Info Report Check
Submission incomplete:
1: The project participants shall provide all parameters used to calculate the baseline, project and leakage GHG emissions by sources, or the baseline and actual net GHG removals by sinks, as well as other relevant parameters for the monitoring period as required by the registered monitoring plan, the applied methodologies, the applied standardized baselines and the other applied methodological regulatory documents (para 259 of PS for PA ver. 3)
The monitoring plan requires the monitoring of combined margin CO2 emission factor for grid connected power generation as per “Tool to calculate the emission factor for an electricity system”. The PP/DOE is required to submit the ex-post grid emission factor calculation used for the calculation of the baseline emission as per para 259 of PS for PA.

2: For the stakeholder consultation conducted after the publication of the first monitoring report in accordance with the “CDM project cycle procedure for project activities”, the requirements for and means of validation in paragraphs 254−260 above shall apply mutatis mutandis with the following adjustments (para 391 of VVS for PA ver. 3)
The DOE did not provide any validation on the global stakeholder consultation as per para 391 of VVS for PA as this request is the first monitoring report of the project activity.

3: The DOE stated that the site visit cannot be postponed to a later date. However, no information has been provided as a proper justification that why the site visits cannot be postponed, including the demonstration of a significant impact of delaying the site visits on the DOE, project participants or coordinating/managing entity (e.g. commitment/ timeline as per the validation or verification contract, CER delivery commitment by project participants) if needed. This is not in line with EB 106 meeting report para. 26.