2.5.1 Treatment of renewable electricity in Scope 2 emissions
This guidance details how the carbon attributes of renewable energy in the form of energy attribute certificates (EACs) are accounted for in Scope 2 of the GHG inventories that underpin CarbonNeutral® certifications.
The “Scope 2 Guidance” amendment to the GHG Protocol, published in 2015 after four years of development and industry consultation, provides guidance for how corporations should measure emissions from electricity and energy purchases, including renewable energy, and covers:
From the date of publication of the GHG Protocol Scope 2 amendment, entities using the GHG Corporate Protocol to meet the GHG inventory requirements of The CarbonNeutral Protocol are required to meet its Scope 2 Guidance, as officially amended from time to time by the WRI.
Entities using any other GHG inventory standard recognized under The CarbonNeutral Protocol are subject to The CarbonNeutral Protocol’s original requirements that:
For more information see: RECS International, 2020, Maximising the reliability and impact of buying renewables: guidance for market participants, https://recs.org/app/uploads/documents/Maximising-reliability-and-impact-guidance_FINAL.pdf&file_type=documents.
This guidance details how EACs may be applied to emissions resulting from:
This guidance – first published in January 2022 – is the result of market guidance and is expected to be reviewed and updated once new guidance becomes available from the GHG Protocol and/or other recognised standards.
Use phase of CarbonNeutral products and products-as-a-service
The following requirements must be met when EACs are applied to use-phase emissions:
Use-phase emissions shall be determined according to the following requirements:
Employee homeworking
The following requirement must be met when EACs are applied to electricity consumption from employee homeworking and remote work:
This guidance details the disclosure requirements for organizations seeking to make a market-based Scope 2 reporting declaration in support of CarbonNeutral® certification. The disclosure only needs to be made when the party supplying the contractual instrument is not the primary CarbonNeutral® certifier, for example, when an entity sources renewable electricity directly from a utility company.
The disclosure table will be provided by the CarbonNeutral® certifier upon request. A column should be added to the table to account for each contractual instrument claim made within a corporate GHG inventory. Often this will involve engaging the contractual instrument supplier to determine the appropriate form of evidence that can be supplied to substantiate a market- based claim. The disclosure table should be completed at the time of preparing the GHG inventory and should be signed by an organization representative to warrant that the information provided is up to date, accurate, and that the CarbonNeutral® certifier can rely on the information.
When an entity’s location is neither consuming renewable energy nor applying EACs to reduce their Scope 2 emissions, and the emissions associated with its energy use, for examples through a published residual mix emissions factor, is available, then the residual emissions factor(s) must be applied, resulting in a market-based total for Scope 2 emissions.
Green gas certificates are relatively new products that are being adopted by businesses to manage their Scope 1 GHG emissions.
Green gas, known also as biogas, refers to calorific gas produced by the breakdown of organic matter, through anaerobic digestion or fermentation. Feedstocks include biodegradable materials such as manure, sewage, municipal water, green waste and plant material.
Before biogas can be introduced to the gas grid it needs to be upgraded to pipeline quality natural gas standards. This upgraded gas becomes biomethane, which can be used for any purpose currently satisfied by conventional natural gas.
Injecting biomethane into the natural gas grid displaces the need for a unit of conventional natural gas. Therefore, certificates and contracts are the only practical means of tracking the green gas from production to end use. Projects such as the Green Gas Certification Scheme aim to provide a certified means of tracking green gas injected into the grid through to end user consumption claims, similar to renewable electricity tracking schemes such as I-REC (International REC standard) and EECS-GO (European Energy Certificate System – Guarantee of Origin).
Clear guidance on extending market-based reporting approaches to renewable gas is still forthcoming. In their Technical Note: Accounting of Scope 2 emissions, the CDP recommends referring to the GHG Protocol’s Scope 2 Guidance when using green gas certificates.