Water Pollution Control to be Improved through In-depth Auditing
「Water Pollution Control to be Improved through In-depth Auditing」於資料集「Environmental Policy Monthly」由單位「行政院環境保護署」的楊先生所提供,聯繫電話是(02)23117722#2217,(02)23117722#2216,最近更新時間為:2022-01-15 01:13:03。 欄位編號的內容是350 , 欄位標題的內容是Water Pollution Control to be Improved through In-depth Auditing , 欄位摘要的內容是In the future auditing/inspection of water pollution will no longer be primarily based on sampling at effluent outfall points. A deeper approach to auditing will be taken. Future comprehensive auditing procedures will involve such steps as reviewing of pre-inspection background data and comprehensive site records, writing of detailed reports, initiating the penalization process, and construction and organization of computer database files.
In Taiwan, the major approach to inspecting effluent water quality is to perform sampling at discharge points. According to EPA analyses, from July, 1994 to the end of June, 1998, the number of audits resulting in fines totaled more than 14,000 cases. Of these, the number of fines issued for violation of effluent standards was 11,000 -- 78.5% of total cases.
In the past, control focused on end-of-pipe wastewater sampling due to its simplicity, definitiveness, and efficiency. Unfortunately, firms can easily take advantage of the lack of local-level auditing personnel by secretly discharging effluent, diluting wastewater, or burying discharge pipes. Moreover, once firms have been fined they often find reasons to question auditing procedures and use uncertainties in the audit records to petition higher government authorities to commute penalties. This process creates excessive administrative inefficiency and heavily wastes auditing efforts and administrative resources.
In response to these problems and to raise the efficiency of auditing and inspection activities, the EPA has been planning reforms to the system for some time. Draft guidelines for wastewater auditing and inspection were recently completed. Auditing will no longer be focused primarily on sampling effluent at discharge points. Sludge inspection and permit compliance review will be integrated into the auditing process.
The draft guidelines mentioned above will require that the auditing process six major parts: pre-inspection background information review, site audit, detailed report writing, initiation of penalization process, and construction and organization of computer databases.
The first step is to review pre-inspection background information. Through inspecting permitting and approval of industrial pollution characteristics and past pollution audit records, it will be possible to identify the key areas of focus for a site auditing/inspection. Next comes an in-depth audit/inspection of the site. In addition to sampling wastewater quality according to actual needs, inspectors must also make detailed records of the functioning of wastewater treatment equipment, operating procedures, and sludge analyses.
The next step is to write audit/inspection conclusions based on pre-auditing records, site inspection reports, and sample analyses. If violations are found, penalties can then be issued to firms accordingly. Finally, for the benefit of follow-on tracking and to establish a comprehensive file of pollution inspection/auditing at industrial organizations, the creation of computerized inspection databases will be emphasized.
To establish long-term tracking and auditing systems, the EPA had established a set procedures concerning major pollution source control. Through inspection sludge, determinations as to a firm’s degree of pollution reduction can be made. After long-term tracking has revealed that improvements have been made, the procedures mentioned above can be dismantled. In this way, the effectiveness of water pollution source auditing can be raised, and the normal operation of all water pollution control equipment can be assured.
Sludge inspection will become a complementary auditing skill and a key point for wastewater inspection. Under the traditional approach to inspection, wastewater judged to be “in compliance” was equated with pollution reduction or proper operation of treatment equipment. In other words, the traditional system left much room for doubt. After extensive research, the EPA adopted the concept that properly operated wastewater treatment equipment produces sludge and has therefore integrated sludge inspection into the standard approach to wastewater inspection. This change should prevent deceptive behavior such as substituting tap water or groundwater for effluent or secretly discharging wastewater. And, it should motivate firms to ensure that effluent treatment equipment is properly operated.
Future reforms of Taiwan’s audit system, in terms of the legal system, will aim at comprehensive and in-depth auditing. In terms of implementation, according to an internal timeline set by the EPA’s Bureau of Water Pollution Control, in order to support the maturation of audit personnel resources, the first stage will set the auditing of sludge from wastewater treatment equipment as first priority. , 欄位全文的內容是In the future auditing/inspection of water pollution will no longer be primarily based on sampling at effluent outfall points. A deeper approach to auditing will be taken. Future comprehensive auditing procedures will involve such steps as reviewing of pre-inspection background data and comprehensive site records, writing of detailed reports, initiating the penalization process, and construction and organization of computer database files.
In Taiwan, the major approach to inspecting effluent water quality is to perform sampling at discharge points. According to EPA analyses, from July, 1994 to the end of June, 1998, the number of audits resulting in fines totaled more than 14,000 cases. Of these, the number of fines issued for violation of effluent standards was 11,000 -- 78.5% of total cases.
In the past, control focused on end-of-pipe wastewater sampling due to its simplicity, definitiveness, and efficiency. Unfortunately, firms can easily take advantage of the lack of local-level auditing personnel by secretly discharging effluent, diluting wastewater, or burying discharge pipes. Moreover, once firms have been fined they often find reasons to question auditing procedures and use uncertainties in the audit records to petition higher government authorities to commute penalties. This process creates excessive administrative inefficiency and heavily wastes auditing efforts and administrative resources.
In response to these problems and to raise the efficiency of auditing and inspection activities, the EPA has been planning reforms to the system for some time. Draft guidelines for wastewater auditing and inspection were recently completed. Auditing will no longer be focused primarily on sampling effluent at discharge points. Sludge inspection and permit compliance review will be integrated into the auditing process.
The draft guidelines mentioned above will require that the auditing process six major parts: pre-inspection background information review, site audit, detailed report writing, initiation of penalization process, and construction and organization of computer databases.
The first step is to review pre-inspection background information. Through inspecting permitting and approval of industrial pollution characteristics and past pollution audit records, it will be possible to identify the key areas of focus for a site auditing/inspection. Next comes an in-depth audit/inspection of the site. In addition to sampling wastewater quality according to actual needs, inspectors must also make detailed records of the functioning of wastewater treatment equipment, operating procedures, and sludge analyses.
The next step is to write audit/inspection conclusions based on pre-auditing records, site inspection reports, and sample analyses. If violations are found, penalties can then be issued to firms accordingly. Finally, for the benefit of follow-on tracking and to establish a comprehensive file of pollution inspection/auditing at industrial organizations, the creation of computerized inspection databases will be emphasized.
To establish long-term tracking and auditing systems, the EPA had established a set procedures concerning major pollution source control. Through inspection sludge, determinations as to a firm’s degree of pollution reduction can be made. After long-term tracking has revealed that improvements have been made, the procedures mentioned above can be dismantled. In this way, the effectiveness of water pollution source auditing can be raised, and the normal operation of all water pollution control equipment can be assured.
Sludge inspection will become a complementary auditing skill and a key point for wastewater inspection. Under the traditional approach to inspection, wastewater judged to be “in compliance” was equated with pollution reduction or proper operation of treatment equipment. In other words, the traditional system left much room for doubt. After extensive research, the EPA adopted the concept that properly operated wastewater treatment equipment produces sludge and has therefore integrated sludge inspection into the standard approach to wastewater inspection. This change should prevent deceptive behavior such as substituting tap water or groundwater for effluent or secretly discharging wastewater. And, it should motivate firms to ensure that effluent treatment equipment is properly operated.
Future reforms of Taiwan’s audit system, in terms of the legal system, will aim at comprehensive and in-depth auditing. In terms of implementation, according to an internal timeline set by the EPA’s Bureau of Water Pollution Control, in order to support the maturation of audit personnel resources, the first stage will set the auditing of sludge from wastewater treatment equipment as first priority. , 欄位年度的內容是1999 , 欄位月份的內容是2 , 欄位卷的內容是2 , 欄位期的內容是11 , 欄位順序的內容是1 , 欄位倒序的內容是2 , 欄位分類的內容是water , 欄位標題2的內容是Water Pollution Control to be Improved through In-depth Auditing , 欄位檔案位置的內容是print/V2/V2-11 。
編號
350
標題
Water Pollution Control to be Improved through In-depth Auditing
摘要
In the future auditing/inspection of water pollution will no longer be primarily based on sampling at effluent outfall points. A deeper approach to auditing will be taken. Future comprehensive auditing procedures will involve such steps as reviewing of pre-inspection background data and comprehensive site records, writing of detailed reports, initiating the penalization process, and construction and organization of computer database files. In Taiwan, the major approach to inspecting effluent water quality is to perform sampling at discharge points. According to EPA analyses, from July, 1994 to the end of June, 1998, the number of audits resulting in fines totaled more than 14,000 cases. Of these, the number of fines issued for violation of effluent standards was 11,000 -- 78.5% of total cases. In the past, control focused on end-of-pipe wastewater sampling due to its simplicity, definitiveness, and efficiency. Unfortunately, firms can easily take advantage of the lack of local-level auditing personnel by secretly discharging effluent, diluting wastewater, or burying discharge pipes. Moreover, once firms have been fined they often find reasons to question auditing procedures and use uncertainties in the audit records to petition higher government authorities to commute penalties. This process creates excessive administrative inefficiency and heavily wastes auditing efforts and administrative resources. In response to these problems and to raise the efficiency of auditing and inspection activities, the EPA has been planning reforms to the system for some time. Draft guidelines for wastewater auditing and inspection were recently completed. Auditing will no longer be focused primarily on sampling effluent at discharge points. Sludge inspection and permit compliance review will be integrated into the auditing process. The draft guidelines mentioned above will require that the auditing process six major parts: pre-inspection background information review, site audit, detailed report writing, initiation of penalization process, and construction and organization of computer databases. The first step is to review pre-inspection background information. Through inspecting permitting and approval of industrial pollution characteristics and past pollution audit records, it will be possible to identify the key areas of focus for a site auditing/inspection. Next comes an in-depth audit/inspection of the site. In addition to sampling wastewater quality according to actual needs, inspectors must also make detailed records of the functioning of wastewater treatment equipment, operating procedures, and sludge analyses. The next step is to write audit/inspection conclusions based on pre-auditing records, site inspection reports, and sample analyses. If violations are found, penalties can then be issued to firms accordingly. Finally, for the benefit of follow-on tracking and to establish a comprehensive file of pollution inspection/auditing at industrial organizations, the creation of computerized inspection databases will be emphasized. To establish long-term tracking and auditing systems, the EPA had established a set procedures concerning major pollution source control. Through inspection sludge, determinations as to a firm’s degree of pollution reduction can be made. After long-term tracking has revealed that improvements have been made, the procedures mentioned above can be dismantled. In this way, the effectiveness of water pollution source auditing can be raised, and the normal operation of all water pollution control equipment can be assured. Sludge inspection will become a complementary auditing skill and a key point for wastewater inspection. Under the traditional approach to inspection, wastewater judged to be “in compliance” was equated with pollution reduction or proper operation of treatment equipment. In other words, the traditional system left much room for doubt. After extensive research, the EPA adopted the concept that properly operated wastewater treatment equipment produces sludge and has therefore integrated sludge inspection into the standard approach to wastewater inspection. This change should prevent deceptive behavior such as substituting tap water or groundwater for effluent or secretly discharging wastewater. And, it should motivate firms to ensure that effluent treatment equipment is properly operated. Future reforms of Taiwan’s audit system, in terms of the legal system, will aim at comprehensive and in-depth auditing. In terms of implementation, according to an internal timeline set by the EPA’s Bureau of Water Pollution Control, in order to support the maturation of audit personnel resources, the first stage will set the auditing of sludge from wastewater treatment equipment as first priority.
全文
In the future auditing/inspection of water pollution will no longer be primarily based on sampling at effluent outfall points. A deeper approach to auditing will be taken. Future comprehensive auditing procedures will involve such steps as reviewing of pre-inspection background data and comprehensive site records, writing of detailed reports, initiating the penalization process, and construction and organization of computer database files. In Taiwan, the major approach to inspecting effluent water quality is to perform sampling at discharge points. According to EPA analyses, from July, 1994 to the end of June, 1998, the number of audits resulting in fines totaled more than 14,000 cases. Of these, the number of fines issued for violation of effluent standards was 11,000 -- 78.5% of total cases. In the past, control focused on end-of-pipe wastewater sampling due to its simplicity, definitiveness, and efficiency. Unfortunately, firms can easily take advantage of the lack of local-level auditing personnel by secretly discharging effluent, diluting wastewater, or burying discharge pipes. Moreover, once firms have been fined they often find reasons to question auditing procedures and use uncertainties in the audit records to petition higher government authorities to commute penalties. This process creates excessive administrative inefficiency and heavily wastes auditing efforts and administrative resources. In response to these problems and to raise the efficiency of auditing and inspection activities, the EPA has been planning reforms to the system for some time. Draft guidelines for wastewater auditing and inspection were recently completed. Auditing will no longer be focused primarily on sampling effluent at discharge points. Sludge inspection and permit compliance review will be integrated into the auditing process. The draft guidelines mentioned above will require that the auditing process six major parts: pre-inspection background information review, site audit, detailed report writing, initiation of penalization process, and construction and organization of computer databases. The first step is to review pre-inspection background information. Through inspecting permitting and approval of industrial pollution characteristics and past pollution audit records, it will be possible to identify the key areas of focus for a site auditing/inspection. Next comes an in-depth audit/inspection of the site. In addition to sampling wastewater quality according to actual needs, inspectors must also make detailed records of the functioning of wastewater treatment equipment, operating procedures, and sludge analyses. The next step is to write audit/inspection conclusions based on pre-auditing records, site inspection reports, and sample analyses. If violations are found, penalties can then be issued to firms accordingly. Finally, for the benefit of follow-on tracking and to establish a comprehensive file of pollution inspection/auditing at industrial organizations, the creation of computerized inspection databases will be emphasized. To establish long-term tracking and auditing systems, the EPA had established a set procedures concerning major pollution source control. Through inspection sludge, determinations as to a firm’s degree of pollution reduction can be made. After long-term tracking has revealed that improvements have been made, the procedures mentioned above can be dismantled. In this way, the effectiveness of water pollution source auditing can be raised, and the normal operation of all water pollution control equipment can be assured. Sludge inspection will become a complementary auditing skill and a key point for wastewater inspection. Under the traditional approach to inspection, wastewater judged to be “in compliance” was equated with pollution reduction or proper operation of treatment equipment. In other words, the traditional system left much room for doubt. After extensive research, the EPA adopted the concept that properly operated wastewater treatment equipment produces sludge and has therefore integrated sludge inspection into the standard approach to wastewater inspection. This change should prevent deceptive behavior such as substituting tap water or groundwater for effluent or secretly discharging wastewater. And, it should motivate firms to ensure that effluent treatment equipment is properly operated. Future reforms of Taiwan’s audit system, in terms of the legal system, will aim at comprehensive and in-depth auditing. In terms of implementation, according to an internal timeline set by the EPA’s Bureau of Water Pollution Control, in order to support the maturation of audit personnel resources, the first stage will set the auditing of sludge from wastewater treatment equipment as first priority.
年度
1999
月份
2
卷
2
期
11
順序
1
倒序
2
分類
water
標題2
Water Pollution Control to be Improved through In-depth Auditing
檔案位置
print/V2/V2-11
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