Info Report Check
Submission incomplete:
1: The DOE is requested to describe how each applicability condition of the methodology/ies is fulfilled by the project activity as per VVS version 2 paragraphs 76 and 77.
The DOE is requested to further explain how the project meets the third applicability condition of the methodology (i.e. Natural gas is sufficiently available in the region or country, e.g. future natural gas based power capacity additions, comparable in size to the project activity, are not constrained by the use of natural gas in the project activity), considering: (i) it is not clear if the availability of the gas in the future can still meet the demand of the future natural gas based power plants and (ii) the validation report (A-8) states that "For Condition 03, ... . However, evidences via documents / links are not provided to substantiate the same".

2: The DOE is requested to describe how it has assessed the application of the equations and parameters for the calculation of emission reductions as per VVS version 2 paragraphs 97 and 99 (d) (e).
The DOE is requested to further explain how it has validated the emission reduction calculation, in particular the leakage from the CO2 emissions from LNG being zero, considering the investment analysis considers the use of R-LNG.

3: The DOE is requested to verify the justification of the data used for the ex-ante emission reduction calculations as per VVS version 2 paragraphs 98, 99 (a) (b) (c) and 100.
The DOE is requested to further explain how it has validated the baseline CO2 emission factor (EFBL,CO2,y) based on Option 3 in accordance with the VVS version 02.0 paragraph 98. In particular, the use of efficiency of 37.11% considering the PDD page 10 (based on CEA report) and Validation Report page 17 mention the efficiency of up to 40%.

4: The DOE is requested to describe how it has validated the suitability of the input values used in the financial calculations as per VVS version 2 paragraphs 120 and 123 (a).
The DOE is requested to substantiate how it has validated the suitability of the tariff of long term PPA used in the benchmark analysis based on the Case 1 bids for six NG power plants relating to recent three year period prior to investment decision, considering the CERC Tariff Order provides the guideline on how to determine the tariff.