06:05 05 Jan 25
Info Report Check
Submission incomplete:
1:
The verification report (p 6) states that "The DOE has conducted web meetings and video conference with PP and their representatives on 19th May 2022. The interviews and discussions were conducted successfully, and it is sufficient for the DOE to verify and prepare the report, in line with p.340 of the CDM VVS PA v3.0". However, the DOE states that it has verified by the project implmenetation and operation by stating that "The technical specifications were checked from the onsite inspection of the turbines. The electricity is generated at 11 kV and will be stepped-up to 150 kV through the power transformers for export to Berastagi substation which is a part of Sumatera grid. The audit team has visited the substation to confirm the electricity generation and export to the Grid." Therefore, the DOE is required to provide further information on how it has verified the project implementation and operation since there were inconsistent information in the verification report.
2: If the DOE identifies that the calibration has been delayed and the calibration has been implemented, the DOE may conclude its verification, provided the following conservative approach is adopted in the calculation of GHG emission reductions or net anthropogenic GHG removals by applying the maximum permissible error of the instrument to the measured values taken during the period between the scheduled date of calibration and the actual date of calibration, if the results of the delayed calibration do not show any errors in the measuring equipment, or if the error is smaller than the maximum permissible error. (para 366 of VVS for PA version 3)
The DOE (p 12 and p 23) states that "for the flow meter, there has been delay in calibration from 25/04/2020 to 16/07/2020 due to COVID-19. PP has applied the necessary correction factor for the delayed period and the same has been verified by the audit team." The DOE is required to provide further information on how it applied the para 366 of VVS for the delayed period since:
1) "Project Emission" sheet of the submitted spreadsheet did not show how the correction factor for delated period was applied; and
2) the PDD and the verification for the previous monitoring period (01 Apr 2019 - 30 Apr 2020) indicate the accuracy class of the flow meter as 1.0 while the CAR 2 in the verification report states that " the calibration error adjustment is 0.07% as per the certificate and also as indicated in the MR. However, the calculation is not in line with the same."
1:
The verification report (p 6) states that "The DOE has conducted web meetings and video conference with PP and their representatives on 19th May 2022. The interviews and discussions were conducted successfully, and it is sufficient for the DOE to verify and prepare the report, in line with p.340 of the CDM VVS PA v3.0". However, the DOE states that it has verified by the project implmenetation and operation by stating that "The technical specifications were checked from the onsite inspection of the turbines. The electricity is generated at 11 kV and will be stepped-up to 150 kV through the power transformers for export to Berastagi substation which is a part of Sumatera grid. The audit team has visited the substation to confirm the electricity generation and export to the Grid." Therefore, the DOE is required to provide further information on how it has verified the project implementation and operation since there were inconsistent information in the verification report.
2: If the DOE identifies that the calibration has been delayed and the calibration has been implemented, the DOE may conclude its verification, provided the following conservative approach is adopted in the calculation of GHG emission reductions or net anthropogenic GHG removals by applying the maximum permissible error of the instrument to the measured values taken during the period between the scheduled date of calibration and the actual date of calibration, if the results of the delayed calibration do not show any errors in the measuring equipment, or if the error is smaller than the maximum permissible error. (para 366 of VVS for PA version 3)
The DOE (p 12 and p 23) states that "for the flow meter, there has been delay in calibration from 25/04/2020 to 16/07/2020 due to COVID-19. PP has applied the necessary correction factor for the delayed period and the same has been verified by the audit team." The DOE is required to provide further information on how it applied the para 366 of VVS for the delayed period since:
1) "Project Emission" sheet of the submitted spreadsheet did not show how the correction factor for delated period was applied; and
2) the PDD and the verification for the previous monitoring period (01 Apr 2019 - 30 Apr 2020) indicate the accuracy class of the flow meter as 1.0 while the CAR 2 in the verification report states that " the calibration error adjustment is 0.07% as per the certificate and also as indicated in the MR. However, the calculation is not in line with the same."
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