EAUC Waste Management Seminar Anna Latham Senior Consultant .

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EAUC Waste Management Seminar Anna Latham Senior Consultant www.legalregister.co.u k

Transcript of EAUC Waste Management Seminar Anna Latham Senior Consultant .

Page 1: EAUC Waste Management Seminar Anna Latham Senior Consultant .

EAUC Waste Management Seminar

Anna Latham Senior Consultant

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Page 2: EAUC Waste Management Seminar Anna Latham Senior Consultant .

Content

• Definition of waste

• Current Legislation and guidance

• UK Waste Strategy and the Waste Hierarchy

• Forthcoming developments

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What is Waste?

• Waste Framework Directive (75/442/EEC, as amended)

“… waste shall mean any substance or object in the categories set out in Annex 1 which the holder discards or intends or is required to discard.”

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Annex 1

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Controlled Waste Regulations 1992, as amended

• Three categories of controlled wastes: • Household

• Industrial

• Commercial

• Wastes to which waste legislation applies

• Radioactive wastes outside control

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Current Legislation

• Environmental Protection (Duty of Care) Regulations 1991, as amended

• Hazardous Waste (England and Wales) Regulations 2005, as amended

• Landfill Directive

• Waste Electrical and Electronic Equipment Regulations 2006, as amended

• Site Waste Management Plan Regulations, 2008

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Duty of Care

Section 34 of Environmental Protection Act

• Keep waste so as to prevent escape from the environment• Transfer waste to a registered carrier / manger (keep copies of

licenses)• Keep records and transfer notes – correct EWC codes• Ensure waste is consigned properly (hazardous / non-hazardous)• Check that others in the waste management chain abide by the

Duty of Care• Keep records of all waste transfers in a register

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EA Public Register

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License Details

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Environmental Permitting (England and Wales) Regulations 2007

• Replace the Pollution Prevention and Control (England and Wales) Regulations 2000, as amended; and

• The Waste Management Licensing Regulations 2004

• Waste management companies will be changing over to Environmental Permits

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Controlled Waste (Registration Of Carriers and Seizure of Vehicles) Regulations 1991, as amended

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• Made under Control of Pollution (Amendment) Act 1989

• Waste carriers licensing

• Can check if a carrier is register on the Environment Agency website

• Some organisations will have registered Exemptions

• Organisations can carry their own waste (except building or demolition waste) – may change in 2009

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European Waste Catalogue (EWC)

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• Defines what wastes are classed as hazardous as per European Hazardous waste Directive (HWD) (91/689/EEC as amended by 94/31/EC)

• Implemented by the List of Wastes (England) Regulations 2005

• Hazardous wastes marked with an asterisk• Absolute entries (red) – hazardous regardless of content of dangerous

substances e.g. fluorescent tubes, computer monitors, lead-acid batteries

• Mirror entries (blue) – hazardous only if a specified threshold of dangerous substances is exceeded in the waste e.g. paint, contaminated packaging

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Guidance - WM2

http://www.environment-agency.gov.uk/subjects/waste/1019330/1217981/1384307/

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EA List of Wastes (LOW) Guide

• List of most commonly used waste descriptions and their associated EWC codes

• http://www.environment-agency.gov.uk/business/444304/444641/595811/1397154/

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Hazardous Waste Regulations

• Implement EC Hazardous Waste Directive (HWD) (91/689/EEC as amended by 94/31/EC)

• All sites producing hazardous wastes must notify themselves to the Environment Agency annually

• All documentation must have six digit EWC code and site location reference number

• Retain Waste Consignment Notes for three years

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Hazardous Waste Regulations

• Only transfer to registered waste carrier

• Waste management companies (consignee) required to send Quarterly Returns to the EA and the consigner

• Audit trail for the EA to trace waste back to the source of production

• Regulators undertaking spot checks and checking completeness of documentation

• No mixing of hazardous wasteswww.legalregister.co.uk

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Waste Management Chain

Consignor ConsigneeCarrier

Organisation producing waste

Final waste management (disposal) facility

Company transporting waste

Register with EA as a producer

Must hold waste carriers license

Must hold waste management license (Environmental Permit) www.legalregister.co.u

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Consignment Notes

• Single movement / multiple collection

• Should contain:• Unique consignment code

• Description of waste

• Carrier name

• Declaration form consignor

• Details of the consignee

• Consignee – provide EA with details of all the hazardous waste they have received every 3 months

• RETURN from consignee must be sent to consignor – detailing how waste was handled

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Consignor ConsigneeCarrier

Environment Agency

Must send details of hazardous waste received every 3 months

Must register annually

Must send returns to consignor

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SCOTLANDSpecial Waste Regulations 1996

• No mixing ban

• Purchase consignment notes from SEPA

• Single• Succession• Carriers Round

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SCOTLANDSpecial Waste Regulations 1996

• Pre-notification requirement for movements of special waste (at least three days before the expected removal date)

• Send copy of consignment note

• First and second movements must be pre-notified, but not necessary successive removals (same consignor – consignee) within a year

• Transfer notes must contain EWC codes

• No need to register with EA if you produce special waste in Scotland but export it for disposal to England or Wales

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NORTHERN IRELANDHazardous Waste Regulations (Northern Ireland) 2005

• No requirement for registration of premises

• No mixing (same as E&W)

• Consignment Notes and record keeping – same as for Scotland

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Storing waste

• Businesses can store their own waste, as long as it is for no longer than 12 months

• If waste is stored for longer than 12 months – permit may be required

• General good practice:• Use suitable containers / not damaged

• Pick location to avoid vulnerable areas

• Cover skips to avoid escape

• Label

• Don’t store incompatible wastes

• Never mix hazardous wastes

• Use containment / bunding if necessary

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Environmental Permitting (England and Wales) Regulations 2007, as amendedLandfill (Scotland) Regulations 2003, as amendedLandfill (Northern Ireland) Regulations 2003, as amended

• Implement EC Landfill Directive 99/31/EC• Main requirements:

• Certain kinds of waste can no longer be sent to landfill for disposal (e.g. non-hazardous liquid wastes and most tyres)

• Biodegradable municipal waste will be progressively diverted away from landfill

• Landfills will be classified according to whether they accept hazardous, non-hazardous or inert wastes

• Wastes must be tested before they can be landfilled (Waste Acceptance Criteria); and

• All non-hazardous waste must be treated before being landfilled

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Waste Acceptance Criteria (WAC)• All waste must be tested before landfill to ensure that it meets Waste

Acceptance Criteria (WAC)

• Three types of WAC:• lists of acceptable wastes (which do not have to be tested);

• numerical leaching limit values; and

• numerical limit values for other parameters.

• Waste Acceptance Procedures (WAP) must be used to assess the waste

• Any waste not meeting the criteria will not be accepted at landfill and must be pre-treated before landfill or alternative disposal routes found

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Pre-treatment of Non-Hazardous Waste

• Requirement of the Landfill Directive• Treatment must:

1. Be a physical, thermal, chemical or biological process including sorting;

2. Change the characteristics of the waste; and

3. it must do so in order to:– (a) reduce its volume; or

– (b) reduce its hazardous nature; or

– (c) facilitate its handling; or

– (d) enhance recovery.

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• http://publications.environment-agency.gov.uk/pdf/GEHO0207BLWJ-e-e.pdf

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• EA and NI – producers of waste must check with waste contractors if they are pre-treating before landfill

• Scotland – more emphasis on regulation via WML for waste contractors

Pre-treatment of Non-Hazardous Waste

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Landfill Tax

• Introduced under Finance Act 1996

• Tax on waste disposed of to landfill, from 1 April 2008:– Inert wastes (those which do not give off gases and do not have the

potential to pollute the groundwater) £2.50 per tonne

– Other wastes - £32 a tonne

• Reviewed every year in the Budget

• In 2008, Annual increase of £8 per tonne per year until at least 2010-11 announced (previously £3)

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Waste Electrical and Electronic Equipment (WEEE) Regulations 2006

• Implements WEEE Directive (2002/96/EC)

• Member States must achieve a collection rate of at least 4 kilograms on average per inhabitant per year to be achieved by 31 December 2006

• Recovery/reuse and recycling targets per category (by average weight of appliance) also set e.g. Large household: 80/75%; IT & consumer: 75/65%

• Producers responsible for financing re-use and recovery of WEEE

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Scope

All equipment dependent on electrical currents or electromagnetic fields10 indicative categories:

• Large household• Small household• IT and telecommunications• Consumer equipment• Lighting equipment• Electrical and electronic tools• Toys leisure & sports• Medical devices• Monitoring equipment• Automatic dispensers

Indicative, but not exhaustive list of examples in Annex IB

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Who is the producer?

“Any person who, irrespective of selling technique used (including internet), including by means of distance– Manufactures and sells his own brand

– Re-sells under his own brand

– Imports or exports (to another EU country)”

These are the people who are financially responsible for recycling WEEE

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• Approval and registration of compliance schemes

• Regulation of re-processors

Registration of producers

Compliance

Schemes

• Calculation of producer recycling responsibility

• Holds the exchange

PRODUCERS

END USERS

Send WEEE to DCF where obligated

DCF

RETAILERS

Upgrade civic amenity site network / provide take back

Clear DCFs

Send WEEE to accredited re-processor

Approved Authorised Treatment Facility

Register with a compliance scheme

Regulated by EA

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Business User Obligations

• Business users will be responsible for some historic waste

• What is Historical Waste?– Waste products placed on the market before 13 August 2005

• Historical WEEE (placed on the market before 13 Aug 2005)– If no like for like replacement the end business user is responsible for

disposal costs – If like for like replacement of equipment – supplier (producer) responsible

• New Business WEEE (placed on the market after 13 Aug 2005)– Producer responsible, unless otherwise agreed with business user

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End Users Beware!

• The Regulations allow suppliers (producers) to negotiate alternative financing arrangements – This will be a commercial decision and should form part of the supply

contract negotiating process

• Some (unscrupulous!) producers may try and discharge their recycling obligation by writing into supply contracts that their customer is responsible for re-cycling WEEE at the end of its life– Contracts must be negotiated carefully

– Purchasing Staff need to be made aware

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Changes to DoC

• Amendments under the Duty of Care made to accommodate WEEE

• Business users would have to keep proof to demonstrate that one off consignments of WEEE have been disposed of to an accredited re-processor

• Practical considerations:– Segregating WEEE from the main waste stream

– Separating WEEE which is your responsibility and a porducer / suppliers responsibility

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Storage of WEEE

• WEEE must not be stored for more than three months before it is sent for recovery

• No more than 80 cubic metres of WEEE can be stored

• WML exemption registration may be required

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Other Producer Responsibility Legislation

• Already in place for:– Packaging

– End of Life Vehicles

• Forthcoming for;– Batteries – Directive shortly to be implemented

– Tyres – proposal stage

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Radioactive Substances Act 1993

• Those keeping and using radioactive materials to register with the Regulator

• Those disposing of radioactive wastes or accumulating it for subsequent disposal to be authorised.

• The certificates of registration or authorisation will include specific detailed arrangements for dealing with the radioactive materials and a copy of this must be prominently displayed

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Site Waste Management Plans

• Site Waste Management Plan Regulations 2008

• Apply from 6th April 2008, to all construction projects worth more than £300,000

• If a project is planned before 6 April 2008 and construction work begins before 1 July 2008, you will not need to produce a SWMP

• England only - Northern Ireland, Scotland or Wales do not yet need to have a SWMP

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Client Responsibilities

• Producing the initial SWMP before construction work begins

• Appointing the principal contractor

• Passing the SWMP to the principal contractor

• Updating the SWMP at least every three months if you decide to manage the project yourself.

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Principal Contractor Responsibilities

• Obtaining relevant information from sub-contractors • Updating the SWMP at least every three months as the project

progresses • Keeping the SWMP on site during the project • Ensuring that other contractors know where the SWMP is kept • Allowing other contractors and the client access to the SWMP

during the project • Handing the completed SWMP back to the client at the end of the

project • Keeping a copy of the SWMP for two years

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Content of the Plan

• For projects estimated at between £300,000 and £500,000 (excluding VAT) the SWMP should contain details of the:– types of waste removed from the site

– identity of the person who removed the waste

– site that the waste is taken to.

• For projects estimated at over £500,000 additional information required:– a description of the waste

– site that the waste was taken to

– environmental permit or exemption held by the site where the material is taken.

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• At the end of the project, you must review the plan and record the reasons for any differences between the plan and what actually happened.

• Exemptions - Part A environmental permit and nuclear licensed sites with Integrated Waste Strategies (IWS) that include construction waste.

• Guidance: http://www.netregs-swmp.co.uk/simple-guide-20080406.pdf

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Page 48: EAUC Waste Management Seminar Anna Latham Senior Consultant .

Up coming changes in Legislation

• Review of waste framework directive

• Changes to WEEE recycling targets

• Review of waste carriers and brokers regime

• Keeping up to date is important – visit: www.legalregister.co.uk

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Page 49: EAUC Waste Management Seminar Anna Latham Senior Consultant .

The Waste Hierarchy

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Reduce

Reuse

Recycle

Recover

Disposal

Increased sustainability

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Help for organisations

• Business Resource Efficiency Programme (BREW) – under review

• Waste and Resources Action Programme (WRAP)

• Envirowise

• National Industrial Symbiosis Programme (NISP)

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Page 51: EAUC Waste Management Seminar Anna Latham Senior Consultant .

Contact Details

Anna Latham

Waterman Group

Belgrave House

47 Bank Street

Sheffield

S1 2DR

Tel: 0114 2298900

E-mail: [email protected]