Info Report Check
Submission incomplete:
1: The DOE states that "Hence, in line with the guidance to relax mandatory site visits by DOEs due to COVID 19 pandemic published by UNFCCC, CCSC has taken alternative measures to arrive at conservative estimation of emission reductions achieved, applying standard auditing techniques for verification, as referred in section 9.1.3 of the “CDM validation and verification standard for project activities, Version 03.0”. Also, PP has commitment for delivery of CERs as soon as possible." However, the verification report did not contain any reference related to the commitment for delivery of CERs as per para 26(b) of EB 106.


2: The concept of materiality is applicable to the verification of all types of registered CDM project activities. It is not applicable to:
(a) Uncertainties related to measurement;
(b) Addressing temporary deviations and permanent changes to the registered monitoring plan, the applied methodologies or the applied standardized baselines, regardless of whether corresponding GHG emission reductions or net anthropogenic GHG removals are above or below materiality thresholds (para 324 of VVS for PA version 3).
The verification report states that section C (application of materiality) is "NA". However, the VVS requires the concept of materiality applicable to the verification of all types of registered CDM project activities.