06:29 27 Dec 24
Info Report Check
Submission incomplete:
1: Paragraph 340 of VVS-PoA:
The DOE is requested to explain how it concluded that the PoA and CPA have been implemented as per the PoA-DD and CPA-DD as:
(i) The PoA-DD and CPA-DD state that the biogas plants will be constructed for households which have at least 2 heads of cattle. However, from the sheet "MPIV survey data" of the ER spreadsheet it is observed that there are households which only have less than 2 heads of cattle;
(ii) The PoA-DD and CPA-DD state that all the biogas cookstoves with biodigesters included in each CPA will replace the use of non-renewable biomass. However, from the sheet "MPIV survey data" of the ER spreadsheet it is observed that some households still consumed wood or charcoal, or indicated that the biogas was not sufficient. This may imply that the installations do not fully replace the use of non-renewable biomass and they do not replace the biomass usage at the same level as in the baseline scenario;
(iii) In CL ID E.3-2 it is observed that in the database there are households without phone numbers and also households who have changed their number. Therefore, it is not clear how it can be confirmed that the technology is implemented in those households.
2: Paragraph 346 of VVS-PoA:
The DOE stated (for monitored parameter P) that the CME has taken the approach for the sampling size by adopting Guidelines Sampling and surveys for CDM project activities and programmes of activities, version 04. The DOE is requested to explain how the sample size for stratified random sampling has been calculated correctly following above guidelines, considering the guidelines describes that the sample size is determined for each region under the project area (paragraph 23 of appendix 1), whereas the CME only calculated/determined the sample size for 5 regions out of 13 regions in total.
1: Paragraph 340 of VVS-PoA:
The DOE is requested to explain how it concluded that the PoA and CPA have been implemented as per the PoA-DD and CPA-DD as:
(i) The PoA-DD and CPA-DD state that the biogas plants will be constructed for households which have at least 2 heads of cattle. However, from the sheet "MPIV survey data" of the ER spreadsheet it is observed that there are households which only have less than 2 heads of cattle;
(ii) The PoA-DD and CPA-DD state that all the biogas cookstoves with biodigesters included in each CPA will replace the use of non-renewable biomass. However, from the sheet "MPIV survey data" of the ER spreadsheet it is observed that some households still consumed wood or charcoal, or indicated that the biogas was not sufficient. This may imply that the installations do not fully replace the use of non-renewable biomass and they do not replace the biomass usage at the same level as in the baseline scenario;
(iii) In CL ID E.3-2 it is observed that in the database there are households without phone numbers and also households who have changed their number. Therefore, it is not clear how it can be confirmed that the technology is implemented in those households.
2: Paragraph 346 of VVS-PoA:
The DOE stated (for monitored parameter P) that the CME has taken the approach for the sampling size by adopting Guidelines Sampling and surveys for CDM project activities and programmes of activities, version 04. The DOE is requested to explain how the sample size for stratified random sampling has been calculated correctly following above guidelines, considering the guidelines describes that the sample size is determined for each region under the project area (paragraph 23 of appendix 1), whereas the CME only calculated/determined the sample size for 5 regions out of 13 regions in total.
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