04:50 11 Feb 25
Info Report Check
Submission incomplete:
1: The POA-DD has mentioned that the parameter Bold,HH (Annual quantity of woody biomass that would have been used in baseline) is ex-ante fixed as 6.59 tonne/household/year at PoA level.
(a) The CME shall provide information which option is applied to estimate the Parameter Bold,HH (Annual quantity of woody biomass that would have been used in baseline) as required by applied methodology AMS II.G version 11.1.
(b) The DOE shall provide information on how it has validated the compliance of the third party baseline survey with “sampling and surveys for CDM project activities and programme of activities”.
(c) The DOE shall further provide information on how it has validated the conservativeness of the ex-ante parameter Bold,HH, considering that the source used for cross checking does not specify if the rate of 1.8 m3/person/year is exclusively for cooking and how tonne of fuel wood consumption at household level is derived based on the household size and wood density.
2: The monitoring plan is not in line with the applied methodology AMS II.G version 11.1, e.g. parameters (ηold, NCVbiomass and Life Span) are regarded as ex-ante parameters whereas the methodology requires them as monitoring parameter. The data source of parameter Life Span include an option of third party test report whereas the applied methodology does not allow such option. The DOE shall provide information how it confirms that the monitoring plan is as per the applied methodology.
3: The eligibility criteria related to Target Group does not specify the target group of the PoA, thus it is not clear how the validity of assumptions (e.g. baseline stove efficiency etc.) made at PoA level would be re-tested during CPA inclusion. The DOE shall provide information how it has validated the compliance with paragraph 124(k) of the PS for PoA version 2.
1: The POA-DD has mentioned that the parameter Bold,HH (Annual quantity of woody biomass that would have been used in baseline) is ex-ante fixed as 6.59 tonne/household/year at PoA level.
(a) The CME shall provide information which option is applied to estimate the Parameter Bold,HH (Annual quantity of woody biomass that would have been used in baseline) as required by applied methodology AMS II.G version 11.1.
(b) The DOE shall provide information on how it has validated the compliance of the third party baseline survey with “sampling and surveys for CDM project activities and programme of activities”.
(c) The DOE shall further provide information on how it has validated the conservativeness of the ex-ante parameter Bold,HH, considering that the source used for cross checking does not specify if the rate of 1.8 m3/person/year is exclusively for cooking and how tonne of fuel wood consumption at household level is derived based on the household size and wood density.
2: The monitoring plan is not in line with the applied methodology AMS II.G version 11.1, e.g. parameters (ηold, NCVbiomass and Life Span) are regarded as ex-ante parameters whereas the methodology requires them as monitoring parameter. The data source of parameter Life Span include an option of third party test report whereas the applied methodology does not allow such option. The DOE shall provide information how it confirms that the monitoring plan is as per the applied methodology.
3: The eligibility criteria related to Target Group does not specify the target group of the PoA, thus it is not clear how the validity of assumptions (e.g. baseline stove efficiency etc.) made at PoA level would be re-tested during CPA inclusion. The DOE shall provide information how it has validated the compliance with paragraph 124(k) of the PS for PoA version 2.
Offset now: visit the United Nations Carbon Offset Platform
Connect with us: