Validation Report. Bioheat International B.V. the registered CDM-Project No TBrazil. 2007, July 18

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Transcription:

Validation Report Bioheat International B.V. TValidation of the Revised Monitoring Plan of the registered CDM-Project No 0231 TCamil Itaqui Biomass Electricity Generation Project TBrazil REPORT NO. 964544-RM 2007, July 18 TÜV SÜD Industrie Service GmbH Carbon Management Service Westendstr. 199-80686 Munich GERMANY

Validation of the Revised Monitoring Plan of the registered CDM- Page 1 of 7 Report No. Date of first issue Revision No. Date of this revision Certificate No. 964544-RM 2007-07-18 0 - - Subject: Validation of a Revised Monitoring Plan Accredited TÜV SÜD Unit: TÜV SÜD Industrie Service GmbH Certification Body climate and energy Westendstr. 199-80686 Munich Federal Republic of Germany Client: BioHeat International BV Colosseum 11 7521 PV, Enschede, The Netherlands Project Title: Camil Itaqui Biomass Electricity Generation Project Applied Methodology / Version: AMS-I.D. ver. 7 AMS-III.E. ver. 7 Registered PDD Version: Registration Date: 11 Feb 06 Starting Date of Crediting Period: 01 Jul 01-30 Jun 08 (Renewable) Assessment Team Leader: Markus Knödlseder TÜV SÜD Contract Partner: TÜV SÜD Industrie Service GmbH Carbon Management Service Westendstr. 199-80686 Munich Federal Republic of Germany Project Site(s): CAMIL rice mill located in Itaqui City, eastern region of Rio Grande do Sul State, at the address: Rua Dr. Afonso Escobar, 1193 Estação, CEP 97650-000, Brazil Scope(s): 1; 13; 15 Revised Monitoring Plan: Date of issuance: July 11, 2007 in PDD revision 1 d.d Further Assessment Team Members: Hannes Thaler Summary of the Validation Opinion: The review of the revised monitoring plan and the subsequent follow-up interviews have provided TÜV SÜD with sufficient evidence to determine the fulfilment of all stated criteria. In our opinion, the revised monitoring plan meets all relevant UNFCCC requirements for the CDM. Hence TÜV SÜD will recommend the replacement of the monitoring plan of the registered PDD by the submitted revision. The review of the project design documentation and the subsequent follow-up interviews have not provided TÜV SÜD with sufficient evidence to determine the fulfilment of all stated criteria. Hence TÜV SÜD will not recommend the replacement of the monitoring plan of registered PDD.

TU1UT TUINTRODUCTIONUT...3 TU2UT TUMETHODOLOGYUT TU3UT TUFINDINGSUT TU4UT TUVALIDATION Validation of the Revised Monitoring Plan of the registered CDM- Page 2 of 7 Table of Contents Page TU1.1UT TUObjectiveUT 3 TU1.2UT TUScopeUT 3...4 TU2.1UT TUAppointment of the Assessment TeamUT 4 TU2.2UT TUReview of DocumentsUT 5 TU2.3UT TUFollow-up InterviewsUT 5 TU2.4UT TUInternal Quality ControlUT 5...6 OPINIONUT...7

UP 0231 Validation of the Revised Monitoring Plan of the registered CDM- Page 3 of 7 1 INTRODUCTION 1.1 Objective The validation objective is an independent assessment by a Third Party (Designated Operational Entity = DOE) of a proposed revision of a monitoring plan against all defined criteria set for the registration under the Clean Development Mechanism (CDM). Validation is required in the context of proposed revisions of a registered CDM activity and will finally result in a conclusion by the executing DOE whether a revised monitoring plan is valid and should be submitted for replacing the previous version. The ultimate decision on the registration of a proposed revision rests at the CDM Executive Board. o The project activity discussed by this validation report is registered as CDM activity NPU with the project title: Camil Itaqui Biomass Electricity Generation Project 1.2 Scope The scope of any assessment is defined by the underlying legislation, regulation and guidance given by relevant entities or authorities. The core requirements on revised monitoring plans are given by annex 12 of the report of EB-31 as referred below: 15. The request for revising monitoring plan is made in cases where: a. the monitoring plan in the registered CDM project activity document is found not to be consistent with the approved monitoring methodology applied to the registered project activity; or b. the proposed revision of the monitoring plan ensures that the level of accuracy or completeness in the monitoring and verification process is not reduced as a result of the revision; The validation is not meant to provide any consulting towards the client. However, stated requests for clarifications and/or corrective actions may provide input for improvement of the project design.

Validation of the Revised Monitoring Plan of the registered CDM- Page 4 of 7 2 METHODOLOGY The project assessment aims at being a risk based approach and is based on the methodology developed in the Validation and Verification Manual (for further information see HTUwww.vvmanual.infoUTH), an initiative of Designated and Applicant Entities, which aims to harmonize the approach and quality of all such assessments. 2.1 Appointment of the Assessment Team According to the technical scopes and experiences in the sectoral or national business environment TÜV SÜD has composed a project team in accordance with the appointment rules of the TÜV SÜD certification body climate and energy. The composition of an assessment team has to be approved by the Certification Body ensuring that the required skills are covered by the team. The Certification Body TÜV SÜD operates four qualification levels for team members that are assigned by formal appointment rules: Assessment Team Leader (ATL) Greenhouse Gas Auditor (GHG-A) Greenhouse Gas Auditor Trainee (T) Experts (E) It is required that the sectoral scope linked to the methodology has to be covered by the assessment team. The validation team was consisting of the following experts (the responsible Assessment Team Leader in written in bold letters): Name Qualification Coverage of technical scope Coverage of sectoral expertise Markus Knödlseder ATL Host country experience Hannes Thaler GHG-A Markus Knödlseder is an auditor for climate change projects and GHG emission inventories at the department Carbon Management Service in the head office of TÜV SÜD Industrie Service GmbH, Munich. He has been involved in the topic of environmental auditing, baselining, monitoring and verification due to the requirements of the Kyoto Protocol since Oct. 2001. His main focus lies on renewable energies. Johann Thaler graduated as Master of environmental Economy at the University of Augsburg. During his study he got first experiences in environmental management systems. His master thesis was about a fuel switch program in Brazil as a CDM project. Based in Brazil he has been working for TÜV SÜD as a GHG auditor on freelance basis since March 2005.

T Validation of the Revised Monitoring Plan of the registered CDM- Page 5 of 7 2.2 Review of Documents The revised Monitoring Plan submitted by the client and additional background documents related to further monitoring aspects were reviewed as initial step of the validation process. The assessment was correlated to the verification of the second monitoring plan T(see http://cdm.unfccc.int/projects/db/tuev-sued1135876215.5/iprocess/tuev-sued1170956194.35/view ) 2.3 Follow-up Interviews In the context of the regular verification TÜV SÜD performed on-site visits and interviews in the period of Feb. 06 to 12, 2007. As a result TÜV SÜD identified a not correct application of the registered monitoring plan. Based on that, TÜV SÜD interviewed project participants and responsible persons. 2.4 Internal Quality Control As final step of a validation the validation report has to undergo and internal quality control procedure by the Certification Body climate and energy, i.e. each report has to be approved either by the head of the certification body or his deputy. In case one of these two persons is part of the assessment team approval can only be given by the other one. It rests at the decision of TÜV SÜD s Certification Body whether a revised monitoring plan will be submitted for approval by the EB or not.

Validation of the Revised Monitoring Plan of the registered CDM- Page 6 of 7 3 FINDINGS In the context of the second verification of the registered CDM activity TÜV SÜD realised that the registered monitoring plan requires a yearly determination of the electricity grid factor, see Baseline Emission Factor, parameter D 3.4 page 20 of registered PDD. This is the ex-post approach according to the methodology AMS-I.D. However, the current monitoring of the project applies the ex-ante approach which is also allowed according to the methodology. This approach was already applied in the first monitoring period that have been verified by SGS, issued May 08, 2006. Hence TÜV SÜD issued the following clarification request: UClarification Request #1: Please explain, why the ex-post approach has not been applied? Clarification is given in submitted letter Request revision monitoring plan Camil Itaqui project 11 July 2007.pdf (attachment 1) Consequently TÜV SÜD submitted a Request for Deviation in the context in order to ensure the validity of the first monitoring report. Additionally the project participants developed a revised monitoring plan forming the base of the assessment presented herewith. This revised monitoring plan is included in the PDD ver. 1.d.d. TÜV SÜD considers the revised monitoring plan as acceptable, reasonable and consistent with the previous verification. A systematic overestimation can be excluded as result of performed plausibility checks and calibration records. Consequently it can be confirmed that the level of accuracy or completeness in the monitoring and verification process is not reduced as a result of the revision..

Validation of the Revised Monitoring Plan of the registered CDM- Page 7 of 7 4 VALIDATION OPINION TÜV SÜD has performed a validation of the revised Monitoring Plan of CDM Project 0231: Camil Itaqui Biomass Electricity Generation Project The review of the revised monitoring plan and the subsequent follow-up interviews have provided TÜV SÜD with sufficient evidence to determine the fulfilment of all stated criteria. In our opinion, the revised monitoring plan meets all relevant UNFCCC requirements for the CDM. Hence TÜV SÜD recommends the replacement of the monitoring plan of the registered PDD by the submitted revision. Munich, 2007-07-18 Munich, 2007-07-18 Certification Body climate and energy TÜV SÜD Industrie Service GmbH Assessment Team Leader

Validation of the Revised Monitoring Plan of the registered CDM- TAttachment 1