02:50 05 Nov 24
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 (paragraph 259 of PS for PA ver. 2)
1) The monitoring report (p 13-15) shows the extraordinary events or the stops longer than 24 hours during the monitoring period. However, it does not includes all stops longer than 24 hours as shown in the monthly spreadsheets. For example, the spreadsheet of "Calculation - 2017 09" shows that there was no electricity generation by GE 2 from 1 until 3 PM on 3 September 2017.
2) The monitoring report (p 43) states that "EGPJ,y" and "EGEC,y " are "Included in Excel spreadsheet “BDJ - SQL RAW DATA.xls·,sheet “3. Electricity." However, the referred spreadsheet does not include "3. Electricity" as it only contains "1. BD SQL", "2. CDM Raw Data" and "6. Variables SQL".
2: The project participants shall describe the equipment used to monitor each parameter, including details on accuracy class, and calibration information (frequency, date of calibration and validity), if applicable as per the registered monitoring plan (paragraph 260 (b) of PS for PA ver. 2)
The Appendix 1 of the monitoring report provides the list of monitoring equipment and calibration plan. However, the second page of the appendix 1 (p 59 of the monitoring report) is not readable as the table was broken and some sentences are overwrote. Please provide a clear/readable list for the calibration of equipment.
3: 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 (paragraph 259 of PS for PA ver. 2) / The DOE shall provide a confirmation that appropriate methods and formulae for calculating baseline GHG emissions or baseline net GHG removals, project GHG emissions or actual net GHG removals and leakage GHG emissions have been followed. (paragraph 374 (c) of VVS for PA ver. 2)
The monitoring report (p 42) states that the amount of electricity generated using LFG by the project activity is calculated as per “Baseline, project and/or leakage emissions from electricity consumption and monitoring of electricity consumption" (Version 02.0)" The spreadsheet of "1.Electricity Generation" of "WIP BDJ - CDM CALCULATION RESUME" shows that 20% of TDL is considered in the calculation of the baseline emission. Further information is required by the PP/DOE on how the application of 20% TDL for the calculation of the baseline emission is line with the Tool (p 15) which states that 1) "Use as default values of 20% for baseline electricity consumption sources if the electricity consumption by all project and leakage electricity consumption sources to which scenario A or scenario C (cases C.I or C.III) applies is larger than the electricity consumption of all baseline electricity consumption sources to which scenario A or scenario C (cases C.I or C.III) applies” or 2) “Use as default values of 3% for baseline electricity consumption sources.”
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 (paragraph 259 of PS for PA ver. 2)
1) The monitoring report (p 13-15) shows the extraordinary events or the stops longer than 24 hours during the monitoring period. However, it does not includes all stops longer than 24 hours as shown in the monthly spreadsheets. For example, the spreadsheet of "Calculation - 2017 09" shows that there was no electricity generation by GE 2 from 1 until 3 PM on 3 September 2017.
2) The monitoring report (p 43) states that "EGPJ,y" and "EGEC,y " are "Included in Excel spreadsheet “BDJ - SQL RAW DATA.xls·,sheet “3. Electricity." However, the referred spreadsheet does not include "3. Electricity" as it only contains "1. BD SQL", "2. CDM Raw Data" and "6. Variables SQL".
2: The project participants shall describe the equipment used to monitor each parameter, including details on accuracy class, and calibration information (frequency, date of calibration and validity), if applicable as per the registered monitoring plan (paragraph 260 (b) of PS for PA ver. 2)
The Appendix 1 of the monitoring report provides the list of monitoring equipment and calibration plan. However, the second page of the appendix 1 (p 59 of the monitoring report) is not readable as the table was broken and some sentences are overwrote. Please provide a clear/readable list for the calibration of equipment.
3: 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 (paragraph 259 of PS for PA ver. 2) / The DOE shall provide a confirmation that appropriate methods and formulae for calculating baseline GHG emissions or baseline net GHG removals, project GHG emissions or actual net GHG removals and leakage GHG emissions have been followed. (paragraph 374 (c) of VVS for PA ver. 2)
The monitoring report (p 42) states that the amount of electricity generated using LFG by the project activity is calculated as per “Baseline, project and/or leakage emissions from electricity consumption and monitoring of electricity consumption" (Version 02.0)" The spreadsheet of "1.Electricity Generation" of "WIP BDJ - CDM CALCULATION RESUME" shows that 20% of TDL is considered in the calculation of the baseline emission. Further information is required by the PP/DOE on how the application of 20% TDL for the calculation of the baseline emission is line with the Tool (p 15) which states that 1) "Use as default values of 20% for baseline electricity consumption sources if the electricity consumption by all project and leakage electricity consumption sources to which scenario A or scenario C (cases C.I or C.III) applies is larger than the electricity consumption of all baseline electricity consumption sources to which scenario A or scenario C (cases C.I or C.III) applies” or 2) “Use as default values of 3% for baseline electricity consumption sources.”
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