As an organisation committed to improving maritime safety and environmental sustainability, RightShip actively supports the safe and complete implementation of this international regulation.
This new regulation represents a significant change and requires a robust change management process. All stakeholders in the fuel custody chain are expected to ensure they are compliant in all respects and have made adequate preparations to ensure their chosen compliance option is safely implemented.
A range of compliance options exist and each must be evaluated carefully by the ship operator with respect to managing operational risk and safety as required by the ISM code.
This requires a comprehensive process to manage these risks through the whole supply chain, including the correct procurement, logistics and fuel management on board.
Ship operators must also ensure they complete and provide a ship-specific implementation plan well in advance of the due date to allow for familiarization and training on board and in the office. See link below for more details.
Verification of compliance will primarily be carried out by class, Flag, Port State Control and local regulatory regimes.
In instances where non-compliance with IMO2020 is discovered or reported to RightShip, such incidents will impact negatively on the vessels risk rating – particularly where a lack of proper implementation of the required compliance measures, company support and inadequate training on board is found.
It is anticipated that the (extra) electrical power required to fuel the scrubber will be provided by the auxiliary engines. This therefore does not translate into an increase in the EEDI / EVDI and will not affect a vessel’s GHG Rating.
Frequently Asked Questions: http://www.imo.org/en/mediacentre/hottopics/pages/sulphur-2020.aspx
Ship Implementation Plan: http://www.imo.org/en/OurWork/Environment/PollutionPrevention/Documents/MEPC.1-Circ.878.pdf