EIA Review Criteria for Industrial Parks ApprovedEnvironmental Impact Assessment
「EIA Review Criteria for Industrial Parks ApprovedEnvironmental Impact Assessment」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502 , 欄位標題的內容是EIA Review Criteria for Industrial Parks Approved , 欄位摘要的內容是The EPA’s Environmental Impact Assessment Committee recently approved criteria for reviewing industrial park EIAs. These criteria require that when industrial parks are developed they must include total emissions controls on air and wastewater. They also require that industrial parks have the capacity to recycle at least 70% of the water used in the park. In response to international trends toward reducing green house gas emissions, future industrial parks must also establish greenhouse gas control plans and reduction strategies.
In order to strengthen the review process of environmental impact assessments (EIA), the EPA recently established a set of guidelines for developers to follow when performing EIAs. The EPA has also endeavored to strengthen EIA review efficiency and set industry based standards for the EIA review process.
As part of this drive, the EPA’s EIA Committee recently approved criteria for performing industrial park EIAs. Even though these criteria are for internal use by the EPA, they still have an impact on the decision of whether to approve industrial park development. As such, developments are being watched closely by a wide range of interested parties.
The EPA indicated that when these criteria were developed, the EPA took into consideration the results of contracted study and the results of several recent EIA review conclusions.
According to criteria, not only must industrial parks be developed in accordance with relevant environmental regulations, they must also be in compliance with the goals of the National Environmental Plan. Furthermore, industrial parks cannot be situated in major reservoir watersheds, in drinking water source protection areas, within certain distances of drinking water collection points, in tap water source protection areas, in non-urban forest lands, or in other areas legally set off limits. Also, if the area to be developed is classified as an animal habitat or of special ecological significance, then it will have additional limits placed development activities and developers must implement protection plans. If the proposed development activity has a significant impact on national resources, then it either must be aborted or implemented only under strict criteria.
The EIA review criteria also stipulate that development of coastal trees stands used to secure soil and stop erosion should be avoided. If the development is located on a hillside, post-development forest coverage must make up at least 50% of the total area. And, development sites situated on agricultural land must set aside green-belt perimeters of at least 20 meters in width; and if the development is not compatible with surrounding agricultural activity, the green-belt must be at least 30 meters wide. Topsoil across the entire site must be protected through establishing a conservation area or green belt area.
In terms of pollution control, the criteria require industrial parks to implement total air pollution quantity control plans. If, under current circumstances, an industrial park does not comply with air quality standards or if the development of a park exceeds air quality standards, pollution offset measures should be taken. Requirements for total water pollution quantity control plans are also in place. If an industrial park’s wastewater treatment capacity is already full, then the park can only encompass non-wastewater generating firms, or stop the entry of firms. Because water provision problems often become serious points of contention for planned industrial parks, the criteria require that industrial parks recycle at least 70% of the water used. This requirement will not apply under special circumstances.
As for the international concern regarding reduction of carbon dioxide emissions, the criteria require that firms within industrial parks implement total CO2 emission control plans and strategies.
The EPA indicated that measures urging manufacturers to upgrade equipment have already been amended and were promulgated in January of this year. Industrial park developers that are moving development forward and have entered that planning and assessment stage should be aware of these requirements. Otherwise, their development plans may be rejected or returned for modification. , 欄位全文的內容是The EPA’s Environmental Impact Assessment Committee recently approved criteria for reviewing industrial park EIAs. These criteria require that when industrial parks are developed they must include total emissions controls on air and wastewater. They also require that industrial parks have the capacity to recycle at least 70% of the water used in the park. In response to international trends toward reducing green house gas emissions, future industrial parks must also establish greenhouse gas control plans and reduction strategies.
In order to strengthen the review process of environmental impact assessments (EIA), the EPA recently established a set of guidelines for developers to follow when performing EIAs. The EPA has also endeavored to strengthen EIA review efficiency and set industry based standards for the EIA review process.
As part of this drive, the EPA’s EIA Committee recently approved criteria for performing industrial park EIAs. Even though these criteria are for internal use by the EPA, they still have an impact on the decision of whether to approve industrial park development. As such, developments are being watched closely by a wide range of interested parties.
The EPA indicated that when these criteria were developed, the EPA took into consideration the results of contracted study and the results of several recent EIA review conclusions.
According to criteria, not only must industrial parks be developed in accordance with relevant environmental regulations, they must also be in compliance with the goals of the National Environmental Plan. Furthermore, industrial parks cannot be situated in major reservoir watersheds, in drinking water source protection areas, within certain distances of drinking water collection points, in tap water source protection areas, in non-urban forest lands, or in other areas legally set off limits. Also, if the area to be developed is classified as an animal habitat or of special ecological significance, then it will have additional limits placed development activities and developers must implement protection plans. If the proposed development activity has a significant impact on national resources, then it either must be aborted or implemented only under strict criteria.
The EIA review criteria also stipulate that development of coastal trees stands used to secure soil and stop erosion should be avoided. If the development is located on a hillside, post-development forest coverage must make up at least 50% of the total area. And, development sites situated on agricultural land must set aside green-belt perimeters of at least 20 meters in width; and if the development is not compatible with surrounding agricultural activity, the green-belt must be at least 30 meters wide. Topsoil across the entire site must be protected through establishing a conservation area or green belt area.
In terms of pollution control, the criteria require industrial parks to implement total air pollution quantity control plans. If, under current circumstances, an industrial park does not comply with air quality standards or if the development of a park exceeds air quality standards, pollution offset measures should be taken. Requirements for total water pollution quantity control plans are also in place. If an industrial park’s wastewater treatment capacity is already full, then the park can only encompass non-wastewater generating firms, or stop the entry of firms. Because water provision problems often become serious points of contention for planned industrial parks, the criteria require that industrial parks recycle at least 70% of the water used. This requirement will not apply under special circumstances.
As for the international concern regarding reduction of carbon dioxide emissions, the criteria require that firms within industrial parks implement total CO2 emission control plans and strategies.
The EPA indicated that measures urging manufacturers to upgrade equipment have already been amended and were promulgated in January of this year. Industrial park developers that are moving development forward and have entered that planning and assessment stage should be aware of these requirements. Otherwise, their development plans may be rejected or returned for modification. , 欄位年度的內容是2000 , 欄位月份的內容是3 , 欄位卷的內容是3 , 欄位期的內容是9 , 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Environmental Impact Assessment , 欄位標題2的內容是EIA Review Criteria for Industrial Parks Approved , 欄位檔案位置的內容是print/V3/V3-09 。
編號
502
標題
EIA Review Criteria for Industrial Parks Approved
摘要
The EPA’s Environmental Impact Assessment Committee recently approved criteria for reviewing industrial park EIAs. These criteria require that when industrial parks are developed they must include total emissions controls on air and wastewater. They also require that industrial parks have the capacity to recycle at least 70% of the water used in the park. In response to international trends toward reducing green house gas emissions, future industrial parks must also establish greenhouse gas control plans and reduction strategies. In order to strengthen the review process of environmental impact assessments (EIA), the EPA recently established a set of guidelines for developers to follow when performing EIAs. The EPA has also endeavored to strengthen EIA review efficiency and set industry based standards for the EIA review process. As part of this drive, the EPA’s EIA Committee recently approved criteria for performing industrial park EIAs. Even though these criteria are for internal use by the EPA, they still have an impact on the decision of whether to approve industrial park development. As such, developments are being watched closely by a wide range of interested parties. The EPA indicated that when these criteria were developed, the EPA took into consideration the results of contracted study and the results of several recent EIA review conclusions. According to criteria, not only must industrial parks be developed in accordance with relevant environmental regulations, they must also be in compliance with the goals of the National Environmental Plan. Furthermore, industrial parks cannot be situated in major reservoir watersheds, in drinking water source protection areas, within certain distances of drinking water collection points, in tap water source protection areas, in non-urban forest lands, or in other areas legally set off limits. Also, if the area to be developed is classified as an animal habitat or of special ecological significance, then it will have additional limits placed development activities and developers must implement protection plans. If the proposed development activity has a significant impact on national resources, then it either must be aborted or implemented only under strict criteria. The EIA review criteria also stipulate that development of coastal trees stands used to secure soil and stop erosion should be avoided. If the development is located on a hillside, post-development forest coverage must make up at least 50% of the total area. And, development sites situated on agricultural land must set aside green-belt perimeters of at least 20 meters in width; and if the development is not compatible with surrounding agricultural activity, the green-belt must be at least 30 meters wide. Topsoil across the entire site must be protected through establishing a conservation area or green belt area. In terms of pollution control, the criteria require industrial parks to implement total air pollution quantity control plans. If, under current circumstances, an industrial park does not comply with air quality standards or if the development of a park exceeds air quality standards, pollution offset measures should be taken. Requirements for total water pollution quantity control plans are also in place. If an industrial park’s wastewater treatment capacity is already full, then the park can only encompass non-wastewater generating firms, or stop the entry of firms. Because water provision problems often become serious points of contention for planned industrial parks, the criteria require that industrial parks recycle at least 70% of the water used. This requirement will not apply under special circumstances. As for the international concern regarding reduction of carbon dioxide emissions, the criteria require that firms within industrial parks implement total CO2 emission control plans and strategies. The EPA indicated that measures urging manufacturers to upgrade equipment have already been amended and were promulgated in January of this year. Industrial park developers that are moving development forward and have entered that planning and assessment stage should be aware of these requirements. Otherwise, their development plans may be rejected or returned for modification.
全文
The EPA’s Environmental Impact Assessment Committee recently approved criteria for reviewing industrial park EIAs. These criteria require that when industrial parks are developed they must include total emissions controls on air and wastewater. They also require that industrial parks have the capacity to recycle at least 70% of the water used in the park. In response to international trends toward reducing green house gas emissions, future industrial parks must also establish greenhouse gas control plans and reduction strategies. In order to strengthen the review process of environmental impact assessments (EIA), the EPA recently established a set of guidelines for developers to follow when performing EIAs. The EPA has also endeavored to strengthen EIA review efficiency and set industry based standards for the EIA review process. As part of this drive, the EPA’s EIA Committee recently approved criteria for performing industrial park EIAs. Even though these criteria are for internal use by the EPA, they still have an impact on the decision of whether to approve industrial park development. As such, developments are being watched closely by a wide range of interested parties. The EPA indicated that when these criteria were developed, the EPA took into consideration the results of contracted study and the results of several recent EIA review conclusions. According to criteria, not only must industrial parks be developed in accordance with relevant environmental regulations, they must also be in compliance with the goals of the National Environmental Plan. Furthermore, industrial parks cannot be situated in major reservoir watersheds, in drinking water source protection areas, within certain distances of drinking water collection points, in tap water source protection areas, in non-urban forest lands, or in other areas legally set off limits. Also, if the area to be developed is classified as an animal habitat or of special ecological significance, then it will have additional limits placed development activities and developers must implement protection plans. If the proposed development activity has a significant impact on national resources, then it either must be aborted or implemented only under strict criteria. The EIA review criteria also stipulate that development of coastal trees stands used to secure soil and stop erosion should be avoided. If the development is located on a hillside, post-development forest coverage must make up at least 50% of the total area. And, development sites situated on agricultural land must set aside green-belt perimeters of at least 20 meters in width; and if the development is not compatible with surrounding agricultural activity, the green-belt must be at least 30 meters wide. Topsoil across the entire site must be protected through establishing a conservation area or green belt area. In terms of pollution control, the criteria require industrial parks to implement total air pollution quantity control plans. If, under current circumstances, an industrial park does not comply with air quality standards or if the development of a park exceeds air quality standards, pollution offset measures should be taken. Requirements for total water pollution quantity control plans are also in place. If an industrial park’s wastewater treatment capacity is already full, then the park can only encompass non-wastewater generating firms, or stop the entry of firms. Because water provision problems often become serious points of contention for planned industrial parks, the criteria require that industrial parks recycle at least 70% of the water used. This requirement will not apply under special circumstances. As for the international concern regarding reduction of carbon dioxide emissions, the criteria require that firms within industrial parks implement total CO2 emission control plans and strategies. The EPA indicated that measures urging manufacturers to upgrade equipment have already been amended and were promulgated in January of this year. Industrial park developers that are moving development forward and have entered that planning and assessment stage should be aware of these requirements. Otherwise, their development plans may be rejected or returned for modification.
年度
2000
月份
3
卷
3
期
9
順序
1
倒序
2
分類
Environmental Impact Assessment
標題2
EIA Review Criteria for Industrial Parks Approved
檔案位置
print/V3/V3-09
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