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CFL Lighting Scheme – Bachat Lamp Yojana CDM Requirements. History (1). Current Process. Empanelment of Investor with BEE Investor and DISCOM identify small scale project areas within BLY Program Signing of Tripartite Agreement
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CFL Lighting Scheme – Bachat Lamp Yojana CDM Requirements
Current Process • Empanelment of Investor with BEE • Investor and DISCOM identify small scale project areas within BLY Program • Signing of Tripartite Agreement • Investor Develops small-scale project (the “CPA”) and submits to BEE • CPA is validated by a DOE • Investor secures financing for implementation • CFL distribution • Monitoring, strictly monitoring, of CPA following UN approved methodology and BLY Program design. • Verification and Allocation of CERs from CPA by BEE (as Coordinating and Managing Entity for the BLY Program)
Progress today • BLY PoA registered 29 April 2010 • Number of CPAs included as of 20 Jan 2012 42 • Number of CFLs expected to be installed about 25to 17 millions • (Based on 42 CPAs X @400,000 CFLs per CPA) • Number of CPAs implemented including CFLs in sockets duly verified less than 10%
CDM Requirements • At time of implementation – many requirement, the most important include: • Develop and maintain database of each household provided with CFLs (by number and voltage) • Independently certified destruction of collected ICLs • Independently certified destruction of fused and/or broken CFLs • Verified completion of distribution • Verification of accuracy of database • Completion of CPA implementation and declaration of the Start Date for carbon crediting • Third party Monitoring Survey to establish percentage of CFLs distributed and maintained in sockets
Work Ahead • Regarding CDM guidelines on Verification of PoAs. EB 55 – Annex 38 indicates: • only a Designated Operational Entity (DOE, i.e. DNV, TUV Sued, TUV Rheinland, etc.), who has not performed validation/inclusion/renewal of crediting period activities for the PoA shall process verification. • BEE is requesting to allow the same DOE to perform several functions (inclusion, verification, etc.). • request for issuance shall relate to all CPAs included in the PoA during the specified monitoring period. • BEE is requesting to change language and intention for requests shall relate to all CPAs implemented by the same operator [Implementer/Investor] that are included in the PoA during the specified monitoring period. • Regarding implementation. Sharing of experience in the implementation and verification process between BEE, DISCOMs and Implementers will benefit of all parties; hence, the request to BEE to facilitate such exchange.
Further information or queries to: Isabel Alegre Operations Director C-Quest Capital ialegre@cquestcapital.com cqc-operations@cquestcapital.com