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Comments on the Quality Assurance Standard EN14181

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Installation of compliant equipment (QAL1, EN14956) ... It is unjustified to force the AMS and SRM to read the same by applying a QAL2 ... – PowerPoint PPT presentation

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Title: Comments on the Quality Assurance Standard EN14181


1
Comments on the Quality Assurance Standard EN14181
  • VGB Working Group
  • Emissions Monitoring

2
VGB Working GroupEmissions Monitoring
  • The following organisations are represented on
    the working group
  • VGB PowerTech (DE) - Chair
  • KEMA (NL)
  • EDF (FR)
  • ESB (IRL)
  • Laborelec (BE)
  • E.ON (UK)
  • Helsingin Energia (FI)
  • E.ON (DE)

3
AMS Quality Assurance the EN14181 model
Source Gould, R., QA of AMS, MCERTS Conference,
Bretby, 2003
4
EN14181 Operators Responsibilities
  • Installation of compliant equipment (QAL1,
    EN14956)
  • Initial and periodic calibration of equipment
    (QAL2)
  • Annual verification of calibration (AST)
  • Ongoing zero and span checks (QAL3)
  • Retention of records on file
  • Checking measured values are within cal. range
    (weekly)

5
EN14181 Industry Response
  • Welcome structure, clarity and consistency
    provided by new standard.
  • Significant extra costs to industry
  • Concerns relate to certain aspects considered to
    be
  • inappropriate or impractical to implement, or
  • impose excessive cost or burden on operator
  • Request early revision to standard to address
    these areas of concern

6
Areas of Concern (Summary)
2. Low load factor plant 3. Cert range 4. Cal
function 5. Peripherals
6. Determining control limits 7. Easy to trigger
QAL2 (expensive!)
  • Requirement for complex uncertainty analysis

7
Areas of concern (1) QAL1
  • Impractical to do a full uncertainty analysis for
    each analyser
  • Statistical approach too complicated
  • Lack of available data for older sites
  • Uncertainty analysis excludes measurement
    location
  • Confusion regarding which performance parameters
    should be included.

8
VGB Proposal (1)
  • VGB supports a simplified approach whereby
    instrument certified range must be lt2.5 x ELV,
    per type certification in field trials
  • This substitutes performance testing, under the
    recognised certification schemes, for uncertainty
    analysis
  • Outcome similar to existing requirement
  • Already applies in some member states

9
Areas of Concern (2) QAL2
  • Low load factor plant should not be required to
    operate to prove the AMS
  • Similarly for a second fuel or configuration used
    for a small proportion of the time
  • Where emissions concentrations are very low, QAL2
    using SRM yields random cal functions (but may
    pass variability test!)

10
Example low measured concentrations
Source N Faniel, Laborelec
11
VGB Proposal (2)
  • VGB supports a flexible interpretation for cases
    of low load factor plant or very low emissions
    levels, including
  • Exemption of plant operating lt1250 hours per
    annum
  • Exclusion of calibration time from reported
    unavailability
  • Calibration using reference materials where SRM
    not appropriate

12
Areas of Concern (3) Calibration Range
  • Valid calibration range limited to 10 above max
    measured concentration (ys,max 10)
  • Limit is too narrow creates perverse incentive
    to maximise emissions during test (e.g.,
    deliberate burning of highest sulphur fuel)
  • Inappropriate to apply this limit to hourly
    average measurements, will repeatedly trigger
    costly QAL2

13
VGB Proposal (3)
  • VGB supports the extension of the valid
    calibrated range to 2.5 x ELV in accordance with
    the linearity test
  • This is consistent with the instrument range
    advised in the standard
  • Would allow plant to be operated normally during
    the tests
  • Calibration of plant with low emissions (lt30
    ELV) should be based on reference materials

14
Areas of Concern (4) Calibration Function
  • Where measured data is clustered at high levels,
    poor quality calibration function may result.
    Inclusion of zero values would add information
  • High measured values lead to difficulties in
    passing the variability criterion, even where R2
    correlation is close to 1.
  • Conversely, with low measured values, variability
    test may validate poor cal function

15
Example High measured concentrations
Source N Faniel, Laborelec
16
VGB Proposals (4)
  • VGB supports a clarification of the standard to
    allow inclusion of measured zero values in the
    calculation of the cal. function
  • VGB supports a flexible interpretation of the
    standard for plant with very low emissions, or
    dust monitors close to the ELV

17
Areas of Concern (5) - Peripherals
  • Variations between AMS and SRM peripheral
    readings may be due to actual differences between
    locations
  • It is unjustified to force the AMS and SRM to
    read the same by applying a QAL2-style
    calibration
  • Functional check is more appropriate
  • Calculated H2O may be more accurate than measured

18
VGB Proposals (5)
  • VGB supports the view that functional checks,
    rather than QAL2 calibrations, are appropriate
    for peripheral measurements
  • VGB recommends that where fuel composition is
    well known, calculated values of H2O may be used

19
Areas of Concern (6) QAL3
  • Control limits of analyser based on SAMS
    difficult to determine
  • Complex uncertainty analysis required. Not clear
    what parameters to include data may be
    unavailable
  • Unfair to penalise analysers with better
    performance
  • Control limit should be fixed percentage of ELV

20
VGB Proposal (6)
  • VGB supports a simplified approach that
    eliminates the need for uncertainty analysis by
    the operator, and specifies control limits as a
    fixed percentage of the ELV.
  • Auto-calibration, with recording of cumulative
    drift, should be allowed as QAL3

21
Areas of Concern (7) - AST
  • Many situations trigger a QAL2 (e.g. a change in
    fuel), in some of which an AST may be sufficient
    to verify the cal function

22
QAL2 triggers
  • On installation and every 5 (3) years
  • Change of fuel, process or abatement system
  • Modification or repair to AMS
  • AST cal function fails on validity or
    variability criteria
  • 40 of measured values outside calibration range
    over a week (or 5 over 5 weeks)

23
QAL2 triggers
  • On installation and every 5 (3) years
  • Change of fuel, process or abatement system
  • Modification or repair to AMS
  • AST cal function fails on validity or
    variability criteria
  • 40 of measured values outside calibration range
    over a week (or 5 over 5 weeks)

24
Areas of Concern (7) - AST
  • Many situations trigger a QAL2 (e.g. a change in
    fuel), in some of which an AST may be sufficient
    to verify the cal function
  • On failure of AST, temporary adjustment of cal
    function should be allowed, pending QAL2
  • On-site Cross-interference testing is onerous and
    should not be necessary where equipment is
    certified

25
Areas of Concern (7) AST
  • Functional tests could reasonably be carried out
    by operator and audited by accredited lab
  • The available 10 extension of the calibrated
    range is too limited
  • No acknowledgement of the uncertainty of the SRM,
    which may be similar to that of the AMS

26
VGB Proposal (7)
  • VGB supports
  • Use of an AST in some circumstances where a QAL2
    is currently specified
  • Flexibility in allowing operators to carry out
    functional checks
  • Explicit treatment of uncertainty of test methods

27
Conclusions
  • The standard brings welcome benefits
  • We have identified certain aspects that we
    consider impractical in implementation or
    inappropriate, or to impose unnecessary costs or
    burdens on the operator
  • We respectfully propose modification of these
    aspects and request early revision of the
    standard incorporating these proposals
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