The
E.M.P (Environmental Management Program/Plan)
The
EMP is commonly established to ensure prompt action on measures desired to achieve
or comply to certain environmental requirements or objectives. In
achieving environmental requirement, such as ‘Terms and Conditions’ of an E.I.A
approval, is widely seen in the construction industry involving mega projects
such as highways, railways, ports, land-reclammation etc. This serves as a
planning tool to execute those legally based specific requirements. On the
other hand, in ISO14001
Environmental Management System (EMS), clause 4.3.3 stipulates the
requirement to set objectives, targets and program (EMP) for any organization
which adopt the EMS, as means of environmental continual improvement. Hence,
the redundancy of this term seems to have confused several parties, except,
those who are in organizations subscribing to the EIA and at the same time
certified ISO14001. Also, the term EIA
is NOT referring to the Aspects’ Impact Evaluation task conducted
in screening for Significant Environmental Aspects as performed in establishing
ISO14001 EMS! So, in ISO14001 please use the term ‘evaluation’ and not ‘assessment’.
Delightfully, in this write-up I’ll discuss both EMPs; one for the EIA compliance
and the other for EMS ISO14001. Enjoy it.
|  | 
| 
First of all, not all projects are subjected to
  the EIA (Environmental Impact Assessment) requirement. The EMP is one chapter
  of the EIA report. In general, an approved EIA report means that its EMP is
  accepted by the governing agency. Nonetheless, additional requirement may be
  imposed in the EIA Approval’s ‘terms
  and conditions’ issued by the approving agency. Project activities that
  requires EIA reports are listed in the law, namely; Environmental Quality (Prescribed
  Activities) (Environmental Impact Assessment) Order, 1987; as
  follows; | 
| 
Order-2, Environmental Quality (Prescribed
  Activities) (Environmental Impact Assessment) Order, 1987. The ‘Schedule’. | ||||
| 
Agriculture | 
a)    
  Land development
  schemes covering an area of 500 hectares or more to bring forest land into
  agricultural production. 
b)    
  Agricultural
  programmes necessitating the resettlement of 100 families or more. 
c)     
  Development of agricultural
  estates covering an area of 500 hectares or more involving changes in types
  of agricultural use. | |||
| 
Airport | 
a)    
  Construction of
  airports (having an airstrip of 2,500 metres or longer). 
b)    
  Airstrip
  development in state and national parks.  | |||
| 
Drainage and irrigation | 
a)     
  Construction of
  dams and man-made lakes and artificial enlargement of lakes with surface
  areas of 200 hectares or more. 
b)     
  Drainage of
  wetland, wild-life habitat or virgin forest covering an area of 100 hectares
  or more. 
c)      
  Irrigation schemes
  covering an area of 5,000 hectares or more. | |||
| 
Land reclamation | 
Coastal reclamation involving an area of 50
  hectares or more. | |||
| 
Fisheries | 
a)    
  Construction of
  fishing harbours. 
b)    
  Harbour expansion
  involving an increase of 50 percent or more in fish landing capacity per
  annum. 
c)     
  Land based
  aquaculture projects accompanied by clearing of mangrove swamp forests
  covering an area of 50 hectares or more. | |||
| 
Forestry | 
a)    
  Conversion of hill
  forest land to other land use covering an area of 50 hectares or more. 
b)    
  Logging or
  conversion of forest land to other land use within the catchment area of
  reservoirs used for municipal water supply, irrigation or hydro-power
  generation or in area adjacent to state and national parks and national
  marine parks. 
c)     
  Logging covering an
  area of 500 hectares or more. 
d)    
  Conversion of
  mangrove swamps for industrial, housing or agricultural use covering an area
  of 50 hectares or more. 
e)     
  Clearing of mangrove
  swamps on islands adjacent to national marine parks. | |||
| 
Housing | 
Housing development covering an area of 50
  hectares or more. | |||
| 
Industry | 
a)    
  Chemical | 
Where production capacity of each product or of
  combined products is greater than 100 tonnes/day | ||
| 
b)    
  Petrochemicals | 
All sizes | |||
| 
c)     
  Non-ferrous | 
Primary smelting; 
Aluminium – all sizes. 
Copper – all sizes. 
Others – producing 50 tonnes/day and above of
  product. | |||
| 
d)    
  Non-metallic | 
Cement | 
For clinker throughput of 30 tonnes/hour and
  above. | ||
| 
Lime | 
100 tonnes/day and above burnt lime rotary kiln
  or 50 tonnes/day and above vertical kiln. | |||
| 
e)     
  Iron and steel | 
-         
  require iron ore as
  raw materials for production greater than 100 tonnes/day or 
-         
  using scrap iron as
  raw materials for production greater than 200 tonnes/day. | |||
| 
f)       
  Shipyards | 
Dead Weight Tonnage greater than 5,000 tonnes. | |||
| 
g)    
  Pulp and paper | 
Production capacity greater than 50 tonnes/day. | |||
| 
Infrastructure | 
a)       
  Construction of
  hospitals with outfall into beachfronts used for recreational purposes. 
b)       
  Industrial estate
  development for medium and heavy industries covering an area of 50 hectares
  or more. 
c)       
  Construction of
  expressways. 
d)       
  Construction of
  national highways. 
e)       
  Construction of new
  townships. | |||
| 
Ports | 
a)    
  Construction of
  ports. 
b)    
  Port expansion
  involving an increase of 50% or more in handling capacity per annum. | |||
| 
Mining | 
a)    
  Mining of minerals
  in new area where the mining lease covers a total area in excess of 250
  hectares. 
b)    
   
c)     
  Sand dredging
  involving an area of 50 hectares or more | |||
| 
Petroleum | 
a)    
  Oil and gas fields
  development. 
b)    
  Construction of
  off-shore and on-shore pipelines in excess of 50km in length. 
c)     
  Construction of oil
  and gas separation, processing, handling and storage facilities. 
d)    
  Construction of oil
  refineries. 
e)     
  Construction of
  product depots for the strorage of petrols, gas or diesel (excluding service
  stations) which are located within 3 km of any commercial, industrial or
  residential areas and which have a combined storage capacity of 60,000
  barrels or more. | |||
| 
Power generation and transmission | 
a)    
  Construction of
  steam generated power stations burning fossil fuels and having a capacity of
  more than 10 megawatts. 
b)    
  Dam and
  hydro-electric power schemes with either or both of the following; 
1) dams over 15m high and ancillary structures covering a total area
  in excess of 40 hectares; 
2) reservoirs with a surface area in excess of 400 hectares. 
c)     
  Construction of
  combined cycle power stations. 
d)    
  Construction of
  nuclear fuelled power stations. | |||
| 
Quarries | 
Proposed quarrying of aggregates, limestones,
  silica, quartzite, sandstone, marble and decorative building stone within 3
  km of ant existing residential, commercial or industrial areas, or any area
  for which a license, permit or approval has been granted for residential,
  commercial or industrial development. | |||
| 
Railways | 
a)    
  Construction of new
  routes. 
b)    
  Construction of
  branched lines. | |||
| 
Transportation | 
Construction of Mass Rapid Transport projects. | |||
| 
Resort and recreational development | 
a)    
  Construction of
  coastal resort facilities or hotels with more than 80 rooms. 
b)    
  Hill station resort
  or hotel development covering an area of 50 hectares or more. 
c)     
  Development of
  tourist or recreational facilities in national parks. 
d)    
  Development of
  tourist or recreational facilities on islands in surrounding waters which are
  gazetted as national parks. | |||
| 
Waste treatment and disposal | 
a)    
  Toxic and hazardous
  waste. 
1)     
  Construction of
  incineration plant. 
2)     
  Construction of
  recovery plant (off-site). 
3)     
  Construction of
  wastewater treatment plant (off-site). 
4)     
  Construction of
  secure landfill facility. 
5)     
  Construction of
  storage facility (off-site) 
b)    
  Municipal Solid
  Waste. 
1)     
  Construction of
  incineration plant. 
2)     
  Construction of
  composting plant. 
3)     
  Construction of
  recovery/recycling plant. 
4)     
  Construction of
  municipal solid waste landfill facility. 
c)     
  Municipal Sewage 
1)     
  Construction of
  wastewater treatment plant. 
2)     
  Construction of
  marine outfall. | |||
| 
Water supply | 
a)   
  Construction of
  dams or impounding reservois with a surface area of 200 hectares or more. 
b)   
  Groundwater
  development for industrial, agricultural or urban water supply of greater
  than 4,500 m3 per day. | |||
| 
Back to the EMP issue. So, how to develop an EMP after the EIA report
  is approved by the Department of Environment? My professional advice is; to ‘slot-in’
  the EIA terms and conditions or ‘mitigation measures’ into the project’s detailed
  progress planning. 
·        
  Let the overall project planning serves as a
  base for the EMP formulation; Rationale: the EIA mitigation and the EIA’s ‘terms
  and conditions of aproval’ don’t normally apply exclusively to each single
  step of the project. Sometimes a single requirement may be applicable to
  several phases, for example, as in the management of Scheduled Wastes, environmental
  measurements, samplings, monitoring etc. 
·        
  Study the EIA terms and conditions carefully
  and classify each requirement according to the project’s phases; 
·        
  Insert specific EIA terms and conditions into
  the respective steps of the related construction phases. 
·        
  Make sure the overall Project Progam addresses;
  what to do, who does what, when, how, and how much cost, and current status; 
·        
  In reality, we need to anticipate some ‘misses’
  in adhering to these steps, so, a reliable contingency step or ‘Plan-B’ so to
  speak, is useful. | 
| 
EMP compliance is all about prompt execution and implementation.
  And, in many cases, at the end of each phase of the project, one or several Post EIA Audit
  is required to justify the EMP’s fullfillment. A Competent Environmental Auditor who
  are registered eith the DOE may be required to serve as a 3rd party to verify
  this. In practice, they may conduct a site review and endorse your internal
  report to serve this requirement, otherwise, they’d write an exclusive report.
  I’d display an example of EIA aproval in my other post and explain this
  further.  | 
| 
In EMS ISO14001 an EMP is a sub-element of clause 4.3.3. An EMS has
  no direction without it.  | ||||||||||||||||||||||||||||||
|  | ||||||||||||||||||||||||||||||
| 
What the
  standard says: 
The
  organization shall establish, implement and maintain documented environmental
  objectives and targets, at relevant functions and levels within the
  organization.The objectives and targets shall be measurable, where
  practicable, and consistent with the environmental policy, including the
  commitment to prevention of pollution, to compliance with applicable legal
  requirements and with other requirements to which the organization subscribe,
  and to continual improvement. When establishing and reviewing its objectives
  and targets, an organization shall take into account …the legal requirements
  and other requirements to which the organization subscribe, and its
  significant environmental aspects. It shall also consider its technological
  options, its financial, operational and business requirements, and the views
  of interested parties. The organization shall establish, Implement and
  maintain a programme(s) for achieving its objectives and targets. | ||||||||||||||||||||||||||||||
| 
An example of the
  simplest EMP for ISO14001 is illustrated below. In practice I personally do
  not recommend the use of percentages if a form of numbers is preferred.
  Quantitative targets should consider the use of ‘normalized data’ as I
  introduced in another post titled: ISO14001 Tips –
  Environmental Aspects’ Data. | ||||||||||||||||||||||||||||||
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Finally, I hope the
  difference between the two kinds of EMPs are clearly understood.  | 


 
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