16:28 12 Apr 25
Info Report Check
Submission incomplete:
1: The PoA-DD/Generic CPA-DD has provided a stepwise procedure to assess the continued validity of the baseline and to update the baseline at the renewal of a crediting period. However, it does not include stepwise procedure for baseline scenario determination and demonstration of additionality, including common practice analysis, in accordance with paragraphs 20 - 25 of the applied methodology, for CPAs that will only be included in the second PoA renewal period, hence having the first crediting period in the second PoA renewal period. Refer to paragraph 284 of PS-PoA.
2: The DOE is requested to explain how it validated the following parameters as per the applied tool,in particular:
(a) Parameter NCVi,y for project emissions calculation as per “Tool to calculate project or leakage CO2 emissions from fossil fuel combustion” (version 03.0). As per the monitoring plan, the value of the parameter will be sourced from the IPCC. However, as per the tool, the value from the IPCC can be used only if values provided by the fuel supplier is not available;
(b) wOM and wBM of 0.25 and 0.75. The generic CPA-DD has provided the value of wOM and wOM applicable for the second crediting period. However, it has not provided the value for the first crediting period, which is applicable for CPAs which will be included only in the second PoA renewal period, hence having their first crediting period;
(c) Parameter EFEF,grid,y. Similar parameter is also listed as parameter fixed ex-ante (EFgrid,y). The DOE is requested to clarify whether this parameter is fixed ex-ante or will be monitored. If parameter EFEF,grid,y will be monitored, the DOE is request to explain whether the source (Baseline Emission Factors for Regional Power Grids in China published by China DNA) includes the emission factor for ex-post option.
Refer to paragraph 382 (b) of VVS-PoA.
1: The PoA-DD/Generic CPA-DD has provided a stepwise procedure to assess the continued validity of the baseline and to update the baseline at the renewal of a crediting period. However, it does not include stepwise procedure for baseline scenario determination and demonstration of additionality, including common practice analysis, in accordance with paragraphs 20 - 25 of the applied methodology, for CPAs that will only be included in the second PoA renewal period, hence having the first crediting period in the second PoA renewal period. Refer to paragraph 284 of PS-PoA.
2: The DOE is requested to explain how it validated the following parameters as per the applied tool,in particular:
(a) Parameter NCVi,y for project emissions calculation as per “Tool to calculate project or leakage CO2 emissions from fossil fuel combustion” (version 03.0). As per the monitoring plan, the value of the parameter will be sourced from the IPCC. However, as per the tool, the value from the IPCC can be used only if values provided by the fuel supplier is not available;
(b) wOM and wBM of 0.25 and 0.75. The generic CPA-DD has provided the value of wOM and wOM applicable for the second crediting period. However, it has not provided the value for the first crediting period, which is applicable for CPAs which will be included only in the second PoA renewal period, hence having their first crediting period;
(c) Parameter EFEF,grid,y. Similar parameter is also listed as parameter fixed ex-ante (EFgrid,y). The DOE is requested to clarify whether this parameter is fixed ex-ante or will be monitored. If parameter EFEF,grid,y will be monitored, the DOE is request to explain whether the source (Baseline Emission Factors for Regional Power Grids in China published by China DNA) includes the emission factor for ex-post option.
Refer to paragraph 382 (b) of VVS-PoA.
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