260308natural_england_eir_request_-_tees_maintenance_dredging
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| 260308natural_england_eir_request_-_tees_maintenance_dredging [2026/08/02 14:58] – nefcadmin | 260308natural_england_eir_request_-_tees_maintenance_dredging [2026/09/16 21:20] (current) – nefcadmin | ||
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| + | ===== 260308Natural England EIR Request - Tees Maintenance Dredging ===== | ||
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| + | ===== Summary ===== | ||
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| + | This EIR was to discover whether the appropriate environmental assessments of the dredging operations had involved consulations with Natural England. | ||
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| + | No evidence of consultations has been reported. | ||
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| + | - PD Ports has not consulted NE on the impacts of the operations of dredging on protected sites etc. | ||
| + | - PD Ports have not consulted NE on TSHD overflow and contaminant recirculation. | ||
| + | - PD Ports have not consulted NE on TSHD dredging operation within the estuary on foraging. | ||
| + | - Water framework directive I should approach the Environment Agency. | ||
| + | - NE advised MMO to ensure cumulative impacts of all dredging within the River Tees were considered, I can only find evidence with respect to the disposal operation not the dredging operations. | ||
| + | - NE not consulted on site specific contaminants. | ||
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| + | Relevant recommendations made in [[this> | ||
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| + | **//Likely significant effect, appropriate assessment required// | ||
| + | |||
| + | //Natural England' | ||
| + | Justice of the European Union).// | ||
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| + | //For this reason, we advise that on the basis of the information supplied that the application may have a likely significant effect on these sites. These measures therefore need to be formally checked and confirmed by your Authority, as the competent authority, via an appropriate assessment, in accordance with the Conservation of Habitats & Species Regulations 2017 (as amended).// | ||
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| + | Explicitly states disposal is not in SSSI, however all dredging is in SSSI which reinforces the statements above. | ||
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| + | **....we encourage the MMO to take a cautious approach when considering activities within the Tees which may mobilise contaminated sediment ....** | ||
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| + | //Natural England defer to Cefas and the Environment Agency for further detailed advice on contaminated sediments. We acknowledge that Cefas will likely be consulted on any sediment sampling results, however we would like to take the opportunity to advise that you ensure sufficient and adequate analysis and assessment of impacts of contaminants and pollutants within sediments is carried out down to the lowest levels of proposed dredging before commencement of works. If hazardous levels of contaminants are discovered then methods to limit their release and spread during the project, to the wider area will need to be considered. If safer methods cannot be established then mitigation for any potential damage to surrounding ecosystems must be considered. Natural England would like to be kept informed and have an opportunity to provide further advice, particularly should the project methodology be amended following sample analysis and assessment.// | ||
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| + | //We draw the MMOs attention to the Supplementary Advice on Conservation Objectives for the Teesmouth and Cleveland Coast SPA which contains a target as follows “Reduce aqueous contaminants to levels equating to High Status according to Annex VIII and Good Status according to Annex X of the Water Framework Directive, avoiding deterioration from existing levels.”// | ||
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| + | I have found no evidence that the MMO or PD Ports carried out any assessment of the impact of the contaminated sediments mobilisation caused by dredging on the SSSI, aside from in relation to disposal at sea. | ||
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| + | NE further stressed need for caution in [[this> | ||
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| ===== Request ===== | ===== Request ===== | ||
| Line 9: | Line 46: | ||
| Please provide all information, | Please provide all information, | ||
| - | 1. Impacts of Extraction and Disposal | + | ==== 1. Impacts of Extraction and Disposal |
| Request 1.1: Whether the Tees Maintenance Dredge Protocol (MDP) Baseline Document (dated May 20, 2025), which justifies the environmental safety of dredging by categorizing it as "part of the baseline" | Request 1.1: Whether the Tees Maintenance Dredge Protocol (MDP) Baseline Document (dated May 20, 2025), which justifies the environmental safety of dredging by categorizing it as "part of the baseline" | ||
| Line 15: | Line 52: | ||
| Request 1.2: estuarine plume modelling, or the lack thereof, for the inner reaches (Reaches 1-9 + Seaton Channel + Teesport) of the Tees estuary; | Request 1.2: estuarine plume modelling, or the lack thereof, for the inner reaches (Reaches 1-9 + Seaton Channel + Teesport) of the Tees estuary; | ||
| - | 2. TSHD Overflow and Contaminant Recirculation | + | ==== 2. TSHD Overflow and Contaminant Recirculation |
| + | |||
| + | The MDP confirms the use of TSHDs with "green valves." | ||
| Request 2.1: the "Fine Particle Enrichment" | Request 2.1: the "Fine Particle Enrichment" | ||
| Line 21: | Line 60: | ||
| Request 2.2: the risk of this " | Request 2.2: the risk of this " | ||
| - | 3. Impact on Foraging Interests (Common Terns) | + | ==== 3. Impact on Foraging Interests (Common Terns) |
| Common Terns forage over the entire length of the River Tees. The MDP justifies safety by stating re-suspension is limited in "sandy areas." | Common Terns forage over the entire length of the River Tees. The MDP justifies safety by stating re-suspension is limited in "sandy areas." | ||
| Line 27: | Line 66: | ||
| Request 3.1: the impact of TSHD overflow plumes in the silty upper reaches (Reaches 1-5) on the foraging success of SPA-interest bird species. | Request 3.1: the impact of TSHD overflow plumes in the silty upper reaches (Reaches 1-5) on the foraging success of SPA-interest bird species. | ||
| - | 4. Water Framework Directive | + | ==== 4. Water Framework Directive |
| The Tees Transitional water body is currently failing for chemicals including PBDEs and mercury. | The Tees Transitional water body is currently failing for chemicals including PBDEs and mercury. | ||
| Line 33: | Line 72: | ||
| Request 4.1: Water Framework Directive (WFD) Recovery: whether remobilisation of these toxins during dredging is a barrier to achieving "Good Ecological Potential" | Request 4.1: Water Framework Directive (WFD) Recovery: whether remobilisation of these toxins during dredging is a barrier to achieving "Good Ecological Potential" | ||
| - | 5. Cumulative Impacts | + | ==== 5. Cumulative Impacts |
| Request 5.1: the cumulative impact of maintenance dredging alongside major capital projects, such as the South Bank Quay and Northern Gateway Container Terminal (NGCT), on the estuary' | Request 5.1: the cumulative impact of maintenance dredging alongside major capital projects, such as the South Bank Quay and Northern Gateway Container Terminal (NGCT), on the estuary' | ||
| - | 6. Site-Specific Industrial Markers | + | ==== 6. Site-Specific Industrial Markers |
| Given the pyridine controversy of 2021-2022, | Given the pyridine controversy of 2021-2022, | ||
| Line 61: | Line 100: | ||
| Please provide all information, | Please provide all information, | ||
| - | **1. Impacts of Extraction and Disposal** | + | ==== 1. Impacts of Extraction and Disposal |
| **Request 1.1: Whether the Tees Maintenance Dredge Protocol (MDP) Baseline Document (dated May 20, 2025), which justifies the environmental safety of dredging by categorizing it as "part of the baseline" | **Request 1.1: Whether the Tees Maintenance Dredge Protocol (MDP) Baseline Document (dated May 20, 2025), which justifies the environmental safety of dredging by categorizing it as "part of the baseline" | ||
| Line 73: | Line 112: | ||
| We can confirm that we hold no records of advice, correspondence, | We can confirm that we hold no records of advice, correspondence, | ||
| - | **2. TSHD Overflow and Contaminant Recirculation** | + | ==== 2. TSHD Overflow and Contaminant Recirculation |
| **The MDP confirms the use of TSHDs with "green valves." | **The MDP confirms the use of TSHDs with "green valves." | ||
| Line 92: | Line 131: | ||
| NE role and remit is focused upon designated sites and species. As eels are not a designated species for the relevant sites at the Tees Estuary, we have not provided advice on this species. NE would defer to the Environment Agency (EA) for matters relevant to eels. | NE role and remit is focused upon designated sites and species. As eels are not a designated species for the relevant sites at the Tees Estuary, we have not provided advice on this species. NE would defer to the Environment Agency (EA) for matters relevant to eels. | ||
| - | **3. Impact on Foraging Interests (Common Terns)** | + | ==== 3. Impact on Foraging Interests (Common Terns) |
| **Common Terns forage over the entire length of the River Tees. The MDP justifies safety by stating re-suspension is limited in "sandy areas." | **Common Terns forage over the entire length of the River Tees. The MDP justifies safety by stating re-suspension is limited in "sandy areas." | ||
| Line 102: | Line 141: | ||
| As acknowledged above NE has not been consulted upon the MDP for PD Ports and therefore have not provided advice on the information contained within the document. | As acknowledged above NE has not been consulted upon the MDP for PD Ports and therefore have not provided advice on the information contained within the document. | ||
| - | **4. Water Framework Directive** | + | ==== 4. Water Framework Directive |
| **The Tees Transitional water body is currently failing for chemicals including PBDEs and mercury.** | **The Tees Transitional water body is currently failing for chemicals including PBDEs and mercury.** | ||
| Line 112: | Line 151: | ||
| Our Supplementary Advice on Conservation Objectives for the Teesmouth and Cleveland Coast Special Protection Area includes the following target: ‘Reduce aqueous contaminants to levels equating to High Status according to Annex VIII and Good Status according to Annex X of the Water Framework Directive, avoiding deterioration from existing levels.’ This is available via the link provided here: [[TCC Conservation Advice - link removed in pdf]]. | Our Supplementary Advice on Conservation Objectives for the Teesmouth and Cleveland Coast Special Protection Area includes the following target: ‘Reduce aqueous contaminants to levels equating to High Status according to Annex VIII and Good Status according to Annex X of the Water Framework Directive, avoiding deterioration from existing levels.’ This is available via the link provided here: [[TCC Conservation Advice - link removed in pdf]]. | ||
| | | ||
| - | **5. Cumulative Impacts** | + | ==== 5. Cumulative Impacts |
| **Request 5.1: the cumulative impact of maintenance dredging alongside major capital projects, such as the South Bank Quay and Northern Gateway Container Terminal (NGCT), on the estuary' | **Request 5.1: the cumulative impact of maintenance dredging alongside major capital projects, such as the South Bank Quay and Northern Gateway Container Terminal (NGCT), on the estuary' | ||
| - | The MMO are one of the key regulators and are a competent authority responsible for undertaking the Habitat Regulations Assessments for proposals through their licensing regime. Other regulators, Local Planning Authority and Planning Inspectorate have equivalent | + | The MMO are one of the key regulators and are a competent authority responsible for undertaking the Habitat Regulations Assessments for proposals through their licensing regime. Other regulators, Local Planning Authority and Planning Inspectorate have equivalent |
| - | appropriate, | + | |
| Effects. NE provide advice on a case-by-case basis and contribute to these in-combination assessments accordingly. | Effects. NE provide advice on a case-by-case basis and contribute to these in-combination assessments accordingly. | ||
| In response to the South Bank Quay marine licence | In response to the South Bank Quay marine licence | ||
| - | copy is saved in the zip file (reference C). | + | copy is saved in the zip file ([[this> |
| - | **6. Site-Specific Industrial Markers** | + | ==== 6. Site-Specific Industrial Markers |
| **Given the pyridine controversy of 2021-2022.** | **Given the pyridine controversy of 2021-2022.** | ||
| Line 133: | Line 171: | ||
| Natural England does not provide advice on site specific contaminants and does not provide advice on sampling requirements. The MMO in consultation with CEFAS lead determination of appropriate sampling provisions for applicants. | Natural England does not provide advice on site specific contaminants and does not provide advice on sampling requirements. The MMO in consultation with CEFAS lead determination of appropriate sampling provisions for applicants. | ||
| - | **Additional Information** | + | ==== Additional Information |
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| As outlined above, Natural England’s primary role is to provide ecological advice relating to designated sites/ | As outlined above, Natural England’s primary role is to provide ecological advice relating to designated sites/ | ||
| Line 158: | Line 196: | ||
| The Information Commissioner can be contacted_at: | The Information Commissioner can be contacted_at: | ||
| - | **__Annex A__** | + | ==== Annex A ==== |
| **Regulation 12(3) – a prohibition on disclosure of personal information.** | **Regulation 12(3) – a prohibition on disclosure of personal information.** | ||
| Line 176: | Line 214: | ||
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| Natural England is therefore satisfied that the information requested fits the definition of personal data and that its release would be ‘unfair’ under the meaning of the first Data Protection Principle and should not be released. | Natural England is therefore satisfied that the information requested fits the definition of personal data and that its release would be ‘unfair’ under the meaning of the first Data Protection Principle and should not be released. | ||
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| + | ====== Other Pages That Link To This Page ====== | ||
| + | {{backlinks> | ||
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