Info Report Check
Submission incomplete:
1: VVS-PA Para 373(c)
As per the ER spreadsheet, it is noticed that the Import is greater than export and net electricity generated is calculated as a difference of Import minus Export. The PP/DOE shall explain how this is in line with the calculation method mentioned in the methodology and registered PDD where EGfacility,y should be calculated as difference between electricity supplied minus electricity delivered to the project plant.

2: VVS-PA Para 365 and 366
As per section D.2. of the monitoring report, and section E.7. of the verification report, the meters were tested on 03/06/2017, and 09/07/2019. The current monitoring period is 04/01/2019 – 31/12/2020 and the calibration frequency as per the registered PDD is atleast once every 24 months. The meters were therefore not calibrated from 04/06/2019 to 08/07/2019.

The DOE is therefore requested to clarify, how it confirmed that the calibration of the measuring equipment that has an impact on the claimed GHG emission reductions or net anthropogenic GHG removals is conducted by the project participants at the frequency specified in the registered monitoring plan. Refer Para 365 and 366 of VVS-PA, version 3.0.