07:58 22 Dec 24
Info Report Check
Submission incomplete:
1: Scope: The monitoring report does not contain the values of the monitored parameters used to calculate baseline, project and leakage emissions as well as other parameters required by the applied methodology and the registered monitoring plan as per PS version 09.0 paragraphs 247 and 248 (a) (c) (d) (e) (f).
Issue: The monitoring period covers a period longer than two years. The PP has not provided information on how it has monitored and calculated the emission factors of build margin, operating margin as well as combined margin whereby the registered monitoring plan (page 39 of the PDD) requires these parameters "to be updated annually ex post". Kindly please submit the information and relevant data set.
2: Scope: The monitoring report does not contain information about appropriate emission factors, IPCC default values, and/or other reference values used in the calculation of emission reductions as per PS version 09.0 paragraph 248 (g).
Issue: EB69 Annex 3 requires that all monitoring, verifications and requests for issuance of certified emission reductions (CERs) in respect of emission reductions and removals achieved by CDM project activities and PoAs in the second commitment period (from 1 January 2013) shall be calculated using the GWPs as applied by decision 4/CMP.7. Kindly please provide information on how this requirement has been taken into account.
3: Scope: The verification and certification report does not list each parameter required by the monitoring plan and does not provide an statement on how the DOE verified the information flow for these parameters including the values in the monitoring reports as per VVS version 09.0 paragraphs 393 and 409 (e).
Issue: The Monitoring Plan requires the emission factors of build margin, operating margin as well as combined margin emission factors "to be updated annually ex post" (page 39 of registered PDD). However, the DOE has not provided the data and information regarding how the requirement has been met. Kindly please submit the information on the annual updating and relevant data set, noting that the monitoring period covers a period longer than two years.
4: Scope: The verification and certification report does not provide a conclusion on the verified amount of emission reductions achieved nor/or confirm that appropriate methods and formulae for calculating baseline emissions, project emissions and leakage have been followed as per VVS version 09.0 paragraphs 403 (c) and 409 (j).
Issue: EB69 Annex 3 requires that all monitoring, verifications and requests for issuance of certified emission reductions (CERs) in respect of emission reductions and removals achieved by CDM project activities and PoAs in the second commitment period (from 1 January 2013) shall be calculated using the GWPs as applied by decision 4/CMP.7. The DOE is kindly requested to provide information on how it has verified the compliance against this requirement.
1: Scope: The monitoring report does not contain the values of the monitored parameters used to calculate baseline, project and leakage emissions as well as other parameters required by the applied methodology and the registered monitoring plan as per PS version 09.0 paragraphs 247 and 248 (a) (c) (d) (e) (f).
Issue: The monitoring period covers a period longer than two years. The PP has not provided information on how it has monitored and calculated the emission factors of build margin, operating margin as well as combined margin whereby the registered monitoring plan (page 39 of the PDD) requires these parameters "to be updated annually ex post". Kindly please submit the information and relevant data set.
2: Scope: The monitoring report does not contain information about appropriate emission factors, IPCC default values, and/or other reference values used in the calculation of emission reductions as per PS version 09.0 paragraph 248 (g).
Issue: EB69 Annex 3 requires that all monitoring, verifications and requests for issuance of certified emission reductions (CERs) in respect of emission reductions and removals achieved by CDM project activities and PoAs in the second commitment period (from 1 January 2013) shall be calculated using the GWPs as applied by decision 4/CMP.7. Kindly please provide information on how this requirement has been taken into account.
3: Scope: The verification and certification report does not list each parameter required by the monitoring plan and does not provide an statement on how the DOE verified the information flow for these parameters including the values in the monitoring reports as per VVS version 09.0 paragraphs 393 and 409 (e).
Issue: The Monitoring Plan requires the emission factors of build margin, operating margin as well as combined margin emission factors "to be updated annually ex post" (page 39 of registered PDD). However, the DOE has not provided the data and information regarding how the requirement has been met. Kindly please submit the information on the annual updating and relevant data set, noting that the monitoring period covers a period longer than two years.
4: Scope: The verification and certification report does not provide a conclusion on the verified amount of emission reductions achieved nor/or confirm that appropriate methods and formulae for calculating baseline emissions, project emissions and leakage have been followed as per VVS version 09.0 paragraphs 403 (c) and 409 (j).
Issue: EB69 Annex 3 requires that all monitoring, verifications and requests for issuance of certified emission reductions (CERs) in respect of emission reductions and removals achieved by CDM project activities and PoAs in the second commitment period (from 1 January 2013) shall be calculated using the GWPs as applied by decision 4/CMP.7. The DOE is kindly requested to provide information on how it has verified the compliance against this requirement.
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