In recent years, under the policy of promoting the unification of registered production capacity and actual production capacity, the existing cement clinker production line has been in full swing to supplement production capacity. If the cement clinker capacity conversion table attached to the previous capacity replacement method is used as a reference, it can be said to be varied. There are those who have just reached the "position", those who have warmed up, those who have made up, those who have made up, those who have not reached the "position" after making up, and those who should not have made up and are ready to make up.
Recently, a province in southwest China announced a plan to transfer the production capacity of a 3000 t/d cement clinker production line. The production capacity was previously transferred to a 5500 t/d production line of the Group in East China, and now the transferee is changed to a cement enterprise in Northwest China to supplement the existing production capacity of two production lines of the enterprise. The capacity of these two production lines is 1000 t/d and 2000 t/d respectively, and the capacity will reach 1600 t/d and 3400 t/d respectively after reduction and replacement.
According to the provisions of the Guiding Catalogue for Industrial Structure Adjustment (2024 edition), the first item listed in the restricted category of building materials is the new dry process cement clinker production line with a capacity of less than 2000 tons per day (excluding) and the cement grinding station with a capacity of less than 600000 tons per year (excluding). Obviously, one of the production lines to be transferred is a restricted production line.
The Guidance Catalogue clearly States that the restricted category is mainly backward technology, which does not meet the industry access conditions and relevant regulations, is not conducive to safe production, is not conducive to the conservation and intensive use of natural resources, is not conducive to achieving the goal of carbon peak carbon neutralization, and needs to urge the transformation and prohibition of new production capacity, technology, equipment and products. Investment in new projects falling into the restricted category shall be prohibited. Investment management departments shall not examine and approve, financial institutions shall not grant loans, and departments of natural resources, construction, ecological environment, water conservancy, market supervision, fire control and customs shall not go through relevant formalities. For the existing production capacity that belongs to the restricted category, enterprises are allowed to take measures to upgrade within a certain period of time, and financial institutions continue to support it in accordance with the principle of credit.
For restricted production lines, the policy is to allow enterprises to take measures to upgrade within a certain period of time. That is to say, production is allowed at present (however, there are many restrictions in actual production), and at the same time, we should seize the time to upgrade. Many provinces and regions have upgraded the restricted cement grinding stations and removed them from the restricted catalogue, which is called "cap removal" and conscientiously implemented the national industrial policy.
Now this restricted production line has also come to supplement the heat of production capacity, and it is still a restricted production line, which is really puzzling! The supplementary production capacity of restricted production lines is no different from the new production capacity, which is essentially no different from the new production capacity (restricted projects). The supplementary production capacity of restricted cement clinker production lines should be restricted and should not be supplemented!
浙公网安备33010802003254号