This article explains how GO cancellations work, who validates Scope 2 emissions reductions, and the most common pitfalls companies face when reporting their renewable electricity consumption.
To cancel a GO means to retire the certificate and allocate the corresponding volume of renewable electricity to a final consumer. In doing so, the buyer obtains exclusive rights to the environmental benefits of the purchased energy, such as reduced emissions.
GO issuances and cancellations take place within national registries managed by organisations that are part of the Association of Issuing Bodies (AIB), which maintains, develops, and promotes the GO energy tracking system. Ecohz holds accounts in these registries to perform cancellations on behalf of corporate clients.
The information contained by cancellation statements can vary between registries. However, the most detailed will include:
Although GOs are, in principle, recognised by every AIB member country, some have specific rules. Spain, for example, does not allow the cancellation of GOs produced in other countries to cover Spanish consumption. Italy limits which entities can cancel GOs. In the Netherlands, buyers need their own accounts in the national registry.
Countries also have different rules and deadlines for GO cancellations. France, for example, requires monthly matching, meaning that GOs must be cancelled for consumption occurring in the same month they were produced.
Being aware of these particularities is crucial for ensuring renewable energy consumption is validated by auditors and reporting standards. Ecohz helps companies across Europe navigate these policy issues and carries out cancellations for customers in every European location.
While GOs document the origin of renewable energy, it is third-party organisations, auditors and, in some instances, governments that set the rules for documenting emissions reductions and verifying corporate claims.
For example, when companies disclose the sources of the electricity they consume in their annual or sustainability reports, an auditor might require proof of the electricity’s origin — which is achieved through GOs.
The European Union also has reporting requirements for companies over a certain threshold, which are currently being revised.
Most Scope 2 emissions reporting worldwide, however, is done voluntarily and is governed by a handful of organisations, including:
Most companies disclose their electricity consumption and resulting emissions using the CDP system, which, in simple terms, involves answering a questionnaire covering key aspects of renewable energy consumption. CDP then provides a score based on the credibility and consistency of the reported claims.
Buyers of Guarantees of Origin and other Energy Attribute Certificates (RECs and I-RECs among them) will, in principle, find the information they need to respond to these questions in their cancellation statements. However, the reporting process can be challenging and error prone.
CDP questionnaire section 7.30.17, used to disclose electricity usage, consists of a dozen columns where entities must provide a detailed breakdown per country or area and sourcing method, with special considerations for some locations.
Electricity consumption for the reporting year must be disclosed in MWh using up to two decimal places. GOs, however, are bought by the MWh — with no fractions available. Companies must ensure they report the exact same values for GOs and their metered consumption to avoid point deductions for inconsistency.
Not all green tariffs deliver the information corporate consumers need for reporting. If the contracts do not include GOs, it is wise to ensure they specify important data — for example, the technology, location of production, and commissioning dates of production facilities.
For first timers, reporting to CDP might entail a much bigger effort than expected. The questionnaire requires highly detailed information from every consumption point — the extent of which may only become apparent once reporting begins, potentially causing delays and missed deadlines.
Companies with multiple business units should start retrieving information early and maintain constant communication with decentralised procurement teams to avoid information bottlenecks.
CDP recognises several exemptions in renewable electricity reporting. For example, consumption occurring in countries or areas “where the default delivered electricity from the grid is 95% or more renewable and where there is no mechanism for specifically allocating renewable electricity” does not require EACs.
There is also a maximum threshold for exemptions and rules for allocating that allowance, which companies can take advantage of to boost their renewable share.
The CDP questionnaire has a special section for RE100 members that includes questions derived from the organisation’s technical criteria.
RE100 companies must observe the documentation instruments accepted by the initiative and follow its technical criteria — such as commissioning dates, market boundaries and sustainability guidelines. Ideally, ensuring compliance with these rules should start much earlier, in the energy procurement stage.
We cannot emphasise this enough: consistency is key. Small variations, missing decimals, discrepancies in data lines, and other minor mistakes will result in poorer outcomes. It is crucial to have a keen eye for detail and a system that reduces the likelihood of errors while maximising the value of your clean energy strategy.
Ecohz has extensive experience helping clients source renewable energy according to their specific requirements and delivering precise reports in line with CDP and other sustainability standards.
Our renewable energy experts guide you through every stage — from creating a clean energy strategy that considers EACs, PPAs and other sustainability solutions, to sourcing the highest-quality renewables and reporting them in a way that ensures transparency and boosts results.
There is value in details, and we use over two decades of experience in the renewable energy market to help you unlock it.