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A-Gas carbon credit from refrigerant recovery and SusGlobal composting offsets

In a groundbreaking move towards environmental responsibility, A-Gas, a pioneer in refrigerant lifecycle management, has received approval for Ecology Offset Credits from the Washington State Department of Ecology, a key regulatory authority in the state’s carbon market compliance. Simultaneously, SusGlobal Energy Corp. is making waves with its composting offset project in Ontario, selling Verified Emission Reductions and Removals (VERRs). 

These initiatives underscore a commitment to sustainability and innovative solutions to combat climate change.

A-Gas (US) is a trading subsidiary of A-Gas International, the world’s biggest refrigerant recovery and reclamation company. It focuses on providing environmental solutions and lifecycle management services for ozone depleting substances and global warming agents.

Revolutionizing Refrigerant Recovery Through Carbon Credits

Utilizing their Rapid Recovery on-site refrigerant recovery service and Rapid Exchange on-demand cylinder swap service, along with collaboration with distributor partners, A-Gas collected refrigerant gasses from Washington State. 

The collected gasses were then treated in A-Gas’ proprietary PyroPlas® plasma arc destruction units. It is the only technology of its kind in the U.S. approved for carbon offset generation. 

A-Gas pyroplus plasma arc destruction units

PyroPlas® ensures the cleanest end-of-life treatment, achieving a remarkable 99.9999% efficiency in destroying Ozone Depleting Substances with minimal emissions. It also has no adverse environmental impacts.

The Department of Ecology has issued 109,180 Ecology Offset Credits to A-Gas. These credits can be used by covered entities in Washington to meet their emission reduction obligations under the state’s program.

American Carbon Standard (ACR) served as the Offset Project Registry, issuing serialized Registry Offset Credits for conversion into Ecology Offset Credits. The project adhered to the California Air Resources Board Compliance Offset Protocol for Ozone Depleting Substance Projects, adopted by the Washington Department of Ecology for generating the Registry Offset Credits.

Brooke Willard, Carbon Program Director for A-Gas, expressed pride in being among the first project developers for Ecology Offset Credits. A-Gas aims to manage refrigerant lifecycles effectively, contributing to environmental protection and enhancement. 

Willard further added that:

“With the issuance of these credits, A-Gas is providing Washington organizations with a transparent mechanism to build a more sustainable future.”

A-Gas ambitiously aims to reach net zero emissions by 2035. The company also has a goal of reducing its existing emissions by 50% by 2028.

Over in Canada, a composting offset project has generated carbon credits called Verified Emission Reductions and Removals (VERRs).

Turning Waste into Gold

SusGlobal Energy Corp., an environmental, agricultural and industrial biotechnology company, has sold 3,000 VERRs as part of the SusGlobal Belleville Composting Offset Project in Ontario. The company focuses on acquiring, developing, and monetizing a portfolio of proprietary technologies in the waste to energy and regenerative product applications globally.

This new sale brings the total number of carbon credits sold by the company to an impressive 42,302. Anew Climate, formerly known as Blue Source, developed the project.

A noteworthy achievement of the project is its contribution to the increased diversion of organic waste from landfills. This significantly helps in mitigating methane generation.

Methane, a potent greenhouse gas, is 28x more effective at trapping heat energy in the atmosphere than carbon dioxide. By diverting waste from landfills, the composting offset project addresses this environmental concern, benefitting both the community and the climate.

In 2021, Canada’s waste-sector methane emissions were 21 metric tons of CO2e or 0.96 metric tons of methane. It accounts for nearly 22% of the total methane emissions in the country in 2020, as seen below. 

methane emission sources Canada
Source: Library of Parliament

The demand from municipalities to divert organic waste from landfills remains strong. Composting facilities with sustainable management practices are crucial in this waste redistribution process. 

Ontario is planning to ban food and organic waste in conventional waste sites under the Environmental Protection Act. This regulation helps unlock opportunities for waste reduction and innovative resource recovery throughout the value chain. This change is advantageous for SusGlobal, enhancing its infrastructure, assets, licenses, and capacity to produce lower-carbon options at existing facilities.

Fueling Composting for Cleaner Environment 

SusGlobal Belleville operates as an aerobic composting facility, specializing in the processing of residential source-separated organic waste and industrial, commercial, and institutional organic waste into high-quality compost. 

The facility collaborates with local municipalities, including the City of Belleville, County of Northumberland, the Municipality of Port Hope, the Township of Cavan Monaghan, and Prince Edward County, for waste collection.

Verified Emission Reductions and Removals (VERRs) associated with the composting offset project are validated by an independent third party.

Marc Hazout, Executive Chairman, President, and CEO of SusGlobal Energy Corp., expressed appreciation of this sale, saying that: 

“We are pleased with the continued amounts that Anew has marketed and sold as part of our Company’s carbon credits monetization initiative, allowing us to generate additional revenues.”

The anticipated revenue from carbon credits would drive technological advancements, boosting the expansion of composting efforts not just at the SusGlobal Belleville facility but in other municipalities across North America. This underscores the company’s commitment to continuous innovation and environmental stewardship.

A-Gas secures Ecology Offset Credits from its refrigerant recovery and SusGlobal continues to thrive in carbon credit sales. Both companies show the transformative power of corporate responsibility in reducing carbon emissions and building a sustainable future.

The post A-Gas and SusGlobal Lead the Way in Pioneer Carbon Credit Initiatives appeared first on Carbon Credits.

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Carbon Footprint

Insetting vs Offsetting: Which Actually Counts Toward Your Scope 3 Targets

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The accounting differences that decide whether your nature investment shows up in inventory, in BVCM, or nowhere at all.

The question reaches a procurement team about three weeks before the next sustainability committee meeting. Someone has read about insetting. Someone else has just signed off on an offset purchase. The CSO wants to know if the two are interchangeable. The answer is no, and the GHG Protocol Land Sector and Removals Standard is the reason why.

This article walks through what each term means at audit-grade specificity, what the standards actually say about how each gets counted, and how to decide which tool fits which target. The insetting vs offsetting question is one of the most-searched in corporate climate strategy, and one of the most poorly answered. By the end of this piece, you should be able to brief a committee on the difference without notes.

The two definitions, in plain English

Offsetting means buying carbon credits generated outside your value chain and retiring them against your residual emissions. The reduction happens somewhere else, financed by you, and the credit is the receipt.

Insetting means investing in emission reductions or removals inside your own value chain, typically with suppliers, where the reduction is directly linked to the products and services you buy. The reduction happens inside the boundary of your Scope 3 inventory, and the accounting treatment is fundamentally different.

The shorthand from the University of Oxford’s Nature-based Insetting Initiative is useful: insetting is what you do with the supply chain you have; offsetting is what you do with the supply chain you do not have.

What the GHG Protocol Land Sector Standard actually says

The GHG Protocol Land Sector and Removals Standard, finalised in 2024 after a multi-year pilot, sets the rules for how land-based emission reductions and removals enter corporate inventories. The Standard distinguishes between inventory accounting (Scope 1, 2, and 3) and project or intervention accounting (a separate methodology for crediting).

For insetting, the practical implication is that supplier-level interventions, when properly measured and attributed, can reduce your Scope 3 category 1 (purchased goods and services) emissions in your inventory. The reduction is not a credit retired against the inventory; it is a lower inventory number, period.

For offsetting, the credit is retired separately. It can be reported as a contribution toward a net-zero claim under the SBTi Beyond Value Chain Mitigation framework or as part of a VCMI Carbon Integrity claim, but it does not lower the inventory number.

A practical consequence: if your Science Based Target requires a 50% absolute reduction in Scope 3 emissions by 2030, insetting moves you toward the target. Offsetting does not. This single point of difference reshapes the procurement decision.

When insetting counts toward Scope 3 (and when it does not)

Insetting counts toward Scope 3 only when several conditions are met:

  • The intervention must occur with an entity in your value chain.
  • The emissions reduction or removal must be measured against a defensible baseline.
  • The reduction must be attributed to your share of that supplier’s output, not double-counted with other buyers.
  • It must follow the inventory accounting rules in the GHG Protocol Land Sector Standard, not the project accounting rules used to generate credits.

The most common failure mode is double counting. If your supplier sells the same reduction as a credit on the voluntary market and also reports it to you as a Scope 3 reduction, the math breaks. The Standard requires you to address this risk, typically by purchasing and retiring the supplier-issued credit as part of your inventory or by contractual provisions that prevent the supplier from selling the reduction twice.

When insetting does not count toward Scope 3: when the intervention sits with a supplier you do not buy from, when the baseline is not defensible, when the attribution is unclear, or when the documentation does not survive audit. Those cases default to Beyond Value Chain Mitigation, which is still useful but operates on a different ledger.

The procurement and supplier engagement question

Insetting is harder than offsetting. That is the unfashionable truth most buyers eventually confront. Offsetting is a transaction; insetting is a relationship.

To run an insetting program, you need supplier mapping precise enough to know which farms or facilities sit at which Scope 3 boundary. You need an engagement model that gets suppliers to participate, which usually requires multi-year commitments and shared economics. You need an MRV architecture that measures the right things and produces audit-ready documentation. And you need a contractual structure that prevents double counting and protects both sides.

The trade-off you receive in return is significant. Reductions count against your inventory rather than your residual. Supplier relationships deepen, which protects sourcing continuity. Yield and quality improvements often follow regenerative interventions, which reduces your input cost over time. And the regulatory file, under CSRD, CSDDD, EUDR, and the SBTi FLAG Guidance, is materially stronger.

Choosing the right tool for the right target

A practical decision rule. If your target is a science-based Scope 3 reduction and you operate in a FLAG sector or source FLAG commodities, insetting is the structurally correct tool. If your target is a net-zero claim that includes neutralising hard-to-abate residual emissions outside your value chain, BVCM via high-integrity offsets is the structurally correct tool. Most companies with material Scope 3 exposure need both, in different proportions, sequenced over time.

The sequencing matters. Insetting takes longer to stand up but produces a permanent reduction in the inventory. Offsetting can be transacted faster but does not change the inventory and now sits under tighter claim restrictions. Treat them as complementary tools with different jobs, not as substitutes. The Accountability Framework Initiative and the IUCN Global Standard for Nature-based Solutions both provide useful guardrails for the insetting side, with biodiversity, human rights, and benefit-sharing requirements that go beyond carbon math.

If you are mapping a Scope 3 reduction roadmap and need to scope which interventions count toward your inventory versus which sit in Beyond Value Chain Mitigation, the carbon and sustainability experts at Carbon Credit Capital can help you structure a nature-based supply chain investment program that fits your FLAG exposure, your target architecture, and your audit horizon. Schedule a consultation.

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Carbon Footprint

Net zero needs nature: a carbon credit guide

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Net zero is often described as a balancing act: cut what you can, account for the rest, and reach zero on the ledger. That framing is useful, but it leaves something out. It treats every tonne of carbon as interchangeable and every route to zero as equally sound, while the science tells a more specific story.

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Carbon Footprint

Deforestation in Malawi: causes and solutions

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Malawi has lost a striking share of its forests over the past three decades. Woodlands that once covered well over a third of the country now cover less than a quarter, and the pressure on what remains is increasing. Behind those figures sit two practical questions: what is driving the loss, and what reverses it?

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