14 Environmental Monitoring and Audit Requirements
This section provides descriptions of the environmental and operation variables and parameters to be monitored, and the purpose for which each should be monitored, e.g. as an indication of general background conditions or as an indicator of unacceptable environmental impact.
In accordance with the requirements as
stipulated in Annex 21 of the TM-EIAO, it is considered necessary to conduct
the Environmental Monitoring and Audit (EM&A) programme during the
construction, operation, restoration and aftercare phases of the Project and to
define the relevant scope of EM&A requirements, including:
· Provision of a database against which to determine any short- or long-term environmental impacts of the Project;
· Provision of an early indication that any of the environmental control measures or other operation practices are failing to achieve the required standards;
· Provision of data to determine the effectiveness of any mitigation or control measures implemented through amendments in procedures during the life of Project;
· Provision of data to enable an environmental audit of the construction, operation, restoration and aftercare works to be undertaken; and
· Assessment of compliance with the environmental and pollution control and operation requirements.
A project organisation
consisting of the Engineer’s Representative(ER), Independent Environmental
Checker (IEC), Environmental Team (ET), Project Proponent (MTR) and Contractor
should be established
to take on the responsibilities for environmental
protection for the Project. The IEC will be
appointed by the Project Proponent to conduct independent auditing on the
overall EM&A programme including environmental and operation monitoring, implementation
of mitigation
measures, EM&A submissions, and any other submission
required under the Environmental Permit (EP).
The organisation, responsibilities of respective parties and lines of
communication with respect to environmental protection works are given in the
EM&A Manual.
EM&A is an important aspect in the EIA
process which specifies the timeframe and responsibilities for the implementation
of environmental mitigation measures. The requirements
on environmental monitoring (including baseline and impact monitoring) are given in the EM&A Manual.
A project specific EM&A Manual to the Project was prepared
with reference to
the latest design information available and EPD’s generic
EM&A Manual. The project specific
EM&A Manual highlights
the following issues:
· Organisation, hierarchy and responsibilities of the Contractor, Project Proponent, ET and IEC with respect to the EM&A requirements during construction and operational phases of the Project;
· Information on project organisation and programming of construction activities;
· Requirements with respect to the construction schedule and necessary EM&A programme to track the varying environmental impacts;
· Details of methodologies to be adopted, including all field, laboratory and analytical procedures, and details on quality assurance;
· Procedure for undertaking on-site environmental audits;
· Definition of Action and Limit Levels;
· Establishment of Event and Action Plans;
· Requirements of reviewing pollution sources and working procedures required in the event of non-compliance of environmental criteria and complaints;
· Requirements for reviewing the implementation of mitigation measures, and effectiveness of environmental protection and pollution control measures adopted; and
· Presentation of requirements for EM&A data and appropriate reporting procedures.
An
Environmental Mitigation Implementation Schedule (EMIS) has been prepared and
included in the EM&A Manual to summarise all the required mitigation
measures need to be implemented during the construction and operational phases
of the Project. The implementation
responsibilities are also identified in the EMIS. The EM&A Manual will also present the
requirements for environmental monitoring and auditing (e.g. monitoring and
audit frequency), throughout the entire construction phase.
The
Contractor should review the mitigation measures and EMIS with respect to the
design developments and construction methodology. In case the Contractor needs to update the
mitigation measures and EMIS, the EM&A Manual should be updated
accordingly.
Detailed
requirements of the EM&A programme are described in the EM&A
Manual. Measurements and activities are
summarised as follows:
· Baseline monitoring (construction dust, airborne noise and water etc.);
· Impact monitoring (construction dust, airborne noise and water etc.);
· Blasting activities regarding storage, transport and use of explosives should be supervised and audited by competent site staff to ensure strict compliance with the blasting permit conditions.
· Remedial actions in accordance with the Event and Action Plan within the timeframe in case the specified criteria in the EM&A Manual were exceeded;
· Logging and keeping records of monitoring results; and
· Preparation and submission of Monthly and Final EM&A Reports.