Technical Session II - steel works, coke ovens, sintering plants.ppt
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1、Technical Session II : steel works, coke ovens, sintering plants and power plantsJean-Pierre DebruxellesTechnical DirectorEUROFER“Stakeholder Day on the EU Monitoring and reporting Guidelines”Cologne, 12 May 20051Technical Session II : steel works, coke ovens, sintering plants and power plantsPresen
2、tationI. Introductory remarksII. Process related emissions and export gasesIII. The integrated route (BF-BOF)IV. The electrical route (EAF)V. Transversal aspects (accuracy, flexibility, cost-effectiveness, uncertainties, tier thresholds)VI. Conclusions and recommendations2Technical Session II : stee
3、l works, coke ovens, sintering plants and power plantsa) Questions about the ongoing procedure leading to the revision of those guidelines (time line)b) Consistency with other legal texts (ET directive and NAP guidance)1. I. Introductory remarks3Technical Session II : steel works, coke ovens, sinter
4、ing plants and power plants1. I. a) Time line June 200613.10.2003 and 25.10.2003January 2004June 05 Dec 2006Commission + Consortium revising the MRG (ann I.1)Adoption ofthe ETDirective + OJAdoption of-The MRG - The NAP GuidanceReport from MSs = f(MRG) art.21 Deadline for revised MRGProposal for an a
5、mending Directive (art.30)+2nd NAPsVerification2005March 2006Art 5/6 : Permit = f(MRG) Art 24 : opt in for new gases = f(MRG) request from a MS or CEC initiative to adapt the MRG 4Technical Session II : steel works, coke ovens, sintering plants and power plants1. I. a) Time line The Commission will
6、review (the MRG) by 31 December 2006, taking into account experiences with the application of the Annexes and any revisions to Directive 2003/87/EC, with a view to any revised Annexes taking effect from 1 January 2008.“A competent authority may require the operator to change its monitoring methodolo
7、gy for the next reporting period if the reporting installations monitoring methodologies are no longer in conformity with the rules laid down in these guidelines. A competent authority may also require the operator to change its monitoring methodology for the next reporting period if the monitoring
8、methodology under the permit has been updated in accordance with a review to be undertaken before each period referred to in Article 11(2) of the Directive.” 5Technical Session II : steel works, coke ovens, sintering plants and power plants1. I. a) Time line : questions for clarification1. The secon
9、d NAP will be submitted by MSs to the Commission on 30 June 06 to cover the period 08-12: what about the “measures planned to monitor and report emissions in accordance with the MRG” in the installations permit (only the existing MRG is binding at the moment)? 2. What will happen for installations c
10、overed by a valid permit (art 5 and 6) after 1.1.08? An intermediary revision whereas the reporting period is already ongoing?3. What about the opt-in for new GHG ? Will the revised MRG include provisions for those GHG? Only after 2012 ? 6Technical Session II : steel works, coke ovens, sintering pla
11、nts and power plants1. I. b) Consistency with other legal texts:The Communication (COM(2003) 830) on NAP guidance implementation of the criteria listed in Annex III to ET Directive) was adopted on 7 January 2004.The MRG adopted three weeks later (29 January 2004) could not take this NAP guidance int
12、o account properly in particular as far as integrated steel plants are concerned.The revision offers the possibility to correct this situation!7Technical Session II : steel works, coke ovens, sintering plants and power plants1. II. Process related emissions and export gases (1/3)Nothing prohibits in
13、 the ET Directive a Member State to allocate allowances to the operator of the installation transferring the waste gas.The NAP guidance has stated:“Where a waste gas from a production process is used as a fuel by another operator, the distribution of allowances between the two installations is a mat
14、ter for Member States to decide. a Member State may choose to allocate allowances to the operator of the installation transferring the waste gas” 8Technical Session II : steel works, coke ovens, sintering plants and power plants1. II. Process related emissions and export gases (2/3)Our proposals: Ch
15、apter 4.1.: Boundaries (page 8), 1) All emissions from an installation shall be assigned to that installation, regardless of exports of heat or electricity or exports of waste gases (in the meaning of item 92 of COM (2003) 830) to other installations. Emissions associated with the production of heat
16、 or electricity or emissions associated with the combustion of waste gas imported from other installations shall be assigned either to the importing or to the transferring installation depending on the allocation method of the corresponding allowances 9Technical Session II : steel works, coke ovens,
17、 sintering plants and power plants1. II. Process related emissions and export gases (3/3)Our proposals: Chapter 4.2.2.1.2.: “Transferred CO2” (p. 11)2) “CO2 being transferred to an installation as part of a mixed fuel (such as blast furnace gas or coke oven gas) shall be included in the emission fac
18、tor for that fuel. Thereby, the emissions corresponding to the transferred fuel/gas will be monitored and reported by the operator of the installation who will be allocated the corresponding allowances according to the method of allocation chosen by the Member State (Cf. item 92 of COM (2003) 830).”
19、 10Technical Session II : steel works, coke ovens, sintering plants and power plants1. III. The integrated route (1/3)Our proposals: Mass balance approach and “bubble concept”a) It should be clarified that, for the sake of a sufficient accuracy the carbon mass balance approach extends across single
20、activities. b) The “bubble concept” should apply to an integrated steel plant c) There must be a possibility to aggregate the different activities : coke oven, metal ore roasting and sintering installations, production of pig iron and steel power plant processing the process-related gases 11Technica
21、l Session II : steel works, coke ovens, sintering plants and power plantsIII. The integrated route (2/3)Accuracy:Not possible to reach a satisfactory accuracy on the basis of the measurement of the particular material flow of every single activity. We suggest the following methodology:Apply the mass
22、 balance approach (already mentioned in the MRG) to all activities which will be summed up in an aggregated system (bubble concept). Irrespective of the ownership of the power plant this one has to be integrated into this aggregated system to ensure the highest accuracy. 12Technical Session II : ste
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