BE24052 - Heat Network Technical Assurance Scheme (HNTAS) Shadow Service Provider

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Value

£1,384,480

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Classifications

  • Research and development consultancy services

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  • award

Submission Deadline

1 year ago

Published

1 year ago

Description

**Please note this is an award notice, not a competition. This contract has been awarded via the Crown Commercial Services - RM6313 - Demand Management and Renewables DPS **

The Department for Energy Security and Net Zero has a requirement to appoint a supplier to support the design and operation of the Heat Network
Technical Assurance Scheme (HNTAS) pilot programme.


The Energy Act 2023 provides for Ofgem to be appointed as regulator of the heat networks sector and grants Ofgem the power to authorise individuals to operate heat
networks and undertake supply activity. Ofgem will grant authorisation to a heat network operator, provided that the operator's network meets certain authorisation conditions. The
Energy Act provides for compliance with minimum technical standards to be included as one of these conditions. This lays the foundation for technical standards secondary
legislation which is expected to come into force in 2025 to introduce mandated minimum technical standards for heat networks (e.g. mandating requirements on water flow
temperatures, pipe insulation, etc). All heat networks (existing and new) across a range of different characteristics (large city sized district heating to single block communal
networks) will be in scope of this requirement. 

To promote compliance with these minimum technical standards, we are developing a Heat Network Technical Assurance Scheme (HNTAS). The technical specification
which sets out the minimum technical standards that heat network suppliers will need to adhere to, and that will be subject to assurance, is being written and is expected to be
completed in early 2024. Work is also underway to develop the assurance processes themselves, i.e. the procedures to assess compliance. Together, the technical
specification and assurance processes represent normative documents, i.e. a set of documents describing what heat suppliers must do. Once legislation is in place, it is intended
to designate these normative documents as a Code, adherence to which will be required in regulation.

Documents

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  • Award Notice

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Capturing transitional changes in GHG fluxes following peat restoration

There is approximately 1,420,000 hectares of peat in England, with deep peat accounting for approximately 680,000 hectares. However, the majority of our deep peat is degraded, damaged and dried out, with only 13% of deep peat remaining in a near natural state. As a result, peatlands in England emit approximately 8 million tonnes of carbon dioxide equivalent per year, about 2% of England's total greenhouse gas (GHG) emissions. There is an urgent need to re-wet peatlands to abate these GHG emissions to meet our net zero targets. In Carbon Budget 7, the Climate Change Committee recommends that by 2040, peatland restoration should represent over 50% of the emissions savings in land use, and 17% of the savings in the agriculture and land use sector. Peatland restoration targets have been set in the 2023 Environmental Improvement Plan (EIP), with an aim to restore 280,000 hectares by 2050. When peat is restored or re-wet, it moves from a degraded condition category to a restored or re-wet condition category in the UK National GHG Inventory using an IPCC Tier 2 methodology. This move is treated as a step-change without considering any transition between the two steady states. However, it has been hypothesised that this methodology is failing to consider a significant transitional removal of CO2 when a heavily degraded peat is restored. Thus, the CO2 sequestration potential of peat restoration may have been significantly underestimated. To date, the abatement potential of peat restoration has focused only on avoided emissions, however, the potential transitional removal of CO2 could make peat restoration a significant net greenhouse gas removal (GGR), which would be a game changer for attracting carbon finance. The report by Evans et al (2022) on ‘Aligning the Peatland Code with the UK Peatland Inventory’, proposes a model for capturing transitional changes in GHG fluxes post-restoration for CO2. However, this model needs to be refined and validated before it can be used to support investment in peat restoration or to understand the transitional removal of CO2 and its contribution to emissions savings. Therefore, research is required to refine and validate the model approach and to establish the criteria and method for how transitional CO2 uptake could be applied within the National GHG inventory and the Peatland Code.

Katy Reed

Published 1 day ago

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