Alaska Energy Metals Corporation (AEMC) continues to make significant progress at its flagship Nikolai Project in central Alaska. The company has announced exciting results from its 2024 drilling program, which extended the higher-grade core zone by 600 meters to the southeast and revealed coarse-grained magmatic sulfides—a new target for exploration.
These developments further strengthen AEMC Eureka Deposit’s position as a potential major source of critical minerals essential for clean energy and national security applications.
Its flagship Nikolai Project is a large-scale, polymetallic deposit with significant potential to support America’s clean energy transition. The nickel company also holds the Angliers-Belleterre project in Quebec, targeting high-grade nickel-copper sulfide deposits and potential white hydrogen production.
AEMC Nikolai Project – Property Location Map

Striking Gold—And Nickel: AEMC Expands Its High-Grade Core Zone
AEMC’s 2024 resource expansion drilling program consisted of four diamond drill holes, totaling 1,597.6 meters, per the company’s press release. Results from two of these holes—EZ-24-009 and EZ-24-010—were recently released, delivering highly encouraging outcomes.


Here are the summaries of the results for each drill:
Hole EZ-24-009
- Intersected 308.2 meters of polymetallic mineralization at 0.30% NiEq (nickel equivalent), including a 67.3-meter higher-grade core grading 0.39% NiEq.
- Discovered a 5.3-meter zone of coarse-grained magmatic sulfides grading 0.63% NiEq, with a peak interval of 0.9 meters at 0.95% NiEq.
- Extended the high-grade core zone by 600 meters to the southeast, increasing its total strike length to 2 kilometers.
- Provided a new exploration target with sulfide mineralization near a gabbroic dike.
Hole EZ-24-010
- Intersected 320.8 meters of polymetallic mineralization at 0.31% NiEq, including a 72.5-meter higher-grade core grading 0.39% NiEq.
- Confirmed mineralization extends further southeast, showing similar grades and thickness as EZ-24-009.
- Highlighted consistent mineralization, enhancing the deposit’s bulk-tonnage potential.
- Detected a downhole electromagnetic anomaly below the hole, warranting further investigation.
These results extended the strike length of the high-grade core zone to around 2 kilometers, significantly beyond the limits of the current Mineral Resource Estimate (MRE). This discovery is expected to drive a substantial increase in the AEMC’s indicated resource.
A New Target Emerges: Coarse-Grained Sulfides
The most exciting discovery from this campaign is the identification of coarse-grained magmatic sulfides in EZ-24-009. Located near a gabbroic dike, these sulfides suggest a potential remobilized or coarser mineralization component within the Eureka Zone.

Alaska Energy Metals Chief Geologist Gabe Graf noted,
“Drilling results continue to show the continuity and homogeneity of the Eureka Zone. With results from the remaining two drill holes anticipated soon, we can begin calculating an updated Mineral Resource Estimate. For the first time, coarse-grained magmatic sulfides were intersected and are being considered as an additional future exploration target.”
The sulfides could hold key insights into the geologic processes shaping the deposit, offering opportunities to uncover higher-grade zones and expand the resource base further.
The Expanding Promise of the Eureka Deposit
The results from EZ-24-009 and EZ-24-010 confirm the homogeneity of the Eureka Zone’s mineralization, highlighting its bulk-tonnage potential. The consistent grades and thick mineralized intersections reflect a robust system that is both predictable and scalable.

The remaining two drill holes (EZ-24-011 and EZ-24-012) are expected to provide additional data, potentially unlocking further extensions of the core zone. These findings will be incorporated into an updated MRE, which is already anticipated to reflect significant resource growth.
Strategic Importance of the Nikolai Project
The Nikolai Project is strategically located in Interior Alaska, benefiting from proximity to existing transportation and power infrastructure. This positions it as a highly accessible source of critical minerals, reducing logistical challenges often faced by remote projects.
The Eureka Deposit is particularly valuable due to its rich polymetallic profile, containing:
- Nickel, cobalt, chromium, platinum, and palladium: Designated critical minerals essential for clean energy technologies and electric vehicle batteries.
- Copper: A critical material for renewable energy systems and electrification.
- Iron and gold: Additional contributors to the deposit’s economic viability.
Remarkably, four of these materials are classified as Defense Production Act Title III materials, emphasizing their importance to U.S. national security.
Sustainable Mining Meets Strategic Importance: AEMC’s Vision for North America
AEMC prioritizes sustainability and adheres to stringent environmental, social, and governance (ESG) practices. This commitment is reflected in its exploration and resource development processes, which focus on minimizing environmental impact while delivering value to stakeholders.
The company’s quality assurance and quality control (QA/QC) protocols ensure the integrity of its data. Drill core samples are carefully processed and analyzed at SGS Laboratories, with rigorous oversight to prevent contamination and ensure accuracy.
For its next steps, AEMC’s immediate focus includes finalizing assays for the remaining drill holes and updating the MRE to reflect the expanded strike length and newly discovered sulfide mineralization. Additionally, the coarse-grained sulfides will undergo detailed evaluation as a priority exploration target.
These efforts align with AEMC’s strategy to advance the Nikolai Project as a major domestic source of strategic energy-related metals for North America.
All in all, Alaska Energy Metals Corporation is rapidly advancing its flagship project, demonstrating a combination of resource expansion, innovative discoveries, and sustainable practices. The extension of the higher-grade core zone and the identification of coarse-grained sulfides mark significant milestones for AEMC. It further strengthens the company’s position as a key player in the critical minerals space.
Disclosure: Owners, members, directors, and employees of carboncredits.com have/may have stock or option positions in any of the companies mentioned: AEMC.
Carboncredits.com receives compensation for this publication and has a business relationship with any company whose stock(s) is/are mentioned in this article.
Additional disclosure: This communication serves the sole purpose of adding value to the research process and is for information only. Please do your own due diligence. Every investment in securities mentioned in publications of carboncredits.com involves risks that could lead to a total loss of the invested capital.
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The post Alaska Energy Metals Expands Higher-Grade Mineralization and Unveils Promising Targets at Eureka Deposit appeared first on Carbon Credits.
Carbon Footprint
Climate-Linked Supply Chain Risk Is Already in Your P&L
The earnings calls that quietly reframed climate from sustainability question to operating risk.
Three earnings calls in the last 18 months tell the story without any help from a press release.
Hershey, May 2024: cocoa price exposure compresses margin, and the company attributes part of the cost shock to West African weather. Olam, July 2024: coffee climate exposure quantified in the annual report. JBS, January 2025: supply chain climate disclosures expanded materially in response to investor pressure and regulatory expectation. None of these companies issued the announcement as climate news. They issued it as financial news. The climate-linked supply chain risk did not arrive with a sustainability framing; it arrived as a P&L line.
You are probably reading this article because you suspect the same thing is happening to your business. This piece walks through what is showing up on which earnings calls, how procurement and finance leaders are quantifying the exposure, and what serious corporates are doing about it before the regulator asks.
Where climate risk has already appeared in earnings
The pattern is consistent across resource-intensive sectors. A weather event compresses supply, the price spikes, the cost flows through the income statement, and the analyst on the call asks whether the event is anomalous or structural. Increasingly, the honest answer is the second one.
Cocoa is the cleanest example. The 2023 to 2024 West African harvest fell sharply on the back of erratic rainfall and disease. Cocoa futures more than tripled. Companies with concentrated West African sourcing absorbed the cost; companies with diversified sourcing absorbed less. The exposure was not climate as ESG topic. It was climate as cost of goods.
Coffee follows the same pattern. Brazilian and Vietnamese harvests have moved on weather more sharply across the last several seasons. Roasters with long-tenor supplier relationships and origin diversification have managed the volatility; roasters with spot-market exposure have not. Wheat, sugar, palm oil, beef: the same dynamic in different commodities, a pattern the IPCC AR6 Working Group II report projects will intensify across agricultural systems through mid-century.
What this means: climate risk is no longer a footnote in the 10-K. It is a line item the CFO has to explain on the call.
The three commodity exposures that hit margin first
For most companies with material Scope 3 exposure, three exposures dominate the near-term P&L risk.
- Concentrated single-origin sourcing in a climate-vulnerable region. If your tier-one supply for any material commodity sits in one geography, you have a concentration risk that climate amplifies. Diversification across origins is the obvious hedge, but it takes years to build and requires relationships you cannot acquire by tender.
- Supplier financial fragility under climate stress. Smallholder farmers, who supply a large share of the global cocoa, coffee, and palm oil market, do not carry the balance sheets to absorb yield shocks. When yields collapse, they exit. When they exit, your supply base shrinks, and the surviving suppliers raise prices. The risk is structural, not cyclical.
- Logistics and storage exposure to extreme weather. Hurricane disruptions to Gulf shipping, drought-driven Panama Canal restrictions, flooding in European inland waterways: each of these has moved input costs in the last three years, a pattern documented in Munich Re’s natural catastrophe data. The exposure shows up as a one-quarter event in the financial press but accumulates over time on the cost line.
TCFD and ISSB disclosure changes
The disclosure architecture has now caught up with the risk. The Task Force on Climate-related Financial Disclosures, whose recommendations are now embedded in the ISSB’s IFRS S2 climate standard, requires companies to disclose climate-related risks across physical and transition categories, with quantification where possible.
For physical risk specifically (the climate-linked supply chain risk you are reading about), the disclosure must address both acute exposures (extreme weather events) and chronic exposures (gradual changes in temperature, precipitation, and growing seasons). The disclosure must address the time horizon over which the risk is material, the parts of the value chain exposed, and the financial impact under different scenarios.
The CSRD imposes similar requirements under European law, with double materiality (both financial and impact materiality) embedded in the assessment. The practical effect: your auditors and your investor relations team now need a defensible answer to the climate-linked supply chain risk question, and the answer needs to be quantified.
What procurement and finance can do now
Three actions matter near-term.
Map your exposure. Most companies do not have a clear view of which tier-one and tier-two suppliers sit in which climate-vulnerable geographies. Without the map, you cannot quantify the risk, and without the quantification, you cannot disclose it credibly. The map is the foundation, and World Resources Institute climate risk research provides useful public tooling to start.
Diversify and deepen, in that order. Diversification across origins reduces concentration risk, but the deeper move is to invest in the resilience of the suppliers you already have. Regenerative practices, agroforestry, soil health interventions: these reduce yield volatility under climate stress and protect your input cost trajectory.
Embed the climate spend inside procurement, not outside it. Treating climate risk as a sustainability cost line subordinates it to the ESG budget. Treating it as a procurement and resilience investment puts it in the budget that matters, which is the cost-of-goods budget that the CFO defends quarterly.
Nature-based supply chain investments are the asset class designed for exactly this purpose. They sit inside the value chain, they reduce climate-linked supply risk, they generate verifiable Scope 3 reductions, and they produce the documentation an auditor and a regulator can both test.
If you are quantifying climate-linked supply chain risk in advance of the next earnings cycle or the next disclosure period, the carbon and sustainability experts at Carbon Credit Capital can help you map your exposure and structure a Dual-Value Model response that addresses reduction, resilience, and disclosure-readiness in a single program. Schedule a consultation.
Carbon Footprint
Where should an SME start with a carbon action plan?
More and more small and medium-sized businesses are hearing the same question from their larger customers: What is your carbon footprint? That question now travels down entire supply chains, and it arrives next to tender requirements, certification criteria, and rising customer expectations.
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Carbon Footprint
Insetting vs Offsetting: Which Actually Counts Toward Your Scope 3 Targets
The accounting differences that decide whether your nature investment shows up in inventory, in BVCM, or nowhere at all.
The question reaches a procurement team about three weeks before the next sustainability committee meeting. Someone has read about insetting. Someone else has just signed off on an offset purchase. The CSO wants to know if the two are interchangeable. The answer is no, and the GHG Protocol Land Sector and Removals Standard is the reason why.
This article walks through what each term means at audit-grade specificity, what the standards actually say about how each gets counted, and how to decide which tool fits which target. The insetting vs offsetting question is one of the most-searched in corporate climate strategy, and one of the most poorly answered. By the end of this piece, you should be able to brief a committee on the difference without notes.
The two definitions, in plain English
Offsetting means buying carbon credits generated outside your value chain and retiring them against your residual emissions. The reduction happens somewhere else, financed by you, and the credit is the receipt.
Insetting means investing in emission reductions or removals inside your own value chain, typically with suppliers, where the reduction is directly linked to the products and services you buy. The reduction happens inside the boundary of your Scope 3 inventory, and the accounting treatment is fundamentally different.
The shorthand from the University of Oxford’s Nature-based Insetting Initiative is useful: insetting is what you do with the supply chain you have; offsetting is what you do with the supply chain you do not have.
What the GHG Protocol Land Sector Standard actually says
The GHG Protocol Land Sector and Removals Standard, finalised in 2024 after a multi-year pilot, sets the rules for how land-based emission reductions and removals enter corporate inventories. The Standard distinguishes between inventory accounting (Scope 1, 2, and 3) and project or intervention accounting (a separate methodology for crediting).
For insetting, the practical implication is that supplier-level interventions, when properly measured and attributed, can reduce your Scope 3 category 1 (purchased goods and services) emissions in your inventory. The reduction is not a credit retired against the inventory; it is a lower inventory number, period.
For offsetting, the credit is retired separately. It can be reported as a contribution toward a net-zero claim under the SBTi Beyond Value Chain Mitigation framework or as part of a VCMI Carbon Integrity claim, but it does not lower the inventory number.
A practical consequence: if your Science Based Target requires a 50% absolute reduction in Scope 3 emissions by 2030, insetting moves you toward the target. Offsetting does not. This single point of difference reshapes the procurement decision.
When insetting counts toward Scope 3 (and when it does not)
Insetting counts toward Scope 3 only when several conditions are met:
- The intervention must occur with an entity in your value chain.
- The emissions reduction or removal must be measured against a defensible baseline.
- The reduction must be attributed to your share of that supplier’s output, not double-counted with other buyers.
- It must follow the inventory accounting rules in the GHG Protocol Land Sector Standard, not the project accounting rules used to generate credits.
The most common failure mode is double counting. If your supplier sells the same reduction as a credit on the voluntary market and also reports it to you as a Scope 3 reduction, the math breaks. The Standard requires you to address this risk, typically by purchasing and retiring the supplier-issued credit as part of your inventory or by contractual provisions that prevent the supplier from selling the reduction twice.
When insetting does not count toward Scope 3: when the intervention sits with a supplier you do not buy from, when the baseline is not defensible, when the attribution is unclear, or when the documentation does not survive audit. Those cases default to Beyond Value Chain Mitigation, which is still useful but operates on a different ledger.
The procurement and supplier engagement question
Insetting is harder than offsetting. That is the unfashionable truth most buyers eventually confront. Offsetting is a transaction; insetting is a relationship.
To run an insetting program, you need supplier mapping precise enough to know which farms or facilities sit at which Scope 3 boundary. You need an engagement model that gets suppliers to participate, which usually requires multi-year commitments and shared economics. You need an MRV architecture that measures the right things and produces audit-ready documentation. And you need a contractual structure that prevents double counting and protects both sides.
The trade-off you receive in return is significant. Reductions count against your inventory rather than your residual. Supplier relationships deepen, which protects sourcing continuity. Yield and quality improvements often follow regenerative interventions, which reduces your input cost over time. And the regulatory file, under CSRD, CSDDD, EUDR, and the SBTi FLAG Guidance, is materially stronger.
Choosing the right tool for the right target
A practical decision rule. If your target is a science-based Scope 3 reduction and you operate in a FLAG sector or source FLAG commodities, insetting is the structurally correct tool. If your target is a net-zero claim that includes neutralising hard-to-abate residual emissions outside your value chain, BVCM via high-integrity offsets is the structurally correct tool. Most companies with material Scope 3 exposure need both, in different proportions, sequenced over time.
The sequencing matters. Insetting takes longer to stand up but produces a permanent reduction in the inventory. Offsetting can be transacted faster but does not change the inventory and now sits under tighter claim restrictions. Treat them as complementary tools with different jobs, not as substitutes. The Accountability Framework Initiative and the IUCN Global Standard for Nature-based Solutions both provide useful guardrails for the insetting side, with biodiversity, human rights, and benefit-sharing requirements that go beyond carbon math.
If you are mapping a Scope 3 reduction roadmap and need to scope which interventions count toward your inventory versus which sit in Beyond Value Chain Mitigation, the carbon and sustainability experts at Carbon Credit Capital can help you structure a nature-based supply chain investment program that fits your FLAG exposure, your target architecture, and your audit horizon. Schedule a consultation.
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