Contents
Annex
B project
organisation chart with contact details
Annex
C implementation
schedule of mitigation measures
Annex
E environmental
complaint, environmental summons and prosecution log
List
of Tables
Table 2.1 Summary
of Activities Undertaken in the Reporting Period
Table 2.2 Summary
of Environmental Licensing, Notification and Permit Status
Table 3.1 Sampling
and Laboratory Analysis Methodology
Table 3.2 Emission
Limit for CAPCS Stack
Table 3.3 Emission
Limit for CHP Stack
Table 3.4 Emission
Limit for ASP Stack
Table 3.5 Emission
Limit for Standby Flaring Gas Unit ()
Table 3.6 Odour
Intensity Level
Table 3.7 Action
and Limit Levels for Odour Nuisance
Table 3.8 Event
and Action Plan for Odour Monitoring
Table 3.9 Discharge
Limits for Effluent from the Outlet Chamber of the Effluent Storage Tank
Table 3.10 Discharge
Limits for Effluent from the Petrol Interceptors
Table 4.1 Hourly
Average of Parameters Recorded for CAPCS
Table 4.2 Hourly
Average of Parameters Recorded for CHP 1
Table 4.3 Hourly
Average of Parameters Recorded for CHP 2
Table 4.4 Hourly
Average of Parameters Recorded for CHP 3
Table 4.5 Hourly
Average of Parameters Recorded for ASP 13
Table 4.6 Hourly
Average of Parameters Recorded for the Standby Flaring Gas Unit
Table 4.7 Results
of the Discharge Sample from the Outlet Chamber of the Effluent Storage Tank
Table 4.8 Results
of the Discharge Sample from the Petrol Interceptor 1
Table 4.9 Results
of the Discharge Sample from the Petrol Interceptor 2
Table 4.11 Quantities
of Waste Generated from the Operation of the Project
Table 6.1 Implementation
of Measures/ Actions to Address any Exceedances
The construction works of No. EP/SP/61/10
Organic Resources Recovery Centre Phase 1 (the
Project) commenced on 21 May
2015. This is the 112th Monthly Environmental Monitoring and Audit
(EM&A) report presenting the EM&A works carried out during the period
from 1 to 30 September 2024 in accordance with the EM&A Manual. Substantial
completion of the construction works was confirmed on 3 December 2018. In the
meantime, the operation phase EM&A programme had commenced in March 2019.
Substantial Completion in respect of substantial part of the Works was
confirmed on 24 February 2020. The construction phase EM&A programme was
completed in the end of February 2020.
Works undertaken in the reporting month
included:
· Operation of the Project, including
organic waste reception, and operation of the pre-treatment facilities,
anaerobic digesters, composting facilities, air pollution control systems,
on-line emission monitoring system for the Centralised Air Pollution Control
Unit (CAPCS), Co-generation Units (CHP)s and Ammonia Stripping Plant (ASP), and
the wastewater treatment plant;
· Completion of repair works for inner
roller shutters (Receiving Bay);
· Ongoing repair works for outer
roller shutter for Receiving Bay 2 & 3; and
· ASP cleaning.
Non-compliance
of emission limits of VOCs and Total Odour from CAPCS; NOx and HCl
from CHP1; NOx from CHP2; and NOx, SO2, NH3,
and HCl from the ASP were recorded during the reporting period.
During the reporting period, no odour
exceedances were recorded during the independent odour patrol conducted on 9
September 2024.
All analytes from the outlet chamber of the
effluent storage tank sampled on 12 September 2024 were recorded to be in
compliance with discharge limits during the reporting period. Additionally, the
laboratory report for the Petrol Interceptor 2 Sample collected on 28 August
2024 was still pending as at the date of submission of the August 2024 Monthly
EM&A report. Having now received this lab report, all analytes were
recorded to be in compliance with discharge limits during the August 2024 reporting
period.
Waste generated from the operation of the
Project includes chemical waste, waste generated from pre-treatment process,
and general refuse.
No chemical waste was disposed of at CWTC in
September 2024.
1,106.32 tonnes of waste generated from
pre-treatment process from the operation of the Project were disposed of at
landfill. Among the waste generated from pre-treatment process from the
operation of the Project, 0.000 tonnes of metals, 0.000 tonnes of papers/cardboard
packing and 0.000 tonnes of plastics were sent to recyclers for recycling
during the reporting period.
Around 2.765 tonnes of general refuse from the
operation of the Project were disposed of at landfill. Among the general refuse
from the operation of the Project, 0.002 tonnes of metals, 0.042 tonnes of
papers/cardboard packing and 0.005 tonnes of plastics were sent to recyclers
for recycling during the reporting period .
A summary of the monitoring activities
undertaken in this reporting period is listed below:
·
Joint Environmental
Site
Inspections
1 time
1 monthly joint environmental site inspection
was carried out by the representatives of the Contractor and the Monitoring
Team (MT). The Independent Environmental Checker (IEC) was also present at the
joint inspections on 12 September 2024.
During the site inspection, it was noted that a
number of chemicals and oils were being stored in outdoor areas without
suitable drip trays or proper bunding. The Contractor was recommended to ensure
all chemicals and oils are being stored properly. The Contractor advised on 25
September 2024 via email that all chemicals and oils were properly stored
either indoors or outdoors with suitable drips trays. Photo rectification was
also provided and shared with IEC.
Apart from the above, the environmental
control/ mitigation measures (related to air quality, water quality, waste
(including land contamination prevention), hazard-to-life and landscape and
visual) recommended in the approved EIA Report and the EM&A Manual were
properly implemented by the Contractor during the reporting month.
Exceedances of the air emission
limits for CAPCS, CHPs, and ASP were recorded during the reporting period.
No complaint was received during
the reporting period.
Activities to be undertaken in the next
reporting month include:
·
Operation of the Project;
·
Pre-treatment Line 1 maintenance;
·
CHP3 maintenance; and
·
Ongoing repair works
for front roller shutter for Receiving Bay 2 & 3.
ERM-Hong Kong, Limited (ERM) was appointed by
OSCAR Bioenergy Joint Venture (the Contractor) as the Environmental Team (ET)
to undertake the construction Environmental Monitoring and Audit (EM&A)
programme for the Contract No. EP/SP/61/10 of Organic Waste Treatment
Facilities Phase I, which the project name has been updated to
Organic Resources Recovery Centre (Phase I) (the
Project) since November 2017. ERM was also appointed by
the Contractor to undertake the operation EM&A programme starting 1 March
2019.
This is the 112th
EM&A report which summarises the monitoring results and audit findings for
the EM&A programme during the reporting period from 1 to 30 September 2024.
The structure of the report is as follows:
It details
the scope and structure of the report.
It summarises the background and scope of the
Project, site description, project organisation and status of the Environmental
Permits (EP)/licences.
It summarises the environmental monitoring
requirements including monitoring parameters, programmes, methodologies,
frequency, locations, Action and Limit Levels, Event/Action Plans, as well as
environmental audit requirements as recommended in the EM&A Manual and
approved EIA report.
It summarises monitoring results of the
reporting period.
It summarises the audit findings of
the environmental as well as landscape and visual site audits undertaken within
the reporting period.
It summarises any exceedance of
environmental performance standard, environmental complaints and summons
received within the reporting period.
It summarises the impact forecast
for the next reporting month.
The Organic Resources Recovery Centre (ORRC)
Phase I development (hereinafter referred to as “the Project”) is to design,
construct and operate a biological treatment facility with a capacity of about
200 tonnes per day and convert source-separated organic waste from commercial
and industrial sectors (mostly food waste) into compost and biogas through
proven biological treatment technologies. The location of the Project site is
shown in Annex A.
The environmental acceptability of
the construction and operation of the Project had been confirmed by findings of
the associated Environmental Impact Assessment (EIA) Study completed in 2009.
The Director of Environmental Protection (DEP) approved this EIA Report under
the Environmental Impact Assessment Ordinance (EIAO) (Cap. 499) in
February 2010 (Register No.: AEIAR-149/2010) (hereafter referred to as the
approved EIA Report). Subsequent Report on Re-assessment on Environmental
Implications and Report on Re-assessment on Hazard to Life Implications were
completed in 2013, respectively.
An Environmental Permit (EP) (No. EP-395/2010)
was issued by the DEP to the EPD (Project Team), the Permit Holder, on 21 June
2010 and varied on 18 March 2013 (No. EP-395/2010/A) and 21 May 2013 (No.
EP-395/2010/B), respectively. The Design Build and Operate Contract for the
ORRC Phase 1 (Contract No. EP/SP/61/10 Organic Resources Recovery Centre (Phase
1) (the Contract)) was awarded to SITA Waste Services Limited, ATAL Engineering
Limited and Ros-Roca, Sociedad Anonima jointly trading as the OSCAR Bioenergy
Joint Venture (OSCAR or the Contractor). A Further EP (No. FEP-01/395/2010/B)
was issued by the DEP to the OSCAR on 16 February 2015. Variation to both EPs
(Nos. EP-395/2010/B and FEP-01/395/2010/B) were made in December 2015. The
latest EPs, Nos. EP-395/2010/C and FEP-01/395/2010/C, were issued by the DEP on
21 December 2015.
Under the requirements of Condition
5 of the EP (No. FEP-01/395/2010/C), an Environmental Monitoring and Audit
(EM&A) programme as set out in the approved EM&A Manual (hereinafter
referred to as EM&A Manual) is required to be implemented during the
construction and operation of the Project. ERM-Hong Kong, Ltd (ERM) has been
appointed by OSCAR as the Environmental Team (ET) for the construction phase
EM&A programme and the Monitoring Team (MT) for the operation phase
EM&A programme for the implementation of the EM&A programme in accordance with the
requirements of the EP and the approved EM&A Manual.
The construction works commenced on
21 May 2015. The construction phase EM&A programme was completed in the end
of February 2020. The operation phase of the EM&A programme commenced on 1
March 2019 ([1]).
The Project Site is located at Siu Ho Wan in
North Lantau with an area of about 2 hectares. The layout of the Project Site
is illustrated in Annex A.
The facility received an average of 181.58 tonnes and treated an average of
144.69 tonnes of source separated organic waste per day during the reporting
month.
A summary of the major activities undertaken in
the reporting period is shown in Table 2.1.
Table 2.1 Summary of Activities Undertaken in the Reporting Period
Activities
Undertaken in the Reporting Period |
· Systems being operated – waste
reception, pre-treatment, CAPCS extraction, the digesters, the centrifuge,
the composting tunnels, the de-sulphurisation, the standby flare, the CHPs,
the ASP, and the biological wastewater treatment plant (181.58 t/d SSOW
received); · Completion of repair works for
inner roller shutters (Receiving Bay); · Ongoing repair works for outer
roller shutter for Receiving Bay 2 & 3; and · ASP cleaning. |
The project organisation chart and contact
details are shown in Annex B.
A summary of the valid permits, licences,
and/or notifications on environmental protection for this Project is presented
in Table 2.2.
Table 2.2 Summary of Environmental Licensing,
Notification and Permit Status
Permit/
Licences/ Notification |
Reference |
Validity
Period |
Remarks |
Environmental
Permit |
FEP-01/395/2010/C |
Throughout the
Contract |
Permit granted on
21 December 2015 |
Effluent Discharge
Licence |
WT00038391-2021 |
7 July 2021 – 30
June 2026 |
Approved on 7 July
2021 |
Chemical Waste
Producer Registration |
WPN
5213-961-O2231-02 |
Throughout the
implementation of the Project |
Approved on 10
November 2017 |
Waste Disposal
Billing Account |
Account number:
702310 |
Throughout the
Contract |
- |
The air quality (including odour) monitoring to
be carried out during the commissioning and operation phase of the Project are
described below. Although water quality monitoring is not required for the
operation phase under the EM&A programme, there are water quality
monitoring requirement under the Water Discharge Licence of the plant under the
Water Pollution Control Ordinance (WPCO). As part of this EM&A
programme, the monitoring results will be reviewed to check the compliance with
the WPCO requirements.
According to the EM&A Manual and EP
requirements, stack monitoring is required during the commissioning and
operation phase of the Project.
On-line monitoring using continuous
environmental monitoring system (CEMS) shall be carried out for the
Centralised Air Pollution Unit (CAPCS), cogeneration units (CHPs) and the
ammonia stripping plant (ASP) during the commissioning and operation phase. The
most recent sensor calibration for the CAPCS system was carried out on 15
January 2024 for VOCs and 19 January 2024 for H2S. The most recent
span calibrations for the CEMS systems (CHP1, CHP2, CHP3, and ASP) were carried
out on 28 May 2024. Annual CAPCS calibration was
carried out from 10 to 12 October 2023.
The monitoring data is transmitted
instantaneously to EPD (Regional Office) by telemetry system.
When the on-line monitoring for certain
parameter cannot be undertaken, monitoring will be carried out using the
following methodology approved by the EPD.
Table 3.1 Sampling and Laboratory Analysis Methodology
Parameters |
Method |
Stacks
to be Monitored |
Gaseous and
vaporous organic substances (including methane) |
USEPA Method 18 |
·
CAPCS ·
CHP ·
ASP |
Particulate |
USEPA Method 5 |
·
CAPCS ·
CHP ·
ASP |
Carbon monoxide
(CO) |
USEPA Method 10 |
·
CHP ·
ASP |
Nitrogen oxides
(NOx) |
USEPA Method 7E |
·
CHP ·
ASP |
Sulphur dioxide
(SO2) |
USEPA Method 6 |
·
CHP ·
ASP |
Hydrogen chloride
(HCl) |
USEPA Method 26A |
·
CHP ·
ASP |
Hydrogen fluoride
(HF) |
USEPA Method 26A |
·
CHP ·
ASP |
Oxygen (O2) |
USEPA Method 3A |
·
CAPCS ·
CHP ·
ASP |
Velocity
and Volumetric Flow |
USEPA
Method 2 |
·
CAPCS ·
CHP ·
ASP |
Ammonia
(NH3) |
USEPA
CTM 027 |
· ASP |
Odour
(including NH3 and H2S) |
EN
13725 |
· ASP |
Water
vapour content (continuous measurement of the water vapour content should not
be required if the sample exhaust gas is dried before the emissions are
analysed) |
USEPA
Method 4 |
·
CAPCS ·
CHP ·
ASP |
Temperature |
USEPA
Method 4 |
·
CAPCS ·
CHP ·
ASP |
With
reference to the EM&A Manual, the air emission of the stacks shall meet the
following emission limits as presented in Tables 3.2 to 3.5.
Table 3.2 Emission Limit for CAPCS Stack
Parameter |
Emission
Level (mg/Nm3) (a) |
VOCs (including methane) |
680 |
Dust (or Total Suspended
Particulates (TSP)) |
6 |
Odour (including
NH3 & H2S) |
220 (b) |
Notes:
(a) Hourly
average concentration (b) The
odour unit is OU/Nm3 |
Table 3.3 Emission Limit for CHP Stack
Parameter |
Maximum
Emission Level (mg/Nm3) (a) (b) |
Dust (or Total
Suspended Particulates) |
15 |
Carbon Monoxide |
650 |
NOx |
300 |
SO2 |
50 |
NMVOCs (c) |
150 |
VOCs (including methane) (d) |
1,500 |
HCl |
10 |
HF |
1 |
Notes:
(a) All values refer to an oxygen content in the
exhaust gas of 6% and dry basis. (b) Hourly average concentration (c) NMVOCs should be monitored by gas sampling and
laboratory analysis at an agreed interval. For the first 12 months (starting
from August 2019), monitoring should be carried out at quarterly intervals.
The monitoring frequency should then be reduced to half-yearly for next 12
months (starting from August 2020). The monitoring of NMVOCs ended in August
2021. (d) The VOCs emission limit include methane as
biogas is adopted as fuel in the combustion process. |
Table 3.4 Emission Limit for ASP Stack
Parameter |
Maximum
Emission Level (mg/Nm3) (a) (b) |
Dust (or Total Suspended
Particulates) |
5 |
Carbon Monoxide |
100 |
NOx |
200 |
SO2 |
50 |
VOCs (including methane) (c) |
20 |
NH3 |
35 |
HCl |
10 |
HF |
1 |
Notes:
(a) All values
refer to an oxygen content in the exhaust gas of 11% and dry basis. (b) Hourly
average concentration (c) The VOCs
emission limit include methane as biogas is adopted as fuel in the combustion
process. |
Table 3.5 Emission Limit for Standby Flaring Gas Unit ([2])
Parameter |
Maximum
Emission Level (mg/Nm3) (a) (b) |
Dust (or Total
Suspended Particulates) |
5 |
Carbon Monoxide |
100 |
NOx |
200 |
SO2 |
50 |
VOCs (including
methane) (c) |
20 |
HCl |
10 |
HF |
1 |
Notes:
(a) All values
refer to an oxygen content in the exhaust gas of 11% and dry basis. (b) Hourly
average concentration (c) The VOCs
emission limit include methane as biogas is adopted as fuel in the combustion
process. |
To determine the effectiveness of the proposed
odour mitigation measures and to ensure that the operation of the ORRC1 will
not cause adverse odour impacts, odour monitoring of the CAPCS stack (see Section
3.1.1), and odour patrol will be carried out.
Odour
patrol shall be conducted by independent trained personnel/ competent persons
in summer months (i.e. from July to September) for the first two operational
years of ORRC1 at monthly intervals along an odour patrol route at the Project
Site boundary as shown in Annex
A ([3]).
The
perceived odour intensity is divided into 5 levels. Table 3.6 describes
the odour intensity for different levels.
Table 3.6 Odour Intensity Level
Level |
Odour Intensity |
0 |
Not detected. No odour perceived or an odour so weak that it
cannot be easily characterised
or described |
1 |
Slight identifiable
odour, and slight
chance to have odour
nuisance |
2 |
Moderate identifiable odour,
and moderate chance to have odour
nuisance |
3 |
Strong identifiable,
likely to have odour nuisance |
4 |
Extreme severe odour,
and unacceptable odour level |
Table
3.7 shows the
action level and limit level to be used for odour patrol. Should any exceedance
of the action and limit levels occurs, actions in accordance with the event and
action plan in Table 3.8 should be carried out.
Table 3.7 Action and Limit Levels for Odour Nuisance
Parameter |
Action
Level |
Limit
Level |
Odour Nuisance
(from odour patrol) |
When one
documented compliant is received (a), or Odour Intensity of
2 is measured from odour patrol. |
Two or more
documented complaints are received (a) within a week; or Odour intensity of
3 or above is measured from odour patrol. |
Note:
(a) Once the
complaint is received by the Project Proponent (EPD), the Project Proponent
would investigate and verify the complaint whether it is related to the
potential odour emission from the ORRC1 and its on-site wastewater treatment
unit. |
Table 3.8 Event and Action Plan for Odour
Monitoring
Event |
Action by Person-in-charge of Odour Monitoring: |
Action
by Project Proponent: (a) |
Action Level |
||
Exceedance of
action level (Odour Patrol) |
1. Identify source/reason of exceedance;
2. Repeat odour
patrol to confirm finding. |
1. Carry out investigation to identify the
source/reason of exceedance. Investigation should be completed within 2
weeks; 2. Rectify any unacceptable practice; 3. Implement more mitigation measures if necessary; 4. Inform Drainage Services Department (DSD) or the
operator of the Siu Ho Wan Sewage Treatment Works (SHWSTW) if exceedance is
considered to be caused by the operation of the SHWSTW. 5. Inform North
Lantau Refuse Transfer Station (NLTS) operator if exceedance is considered to
be caused by the operation of NLTS. |
Exceedance of
action level (Odour Complaints) |
1. Identify source/reason of exceedance; 2. Carry out odour
patrol to determinate odour intensity. |
1. Carry out investigation and verify the complaint
whether it is related to potential odour emission from the nearby SHWSTW; 2. Carry out investigation to identify the
source/reason of exceedance. Investigation should be completed within 2 weeks; 3. Rectify any unacceptable practice; 4. Implement more mitigation measures if necessary; 5. Inform DSD or the operator of the SHWSTW if
exceedance is considered to be caused by the operation of the SHWSTW. 6. Inform NLTS
operator if exceedance is considered to be caused by the operation of NLTS. |
Limit Level |
||
Exceedance of limit level |
1. Identify source/reason of exceedance; 2. Inform EPD; 3. Repeat odour patrol to confirm findings; 4. Increase odour patrol frequency to bi-weekly; 5. Assess effectiveness of remedial action and keep
EPD informed of the results; 6. If exceedance
stops, cease additional odour patrol. |
1. Carry out investigation to identify the
source/reason of exceedance. Investigation should be completed within 2 weeks; 2. Rectify any unacceptable practice; 3. Formulate remedial actions; 4. Ensure remedial actions properly implemented; 5. If exceedance continues, consider what
more/enhanced mitigation measures should be implemented; 6. Inform DSD or
the operator of the SHWSTW if exceedance is considered to be caused by the
operation of the SHWSTW. |
Note:
(a) Project Proponent shall identify an
implementation agent. |
Environmental mitigation measures (related to
air quality, water quality, waste, land contamination, hazard-to-life, and
landscape and visual) to be implemented during the operation phase of the
Project are recommended in the approved EIA Report and EM&A Manual and are
summarised in Annex C.
Monthly site audits for operation phase will be carried out to check the
implementation of these measures.
Compliance audits are to be undertaken to
ensure that a valid discharge licence has been issued by EPD prior to the
discharge of effluent from the operation of the Project site. The audit shall
be conducted to ensure that the effluent quality is in compliance with the
discharge licence requirements. As stipulated in the operation phase discharge
licence, effluent discharge is to be sampled monthly from the outlet chamber of
the Effluent Storage Tank, while effluent discharge is to be sampled bi-monthly
from the Petrol Interceptors. The effluent quality shall meet the discharge
limits as described in Table 3.9 and Table 3.10.
Table 3.9
Discharge Limits
for Effluent from the Outlet Chamber of the Effluent Storage Tank
Parameter |
Discharge
Limit (mg/L) |
Flow Rate (m3/day)
(a) |
645 |
pH (pH units)
(b) |
6-10 (c) |
Suspended Solids
(b) |
800 |
Biochemical Oxygen
Demand (5 days, 20°) (b) |
800 |
Chemical Oxygen
Demand (b) |
2,000 |
Oil & Grease
(b) |
40 |
Total Nitrogen
(b) |
200 |
Total Phosphorus
(b) |
50 |
Surfactants
(total) (b) |
25 |
Notes:
(a) Flow rate is not a parameter required
to be monitored and reported by the Contractor in accordance with Section B2
of the Effluent Discharge Licence under the WPCO. (b) Parameters required to be
monitored and reported by the Contractor in accordance with Section B2 of the
Effluent Discharge Licence under the WPCO. (c) Range. |
Table 3.10 Discharge
Limits for Effluent from the Petrol Interceptors
Parameter |
Discharge
Limit (mg/L) |
Flow Rate (m3/day)
|
245 (a) |
Suspended Solids
(b) |
30 |
Chemical Oxygen
Demand (c) |
80 |
Oil & Grease
(c) |
20 |
Surfactants
(total) (b) |
15 |
Notes:
(a) The surface runoff flow rate
limit was estimated by the overall yearly rainfall data. As the actual
flowrate from the petrol interceptors depends on the weather condition
instead of the performance of the petrol interceptor, monitoring and
reporting of this parameter is not required. Hence this parameter is not
reported in Table 4.8 and Table 4.9. (b) Parameter not required to be
reported in accordance with Section B2 of the Effluent Discharge Licence
under the WPCO. (c) Parameters
required to be reported in accordance with Section B2 of the Effluent
Discharge Licence under the WPCO. |
In accordance with EM&A Manual, the
landscape and visual mitigation measures shall be implemented.
For operation phase, site inspection shall be
conducted once a month for the first year of operation of the Project. All
measures as stated in the implementation schedule of the EM&A Manual (see Annex C), including
compensatory planting, undertaken by both the Contractor and the specialist
Landscape Sub-Contractor during the first year of the operation phase shall be
audited by a Registered Landscape Architect (RLA) to ensure compliance with the
intended aims of the measures and the effectiveness of the mitigation measures.
After the one-year maintenance period, the landscape maintenance and monitoring
shall be carried out by the Contractor.
The concentrations of concerned air pollutants
emitted from the stacks of the CAPCS, CHPs, ASP, and the Standby Flaring Gas
Unit during the reporting period are monitored on-line by the continuous
environmental monitoring system (CEMS). During the reporting period, the
Standby Flaring Gas Unit did not operate.
With reference to the emission limits shown in Tables
3.2, 3.3, 3.4, and 3.5, the hourly average concentrations and
the number of exceedances of the concerned air emissions monitored for the
CAPCS, CHPs, ASP and the Standby Flaring Gas Unit during this reporting period
are presented in Tables 4.1 to 4.6.
It should be noted that measurements recorded
under abnormal operating conditions, e.g. start up and stopping of stacks,
unstable operation, test runs and interference of sensor, are disregarded. As
advised by the Contractor, data is not available from 23-24 September 2024 and
25 September 2024 (00:00-12:00) due to CAPCS instability.
Table 4.1 Hourly Average of Parameters Recorded for CAPCS
Parameter |
Range
of Hourly Average Conc. (mg/Nm3) |
Emission
Limit (mg/Nm3) |
Exceedance
Identified |
Remarks |
VOCs (including
methane) (a) |
0 – 1,517.54 |
680 |
Identified (c) |
Pending (e) |
Dust (or TSP) |
0 – 0 |
6 |
Nil |
Nil |
Odour (including
NH3 & H2S) (b) |
0 – 2,129.72 |
220 |
Identified (d) |
Pending (e) |
Notes: (a) The
VOCs emission limit includes methane as biogas is
adopted, as fuel in the combustion process. (b) The
odour unit is ou/Nm3. (c) Dates
with VOCs exceedances (number of exceedances on that day) were identified on
14(5), 15(21), and 16(15) September 2024. (d) Dates
with Odour exceedances (number of exceedances on that day) were identified on
2(5), 3(3), 8(2), 9(4), 10(3), 16(9), 17(24), 18(24), 19(24), 20(23), 21(5),
25(11), 26(22), 27(24), 28(24), 29(24), and 30(18) September 2024. (e) Exceedance
explanations remain pending from the Contractor as at the date of submission
of this EM&A report; updates will be provided in the subsequent monthly
EM&A report once received. |
Table 4.2 Hourly Average of Parameters Recorded for CHP 1
Parameter |
Range
of Hourly Average Conc. (mg/Nm3) (a) |
Emission
Limit (mg/Nm3) |
Exceedance
Identified |
Remarks |
Dust (or TSP) |
0 – 9 |
15 |
Nil |
Nil |
Carbon Monoxide |
0 – 181 |
650 |
Nil |
Nil |
NOx |
0 – 483 |
300 |
Identified (c) |
System unstable
(e.g. low efficiency) |
SO2 |
0 – 43 |
50 |
Nil |
Nil |
VOCs (including methane) (b) |
0 – 726 |
1,500 |
Nil |
Nil |
HCl |
0 – 11 |
10 |
Identified (d) |
System unstable
(e.g. low efficiency) |
HF |
0 – 1 |
1 |
Nil |
Nil |
Notes: (a) All values refer to an oxygen
content in the exhaust gas of 6% and
dry basis. (b) The VOCs emission limit include
methane as biogas is adopted as fuel in the combustion process. (c) Dates with
NOx exceedances (number of exceedances on that day) were
identified on 1(13), 3(6), 4(15), 5(13), 6(20), 9(9), 10(10), 11(24), 12(24),
13(24), 14(21), 15(18), 16(24), 17(24), 18(24), 19(24), 20(24), 21(24),
22(24), 23(24), 24(24), 25(24), 26(24), 27(24), 28(24), 29(24), and 30(23)
September 2024. (d) Date with HCl exceedance
(number of exceedances on that day) was identified on 19(1) September 2024. |
Table 4.3 Hourly Average of Parameters Recorded for
CHP 2
Parameter |
Range of Hourly
Average Conc. (mg/Nm3) (a) |
Emission Limit
(mg/Nm3) |
Exceedance
Identified |
Remarks |
Dust (or TSP) |
0 – 8 |
15 |
Nil |
Nil |
Carbon Monoxide |
0 – 142 |
650 |
Nil |
Nil |
NOx |
0 – 395 |
300 |
Identified (c) |
System unstable (e.g. low
efficiency) |
SO2 |
0 – 44 |
50 |
Nil |
Nil |
VOCs
(including methane) (b) |
0 – 493 |
1,500 |
Nil |
Nil |
HCl |
0 – 0 |
10 |
Nil |
Nil |
HF |
0 – 1 |
1 |
Nil |
Nil |
Notes: (a) All values refer to an oxygen
content in the exhaust gas of 6% and
dry basis. (b) The VOCs emission limit include
methane as biogas is adopted as fuel in the combustion process. (c) Dates with
NOx exceedances (number of exceedances on that day) were
identified on 4(7), 5(4), 6(8), 10(3), 11(13), 12(9), 13(2), 16(10), 19(1),
21(13), 22(3), 23(3), 24(6), and 25(7) September 2024. |
Table 4.4 Hourly Average of Parameters Recorded for
CHP 3
Parameter |
Range
of Hourly Average Conc. (mg/Nm3) (a) |
Emission
Limit (mg/Nm3) |
Exceedance
Identified |
Remarks |
Dust (or TSP) |
0 – 0 |
15 |
Nil |
Nil |
Carbon Monoxide |
0 – 0 |
650 |
Nil |
Nil |
NOx |
0 – 0 |
300 |
Nil |
Nil |
SO2 |
0 – 0 |
50 |
Nil |
Nil |
VOCs (including methane) (b) |
0 – 0 |
1,500 |
Nil |
Nil |
HCl |
0 – 0 |
10 |
Nil |
Nil |
HF |
0 – 0 |
1 |
Nil |
Nil |
Notes: (a) All values refer to an oxygen
content in the exhaust gas of 6% and
dry basis. (b) The VOCs emission limit include
methane as biogas is adopted as fuel in the combustion process. |
Table 4.5 Hourly Average of Parameters Recorded for
ASP
Parameter |
Range
of Hourly Average Conc. (mg/Nm3) (a) |
Emission
Limit (mg/Nm3) |
Exceedance
Identified |
Remarks |
Dust (or TSP) |
0 – 5 |
5 |
Nil |
Nil |
Carbon Monoxide |
0 – 92 |
100 |
Nil |
Nil |
NOx |
0 – 795 |
200 |
Identified (c) |
System unstable
(e.g. low efficiency) |
SO2 |
0 – 278 |
50 |
Identified (d) |
System unstable
(e.g. low efficiency) |
VOCs (including methane) (b) |
0 – 19 |
20 |
Nil |
Nil |
NH3 |
0 – 161 |
35 |
Identified (e) |
System unstable
(e.g. low efficiency) |
HCl |
0 – 15 |
10 |
Identified (f) |
System unstable
(e.g. low efficiency) |
HF |
0 – 1 |
1 |
Nil |
Nil |
Notes: (a) All values refer to an oxygen
content in the exhaust gas of 6% and
dry basis. (b) The VOCs emission limit include
methane as biogas is adopted as fuel in the combustion process. (c) Dates with NOx exceedances (number of exceedances on
that day) were identified on 1(13), 2(11), 3(4), 4(6), 5(1), 9(6), 10(10),
11(12), 12(8), 13(16), 14(9), 15(15), 16(10), 17(3), 18(12), 19(24), 20(18),
21(4), 22(22), 23(13), 24(24), 25(14), 26(22), 27(22), 28(14), 29(22), and
30(17) September 2024. (d) Dates with SO2 exceedances (number of exceedances on
that day) were identified on 4(2), 10(2), 11(13), 12(16), 13(23), 14(23),
15(14), 16(16), 17(8), 18(18), 19(24), 20(13), 21(7), 22(17), 23(22), 25(3),
26(3), and 30(1) September 2024. (e) Dates with NH3 exceedances (number of exceedances on
that day) were identified on 3(3), 5(1), 11(10), 12(6), 13(4), 15(3), 16(2),
17(4), 18(4), 19(2), 22(2), 23(2), 24(3), 25(2), 26(5), 27(2), 28(2), 29(2),
and 30(4) September 2024. (f) Date with
HCl exceedances (number of exceedances on that day) was identified on 26(2)
September 2024. |
Table 4.6 Hourly Average of Parameters Recorded for
the Standby Flaring Gas Unit
Parameter |
Range
of Hourly Average Conc. (mg/Nm3) (a) (c) |
Emission
Limit (mg/Nm3) |
Exceedance
Identified |
Remarks |
Dust (or TSP) |
0 – 0 |
5 |
Nil |
Nil |
Carbon Monoxide |
0 – 0 |
100 |
Nil |
Nil |
NOx |
0 – 0 |
200 |
Nil |
Nil |
SO2 |
0 – 0 |
50 |
Nil |
Nil |
VOCs (including methane) (b) |
0 – 0 |
20 |
Nil |
Nil |
HCl |
0 – 0 |
10 |
Nil |
Nil |
HF |
0 – 0 |
1 |
Nil |
Nil |
Notes: (a) All values refer to an oxygen
content in the exhaust gas of 6% and
dry basis. (b) The VOCs emission limit include
methane as biogas is adopted as fuel in the combustion process. |
Odour patrol was conducted by the
independent odour patrol team of ALS Technichem (HK) Pty Ltd on 9 September 2024.
According to the EM&A Manual, it is considered an Action Level exceedance if the odour
intensity recorded by the panellists is Level 2 or above. During the reporting
period, no odour exceedances were recorded.
Effluent discharge is sampled from the outlet
chamber of the Effluent Storage Tank monthly and from the Petrol Interceptor(s)
bi-monthly as stipulated in the operation phase discharge licence. The results
of the discharge samples from the outlet chamber of the Effluent Storage Tank
collected on 12 September 2024 are recorded in Table 4.7 and the results
from the Petrol Interceptors are recorded in Tables 4.8 – 4.9. Petrol Interceptor sampling was not required
during the reporting period.
The laboratory report for the Petrol
Interceptor 2 Sample collected on 28 August 2024 was still pending as at the
date of submission of the August 2024 Monthly EM&A Report. Having now been
received, these results are presented below in Table 4.10.
Table 4.7 Results of the Discharge Sample from the Outlet Chamber of the Effluent Storage Tank
Parameter |
Discharged Effluent Concentration (mg/L) |
Discharge Limit (mg/L) |
Compliance with Discharge Limit |
Flow
Rate (m3/day) (a) |
270 (e)
(f) |
645 |
Yes |
pH (pH
units) (b) |
6.7 –
8.4 (e) |
6 - 10
(c) |
Yes |
Suspended
Solids (b) (d) |
74 (d) |
800 |
Yes |
Biochemical
Oxygen Demand (5 days, 20°) (b) (d) |
22 (d) |
800 |
Yes |
Chemical
Oxygen Demand (b) (d) |
490 (d) |
2,000 |
Yes |
Oil
& Grease (b) (d) |
<5 (d) |
40 |
Yes |
Total Nitrogen (b) (d) |
54.6 (d) |
200 |
Yes |
Total
Phosphorus (b) (d) |
32.8 (d) |
50 |
Yes |
Surfactants
(total) (b) (d) |
<1.0
(d) |
25 |
Yes |
Notes:
(a) Parameter
not required to be reported in accordance with Section B2 of the Effluent
Discharge Licence under the WPCO. (b) Parameters
required to be reported in accordance with Section B2 of the Effluent
Discharge Licence under the WPCO. (c) Daily
Range. (d) Effluent
sample collected on 12 September 2024. (e) Data
collected daily. (f) Maximum
daily volume of wastewater discharged during the month. |
Table 4.8 Results of the Discharge Sample from the Petrol Interceptor 1
Parameter |
Discharged
Effluent Concentration (mg/L) |
Discharge
Limit (mg/L) |
Compliance
with Discharge Limit |
Suspended Solids
(b) |
- (a) |
30 |
- |
Chemical Oxygen
Demand (c) |
- (a) |
80 |
- |
Oil & Grease (c) |
- (a) |
20 |
- |
Surfactants
(total) (b) |
- (a) |
15 |
- |
Notes: (a) Sampling not required during
the reporting period. (b) Parameter not required to be
reported in accordance with Section B2 of the Effluent Discharge Licence
under the WPCO. (c) Parameters
required to be reported in accordance with Section B2 of the Effluent
Discharge Licence under the WPCO. |
Table 4.9 Results of the Discharge Sample from the
Petrol Interceptor 2
Parameter |
Discharged
Effluent Concentration (mg/L) |
Discharge
Limit (mg/L) |
Compliance
with Discharge Limit |
Suspended Solids
(b) |
- (a) |
30 |
- |
Chemical Oxygen
Demand (c) |
- (a) |
80 |
- |
Oil & Grease (c) |
- (a) |
20 |
- |
Surfactants
(total) (b) |
- (a) |
15 |
- |
Notes: (a) Sampling not required during
the reporting period. (b) Parameter not required to be reported
in accordance with Section B2 of the Effluent Discharge Licence under the
WPCO. (c) Parameters
required to be reported in accordance with Section B2 of the Effluent
Discharge Licence under the WPCO. |
Table 4.10 Results of the Discharge Sample from the Petrol Interceptor 2
(August 2024)
Parameter |
Discharged Effluent Concentration (mg/L) |
Discharge Limit (mg/L) |
Compliance with Discharge Limit |
Suspended
Solids (b) |
16 (a) |
30 |
Yes |
Chemical
Oxygen Demand (c) |
19 (a) |
80 |
Yes |
Oil
& Grease (c) |
<5 (a) |
20 |
Yes |
Surfactants
(total) (b) |
<1.0
(a) |
15 |
Yes |
Notes:
(a) Sample
collected on 28 August 2024; lab result was pending as at date of previous
EM&A Report submission and is now presented above. (b) Parameter
not required to be reported in accordance with Section B2 of the Effluent
Discharge Licence under the WPCO. (c) Parameters required to be reported in accordance
with Section B2 of the Effluent Discharge Licence under the WPCO. |
Wastes generated from the operation of the
Project include chemical waste, wastes generated from pre-treatment process and
general refuse ([4]). Reference has been made to the
Monthly Summary Waste Flow Table prepared by the Contractor (see Annex D). With reference to
the relevant handling records and trip tickets of this Project, the quantities
of different types of waste generated from the operation of the Project in the
reporting month are summarised in Table 4.11.
Table 4.11
Quantities of Waste Generated from the Operation of the Project
Month / Year |
|||||
0 L (d)(e) |
2.765 tonnes (e) |
||||
Notes: (a) Waste
generated from pre-treatment process and general refuse other than chemical
waste and recyclables were disposed of at NENT Landfill by sub-contractors. (b) Among
waste generated from pre-treatment process, 0.000 tonnes of metals, 0.000
tonnes of papers/cardboard packing and 0.000 tonnes of plastics were sent to
recyclers for recycling during the reporting period. (c) Among
general refuse, 0.002 tonnes of metals, 0.042 tonnes of papers/cardboard
packing and 0.005 tonnes of plastics were sent to recyclers for recycling
during the reporting period. (d) No
chemical waste was disposed of at CWTC during the reporting period. (e) It
was assumed that four 240-litre bins filled with 80% of general refuse were
collected at each collection. The general refuse density was assumed to be
around 0.15 kg/L. |
The monthly inspection for the operation phase
of the Project on 12 September 2024 covered the operation phase environmental
site audit. Joint site inspection was conducted by representatives of the
Contractor, IEC, and the MT as required for the operation of the Project.
The audits checked the
implementation of the recommended mitigation measures for air quality,
landscape and visual, water quality, waste (land contamination) and
hazard-to-life stated in the Implementation Schedule (see Annex C).
Key observations during the reporting period
are summarised as follows:
12 September 2024
· During the site audit, it was noted
that a number of chemicals and oils were being stored in outdoor areas without
suitable drip trays or proper bunding. The Contractor was recommended to ensure
all chemicals and oils are being stored properly with drip trays/ bunding
provided as necessary. In case there is not enough storage capacity, the
Contractor was recommended to only order as many chemicals/ oils as which can
be properly stored/ contained at one time.
As advised by the Contractor on 25 September 2024 via email, all chemicals and
oils were properly stored either indoors or outdoors with suitable drip trays.
Photo rectification was also provided and shared with IEC.
· Other than the above observation,
the Contractor has implemented environmental mitigation measures recommended in
the approved EIA Report and EM&A Manual.
Additionally, the Investigation Reports of the
potential non-compliances recorded during the site audit on 19 August 2024
(broken doors at the Tipping Hall and possible chemical spill) are presented in
Annex F, having
completed review by the MT and IEC.
Inspection of the landscape and visual
mitigation measures for the operation phase of the Project was performed on 12 September 2024.
It was confirmed that the necessary landscape
and visual mitigation measures during the operation phase as summarised in Annex C were generally
implemented by the Contractor. No specific observation was found during the
joint site inspection on 12 September 2024. No non-compliance in relation to
the landscape and visual mitigation measures was identified during the site
audits in this reporting period and therefore no further actions are required.
The ET/MT will keep track of the EM&A programme to check compliance with
environmental requirements and the proper implementation of all necessary
mitigation measures.
Non-compliance
of emission limits of VOCs and Total Odour from CAPCS; NOx
and HCl from CHP1; NOx from CHP2; and NOx,
SO2, NH3, and HCl from the ASP were recorded during
the reporting period.
The Contractor has reviewed the organic waste
treatment processes (i.e. waste reception, waste pre-treatment, anaerobic
digesters, and composting processes) and found that they were operated normally
during the reporting period. The Contractor has investigated the
de-sulphurisation system, CHPs, and the ASP; the potential causes for the
exceedances were identified. The exceedances of VOCs and Total Odour from CAPCS
remain under investigation by the Contractor and will be updated in the
subsequent monthly EM&A report.
The investigation reports of the above
exceedances are presented in Annex
F.
An overview of the various measures/ actions to
be taken by the Contractor to address any exceedances is summarised in Table
6.1.
Table 6.1 Implementation of Measures/ Actions to Address any
Exceedances
Measures/
Actions to Address any Exceedances |
Implementation
Timeline & Status |
|
Centralised Air
Pollution Unit (CAPCS) |
·
To address the exceedances for Total Odour (ou/Nm3)
recorded in January 2024 – February 2024 and August 2024 – September 2024,
the Contractor ordered a new H2S / ORP sensor to replace the
faulty one which was installed on 23 May 2024. ·
The cleaning of the ventilation pumps was conducted in April 2024. |
·
The Contractor will implement fine-tuning measures and adjustment in
the operation of the system in October 2024. |
Cogeneration Unit
1 (CHP 1) |
·
To address the ongoing NOx exceedances recorded from
October 2023 – September 2024, the Contractor ordered 3 new cylinder heads
from the supplier to replace the old ones and improve performance which were
installed in May 2024. ·
To address the SO2 exceedances recorded from October 2023 –
June 2024 and August 2024, SO2 sampling and testing was completed
by a third-party laboratory that showed lower SO2 values than
those reported by the CEMS. The lower values measured by the laboratory was
attributed to methane gas interference. Based on this study, it was proposed
to implement a correction factor in the CEMS to adjust for the methane gas
interference. After review by MT and IEC, the correction factor was
implemented in May 2024. ·
To address the HCl exceedances recorded from October 2023 – April
2024, July 2024, and September 2024, the Contractor implemented in May 2024
fine tuning measures such as reviewing the ignition temperature curve, spark
plug condition check and adjusting the intake & exhaust valves on the
cylinder to reduce the fluctuations in HCl emissions and keep within the
permissible limit. ·
A CHP expert from Europe visited the ORRC1 facility from 20-24 May to
review the performance of the CHPs. ·
The Contractor will receive additional advanced training from the
manufacturer for the operation and maintenance of the equipment. ·
The Contractor will continue additional maintenance works for the CHPs
during the coming month. |
·
The new cylinder heads were installed in May 2024, and further works
are ongoing. ·
The updated SO2 correction factor was implemented on 17 May
2024. ·
The fine-tuning measures were implemented during May 2024. ·
The CHP expert visited in from 20-24 May 2024 and report submitted in
June 2024; Contractor began reviewing the report in July 2024. ·
A further tuning was carried out for the CHP on 12 August 2024. ·
The Contractor will receive additional training in December 2024. |
Cogeneration Unit
2 (CHP 2) |
·
To address the ongoing NOx exceedances recorded from
October 2023 – September 2024, fine tuning of CHP 2 such as reviewing the
ignition temperature curve, spark plug condition check and adjusting the
intake & exhaust valves on the cylinder was conducted to reduce the
fluctuations in NOx emissions and to keep within the permissible
limit. ·
To address the SO2 exceedances recorded from October 2023 –
April 2024, SO2 sampling and testing was completed by a
third-party laboratory that showed lower SO2 values than those
reported by the CEMS. The lower values measured by the laboratory was
attributed to methane gas interference. Based on this study, it was proposed
to implement a correction factor in the CEMS to adjust for the methane gas
interference. After review by MT and IEC, the correction factor was
implemented in May 2024. ·
To address the HCl exceedances recorded from November 2023 and April
2024, the Contractor implemented fine tuning measures such as reviewing the
ignition temperature curve, spark plug condition check and adjusting the
intake & exhaust valves on the cylinder to reduce the fluctuations in HCl
emissions and keep within the permissible limit. ·
A CHP expert from Europe visited the ORRC1 facility in May 2024 to
review the performance of the CHPs. ·
The Contractor will receive additional advanced training from the
manufacturer for the operation and maintenance of the equipment. ·
The Contractor will continue additional maintenance works for the CHPs
during the coming month. |
·
The fine-tuning measures were implemented in May 2024, and further
works are ongoing. ·
The updated SO2 correction factor was implemented on 17 May
2024. ·
The CHP expert visited in from 20-24 May 2024 and report submitted in
June 2024; Contractor began reviewing the report in July 2024. ·
A further tuning was carried out for the CHP on 12 August 2024. ·
The Contractor is waiting for parts delivery to conduct remedial works
and will also receive additional training in December 2024. |
Cogeneration Unit
3 (CHP 3) |
·
To address the ongoing NOx exceedances, fine tuning
measures of CHP 3 were implemented such as reviewing the ignition temperature
curve, spark plug condition check and adjusting the intake & exhaust
valves on the cylinder is being conducted to reduce the fluctuations in NOx
emissions and to keep within the permissible limit. ·
To address the SO2 exceedances recorded from October 2023 –
April 2024, SO2 sampling and testing was completed by a
third-party laboratory that showed lower SO2 values than those
reported by the CEMS. The lower values measured by the laboratory was
attributed to methane gas interference. Based on this study, it was proposed
to implement a correction factor in the CEMS to adjust for the methane gas
interference. After review by MT and IEC, the correction factor was
implemented in May 2024. ·
A CHP expert from Europe visited the ORRC1 facility in May 2024 to
review the performance of the CHPs. ·
The Contractor will receive additional advanced training from the
manufacturer for the operation and maintenance of the equipment. ·
CHP 3 was not operated from August 2024 – September 2024 and had no
exceedances for these months. ·
The Contractor will continue additional maintenance works for the CHPs
during the coming month. |
·
The fine-tuning measures were implemented in May 2024, and further
works are ongoing. ·
The updated SO2 correction factor was implemented on 17 May
2024. ·
The CHP expert visited in from 20-24 May 2024 and report submitted in
June 2024; Contractor began reviewing the report in July 2024. ·
A further tuning was carried out for the CHP on 12 August 2024. ·
The Contractor is waiting for parts delivery to conduct remedial works
and will also receive additional training in December 2024. |
Ammonia Stripping
Plant (ASP) |
·
To address the ongoing NOx exceedances recorded from
October 2023 – September 2024, the Contractor conducted an overhaul of the
ASP and arranged for a visit by the supplier to improve the reliability and
performance of the system. ·
To address the ongoing SO2 exceedances recorded from
October 2023 – September 2024, SO2 sampling and testing was
completed by a third-party laboratory that showed lower SO2 values
than those reported by the CEMS. The lower values measured by the laboratory
was attributed to methane gas interference. Based on this study, it was
proposed to implement a correction factor in the CEMS to adjust for the
methane gas interference. After review by MT and IEC, the correction factor
was implemented in May 2024. ·
To address the ongoing NH3 exceedances recorded from
October 2023 – September 2024, the Contractor conducted an overhaul of the
ASP and arranged for a visit by the supplier. ·
To address the HCl exceedances recorded from October 2023 – May 2024
and August 2024 – September 2024, the Contractor conducted an overhaul of the
ASP and arranged for a visit by the supplier. ·
To address the ongoing exceedances and loss of control of the louvres
for the Thermal Combustion Unit (TCU), the Contractor has approached the
Supplier to remedy the situation and is exploring options in the interim to
control the system until the automatic situation is rectified in October
2024. |
·
The overhaul of the ASP was completed 6 May 2024. ·
The supplier could not visit in June 2024 as planned and will be
rescheduled. ·
The updated SO2 correction factor was implemented on 17 May
2024. ·
The automatic situation of the TCU louvres will be rectified by
October 2024. ·
The Contractor is communicating with the supplier and will arrange the
visit with the supplier to inspect the ASP at their earliest convenience. |
No complaint was received during
the reporting period.
No
summon/prosecution was received during the reporting period. The cumulative
summons/prosecution log is shown in Annex E.
Activities to be undertaken for the coming
reporting period are:
·
Operation of the Project;
·
Pre-treatment Line 1 maintenance;
·
CHP3 maintenance; and
·
Ongoing repair works
for the outer roller shutter doors for Receiving Bay 2 & 3.
This EM&A Report presents the EM&A
programme undertaken during the reporting period from 1 to 30 September 2024
in accordance with the EM&A Manual (Version F) and requirements of EP
(FEP-01/395/2010/C).
For the operation phase, exceedances of the
emission limits for the CAPCS, CHPs, and the ASP were recorded under normal
operating conditions during the reporting period (see Table 8.1).
Table 8.1 Exceedances for Stack Emissions
Stack |
Exceedances
During the Reporting Period |
CAPCS |
·
Exceeded emission limit of VOCs on 14, 15, and 16 September 2024. ·
Exceeded emission limit of Total Odour on 2, 3, 8, 9, 10, 16, 17, 18, 19, 20, 21, 25, 26, 27, 28, 29, and
30 September 2024. |
Cogeneration Unit
1 (CHP 1) |
·
Exceeded emission limit of NOx on 1, 3, 4, 5, 6, 9, 10, 11,
12, 13, 14, 15, 16, 17, 18, 19, 20, 21, 22, 23, 24, 25, 26, 27, 28, 29, and
30 September 2024. ·
Exceeded emission limit of HCl on 19 September 2024. |
Cogeneration Unit
2 (CHP 2) |
·
Exceeded emission limit of NOx on 4, 5, 6, 10, 11, 12, 13,
16, 19, 21, 22, 23, 24, and 25 September 2024. |
Cogeneration Unit
3 (CHP 3) |
·
CHP 3 was not operated during September 2024 and had no exceedances
for the month. |
Ammonia Stripping
Plant (ASP) |
·
Exceeded emission limit of NOx on 1, 2, 3, 4, 5, 9, 10, 11,
12, 13, 14, 15, 16, 17, 18, 19, 20, 21, 22, 23, 24, 25, 26, 27, 28, 29, and
30 September 2024. ·
Exceeded emission limit of SO2 on 4, 10, 11, 12, 13, 14,
15, 16, 17, 18, 19, 20, 21, 22, 23, 25, 26, and 30 September 2024. ·
Exceeded emission limit of NH3 on 3, 5, 11, 12, 13, 15, 16,
17, 18, 19, 22, 23, 24, 25, 26, 27, 28, 29, and 30 September 2024. ·
Exceeded emission limit of HCl on 26 September 2024. |
Non-compliance
of emission limits of VOCs and Total Odour from CAPCS; NOx and HCl
from CHP1; NOx from CHP2; and NOx, SO2, NH3,
and HCl from the ASP were recorded during the reporting period. The exceedances
of NOx and HCl from the CHPs, as well as NOx, SO2,
NH3, and HCl from the ASP occurred due to system instability. The
exceedances of VOCs and Total Odour from CAPCS remain under investigation by
the Contractor and will be updated in the subsequent monthly EM&A report.
No odour exceedances were recorded during the
independent odour patrol conducted on 9 September 2024.
All analytes from the outlet chamber of the
effluent storage tank sampled on 12 September 2024 were recorded to be in
compliance with discharge limits during the reporting period. No Petrol
Interceptor sampling was required during the current reporting period. However,
the laboratory report for the Petrol Interceptor 2 Sample collected on 28
August 2024 was still pending as at the date of submission of the August 2024
Monthly EM&A report. Having now been received, all analytes were recorded
to be in compliance with discharge limits during the reporting period.
The Contractor has reviewed the organic waste
treatment processes (i.e. waste reception, waste pre-treatment, anaerobic
digesters, and composting processes) and found that they were operated normally
during the reporting period. The Contractor has investigated the
de-sulphurisation system, CHPs, and the ASP; the potential causes for the
exceedance were identified. The exceedances of VOCs and Total Odour from CAPCS
remain under investigation by the Contractor and will be updated in the
subsequent monthly EM&A report.
During the monthly site audit on 12 September 2024, it was noted that a number of
chemicals and oils were being stored in outdoor areas without suitable drip
trays or proper bunding. The Contractor was recommended to ensure all chemicals
and oils are being stored properly. The Contractor advised on 25 September via
email that all chemicals and oils were properly stored either indoors or
outdoors with suitable drips trays. Photo rectification was also provided and
shared with IEC.
Apart from the above observations, the
environmental control /mitigation measures related to air quality, water
quality, waste (including land contamination prevention), hazard-to-life and
landscape and visual recommended in the approved EIA Report and the EM&A
Manual were properly implemented by the Contractor during the reporting month.
Additionally, the Investigative Reports (IRs) of the potential non-compliances
recorded during the site audit on 19 August 2024 (broken doors at the Tipping
Hall and possible chemical spill) are presented in Annex F, having completed
review by the MT and IEC.
Monthly landscape and visual monitoring were
conducted in the reporting period. The necessary landscape and visual
mitigation measures recommended in the approved EIA Report were generally
implemented by the Contractor.
([1]) As some of the minor items
are yet to be closed out in March 2019, the construction phase EM&A
programme and Operation Phase EM&A programme were undertaking in parallel
in March 2019.
([2]) A standby facility;
only operates when the CHPs are not in operation or when the biogas generated
exceeded the utilisation rate of the CHPs.