IED, BAT and Derogations Richard Wood URS Leeds 22 nd May 2013.

Slides:



Advertisements
Similar presentations
Permitting Process Overview Alasdair McKellar PPC Compliance Officer Environment Agency.
Advertisements

Best Available Techniques (BAT)
EU FORMAL REGULATION – TYPES OF STANDARDS ENVIRONMENTAL QUALITY OBJECTIVES ENVIRONMENTAL QUALITY STANDARDS.
EU FORMAL REGULATION – TYPES of STANDARD MINIMUM EMISSION STANDARD (sometimes known as LIMIT VALUES) UNIFORM EMISSION STANDARD.
Industrial Emissions Directive Overview. Purpose Update IPPC Directive Update IPPC Directive Combine sectoral directives into a single text Combine sectoral.
Pagina 1 de 3 CEPSA Química QUIMICA Palos de la Frontera Jul 12 th, 2012 CEPSA QUIMICA PALOS DE LA FRONTERA IPPC DEVELOPMENT.
The Industrial Emissions Directive (IED) 2010/75/EU
IPPC and Industry By Dr. Ken Macken Dublin Regional Licensing Manager.
Industrial Pollution Control and Risk Management: IPPC Neil Emmott Environment Directorate-General 7 April 2006.
SWWMG: MARCH 2013 LEGISLATION UPDATE. UPDATES  Industrial Emissions Directive  Waste Carrier/Brokers and Dealers (reminder)  The Packaging Regulations:
Insert Filepath here International Symposium on Environmental Issues Industrial Pollution Control and Risk Management September 28 & Jack O’Keeffe.
Practical use of newly developed BAT conclusions Valts Vilnītis.
1 Short overview of the implementation of IPPC, LCP, Seveso II, Waste Landfill and Incineration directives Short overview of the implementation of IPPC,
Grupowa Oczyszczalnia Ścieków Łódzkiej Aglomeracji Miejskiej Fot: U. Czapla Practical aspects of compliance with the Integrated Permit requirements based.
IPPC IN MINING AND METALLURGY IN THE REPUBLIC OF MACEDONIA Bosko Nikov
1 Towards an improved policy on industrial emissions - Impacts on the waste management industry - Marianne Wenning European Commission, DG ENV.C.4 FEAD.
Environmental Permitting Regulations Tom Fowler – Environment Officer
The European IPPC Bureau Institute for Prospective Technological Studies (IPTS) Seville, Spain Internet E.mail : Don.
1 - The Industrial Emissions Directive (2010/75/EU)
Implementation of IED Implications for industry, particularly those involved in waste management, and the influences it has on permitting Dynes Solicitors.
TRP Chapter Chapter 4.2 Waste minimisation.
The IPPC Directive and EPER Iksan van der Putte. Objectives of IPPC (Integrated Pollution Prevention and Control) To prevent or minimise emissions To.
BAT as a main tool for minimisation of the negative impact of industrial activities Aivi Sissa Tallinn – Estonia 27 – 28 March 2008.
The Industrial Emissions Directive (IED) 2010/75/EU Gabriella Gerzsenyi & Menno Verheij European Commission, DG Environment Industrial Emissions Unit 03.
An overview of the industrial emissions Directive Richard Vincent Head of Industrial Pollution Control Department for Environment, Food and Rural Affairs.
Workshop, 12/3/2004 Banska Bystrica – SLOVAC REPUBLIC “INTEGRATED LICENCE PROCEDURE (Greek case)” Katerina Iakovidou-Anastasiadou Hellenic Ministry for.
Air Quality Governance in the ENPI East Countries Regulation of non-Annex I activities in the CR and UK Monika P ř ibylová.
Site visit COVEX Site visit Visit to COVEX, S.A Comunidad de Madrid CONSEJERIA DE MEDIO AMBIENTE, VIVIENDA Y ORDENACIÓN DEL TERRITORIO.
Economic and Cross Media aspects Bo Jansson Swedish Environmental Protection Agency
IPPC Directive state of play and future developements
Screen | 1 EPA - Drivers for Regionalisation Max Harvey Director Operations Environment Protection Authority Presentation, reference, author, date.
Review of practice of ELVs and other conditions setting in EU member states for non-Annex I installations Valts Vilnītis.
The IPPC Directive and its implementation Alexandre Paquot European Commission Environment Directorate-General Phare Capacity.
Ministry of Waters and Environmental Protection, ROMANIA 1 BERCEN 1 st Exchange program – November 2002 Croatia PROBLEMS AND SOLUTIONS IN COOPERATION.
EU Legislation in the field of environment – key developments in 2007 and rd ECENA Plenary Meeting 18 September 2008.
Discussion Topic 2 Discussions TOPIC 2: Implementation costs.
The Industrial Emissions Directive (IED) 2010/75/EU Gabriella Gerzsenyi & Menno Verheij European Commission, DG Environment Industrial Emissions Unit 03.
1IndustrialEmissionsDirective. 2 The European Parliament is discussing the Industrial Emissions Directive as adopted by the Council for the second reading.
The European IPPC Bureau Institute for Prospective Technological Studies (IPTS) Seville, Spain Internet E.mail : Don.
IPPC vs Emissions Trading Lesley James Friends of the Earth (England, Wales & N.Ireland) and the European Environmental Bureau.
1 Review of the Integrated Pollution Prevention and Control (IPPC) and National Emission Ceilings (NEC) Directives Marianne Wenning DG ENV, Head of Unit,
Legislation in the EU and the impact on existing plant Lesley Sloss FRSC FIEnvSci Principal Environmental Consultant
3rd BERCEN Exchange Programme, Prague WASTE CONDITIONS IN ENVIRONMENTAL PERMITS Mrs. Marianne Lindström, Finnish Environmental Institute,
Assessment of options to streamline legislation on industrial emissions IPPC Review Stakeholder Hearing 4 May 2007 Caspar Corden Entec UK Limited.
David Morgan, CPI, Presentation to xxxxxx, 28 March 2008 IED Joint Seminar, Imperial College Sept 11 David Morgan, CPI, Presentation to xxxxxx, 28 March.
REVISION OF THE IPPC DIRECTIVE  DIRECTIVE ON INDUSTRIAL EMISSIONS.
Responsible Care ‘you can’t live without us’ Responsible Care Environmental legislation in Europe- is it a barrier to the Circular Economy? PRESENTATION.
1 Short overview of the implementation of IPPC, LCP, Seveso II, Waste Landfill and Incineration directives Short overview of the implementation of IPPC,
The current legal situation
1 Review of the IPPC Directive and related legislation Second Meeting Of Working Group E On Priority Substances 17 October 2007 Filip FRANCOIS – DG ENV.
1 Overview of the Proposal for a Directive on industrial emissions (IPPC) Keir McAndrew - European Commission, DG ENV.C.4 - Industrial Emissions, ozone.
24 Sept. 2009, Sibiu1 Towards effective Industrial Emission Prevention & Reduction: -Views of NGO on state of play IED- (with focus on BAT and LCP) Christian.
Workshop on Introducing integrated pollution control system – Kiev, 25 – 26 January, European IPPC Bureau Main conditions for forming the integrated.
Introduction to new projects relevant for the IPPC review - Advisory Group 26 October.
Ministry for Ecology, Energy, Sustainable Development and Sea in charge of Green Technologies and Climate Negotiations
IPPC Permit Procedure in the UK Kiev, 26 January 2011 Alex Radway Senior Advisor Environment Agency for England & Wales, United Kingdom.
Integrated and Planned Enforcement of Environmental Law Phare Twinning Project CZ03/IB/EN/01 1 The IPPC Directive Introduction to the philosophy Rob Kramers.
IPPC A general overview Nigel Barraclough Policy Adviser Industrial Pollution Control Branch Air and Environment Quality Division. Taiwanese Environmental.
Introduction to the philosophy
BMRA Legislative Policy Group – Shredder Sub Group
MJAC Founded 1928 December 2016
BAT - BREF Their scope Rob Kramers Senior advisor InfoMil.
First position of the Belgian industry about the
Content of the presentation
IPPC and refineries: England and Wales
The IED: Industrial Emissions Directive DG ENV. C
IPPC Review Stakeholder Hearing
Towards an improved policy on industrial emissions Third Meeting Of Working Group E On Priority Substances 3 March 2008.
Industrial Emissions Directive Targeted stakeholder survey
WFD CIS Working Group Meeting Brussels, 4/4/2019
Presentation transcript:

IED, BAT and Derogations Richard Wood URS Leeds 22 nd May 2013

IED, BAT and Derogations – 22 nd May Industrial Emissions Directive

IED, BAT and Derogations – 22 nd May 2013 Industrial Emission Directive Merges the IPPC Directive, Large Combustion Plant Directive, Waste Incineration Directive and others Sets out the basis of the application of BAT (Best Available Techniques) to prevent and, where not possible, minimise environmental impacts from specified activities BAT is set at a European level through the BREF documents and formally adopted ‘BAT Conclusions’ Implemented in the UK through the Environmental Permitting Regulations

IED, BAT and Derogations – 22 nd May 2013 IED – Application in UK Law The Environmental Permitting (England and Wales) (Amendment) Regulations 2013 The Pollution Prevention and Control (Scotland) Regulations 2012 The Pollution Prevention and Control (Industrial Emissions) Regulations (NI) 2012 These Regulations transpose the requirements of the Industrial Emissions Directive (IED)

IED, BAT and Derogations – 22 nd May 2013 Basic compliance requirements IED applies to all new installations, or new plant immediately All existing Installations will be the subject of IED from 7 January 2014 Operators of newly listed activities must be compliant with IED by 7 July 2015 Large combustion plants must comply by 1 January 2016 To implement IED requirements the existing environmental permitting regimes should require only administrative changes for the majority of extant permits Major changes to operations may be expected in implementing BAT ELVs and Conclusions

IED, BAT and Derogations – 22 nd May 2013 IED New/Altered Activities (1) 6

IED, BAT and Derogations – 22 nd May 2013 IED – New/Altered Activities (2)

IED, BAT and Derogations – 22 nd May 2013 Waste Activities – Key Changes Specific changes to certain waste activity definitions – several new activities: Hazardous waste recovery activities - solvent reclamation/regeneration, biological treatment and physico-chemical treatment Disposal of non-hazardous waste with a capacity exceeding 50 tonnes per day Recovery, or a mix of recovery and disposal, of non-hazardous waste with a capacity exceeding 75 tonnes per day Temporary storage of hazardous waste with a total capacity exceeding 50 tonnes where the waste was not generated on site Independently operated waste water treatment plants which receive effluent from Part A(1) or Part A(2) activities are now a listed Activity

IED, BAT and Derogations – 22 nd May 2013 Site Condition Assessments Site condition assessments will need detailed baseline data where a risk of contamination of soils or groundwater exist EA will be reviewing all Existing Site Condition Assessments and baselines to ensure that sufficient depth of information is present to allow effective review of site closure documents prior to permit surrender Key gaps o Site history o Suitability of monitoring determinands in relation to the risk posed by the installation o Robustness of baseline data – Insufficient number of samples

IED, BAT and Derogations – 22 nd May BAT, BAT-AELs and Derogations

IED, BAT and Derogations – 22 nd May 2013 What is BAT? BAT = Best Available Techniques Set out in the BAT Reference Documents (BREF), covering all sectors identified within the IED including combustion Sets target Emission Limit Values for pollutants depending on plant type and size EA base their Sector Guidance (e.g. EPR 1.01, EPR 5.01) upon the outcomes of this document BREFs are reviewed after around 6-8 years, and adoption following revision is normally around 2 years following initiation of review BAT is not prescriptive – operators can put forward alternatives that achieve at least an equivalent level of environmental protection, but requires rigorous justification Justifications will be appended to Permits and be visible in the public domain and available to scrutiny Also take into account cost, energy use, accident risk, waste generation and other cross-media effects when considering options

IED, BAT and Derogations – 22 nd May 2013 BAT in the IED BAT definitions are being revised to provide BAT Conclusions and Associated Emission Limits (AELs) documents BAT-AELs are emission limits that should be achievable with the application of the recognised techniques for controlling pollution Regulator will now look to set permit limits based on BAT-AELs Installations must comply with these requirements within 4 years of publication of BAT conclusions Presumed compliance with BAT Derogations to BAT can be achieved, but require very robust justifications, and will be available to public and European Union scrutiny Many clients are undertaking BAT compliance reviews to develop on-going compliance and investment strategies

IED, BAT and Derogations – 22 nd May 2013 BAT Reference Documents (BREFs) Best Available Techniques Reference Document Adopted Document Formal draft/update Estimated Review Start Common Waste Water and Waste Gas Treatment/ Management Systems in the Chemical SectorBREF ( )D2 ( ) Economics and Cross-media EffectsREF ( ) Ferrous Metals Processing IndustryBREF ( ) Review started Large Volume Organic Chemical IndustryBREF ( )MR ( ) Management of Tailings and Waste- rock in Mining ActivitiesBREF ( ) Manufacture of Glass BATC ( ) BREF ( ) Non-ferrous Metals IndustriesBREF ( )D3 ( ) Waste IncinerationBREF ( ) Waste Treatments IndustriesBREF ( ) 2013 Wood-based Panels Production - MR ( )

IED, BAT and Derogations – 22 nd May 2013 Derogations Some scope to deviate from BAT-AELs – known as derogations To consider derogation regulator must be provided with a justification that meeting the BAT-AEL would lead to disproportionally higher costs compared to the environmental benefits due to:- the geographical location of the installation; the local environmental conditions of the installation; or the technical characteristics of the installation To justify the disproportionate costs the operator must address the extra costs in a transparent and systematic manner Operators should attempt to place a monetary value on the environmental benefits which would result from preventing the excess emission Cannot apply for derogation on ELVs that are explicitly set within the IED e.g. Large Combustion Plant or Waste Incineration

IED, BAT and Derogations – 22 nd May 2013 Case study – Container Glass Sector Revised BREF adopted March 2012 – Have until March 2016 to implement new BAT AELs Slight tightening of NOx limits, plus lower SO2 and dust limits Abatement plant updates could cost millions of pounds dependent upon techniques applied URS has reviewed application of primary and secondary control techniques for compliance with the revised BREF using options appraisal and cost-benefit assessment (CBA)

IED, BAT and Derogations – 22 nd May 2013 Options Appraisals and CBAs for derogation Review options available under BREF to achieve new BAT-AELs e.g. Primary measures (control at source) Secondary measures (abatement e.g. Selective Catalytic Reduction for NOx) Assess environmental impact of current and potential options EA H1 Assessment Detailed dispersion modelling Determine cross-media effects; e.g. high energy use, generation of hazardous waste or other emissions Establish capital and annual operating costs for each option Derive Equivalent Annual Costs (EAC) for each option to allow comparison Review against improvement in environmental impact (e.g. £/te or kg pollutant removed)

IED, BAT and Derogations – 22 nd May 2013 Example CBA – Glass Sector Capital costs include cost for installation, including civils etc Operating costs cover gas & electricity use, cost of ammonia for SCR, replacement of SCR catalyst etc Other issues include: H&S risks from ammonia storage; and Indirect emissions from ammonia production & additional electricity use

IED, BAT and Derogations – 22 nd May 2013 Derogation Application No fixed approach as yet, and can be dealing with EA/SEPA/NIEA/Local Authorities depending upon regulator DEFRA guidance available: regulations-guidance-on-part-a-installations Need to submit a proposal for derogation with robust justification, including consideration of effect of excess emission on the locality (e.g. effects on ambient air concentrations or impact upon receiving waters) Regulator will assess to ‘ensure that no significant pollution is caused and that a high level of protection of the environment is achieved’ Derogation is attached as an annex to the Permit, including the justification for the derogation. Will be reviewed as part of the permit periodic review Can get temporary (<9 months) derogation for testing ‘emerging techniques’

IED, BAT and Derogations – 22 nd May 2013 Summary IED applies to new installations now, and existing installations from Jan 2014 Any changes to existing installations will be subject to the changes implemented by IED BAT justification against the sector BREF is a key component of any installation change Even if no change at installation – expectation is for environmental control to meet BAT set out in the BREF within 4 years of BREF adoption Be aware of the BREF revision process for your sector Plan in environmental assessment against BAT early, as part of any change process

IED, BAT and Derogations – 22 nd May Any Questions?

IED, BAT and Derogations – 22 nd May 2013 Contact Details Richard Wood MA (Cantab), MSc Principal Consultant, Transactions & Compliance Environmental Liabilities Management URS Infrastructure and Environment UK Limited West One, Wellington Street, Leeds. LS1 1BA. United Kingdom Direct: +44 (0) Fax: +44 (0) Mobile: +44 (0)