands Protection

15

JPIK in Climate Change Conference in COP 21

UNFCCC: Important Role & Challenge of Independent Monitoring to Empower SVLK

17

JPIK Monitors SVLK Implementation in North Sumatera, North Kalimantan, and North Maluku

18

Publication for Applying SVLK’s Cerfication Has Not Fully Implemented

20

Police’s Passive Response to Complaints for Illegal Logging Indication in Central Kalimantan

22

Forgery of Timber Legality Certificate (S-LK) in East Java

24

JPIK National Meeting 2015

Table of Content

19

JPIK Monitors SVLK

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TLVS as an Indonesia Pioneer

Timber Legality Veriication System (SVLK) in Indonesia (known as SVLK) is an instrument to good governance by veriicate the certainty about harvesting the legal wood, transporting, processing, trading by foresty business in Indonesia. The implementation of this system is in accordance with a goal of illegal logging and illegal timber trade’s eradication, which stand along with law enforcement. SVLK built by Indonesia with initiative and action from multisector since 2001 -NGO and civil society groups including indigenous people, businessmen/ private sector, academicians/university, government, and also forest sustainability caretaker- which leads into a regulation of Forestry Minister (Permenhut) P.38/2009 in the year of 2009.

For export purpose, V-Legal1 Document is a main component of SVLK’ full application, as a customs declaration which explained the legal capacity of forestry products’ that exported from Indonesia. V-Legal Document issued by Veriication Institution for Timber Legality (LVLK) as a part of wood legality certiication.

The valid regulation that related to the implementation of SVLK are Permenhut 43/2014 juncto ( jo) PermenLHK 95/2014

issued by Ministry of Environment and

1 V-Legal Document means a legal veriication, either as an export license (V-Legal Document) or stamped V-Legal in a product, packaging, and/or transportation documenation.

The Development of Regulation Related to

Implementation of Timber Legality Veriication

System in Indonesia

By: Arbi Valentinus (FLEGT-VPA National Expert)

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Forestry. (previously was Ministry of Forestry), Permandag 89/2015 –replacing Permendang 97/2014 jo 66/2015– a provision about export of forestry goods and Permendag 97/2015 –replacing Permendag 78/2014 jo 63/2015– provision about importing forestry goods which issued by Ministry of Trade, and also Peraturan Presiden 21/2014 about ratiication FLEGT-VPA.

The implementing regulation from Permenhut 43/2014 jo

PermenLHK 95/2014 (SVLK) and export provision as in

Permendag 97/2014 is Perdirjen BUK P.14/2014 jo P.1/2015. (Note: for Document V-Legal refer to Annex 7 Perdirjen BUK), along with Surat Edaran Dirjen BUK SE.14/2014 about the implementation rules to carry out SVLK. On the other hand, for import sector, the implementation rule from Permendag 78/2014 is Perdirjen PHPL P.7/2015 about the implementation practice of due diligence,issuance of import declaration and import recommendation for forestry goods.

Acceptance and International Support

Government undertakes acceptance and international support to SVLK. At the same year with the release of Permenhut P.38/2009, Indonesia and European Union (EU) were in the middle of negotiating a partnership about Forestry Law Enforcement, Governmenance and Trade (FLEGT). Both sides were inally agreed to bind it into a Voluntary Partnership Agreement (VPA) on 30 September 2013.

In this case, SVLK is a key point in the VPA where this system accepted as a veriied system in terms of legality assurance of Indonesian wood products, also an innovation to prevent illegal logging and illegal log trading (http://silk.dephut.go.id/app/Upload/ hukum/20140715/4113c610651757feb3347a29f3bdb38c.pdf).

VPA has been ratiied from both sides, either Indonesia or European Union in April 2014 –Indonesia: through Presidential Decree 21/2014– and carried out on 1 May 2014; with current status as a last step of SVLK full implementation assesment to apply the application permit of FLEGT as a concrete embodiment of international acceptance and a support to a continous good governance.

Agreement is also made from another important state markets are Australia, Japan, United States, South Korea, and China. Australia, as an example has acceded to the treaty Country Spesiic Guideline (CSG) that based on SVLK.

(http://silk.dephut.go.id/app/Upload/informasisvlk/20150225/ e515d2065415391cd964319b97d28090.pdf).

Newest Provision in the Current Regulation

The updated point that written in the Permenhut 43/2014 jo

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Confromity Declaration (DKP), a part of SVLK, can be applied to logs and log products that came from private forests (not a type of natural log), with logs distribution comes from the certiied private forest that has S-LK. This might be a consideration to circulate “low risk” log products which is applicable to private forests, registered shelter (TPT), small-scale industry (IKM) or industries that produce or use low risk log as their raw material. The recipient of log or its products that uses confromity declaration (DKP) is obliged to do a check/examination to ensure the information’s justiication and validity that spread with DKP. For export purpose, Document V-Legal uses for exporter that has S-LK (processing industry or business unit trade/exporter-non-producer) with the guarantee for legality assurance through veriication by Institution for Timber Legality Assurance (LVLK).

Export Declaration (DE) is not a part of SVLK, only a customs declaration that is an alternative to V-Legal Document. This is written in agreement within 3 ministers –Environment and Forestry Minister, Minister of Trade, and Minister of Industrial Afairs– as a temporary mechanism outside SVLK, which is efective on 1 January to 31 December 2015. This applies to Furniture and Crafts’ small-scale Industry (15 tarif shelters in Group B) that didn’t have timber legality certiication (S-LK), in terms of export purpose, goes along with a qualiied source with S-PHPL (Certiicate of Sustainable Management of Production Forest Management)/S-LK/DKP. This DE is a temporal mechanism to make a transition to SVLK, via V-Legal Document. This temporal mechanism has deprived with the enactment of Permendag 89/2015 as the export provision of industrial forestry goods.

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Permendag 89/2015, about export provisions for forestry goods, has the recent update for instance mechanism removal for registered exporter of forestry industrial products and so does temporary mechanism of Export Declaration (DE); previously until 31 December 2015, replaced with Provision Article4clause2. Note: Permendag 89/2015 established on 19 October 2015 and applicable 30 days since the establishment date.

Article4clause1and2 Permendag 89/2015 stated that in clause 1: Export for industrial forestry goods as explained in article 2 clause 2 categorize as Group A is mandatory to be documented with V-Legal document that issued by LVLK; clause 2: Export for industrial forestry goods as explained in article 2 clause 2 categorize as Group B might not be documented with V-Legal Document but should be attached with documentation proving that the raw materials come from supplier that S-LK certiied or accordance with the good governance provisions of forestry products as written in the law. The clear application is currently in re-evaluation process (as for customs’ sake) and might be re-evaluate a further explanation for instance in accordance with Presidential Decree 21/2014 which has issued. (related to ‘products coverage’ in the Annex I for VPA)

The application’s continuance of Article 4 clause 2 Permendag

89/2015 so far shows in ‘Circular’/ Explanation from Head of Foreign Trade, Ministry of Trade, which is an explanation on Provisions Regulation of the Minister of Trade Number 89/M-DAG/PER/10/2015 to Number: 1912/DAGLU/SD/11/2015 dated 18 November 2015 and Number: 1920/DAGLU/SD/11/2015. (Circular Letter Number: 1920/

DAGLU/SD/11/2015 is downloadable

http://silk.dephut.go.id/index.php/ article/vnews/135).

This brings concern to several parties, especially cross-ministry, related to agreement 3 ministers also the implementation plan of SVLK in terms of V-Legal Document (or similar to FLEGT permit as a framework of VPA joint venture) in the near future (2016). Note: As per PermenLHK 95/2014, V-Legal Document is efective per 1 January 2016; included 15 tarif booths for forestry products, furniture and crafts that previously stated in Annex 1B Permendag 97/2014

(now refer to annex 1B Permendag 89/2015).

As in Permendag 97/2015 – replaced with Permendag 78/2014

jo 63/2015– and Perdirjen PHPL P.7/2015 about importing forestry goods, the revision are (i) ‘the enactment date’ changed to 1 January 2016 (measuring law and its enterpreneurs’ readiness to be implemented), and (ii) clariication for terms and conditions of due diligence as a foundation for issuing import declaration and import recommendation (KLHK) that afterwards become a ground rule for import approval (Kemendag). Importing forestry goods guarantees with DKP (logs distribution from the starting point/harbor to industrial point or registered shelter (TPT) or even in the warehouse) which in accordance with data and result from due diligence will be a foreground of Import Declaration, Import Recommendation and Import Approval. In connection with

Permendag 97/2015 about import provisions, it is planned to establish circular from Director General Sustainable Management of Forest Products KemenLHK.

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the brances of FLEGT-VPA agreement. Things that are in scope of the agreement contains products type in FLEGT permit (Annex I VPA), legality deinition that includes standardize legality veriication for industy (Annex II VPA), implementation of FLEGT permit (Annex III and IV VPA), explanation of legality guarantee system and its role of each elemets (government, accreditation institution, legality veriicator, auditors, and independent monitors) also reconciliation for each supply chains (Annex V VPA), application assesment of SVLK as a ground rule of FLEGT’s implementation (Annex VIII VPA).

Annex VI VPA contains periodic evaluation (PE), Annex VII VPA contains

independent market monitoring (IMM) so does social safeguard which underlie ‘Impact Monitoring’ (in Article 12 VPA). Annex IX VPA contains the transparency of public information (as a main component in VPA for SVLK’s implementation monitoring, also for Record of Discussion/RoD from Joint Implementation Committee/ JIC and annual report as the other instruments of VPA).

Additional Information: Annex I VPA about scope of products has been in accordance with Permendag 97/2014 (Annex 1A and 1B

Permendag); Annex II and Annex V VPA about SVLK has been inaccordance with Permenhut 43/2014 jo

PermenLHK 95/2014 and

Perdirjen BUK P.14/2014

jo P.1/2015; Annex IV VPA

about FLEGT permit has been in accordance with Annex 7 Perdirjen BUK P.14/2014 jo P.1/2015; Annex VIII VPA about assesment for implementation readiness which includes export license (V-Legal Document) has been in accordance with Annex7 Perdirjen BUK P.14/2014 jo P.1/2015

and import provisions in accordance with Permendag 78/2014 also Perdirjen PHPL P.7/2015; and Annex IX VPA has been in accordance with UU 14/2008 about transparency of public information.

Renewal Draft for Provisions of SVLK Implementation In compliance with

continous good governance, recently there undergoes a multifactor process to elaborate renewal draft

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Concluding Chapter

Thus, as a concise development, to accomplish

the perfect implementation of SVLK should be

strengthen its application and entirely execute

the explanation above, as a continuance to

good governance and to be internationally

accepted and supported yet to eradicate illegal

logging and illegal timber trade.

for provisions of SVLK implementation (in drafting progress), especially to revise for Permenhut 43/2014 jo PermenLHK 95/2014 also to change

Perdirjen as the guidance. This renewal provisions will contain a preamble update, terms that related to the contens especially for the subject and auditee, monitoring process, Raw Materials Legality Veriication (VLBB), an advanced step for fraud report from timber legality veriication result, and also provisions for multi-location and group certiication.

A preamble update in the renewal draft have coverages of UU 13/2006

jo 31/2014 about witnesses and victims’ precautions, UU 14/2008 about Transparency of public information,

UU 32/2009 about forest conservation and management, UU 18/2013

about forest’s prevention and eradication, also Presidential Decree 21/2014 about establishment of FLEGT-VPA.

Related to subject/auditee, the draft renewal will cover the permit of harvesting woodlands (IPHHK), KPH, IPPKH, timber utilization by mining permit (IPPKH), village-owned forest, and timber processing industry (IPKR).

Regarding Raw Material Legality Veriication (VLBB), it will be put as temporary or transision mechanism. VLBB applied to distributors that haven’t been S-LK/DKP, with assurance that logs come from source with S-PHPL/S-LK/DKP certiicate from Timber Legality Veriication Institution (LVLK). This case is similar to in technical level, which considers an efort to prepare the application of FLEGT permit in nearby future (in terms of VPA).

In terms of ‘unfulillment’ in timber legality veriication, auditee should complete the inexpediency indings for later they could re-apply for certiication application,

either to the previous veriication institution or the new one.

In accordance with multi-location certiication and group certiication: Multi-location Certiication can be assigned to owner of Private Forests’ and owner rights of land management (HPL). The multi-location certiication done by

sampling to ‘members’ of the multi-location certiication, with consequences of cancellation if there’s a stepping back action or unfulilled requirement from the ‘members’ of multilocation certiication (including the follow-up of complaints’ report). Group Certiication applies to Private Forests’ Owner and owner rights of land management (HPL). Group certiication can be done by census to its ‘members’ of group certiication, if a bailing-out happens, they could be taken out of the group certiication therefore the certiicate is still valid (after removing the bailing member).

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JAKARTA & LONDON, NOVEMBER 2ND 2015. The last minute exemption

of 15 product-groups from Indonesia’s timber legality verification system (SVLK) threatens to block EU market access for these products, delay or sabotage a long-negotiated EU-Indonesia timber trade agreement, and undermine Indonesia’s forest industry reputation, NGOs have warned.

The warning, from Indonesia’s Independent Forest Monitoring Network (JPIK) and the London-based Environmental Investigation Agency (EIA), followings the 19th October

passage of Trade Minister Regulation No 89/M-DAG/PER/10/2015, which substantially weakens the SVLK.

Under Indonesia’s SVLK (Sistem Veriikasi Legalitas Kayu – Timber Legality

Veriication System), all wood products exporters’ operations must be audited for compliance against a legality standard covering raw material inputs and factory or trade practices. Positive audit results are rewarded with so-called VLK certiicates enabling them to acquire a “V-Legal document”, an export license legally required to export wood products. While this system applies to exports to all markets, it is also the foundation of a

Back-Door Relaxation of Legal Timber Scheme Weakens

Forest Governance Reform, Threatens EU Market Access

for Indonesia’s Furniture Exports, and

Undermines Brand Indonesia

Jpint Press Release :

JPIK dan EIA

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long-negotiated Voluntary Partnership Agreement (VPA) between Indonesia and the EU. Once the VPA is activated, timber products without associated V-Legal documents will be rejected at EU ports, and cannot be sold on the EU market. Similarly, products accompanies by V-Legal documents will also be exempted from the EU Timber Regulation (EUTR), which prohibits illegal wood in the EU and requires EU companies to conduct due diligence on wood products purchases. As such, V-Legal documents are the crucial key for Indonesian exporters seeking to unlock EU market access.

The new regulation permanently exempts all exporters of 15 wood product customs codes (HS Codes) from the requirement to undergo SVLK audits, while maintaining their ability to export. While exempted companies – many of which have multi-million dollar exports – must still use SVLK certiied wood, no checks that they do so

will be required, providing signiicant opportunities for laundering uncertiied or illegal wood into supply chains.

The Ministry of Trade exemptions have been vociferously opposed by Indonesia’s Ministry of Environment and Forestry, and have similarly prompted the EU’s Ambassador to Indonesia to raised concerns in a 23 October letter to the Trade Minister.

“The Trade Minister Regulation introduces structural inconsistencies in Indonesia’s long-term eforts to improve forest governance through implementation of the Timber Legality Veriication System (SVLK), and threatens the proposed scope and timeframe for the implementation of the Indonesia-EU Voluntary Partnership Agreement (VPA)” stated Zainuri Hasyim, JPIK National Coordinator. Faith Doherty, Forest Campaign Leader at

EIA agreed, saying “the Trade Ministry Regulation introduces an eleventh-hour back-door exemption for an elite group of companies with friends in high places. It violates the aims and mechanisms underpinning both the SVLK and the VPA. The consequence is that either the VPA must be re-negotiated, the SVLK licensing system must be re-designed, or the exempted companies are structurally blocked from accessing the EU market. This bad regulation – ironically produced to hasten de-regulation – needs to be ammended immediately.” The Indonesian Government is planning to announce VPA implementation as a headline ofering at the UN climate change talks in Paris in December, at a time when major forest ires in Indonesia have produced more carbon emissions than Japan does in a year, and which have on occasion surpassed the daily emissions output of the entire United States.

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Editor’s Note: 

• JPIK (Jaringan Pemantau Independen Kehutanan) is an

independent Forest Monitoring Network established on

September 23

th

2010 by a network of 29 NGOs stretching from

Aceh to Papua. JPIK’s core mandate is to monitor and strengthen

the SVLK and its implementation, as a key tool in bringing about

better forestry and trade governance.

• EIA (Environmental Investigation Agency) is an independent

UK-based campaigning organisation committed to bringing about

change that protects the natural world from environmental

crime and abuse.

• The SVLK (Timber Legality Veriication System) is a mandatory

requirement for all timber producers, processors and exporters

to be independently audited for compliance with a Legality

Veriication standard that includes criteria, indicators, veriiers,

veriication methods, and assessment norms developed through

a multistalkeholder negotiation process.

• V-Legal documents certify that timber products for export fulill

the timber legality veriication standard embodied in the SVLK.

• A Timber Legality Veriication Agencies (LVLKs) are independent

legal entities that verify timber legality against the SVLK and

issue V-Legal Documents under license from the Ministry of

Environment and Forestry.

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© Nanang Sujana

Timber Legality Assurance System (TLAS) built by Indonesian government to prevent illegal logging or illegal log trading. SVLK’ implementation is an attempt to a forestry good governance in Indonesia. SVLK’ is mandatory to each forestry companies from upstream to downstream level. Implementation of SVLK requires companies to obey the rules, such as avoid social conlict with society near consession, not using log from the conservation forest and not using log that isn’t certiied SVLK. These three aspects are some of the prerequisite to pass veriication process. An assesment made by Independent Forest

Joint Press release JPIK with FWI

Disobedience of

TLAS, Provisions

Disavowal of Forest

and Peatlands

Protection

Disobedience for the application

of TLAS and provision disavowal for

forest found in the implementation.

Government should retighten the

supervision and grant it with penalty

for companies that evidently disobey

the implementation of TLAS.

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Monitoring Network (JPIK), FWI, KSPPM, PW, and AMAN in North Maluku found that several companies are disobedient to the implementation of SVLK especially in North Sumatera, North Kalimantan and North Maluku. “A penalty should be given to companies that disobey SVLK either in upstream and downstream level,” said Muhamad Kosar, a JPIK Coordinator.

“A penalty should be given to companies

that disobey SVLK either in upstream and

downstream level,”

Muhamad Kosar, Dinamisator JPIK.

Up until now, conlicts still raise between society and HTI company, PT. Toba Pulp Lestari (PT. TPL) in Simalungun District, North Sumatera. Illegal logging and mugging to a indigenous people’s owned incense forest to PT. TPL is a trigger to conlict and deprive the society’s source of life. Another inding from the assesment is PT. TPL also did a logging along the river and conservation forest

in their consession. HTI company, PT. Adindo Hutani Lestari in Nunukan District, North Kalimantan is surprisingly disobey to SVLK provision. On the consession, PT. Adindo Hutani Lestari found an illegal logging and opening new area that is in an inner peatland area. “Opening new area in an inner peatland area and harvesting in conservation area is clearly against SVLK

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provisions,” explained Kosar in a press conference. Other than that, this company has an indication for forcely occupy community’s land as a result from unclear bordering and not crossing FPIC (Free Prior and Informed Consent).

Disobedient indication found in the distribution chain from the log supply in primary wood industry on the downstream level. One of the identiied companies is PT. Panca Usaha Palopo Plywood in the Luwu District, South Sulawesi. This biggest timber company in Sulawesi has an indication of receiving big pile of woods from uncertiied source. HPH PT. Mohtra Agung Persada in Halmahera Tengah District, Norh Maluku is their supplier. Data from Industrial Plan for the Fulillment on Raw Materials (RPBBI) until November 2015 showed that PT. Panca Usaha Palopo Plywood still receiving woods from PT. Mohtra Agung Persada for 10.155,11 m3. This shows the lack of supervision related logs distribution from the government. “RPBBI Documents from KLHK should preserve the consumption of legal logs for industrial level,” said Mufti Barri, campaign spokesperson FWI. “Forest convertion without any SVLK from PT. Mohtra Agung Persada leads to a conlict and impact to power support in Central Halmahera. Lack of information access related to company’s activities is the main obstacle for society’s supervision. Information transparency in managing forest is the key for society to know which legal and illegal company.” as a closure statement from Mufti on his press conference.

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Editor’s Note:

• Forest Watch Indonesia (FWI) is an

independent forest watch which

individually committed to make

implementation of datas and

in-formations about Indonesian

for-ests widely open so that

guaran-tee the prolong goods processing.

• JPIK is Independent Forest

Moni-toring Network which established

on 23 September 2010 that

con-cerned and declared by 29 NGOs

and NGO network that actively

supervise the implementation of

timber legality assurance system

in Indonesia from Aceh to Papua.

• the Indigenous Peoples’ Alliance

of the Archipelago or AMAN is

an independent social

organiza-tion (ormas) that consists of local

community throughout the nation

• Kelompok Studi dan

Pengemban-gan Prakarsa Masyarakat

(KSP-PM) is centre and civil advocacy in

North Sumatera

• Internal policy about Zero

Defor-estation impose by company group

of Asia Paciic Resources

Inter-national Ltf (APRIL), Raja Garuda

Mas Group (RGM) which its

sub-sidiary company like PT. Adindo

Hutani Lestari and the afiliation

PT. Toba Pulp Lestari should

im-plicate the policy. Forest and

peat-lands conservation is part of zero

deforestation

• PT. Panca Usaha Palopo is a

down-stream level of woods processing

industry. This company gets the

Timber Legality Certiicate (S-LK)

from the Certiication Institution PT.

Mutu Agung Lestari with certiicate

number LVLK-003/MUTU/LK-031

• PT. Toba Pulp Lestari has SVLK

Certiicate/PHPL issued by PT.

Aya-maru Sertiikasi

• PT. Adindo Hutani Lestari has PHPL

certiicate from PT. Sarbi

Interna-tional Certiication on October 21,

2013 that valid until October 20,

2018

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JPIK in Climate Change Conference

in COP 21 UNFCCC: Important

Role & Challenge of Independent

Monitoring to Empower SVLK

Climate Change Conference in COP21 UNFCCC that held in Paris, November 23th to December 12th, 2015 concerned about SVLK as an instrument for forestry good governance which gives and impact for reduce gas emission of greenhouse efect.

A panel discussion with the subject “Timber Legality System for Environment Improvement” took place in Indonesian Pavilion on December 5th 2015. Zainuri Hasyim, a JPIK Coordinator invited as a speaker together with Putera Parthama (Directorate-General PHPL KemenLHK), Agus Sarsito (MFP), and industrial and furnitures’ By: Zainuri Hasyim

SVLK’s contribution for reducing

gas emission of greenhouse

efect which might be through

from illegal logging. Meanwhile,

industrial personnel claimed that

they gained proit from the

implementation of SVLK.

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businessmen. Luca Perez, Policy Oicer of DG Environment Commission also attended the discussion that organized by KLHK and MFP.

Putera emphasized that SVLK’s contribution for reducing gas emission of greenhouse efect which might be through from illegal logging. Meanwhile, industrial personnel claimed that they gained proit from the implementation of SVLK. On the other hands, Luca Perez, as a representative from EU, compliments the big achievement of Indonesia in developing and reining SVLK by contributes private sector

and civil society. EU hoped that FLEGT can accomplish the ultimate mission in upcoming years.

JPIK underlined the important role of independent monitoring is to strengthen SVLK’s accountability. JPIK claimed that challenges they’re facing are lack of information access, security protection for the observer, lack of coordination between the centre and its provinces, and also level enhancement of the regulation.

Those challenges have been coped by JPIK a SVLK’s independent

monitoring. As an example that two diferent opinion from two ministries against SVLK that currently need to clarify. Upgrading level of SVLK (from Minister Policy to Government Policy) might be the possible solution.

JPIK hoped that the solution arise for those obstacles along with the execution of SVLK might translucent in cooperation between Indonesia and European Union. The fervor of the government to embrace SVLK, either regulation or implementation in the ield, is a proof to improve forests good governance in Indonesia.

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Lestari (YLL) as a focal point of JPIK North Sumatera.

As a result from ield monitoring, eventhough HTI PT. Toba Pulp Lestari and PT. Adindo Hutani Lestari has a PHPL and VLK certiicates, but that hasn’t fully guaranteed that they are not involve to illegal activity. From ield monitoring shown activities that caused a convertion of natural forest, social and land conlict, decreased land and capacity and quality of water from both of HTI companies.

Beside of that, in the same month, JPIK monitor IUPHHK-HA PT. Mohtra Agung Persada in North Maluku. This is a joined activity with the Indigenous Peoples’ Alliance of the Archipelago (AMAN) in North Maluku. The harvesting log from PT. Mohtra Agung Persada distributed it to be raw materials in timber primary industry with destination Palopo, Buru, Kuala Kapuas, Banda Luwu, Tidore, Lampung, Surabaya, Gresik and Tanjung Priok. V-Legal documentation is not found in the logs’ body or an aidavit of log legality (SKSKB), even worse there hasn’t been any documents found related with certiication process to that company.

For the purpose of assuring PHPL, JPIK monitors Business Permits for Timber Forest Production Utilization-Industrial Plantation Forest (IUPHHK-HTI) PT. Toba Pulp Lestari in North Sumatera and PT. Adindo Hutani Lestari in North Kalimantan. Monitoring began in August - September 2015, in North Sumatera JPIK colaborate with Kelompok Studi dan Pengembangan Prakarsa Masyarakat (KSPPM) as one of an active institution of providing community assistance around consession area PT. Toba Pulp Lestari and Yayasan Leuser

JPIK Monitors SVLK

Implementation in

North Sumatera, North

Kalimantan, and North

Maluku

By : Muhammad Kosar

Picture 1 Damaged Peatlands.

Picture 2 Uncertiied Pile of Logs.

© FWI.or.id

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PHPL) and Timber Legality Assurance (VLK) coducted by Assesment Institution for Sustainable Management of Forest Products (LPPHPL) or Veriication Institution on Timber Legality (LVLK) as per in Permenhut

43/2015 jo PermenLHK 95/2014.

As a part of strengthening SVLK, the utmost point is open access and information for public. LPPHPL and LVLK play a role to provide access and information to management unit that will have an evaluation. The usable access and information is an important aspect to monitor performance appraisal PHPL and timber legality veriication done by JPIK as written in Annex 4 Perdirjen BUK P.14/2014 about independent monitoring guidance which independent monitoring has rights to access necessary document or public information as their support.

Yet in application of LPPHPL and LVLK neglect to provide an access to public documents or information required to independent monitoring. JPIK as an independent monitoring complain to LPPHPL and LVLK about providing access To accomplish JPIK’s active contribution in

forestry good governance, is contribution to ensure credibility and accountability of SVLK implementation. As an example for strengthen SVLK is monitoring by Performance Assessment of Sustainable Management of Forest Production

(PK-Publication for

Applying SVLK’s

Cerfication Has Not

Fully Implemented

By: Dhio Teguh Ferdyan

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and information. One of the mentioned information on complaints from JPIK is lack of announcement for evaluation plan or evaluation result that is not published to the portal of Timber Legality Information System and Ministry of Environment and Forestry.

From JPIK monitoring to SILK website and ministry, it’s found several LPPHP and LVLK without th evaluation plan and result, as written in Annex 3.1 Perdirjen BUK P.14/2014 about Guidelines of Performance Evaluation of Sustainable Forest Management:

F.8. Result of the decision followed with result of appraisal can be read through ministry’s website (www.dephut. go.id dan www.silk. dephut.go.id) dan website LPPHPL

G.12. LPPHPL published every publishing, modification, congelation, amandment and termination of S-PHPL (also for S-LK) in the LPPHPL website and ministry’s website (www. dephut.go.id and silk. dephut.go.id) at least 7 (seven) days after the decision

G.13. The publication of S-PHPL (so does S-LK) should be attached with resume of auditee, an audit result which contains the information concerning LPPHPL’s identity, auditee’s identity and assessments’ result that has a justiication for every PHPL indicator and every LK’s veriier that refers to reporting guidelines as written in the provisions

(21)

JPIK eforts in monitor the credibility of SVLK keep ongoing to maintain the implementation of SVLK in the ield. One of them is to monitor forestry management that indicates fraud. As a further action embodied in a direct report to several institutions like ministry and its related, even to police department if contains criminal case. JPIK Central Kalimantan has an undergo case study related to permit sector’s fraudulence and provisions in Central Kalimantan –a leading zone for forest fraudulence– explained in this report:

Police’s Passive Response

to Complaints for Illegal

Logging Indication in

Central Kalimantan

(22)

• Law breaking to plantation permit, logs and environment made by companies that opens a new land in several areas in Central Kalimantan, is the richest rainforest in Indonesia

• An obvious linkages between series of palm consession, a corrupted head of region and one of the embezzlement of the well-known politican lately

• An embezzlement endeavor from several palm companies to authorities amounting million rupiah to stop the investigation of illegal activities related to that company • The betrayal of local government to

indigenous people and facilitate a profound diversion of the local resources to the private sectors

Result of monitoring made by JPIK Central Kalimantan found a new technique of illegal logging done in corporation with forest convertion in palm consession, also the

uncontrollable IUIPHHK-HA. This creates a land conlict vertically or horizontally that includes businessmen and government. This conlict appears as a result of a limited public access from the government especially in terms of intransparency permit that took away indigenous people’s rights.

(23)

Assumption of certiicate forgery found when LVLK Sucoindo did a re-certiication to PT. Usaha Loka in Malang on September 2015, where UD. Narda Jati Jaya is one of the suppliers PT. Usaha Loka. UD. Narda Jati Jaya enclosed the VLK cerftiicate; Timber Enterprise Association Jombang (APIK) number 072/LVLK-009/XI/2014 issued by LVLK Transtra Permada on November 24, 2014 where on the certiicate listed UD. Ika Jati, UD. Barokah, UD. Rimba Asri, UD. PK Mojopahit and UD Narda Jati Jaya as the associate. Meanwhile, the original certiicate of VLK APIK Jombang no. 072/LVLK-009/ XI/2014 issued in January 6, 2015 by LVLK Transtra Permada where APIK Jombang’s associates are UD. Ika Jati, UD. Barokah, UD Rimba Asri and UD Yani Indah Jaya.

Since the irst time SVLK implemented, there are several individuals take an advantage of SVLK to keep sell and trade illegal logs either from natural forest or plantations. This happens in East Java in September 2015; LVLK Sucoindo found an attempt to utilize SVLK with forgery the VLK certiicate by UD. Narda Jati Jaya in Desa Catak Gayam, Sub-district Mojoagung, Jombang.

Picture 2 Original Certiicate of APIK Jombang.

Forgery of Timber

Legality Certificate

(S-LK) in East Java

(24)

This counterfeiting exposed when one of PT. Usaha Loka’s supplier, which is UD. Ika Jati enclosed VLK APIK Jombang certiicate which difer from VLK APIK Jombang enclosed by UD. Narda Jati Jaya. Saw the diferences in these two certiicates caused a conirmation made by LVLK Sucoindo to LVLK Transtra Permada as the certiicate issuer and leaded to

conclusion that UD. Narda Jati Jaya wasn’t an associate to APIK Jombang.

VLK certiicate

counterfeiting made by UD. Narda Jati Jaya was against the law and an example to weaken SVLK, which supposedly should be under supervision of several parties to reduce the opportunity for illegal logs inside SVLK’s system.

JPIK East Java set this case as important to strengthen the law related to “Standard and Guidence for the Implementation of Sustainable Management of Forest Products’ Evaluation (PHPL) and Timber Legality Veriication (VLK), to reinforce the utilization of SVLK and limit the opportunity to weaken SVLK.

Picture 3 Fake Certiicate of APIK Jombang.

Since the irst time SVLK implemented,

there are several individuals take an

advantage of SVLK to keep sell and trade

illegal logs either from natural forest or

(25)

National Meeting (Pernas) was held on September 16th -17th, 2015 is an annual high level meeting in JPIK by National Coordinator (Dinamisator Nasional) to invite spokesperson from each Focal Points. The purpose of this National Forum is to consolidate and coordinate the network, also to evaluate and do a

JPIK National Meeting

2015

Focal Point

Focal Point Nama Focal Point Lembaga Email

Aceh Juli Ermiansyah Putra Pena jesputra@gmail.com

Sumatera Utara Doni Syahputra YLL dony.saputra.m@gmail.com

Sumatera Barat Mora Dingin Qbar mora_qbar@yahoo.co.id

Riau Prasetya Aan Yayasan Mitra Insani prast.fate@gmail.com

Jambi Umi Syamsiatun CAPPA umi@cappa.or.id

Sumatera Selatan Yuliusman WBH yoesplg@yahoo.co.id

Bengkulu Martian Sugiarto Ulayat martian@ulayat.or.id

Lampung Febrilia Ekawati YKWS bekantan28@gmail.com

Jawa Bagian Barat Irwan Dani  PHMN hanjuangmuda@gmail.com

Jawa Tengah - DIY Andrianto SPPT andre6309@gmail.com

Jawa Timur M Ikhwan PPLH Mangkubumi pplhmangkubumi@gmail.com

Kalimantan Barat Baruni Hendri Titian baruni.hendri@gmail.com

Kalimantan Tengah Wancino Kaharingan Institute wancino@yahoo.com

Kalimantan Selatan Juliade LPMA lewu_tatas@yahoo.co.id

Kalimantan Timur Ahmad SJA (Among) PADI amonglumut@gmail.com

among_lumut@yahoo.com

Kalimantan Utara Kamirudin GAPETA BORNEO gami18@ymail.com

Sulawesi Selatan Mustam Arif Jurnal Celebes mustamarif@gmail.com

stragic plan, then to choose National Coordinator, Board of Trustee, and JPIK’s Focal Point.

As a result from the National Forum, the new National Coordinator (Dinamisator Nasional), Board of Trustee, and 24 Focal Points have chosen. Here’s the result from Pernas 2015:

National Dynamist

1. Zainuri Hasyim 2. Christian Bob Purba

3. Muhamad Kosar

Board of Trustee

1. Arbi Valentinus

2. Mahir Takaka 3. Mardi Minangsari

(26)

Focal Point Nama Focal Point Lembaga Email

Sulawesi Tenggara Imanche Al Rahman Komnas-Desa imanche_alrahman@yahoo.com

Sulawesi Tengah Rizal Evergreen rizalcadas@yahoo.com

Sulawesi Barat M. Ikhsan Welly Walhi Sulawesi

Barat yanmarindo_sulbar@yahoo.co.id

Gorontalo Hasyim* Sekretariat Nasional

JPIK jpikmail@gmail.com

Papua Barat Pietsau Amafnini Jasoil menawi2001@yahoo.com

Papua Lyndon Pangkali* Sekretariat Nasional

JPIK jpikmail@gmail.com

Maluku Jean Hendry Souisa* Sekretariat Nasional

JPIK jpikmail@gmail.com

* To be conirmed as a Focal Point of JPIK

Zainuri Hasyim, known as Zen, was born in Sumenep on 1974. He graduated from Univesity of Riau and now works as a Director of Yayasan Mitra Insani (YMI) and has actively being in JPIK since 2010. Since then, Zen is pointed as a Focal Point JPIK for Riau province. Zen’s capability and capacity is adequate for SVLK issue that made him a National Dynamisator IFMN on 2014 and still ongoing. “Declare or keep on silence” is his life motto. Zainuri Hasyim could be reached through email: zainurihasyim@ gmail.com and phone: +62-811-754-409.

“Declare or keep on silence”

(27)

Muhamad Kosar, was born in Sukabumi on 1982. Kosar has involved in CSO’s world since 2000 as a founder of ABSOLUTE, an environment CSO in Sukabumi District. His national career in CSO started with Telapak as a volunteer on 2002. In 2010, Kosar pointed as a Focal Point JPIK for West Java Province. His active involvement especially for SVLK’s issue made him chosen as a Person of Inluence Nasional JPIK since September 2015. “Past is a relection, Present is a Challenge and Future is a Chance” is his life motto. He can be reached through email: mkosar@fwi.or.id and phone: +62-813-1872-6321.

“Past is a relection, Present is a

Challenge and Future is a Chance”

Christian P. P. Purba, friendly known as Bob, was born in Pematang Siantar in 1972. This alumni from Institut Pertanian Bogor (IPB) started his career in CSO as a volunteer in Telapak since the mid 1998 that inally leads him as the Vice Director of Telapak. His prowess and concern to environment made him trusted as Executive Director of Forest Watch Indonesia (FWI) in 2004-2008, and 2013-now. As an active member of JPIK, Bob has given the authority to be a JPIK National Dynamist to make JPIK as a credible institution of independent forestry watch. “With willingness to work hard, at least something can be earned.” is his life slogan Christian ‘Bob’ Purba might be reached through email: bob@fwi.or.id and personal phone number: +62-812-110-5172.

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