06:16 08 Jul 25
Info Report Check
Submission incomplete:
1: The DOE is requested to verify the justification and appropriateness of the fixed data and parameters used for the emission reduction calculations as per VVS version 09.0 paragraphs 142 (a), 144 (a) (b) (c) and 145.
Responding to the previous issue raised on the change of fuel type of six power plants, the DOE/PP explained that the CO2 emission factor of gas and diesel is the same, as shown in the 2006 IPCC. The DOE is requested to clarify:
(i) in what state/form the fuel mentioned "gas" consumed by the six power plants is (i.e. gas or liquid);
(ii) what type of gas the the fuel mentioned "gas" consumed by the six power plants is.
2: The DOE is requested to describe how it has validated the compliance of the monitoring plan with the applied methodology(ies) and/or standardized baseline(s) as per VVS version 09.0 paragraph 149 (a) (c) and 150 (a), and where applicable SS version 04.1 section 6.
Responding to the previous issue raised on the monitored parameter EF_CO2,i (CO2 emission factor of fossil fuel type i), the DOE/PP clarified that the parameter in question is for the calculation of the baseline emissions, and “Tool to calculate project or leakage CO2 emissions from fossil fuel combustion” (version 2) does not apply. However, the monitoring plan (page 51) lists this parameter as one the parameter to be monitored to calculate the project emissions, as described in the “purpose of data” box, from the operation of the emergency backup diesel generator (PDD page 15). The DOE is requested to substantiate the appropriateness of the use of the lower limit value at 95% confidence interval for this parameter, that is used to calculate the project emissions as per the page 7 “Tool to calculate project or leakage CO2 emissions from fossil fuel combustion” (version 2).
1: The DOE is requested to verify the justification and appropriateness of the fixed data and parameters used for the emission reduction calculations as per VVS version 09.0 paragraphs 142 (a), 144 (a) (b) (c) and 145.
Responding to the previous issue raised on the change of fuel type of six power plants, the DOE/PP explained that the CO2 emission factor of gas and diesel is the same, as shown in the 2006 IPCC. The DOE is requested to clarify:
(i) in what state/form the fuel mentioned "gas" consumed by the six power plants is (i.e. gas or liquid);
(ii) what type of gas the the fuel mentioned "gas" consumed by the six power plants is.
2: The DOE is requested to describe how it has validated the compliance of the monitoring plan with the applied methodology(ies) and/or standardized baseline(s) as per VVS version 09.0 paragraph 149 (a) (c) and 150 (a), and where applicable SS version 04.1 section 6.
Responding to the previous issue raised on the monitored parameter EF_CO2,i (CO2 emission factor of fossil fuel type i), the DOE/PP clarified that the parameter in question is for the calculation of the baseline emissions, and “Tool to calculate project or leakage CO2 emissions from fossil fuel combustion” (version 2) does not apply. However, the monitoring plan (page 51) lists this parameter as one the parameter to be monitored to calculate the project emissions, as described in the “purpose of data” box, from the operation of the emergency backup diesel generator (PDD page 15). The DOE is requested to substantiate the appropriateness of the use of the lower limit value at 95% confidence interval for this parameter, that is used to calculate the project emissions as per the page 7 “Tool to calculate project or leakage CO2 emissions from fossil fuel combustion” (version 2).
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