02:48 07 May 25
Info Report Check
Submission incomplete:
1: For monitoring parameter BGburt,y (i.e. Biogas volume in year y), page 20 of AMS III.H version 16 requires reporting both values if the biogas streams flared and utilized are monitored separately. The diagram in page 5 of monitoring report indicates two streams of biogas (i.e. one flared and the other one sent to boiler). However, the equipment (i.e. Serial No. K508BF02000) reported under parameter BGburt,y in page 17-18 of the monitoring report implies an usage of one gas flow meter only. The DOE is requested to clarify: (1) the usage(s) of biogas recovered; (2) gas flow meter(s) used to measure biogas and the location(s); (c) the volume values of each biogas stream.
2: To determine the chemical oxygen demand of the wastewater before and after the treatment system, sampling approaches were applied. Page 18 of AMS III.H version 16 requires 90/10 confidence/precision level. However, the achieved precisions are not reported. The DOE shall provide information on how it has verified this compliance.
3: Page 19 of AMS III.H version 16 requires monitoring the end-use of the final sludge, since the project activity claims that the project sludge is sent for land application under aerobic condition. However, the DOE did not provide information on how it has verified and confirmed the final usage of project sludge.
4: In measuring parameter WCH4,y (i.e. Methane content in the biogas), page 20 of AMS III.H requires measurement using equipment that can directly measure methane content in the biogas (i.e. the estimation of methane content of biogas based on measurement of other constituents of biogas such as CO2 is not permitted). However, the DOE did not provide information on how it has verified and confirmed that the equipment used has measured methane content directly.
5: To determine project emissions from electricity consumption, parameter TDLi,y (Average technical transmission and distribution losses for providing electricity) is considered as zero, since it is the default value of option B.2 (i.e. the electricity consumption source is the project activity) as per “Tool to calculate baseline, project and/or leakage emission from electricity consumption”. However, the did not provide information on how it has verified and confirmed the electricity consumption source of the project activity.
1: For monitoring parameter BGburt,y (i.e. Biogas volume in year y), page 20 of AMS III.H version 16 requires reporting both values if the biogas streams flared and utilized are monitored separately. The diagram in page 5 of monitoring report indicates two streams of biogas (i.e. one flared and the other one sent to boiler). However, the equipment (i.e. Serial No. K508BF02000) reported under parameter BGburt,y in page 17-18 of the monitoring report implies an usage of one gas flow meter only. The DOE is requested to clarify: (1) the usage(s) of biogas recovered; (2) gas flow meter(s) used to measure biogas and the location(s); (c) the volume values of each biogas stream.
2: To determine the chemical oxygen demand of the wastewater before and after the treatment system, sampling approaches were applied. Page 18 of AMS III.H version 16 requires 90/10 confidence/precision level. However, the achieved precisions are not reported. The DOE shall provide information on how it has verified this compliance.
3: Page 19 of AMS III.H version 16 requires monitoring the end-use of the final sludge, since the project activity claims that the project sludge is sent for land application under aerobic condition. However, the DOE did not provide information on how it has verified and confirmed the final usage of project sludge.
4: In measuring parameter WCH4,y (i.e. Methane content in the biogas), page 20 of AMS III.H requires measurement using equipment that can directly measure methane content in the biogas (i.e. the estimation of methane content of biogas based on measurement of other constituents of biogas such as CO2 is not permitted). However, the DOE did not provide information on how it has verified and confirmed that the equipment used has measured methane content directly.
5: To determine project emissions from electricity consumption, parameter TDLi,y (Average technical transmission and distribution losses for providing electricity) is considered as zero, since it is the default value of option B.2 (i.e. the electricity consumption source is the project activity) as per “Tool to calculate baseline, project and/or leakage emission from electricity consumption”. However, the did not provide information on how it has verified and confirmed the electricity consumption source of the project activity.
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