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Assessment of EIA regime. Departure point. EIA recognised as an impediment to investment not always the most appropriate instrument NEMA amendment in 2010 to allow for alternative instruments. DEA strategic plan. 2009/10: 60% 2010/11: 60% 2011/12: 67% Estimated for 2012/13: 88%
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Departure point • EIA recognised as • an impediment to investment • not always the most appropriate instrument • NEMA amendment in 2010 to allow for alternative instruments
DEA strategic plan • 2009/10: 60% • 2010/11: 60% • 2011/12: 67% • Estimated for 2012/13: 88% • Target for 2013/14: 89% • Note: Performance targets set for non compliance
Consequences • Timeframes not met • Targets offer no comfort when authorisation is delayed • Delays result in significant costs • Competitiveness reduced • Further delays caused by additional conditions • Emergency action not feasible
Alternative instruments • Environmental management frameworks • Strategic environmental assessments • Environmental management programmes • Environmental risk assessments • Environmental feasibility assessments • Spatial development tools • Norms and standards
Challenges • Long delays in decision making • Repeated requests for additional information not used in decision • Imposition of unreasonable conditions • Not applicable to activity • Impossible to achieve • Covered by other legislation • EIA authorisation and license conditions not aligned • Licensing processes require additional studies
Proposals for improvement • Reduce authorisation delays • Use of alternative instruments • Conditions of authorisations • Alignment of environmental management plan and conditions
Use of alternative instruments • Establish a work plan to investigate the use of alternative instruments • Prioritise norms and standards for repeatable activities • Environmental management frameworks • Spatial development tools • Incorporate EMP into conditions
Norms and standards • Distinguish between industrial areas and other land uses • For repeatable activities: • Allow norms and standards as the default requirement in an industrial area • Encourage the development and use of national standards • Identify the activities that could be dealt with by requiring compliance with existing standards • Gazette requirement and remove activities from list
Environmental management frameworks • Current project on Environmental Impact Assessment Management System recommends boundaries of EMFs to be aligned with spatial development frameworks. • No reason not to initiate immediately • Consider which EMFs can be used immediately
Spatial development tools • Spatial Development and Land Use Management Bill to be used as basis of provincial regulations being required to recognise EMFs • If a development is aligned with the EMF exemption from an EIA should be allowed
Authorisation conditions • Current approach should be reviewed and comprehensive guidance provided to provincial authorities • Issues to be addressed immediately: • Reference to legislation of departments other than DEA and DWA to be avoided • Mitigation measures should be included in EMP only
Authorisation conditions (2) • Mitigation for specific environmental impacts and included in the EMP should be incorporated into licenses to ensure integration • Where requirements are already contained in a national standard, the standard should be referenced
Alignment of processes • EIA precedes licensing process • Ensure that consolidated requirements are presented to applicant • Outcomes of specialist studies to be incorporated in EMP • EMP to form basis of license conditions
Conclusions • No reason to allow the unsatisfactory status quo to remain in place • Possible to initiate immediate steps to improve the situation • Establish structures to work together to develop and implement an action plan