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general:projections:wam-scenario [2025/04/03 22:13] – eisold | general:projections:wam-scenario [2025/04/04 12:51] (current) – eisold | ||
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=== Additional measures that have not yet been implemented are assigned to the WAM scenario=== | === Additional measures that have not yet been implemented are assigned to the WAM scenario=== | ||
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**Optional amendment of the 13< | **Optional amendment of the 13< | ||
+ | The German Federal Government declared in its current NAPCP 2023, that an optional amendment of the 13< | ||
+ | * **potential NO< | ||
- | * **NO< | + | According to the existing 13< |
- | According | + | It is assumed for the sulfite process that all plants located in Germany are operated with an RTI of 50-300 MW. A maximum emission factor of 300 mg/ |
- | It is assumed for the sulphite process that all four plants > 50 MW located in Germany are operated with RTI of 50-300 MW. In the sense of a conservative estimate of the reduction potential, a maximum current | + | (5) implied NOx emission factor |
- | | + | In the field of the sulfate process |
- | In the field of the sulphate process there are two plants > 50 MW with different boiler sizes in Germany. To calculate the reduction potential, the percentage distribution of the two plants per boiler size was calculated according to a combustion heat output in the range of 100-300 MW and more than 300 MW over all time series | + | |
+ | The implied emission factor for the sulphate process was taken over from the 2024 submission in the year 2010. The new emission factor results from dividing the 2010 emission factor and the maximum emission value proposed for the optional amendment of the 13< | ||
- | (7) implied NOx emission factor (sulphate | + | (7) implied NOx emission factor (sulfate |
- | The implied emission factor for the sulphate process will be taken over from the 2022 submission | + | * **potential NO< |
- | (8) implied NOx emission | + | An optional amendment of the 13< |
- | **NO< | + | For plants where a future limit value of 85 mg NO< |
- | An optional amendment of the 13< | + | (8) implied NOx emission |
- | For plants using raw petrol (naphtha), light heating oil or other petroleum products as fuel, the new maximum emission level corresponds to the limit value of 85 mg/ | + | This results in future |
- | (9) implied NOx emission factor | + | For all plants that are assumed to use permission by applying the so-called bell rule, the potential effect of integrating a NO< |
- | This results in NO< | + | (9) percentage NOx emission |
- | For a total of twelve plants with heavy fuel oil as fuel input the bell-rule is applied. First of all, the emission | + | This exemplary relative reduction was than assumed to apply for all refineries permitted by using the so-called |
- | (10) percentage | + | (10) NOx emission (refinery underfiring with heavy fuel oil) = 118 kg/TJ * (1 - 0.69) = 36.5 kg/TJ |
- | A calculated reduction | + | * **potential NO< |
- | The conversion is carried out in the same way for all source groups as shown in (11) for the refinery underfiring | + | Emissions from other LCPs, which emerge from the energy balances and cannot be clearly assigned to a specific fuel use or fuel mix, but also show a reduction potential by an optional amendment of the 13< |
- | (11) NOx emission (refinery underfiring with light heating oil) = [400 mg/Nm^3 * (1 - 0.69)] / 3.39 = 36.5 kg/TJ | + | The NO< |
- | + | ||
- | **NO< | + | |
- | + | ||
- | Emissions from other LCPs, which emerge from the energy balances, but cannot be clearly assigned to a specific fuel use or fuel mix and also show a reduction potential by an optional amendment of the 13< | + | |
- | + | ||
- | The NO< | + | |
__Table 13: Estimated relative and absolute plant split of LCP according to annual operating hours__ | __Table 13: Estimated relative and absolute plant split of LCP according to annual operating hours__ | ||
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| total | | | total | | ||
- | The emission factors will be recalculated for 2025 to 2040. First, the limit value of 85 mg/ | + | First, the limit value of 85 mg/ |
+ | |||
+ | The calculation is shown using the example of the source category of electricity generation in large public power plants using heavy fuel oil (reference value in 2022: 43.5 kg/TJ) in (11), whereby the procedure is analogous for all other source categories. | ||
- | The calculation is shown using the example of the source category of electricity generation in large industrial | + | (11) NOx emission factor (electricity generation in public |
- | (12) NOx emission | + | **Emission reduction in small combustion installations by amending the emission |
- | **Emission reduction in small combustion installations by tightening the emission limits | + | Through amendment |
- | Through amendment of the Commission regulation (EU) 2015/1189 with regard to ecodesign requirements for solid fuel boilers, it was assumed that requirements for placing on the market and putting into service solid biomass | + | Through amendment of the Commission regulation (EU) 2015/1185 with regard to ecodesign requirements for solid fuel local space heaters, it was assumed that requirements for placing on the market and putting into service solid biomass |
- | Through amendment of the Commission regulation (EU) 2015/1185 with regard to ecodesign requirements for solid fuel local space heaters, it was assumed that requirements for placing on the market and putting into service | + | Considering these assumptions and the projected use of solid biomass |
- | Considering these assumptions as well as the potentially increased biomass use described above, a potential emission reduction | + | Apart from that, an ambitious EU-wide regulation |
**Additional reduction in agriculture compared to the German NAPCP 2023:** | **Additional reduction in agriculture compared to the German NAPCP 2023:** |