Cement Net Exclusive: Planned Ignition Production Time or Project Capacity Compliance Time?

2024-09-05 11:22:38

For new (including reconstruction and expansion) construction projects, there is a planned time for ignition and production in the capacity replacement plan, but for supplementing the capacity of the original project, it has been in production since the ignition and production, and there is no expansion, so how to plan time for ignition and production? It should be the time for re-filing (or modification) after the original project replenishes its production capacity and completes other corresponding procedures requiring the approval of relevant departments. That is to say, from this moment on, the original project is "new" compliance. The planned ignition and production time should be changed to the project capacity compliance time. It seems a bit of a revelation, but it's true.

Recently, there has been a new situation in which the production line (project) in operation is supplemented with capacity, and the capacity replacement plan is formulated to correct the "batch of small and large". Greatly "enriched" the connotation of capacity replacement.

According to the Measures for the Implementation of Capacity Replacement in the Cement and Glass Industry (2021 Edition), the capacity replacement plan mainly includes the construction project, including but not limited to the following contents: the name of the enterprise to which the construction project belongs, the design capacity, the specific location, specification, model and quantity of the proposed main equipment (production line), and the planned time of ignition and production. The format is as follows:

The above columns are obviously insufficient for the new supplementary production capacity. Therefore, in the capacity replacement plan, the local authorities added the actual approved design capacity (t/d), the supplementary capacity (t/d) or the design capacity (t/d) listed in the original filing or approval documents, and then added the supplementary capacity (t/d) (equivalent to the newly determined design capacity) and the supplementary capacity (t/d).

Recently, there are two cases of supplementary production capacity, and according to the new situation of supplementary production capacity in capacity replacement, the publicity content has been added. As follows:

For new (including reconstruction and expansion) construction projects, there is a planned time for ignition and production in the capacity replacement plan, but for the capacity of the project that has been put into production, it has been in production since the ignition and production, and there is no expansion, so how to plan time for ignition and production? It should be the time for re-filing (or modification) after the original project replenishes its production capacity and completes other corresponding procedures requiring the approval of relevant departments. That is to say, from this moment on, the original project is "new" compliance. The planned ignition and production time should be changed to the project capacity compliance time. It seems a bit of a revelation, but it's true.

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Correlation

This article is selected from Song Zhiping's book "Reform Heart Road", which describes his motivation and effect of restructuring cement in those years, and has been published by China Cement Network. Recently, there has been a call for restructuring and mergers and acquisitions in the cement industry. Reviewing this old article may have the effect of reviewing the old and learning the new, encouraging the industry to promote a new round of restructuring, and solving the persistent problems of the industry.