WHITEPARISH PRESERVATION GROUP
A considered response to
Wiltshire & Swindon Waste
Local Plan 2011
Consultation on issues and options
CONTENTS
1.0 Introduction
2.0 Whiteparish Preservation Group
3.0 Executive Summary
4.0 Comments on Issues and Options
5.0 Proximity Principle
6.0 Energy Recovery
7.0 Stack Height
8.0 Vehicle Movements
9.0 Planning Report
10.0 Environmental Impacts of Incineration
11.0 Conservation Interests Potentially Affected by the
Proposals
1.0 INTRODUCTION
This report has been compiled by members of the Whiteparish Preservation Group in answer to
the Wiltshire and Swindon Waste Local Plan – 2011 Consultation on Issues and Options and
addresses the problems associated with the siting of an Integrated Waste Management Facility
proposed within the "Area of Search" along the A36 corridor.
Specialist reports have been prepared by a Planning Consultant and by an expert on the
problems associated with incineration. These are enclosed. A separate report on incineration
prepared by Swindon Friends of the Earth is also enclosed.
2.0 WHITEPARISH PRESERVATION GROUP
This Group was established in January 2000 by residents of Whiteparish as a result of the
concern expressed by a large number of villagers to the siting of a proposed Waste
Management Facility on the outskirts of the village.
The Group has a constitution, chairman, committee and at present, some three hundred
members. Membership is growing on a weekly basis.
The Group meets on a regular basis and keeps the local community advised on developments
associated with the Issues and Options document and acts as a "Voice" and focal point for
objecting to the proposed Waste Facility.
The Group circulated notices regarding the two public meetings held in Whiteparish Village Hall
and was probably responsible for the large turnout of villagers to the first public meeting on 20 th
January 2000 which necessitated a follow up Public Meeting one week later, due to the large
number of people not being able to gain admittance into the hall at the first meeting.
3.0 EXECUTIVE SUMMARY
The conclusions of this report can be summarised as follows:
3.1 There needs to be a national policy to minimise generation of household waste.
The conclusions of this report can be summarised as follows:
3.2 The division of the County into three areas is misguided, as with the possible exception of
Swindon, the areas generate insufficient waste to support the optimum means of disposal on a
commercial basis.
3.3 The "Proximity Principle" as currently applied is seriously flawed. There is no requirement set
by the Government or E.U. to a ten mile radius around Salisbury.
3.4 The ten mile radius as proposed involves a large area of Hampshire and therefore the area for a
possible Area of Search is halved.
3.5 The Salisbury districts secondary major settlements – Amesbury, Wilton and Mere exert a
combined demographic "pull" to the North and West, which is not accounted for in the way the
"Proximity Principle" has been applied.
3.6 Future housing development as indicated in the Salisbury District Local Plan will take place
almost exclusively to the North and West of Salisbury. To accord with the "Proximity Principle"
a waste facility needs to be near to the greatest generators of waste.
3.7 The area surrounding Whiteparish has already a high concentration of waste sites, there are
currently eight sites in the area.
3.8 Any new waste sites close to the County boundary will lead to further increases in importing
waste into the County, contrary to the criteria of the Waste Plan.
3.9 The A36 is already seriously congested on its access into and out of Salisbury.
Predicted figures indicate up to 200 additional lorry movements per day on the A36 and
surrounding roads.
3.10 No attempt has been made in determining the Area of Search for the use of rail to transport
waste. This is Government’s preferred option.
3.11 An Integrated Waste Management facility with energy recovery will be an industrial complex for
which a rural location is inappropriate. This should be on a brown field site.
3.12 The Government’s preferred option is for Combined Heat and Power Plants fuelled by waste.
Such a facility cannot be sustainable in a rural location.
3.13 Special sites of Scientific Interest (SSSI’s) and Protected Areas in the "Area of Search" have
been ignored.
3.14 Wiltshire County Council admit that they will have no control over the commercial operator
once a licence has been granted. Waste could be transported from anywhere.
3.15 The proposed Integrated Waste Management Facility would be westerly of Whiteparish. The
prevailing winds are westerly/south westerly. Pollution and smells would be inevitable.
3.16 Within the next five years it is probable that the New Forest Boundary will include the area
being proposed for the Integrated Waste Management Facility.
3.17 The Integrated Waste Management Facility would have a chimney polluting the area, the height
of which could be 80m.
3.18 As Robert Key stated on the 20
th January 2000 at the public meeting in Whiteparish Village Hall– "Whiteparish has been dumped on enough".
4 Summary
The Whiteparish Preservation Group have considered the document with local and
professional expertise. This section provides answers to all the questions below, with positive
constructive suggestions.
We would like to thank Jean Saunders Swindon Friend of the Earth for some detailed
information as well as members from the Whiteparish Preservation Group.
We believe that "The Wiltshire & Swindon Waste Local Plan 2011" is inaccurate, refers to
previous and out of date legislation and guidelines and does not take up "a way for waste" as
issued by the DETR in 1998 and subsequently on 21 July 1999. Any council who omits to
use the way for waste document and guidelines is showing basic mal-administration in
fulfilling its obligations to the community it serves for waste management.
Indeed the 2011 document focuses too much on the end result of waste and not enough on the
prevention and EC and DETR objectives.
All but 3 questions out of 55 are closed so that a points system can be validated in favour of
the policies suggested. The principles are waste management biased and therefore we feel
that the WCC is either omitting or not putting due consideration of the environment and
quality of life in Wiltshire as the over-arching objective. We see this document as a direct
deception to the public and it does not provide an adequate consultation and options
discussion document to meet the issues.
WE SPECIFICALLY OBJECT TO THE AREA OF SEARCH OPTION: HOUSEHOLD
WASTE FACILITY, SALISBURY AREA.
The methodology of selection is flawed and the admission that vital information was not
considered including SSSIs, part of New Forest, Botanical knowledge from previous
planning.
We therefore expect nothing less than the area of search to be withdrawn and a consideration
of an alternative as suggested in section 4.3 below.
The following is detailed consideration of each section and question.
4.1 Section 2.2
4.1.1 This section is extremely out of date and I would refer you to "a way for waste" issued
in 1998 by the DETR and revised in July 1999. Section 2.2.2 suggests 75/442/EEC as
amended is the document, but indeed there are two further documents 91/156/EEC and an
adaptation 96/350/EC which totally supersedes this document. Indeed there are several other
important documents as identified in a way for waste section 6.4 and Part 2c the document
fails to identify.
4.1.2 Section 2.2.3 speculates that reductions in landfilling of biodegradable municipal waste
will have to be reduced. However, this is more to do with the packaging being created than
how it is disposed of which clearly the document should have emphasised.
4.2 Section 2.3
4.2.1 Again this section is out of date and shows ignorance against a way for waste
document. Therefore this section is currently invalid. Section 2.3.3 BPEO used is a 1996
document that has since been updated and amended see Part 2c a way for waste. We would
also suggest that PPG23 now PPG23a and PPG10 are under a considerable change process
and can as they say only be used as guidelines not as policy documents.
4.3 Q1 Need, Regional Self-Sufficiency and the Proximity
Principle answer NO
4.3.1 The reason we answer NO, is that we fundamentally disagree with the way WCC have
interpreted the EC proximity principle guideline identified in a separate section of this
document. There should be an over-riding set of principles that protect the environment and
the quality of life. This will eventually cause less cost and more benefit. Bad planning of
waste management to accommodate the needs of the operators or those that have to discharge
their duties is seen as mal-administration by any authority, ultimately ending up in a higher
cost. This has been attempted before by several councils who have ended up shutting down
many incinerators across the country because they are either dangerous or cannot meet the
standards, never fundamentally checked at the time of commissioning.
4.3.2 We are sure you will agree that Wiltshire is very different from many other counties in
that it has very little heavy industrial industry, is sparsely populated and contains a great deal
of MoD land. Thus there are only a few "brown field sites" and we would argue that many of
these are not true ones.
4.3.3 The solution therefore is to look at negotiating with other counties and through the dTI
and DETR. The emphasis should be to control the creation of waste and ensure that this
waste will naturally decompose. This means to make EC targets, the government must
legislate to stop the kinds of packaging and waste creation that the Environmental Agency is
woefully lacking in containing after the horse has bolted. All other kinds of waste should be
transferred by rail to other counties such as the Mendips or other really hazardous waste areas
that are already polluted.
4.3.4 For Salisbury District Council the current process is to transfer waste from Thorny
Down to Compton Bassett with this taking an average of 4 or less lorry loads per day. If
waste creation was reduced or maintained then transferring to say Marchwood incinerator
now in the planning stage or even a minimum increase in landfill say at Porton Down or East
Chitten would be sufficient and meet the sustainability principles which clearly the Area of
Search at the A36 would not.
4.3.5 We do not support these principles but would add the PRECAUTIONARY
APPROACH as a key guide-line. The Precautionary Principle: was established in the 1990
White Paper on the Environment, 'This Common Inheritance', and subsequently endorsed in
the UK Sustainable Development Strategy, Agenda21/The Rio Declaration, and the
Government's guidance on risk assessment and management.
4.3.6 The precautionary approach is explained in PPG23 (paragraph 1.12): The
Environment White Paper stressed that the Government's approach to pollution issues is a
precautionary one. Where there are significant risks of damage to the environment, pollution
controls will take into account the need to prevent or limit harm, even where scientific
knowledge is not conclusive. This "precautionary" principle applies particularly where there
are good grounds for judging either that action taken promptly at comparatively low cost
may avoid more costly damage later, or that irreversible effects may follow if action is
delayed".
4.4 Q2 The Waste Hierarchy NO
Again there must be an overarching set of principles that maintain the environment and the
quality of life before you consider these waste principles alone.
4.4.1 Paragraph 2.7.11 - the least favoured option on the ladder should be amended to
reduce the plan's need for "final disposal" rather than an emphasis on landfill/landraise which
would also be reduced as a result of the aim. Landfill waste can generate energy. Final
disposal will be to landfill or to the atmosphere.
4.4.2 Paragraph 2.7.13 states that as far as recycling, composting and energy recovery are
concerned "each has an equal place in the hierarchy". This statement is inaccurate and we
strongly object to its inclusion in the Plan. Energy recovery is viewed below the ranking of
the other two options in Government strategy. It states in paragraph 2.7 of A way with waste
- a draft waste strategy for England and Wales (Part one - June 1999, DETR) in the section
that examines the waste hierarchy:
4.4.3 Within this framework "Less Waste: More Value" proposed that incineration with
energy recovery should not be considered without consideration first being given to the
possibility of composting and material recycling. This approach to the hierarchy received
widespread support, with the overwhelming majority who expressed a view agreeing with the
Government’s suggestion. The Government therefore reiterates its support for the waste
hierarchy, within which recycling and composting should be considered before recovery of
energy from waste.
4.4.4 As such Government strategy should be reflected in the Plan and is clearly not
4.5 Q3 Is this an appropriate list of issues to be addressed in proposals? NO
4.5.1 Key objective 5 - paragraph 2.7.18 is "to reduce the adverse impacts of waste
management on the natural and built environment and on people's quality of life" which we
would assume would include health considerations.
4.5.2 Question 3 relates to residential amenity and, as such, the list could be extended to
include other matters that are highlighted under air, water and land quality elsewhere in the
consultation document but which also relate to health risks.
4.5.3 The obligation under the Waste Management Licensing Regulations (Paragraph
4(1)(a), Schedule 4, Waste Management Licensing Regulations 1994, SI. 1994/1056) is to:
"ensure that waste is recovered or disposed of without endangering human health and
without using processes or methods which could harm the environment and in particular
without -
Risk to water, air, soil, plants or animals; or
Causing nuisance through noise or odours; or
Adversely affecting the countryside or places of special interest."4.5.4 There are no questions regarding sustainable options for waste management with
regard to public health. As such we suggest that this matter is added to the policy area in
question.
4.6 Q6 Transport Do these suggested policy areas adequately cover transport issues?
NO
4.6.1 Although rail is mentioned there is absolutely nothing in this document that shows how
rail will be utilised. We refer you to our answer in section 4.3. A revision therefore needs to
be made to actually show and demonstrate how rail would be utilised.
4.6.2 For each of the designated areas identified for waste management including the area of
search no mention has been made of how these set of principles would be fulfilled.
4.7 Q7 Does this suggested policy area provide adequate protection to agriculture land?
NO
4.7.1 These principles are biased towards waste management not the maintenance of
agricultural land. If they were used for building houses we would have no agricultural land
left?
4.7.2 In the case of Salisbury District as an example agreement should be made based on the
operation of the Local Plan, which should supersede any waste management objectives. It is
clear that the local authority will have a greater understanding than at the Wiltshire level,
especially for agricultural land.
4.8 Does this suggested policy area give adequate protection to Green Belts within the
Plan Area? NO
4.8.1 Again this policy is too biased towards waste management and should be maintained
and counselled using the area’s Local Plan. The erosion of the Green belt both for housing
and movement to brown field should not be dealt with or even suggested by WCC in this
document. This policy is made at governmental level and with the DETR and should be kept
separate from any waste planning.
4.9 Q9 Is this right approach to take for dealing with waste management facilities in the
Swindon Rural Buffer? No comment
4.10 Q10/Q11/Q12/Q14/Q15/Q16/Q17/Q18/Q19Q20 Nature conservation - designated
sites NO
Again there must be an over-arching principle that protects the environment and the quality
of life. What happens when you reach the bottom of the hierarchy? By applying this
criterion you have chosen an inappropriate area of search for Salisbury District. Again we
refer you to our answers in section 4.3. The way these principles are written they are too
biased towards waste management.
4.10.1 We support the proposal to allow for different levels of protection dependent on the
designated status of the site and, we would add, that candidate sites would receive similar
protection. We would also include a policy that protects endangered species (and their
habitats) under the Biodiversity Action Plan that do not necessarily fall into the policy area
proposed by Q11.
4.10.2 However we object to paragraph 3.9.2 regarding SPAs and SACs that states "waste
management proposals will only be permitted where they do not adversely affect the site’s
integrity". This conflicts with the EU Birds and Habitats Directives that calls for ultimate
protection against development of internationally designated sites.
4.10.3 Note that the European Commission announced on 11 January 2000 that the UK is to
be targeted with further infringement actions over failure to comply with the 1992 EU
Habitats Directive. A court case will be launched against Britain for failure to nominate a
complete list of areas to become part of the Natura 2000 network of protected sites. The UK
have only nominated 340 sites to become part of the Natura 2000 network. The EU
executive complains that the list is insufficient. This applies to "nearly half" the relevant
endangered habitat types and wildlife species listed in the 1992 directive, based on the
presence of which a full list of sites should have been nominated by 1995. It is likely that
more SSSIs of biological importance will be brought forward to meet the Directive. As such
policies for SSSIs designated for their wildlife quality should be afforded the protection of
internationally protected sites.
4.10.4 The UK is proposing new legislation under the Wildlife Bill that is, as yet, to be
drafted. This will ensure that SSSIs are offered greater protection against damage. The Plan
should reflect that there is future guidance in the offing to increase protection and
enhancement of the UK’s best wildlife sites.
4.11 Section 4 The current situation and assessing future waste management needs
4.11.1 Surely, this demonstrates WCC previous lack of commitment to waste management.
We cannot see how you can blight areas and put forward proposals unless you have a good
handle on what you are managing.
4.11.2 For Salisbury District a figure of 55000 tons has been mentioned but neither does the
document offer statistics or suggest target tonnage year on year until 2011. This again shows
ignorance within this document.
4.11.3 Again section 4.4 is woefully out of date with no information being produced for some
4 years ago.
4.11.4 Recycling facilities are behind in the United Kingdom but even more so in Wiltshire,
accounting for less than 13%. Yet, there is no real submission in this document for how this
will be addressed.
4.11.5 Figure 4.3 Location of Landfill/Landraise Sites at June 1999 shows Whiteparish Chalk
Quarry and Moor Farm as Large sites- Non Inert Waste. In fact, Whiteparish Chalk Quarry is
only licensed for inert waste and Moor Farm is not licensed but has planning for inert waste
of a non-hazardous nature. Neither are large sites.
4.12 Q21 waste reduction targets and promotion of incineration? NO
This section kindly supplied by Jean Saunders Friends of the Earth Swindon:
4.12.1 We believe that the waste reduction targets are not only achievable but could be
exceeded and draw attention to good practice elsewhere that is used without promoting
energy recovery. It is well documented that waste diversion (recycling plus composting)
rates are rising rapidly across the Western World, with national rates now reaching over 30%
in the U.S. and Germany. At the state and city level, the trend toward ever-higher rates is
even clearer. In the U.S., 7 states with a total population of over 55 million residents now
have rates of over 40% and there are similar numbers from German states as well. At the city
and county/region level, the leading jurisdictions are now above 50%, 60% and even 70% -
e.g. Alachua County, Florida (population 182,000) is at 74%;
the Quinte and Bluewater regions of Ontario, Canada (populations totalling 200,000) arebetween 65%-75%;
Passaic and Morris Counties in New Jersey (populations totalling over 898,000) areabove 60%; and the cities of Seattle, Washington and San Jose, California (populations
totalling over 1,300,000) are both at 50%.
4.12.2 What can be seen over the last decade's development of recycling and composting is a
process whereby smaller towns and cities lead the way in testing new techniques, thus
proving that higher rates are possible and cost-effective with the new systems, before they are
taken up on a wider regional and national scale. In the same way - but with a significant time
lag - the UK's national rate of 8% is expected to begin its climb toward higher rates, now that
smaller U.K. communities, such as Wye in Kent (60%) and Bury-St. Edmonds (40%) are
showing the way. For example recent applications of more intensive recycling and
composting techniques in London have lifted its rate from 6% to nearly 12% in a year.
4.12.3 In contrast, the share of all waste managed through both incineration and landfill is in
decline. 'Energy From Waste' rates in the U.S. have fallen from 12% to 9%, and landfill rates
have fallen from 80% to 61% whilst recycling rose from 8% to 30% over the past decade.
4.12.4 This same process can be seen by looking at the recycled percentage in major
manufactured materials, as the expansion and conversion of these industries must proceed
apace in order to reprocess these materials. World steel production is already more than 50%
from recycled scrap/cans/etc.; and world pulp and paper production now uses more than 40%
recycled content.
4.12.5 The size of the recycling and composting industry have grown accordingly and
nations which have aggressively pursued the path of waste diversion have reaped enormous
economic gains. e.g. A November 1997 report from Dresdner Kleinwort Benson found that
the revamped German waste/recycling industry not only employed more than 150,000
employees, and was not only larger than "sectors such as telecommunications and
engineering" but that it now "dwarfs the retail and steel sectors." This massive, world-wide
transformation has not only changed the face of waste management, it has changed many
material manufacturing sectors, and it has brought large-scale, measurable economic benefits
to nations such as Germany, the U.S. and Canada.
4.12.6 On the waste reduction front, similar progress has been made, with the German
producer responsibility legislation stimulating remarkable reductions in packaging; and the
Canadian Packaging Protocol achieving its goal of 50% recycling, reuse and reduction by
1996.
4.12.7 Most of the figures above are not just for household waste, but include large sections
of other waste streams. The process of change tends to focus on residential waste because: it
is the most publicly visible portion of the waste stream. However for each tonne of consumer
packaging there is, on average, 10-20 tonnes of waste created in its
mining/logging/reprocessing stages.
4.12.8 Dozens of detailed household waste composition studies recently completed in
London have found that more than 40% of waste is classified as "easily recyclable"; with
nearly another 40% classified as "compostable". The remaining 20% is made up of materials
which can be re-used, recycled using more complex systems, reduced through producer or
consumer changes, or which must be disposed of.
4.12.9 Waste coming through other channels and from other sectors is actually easier to
divert. For example, large amounts of green waste are taken to Civic Amenity Sites and it is
largely clean of other contaminants. A diversion system for these materials is therefore quite
simple: good site management to control where materials are dropped; containers for the
source-separated material; a transportation system; and a composting site somewhere within
hauling distance.
4.12.10 Another example is office waste, 70%-90% of which is office paper. The
"Green Workplace" system developed in Ontario requires very little separation by staff, and
has been found to achieve 70%-90% diversion very rapidly. Two pilot local authority
buildings in Bexley and Haringey, London, implemented a basic version of this system in
1997, and achieved 63% and 70% measured diversions from their first week.
4.12.11 At the level of industrial waste, large-scale diversion can be even more rapid
and more cost-effective, for a number of reasons. Such firms tend to have very large
quantities of materials flowing through; in-house staff with time and responsibilities which
enable a concentrated approach to change; a clear financial benefit, both from reducing waste
disposal costs, but more importantly from increasing productivity and reducing purchases of
material inputs. While there are thousands of industrial examples to choose from world-wide,
the Green Industrial Analysis and Retrofit Programme in Ontario produced 80% reductions in
solid waste, along with 20% energy savings and 30% water use reductions, for a minimal
cost, and with paybacks to the firms involved of less than 18 months.
4.12.12 Construction and demolition waste is a major portion of U.K. waste going
to landfill by tonnage - although rather less important in terms of its potential negative
environmental effects. The Danes appear to be the world leaders in transforming this waste
stream, as they have now reduced it by more than 70%. These materials can be reused onsite,
recycled for use elsewhere, crushed at central sites, etc.
4.12.13 The changes taking place in the non-residential sectors can perhaps be best
illustrated by looking at some of the global firms in California, where front-line
media/entertainment companies such as Disney and Warner Brothers have now put in place
recycling systems to rival those of more obviously "green" firms such as Xerox. In an
increasingly global economy, and with corporate access to leading-edge information soaring
as a result of the internet's growth, companies everywhere can benefit almost instantly from
techniques and systems developed anywhere.
4.12.14 We hope we have demonstrated what can be achieved without a reliance on
incineration. As such we support the suggested policy areas in Chapter six although we
believe that there should be more attention paid to kerbside collection potential and
community composting.
4.13 Q22 Waste imports NO
4.13.1 We refer specifically to the current 62% imports and the location of the designated
areas. This policy would allow operators to justify location based on imports. Indeed
we feel that the area of search A36 has been specifically chosen to enable the operator
to benefit from imports from boundaries of Hampshire and Dorset.
4.13.2 Emphasis should be on reducing imports and as said by WCC officials this cannot be
policed.
4.14 Q23 Are the three waste catchment areas shown, appropriate areas for planning
for future waste provision? NO
4.14.1 The EC directives that mention proximity do not mention such small areas. Indeed
they talk of regions, which for the UK include England, Wales, Scotland and Northern
Ireland. They do not seek a smaller designation.
4.14.2 Wiltshire is not a big area especially when you take the use by the MoD of the land
available.
4.14.3 We believe that sticking to false boundary areas causes more problems than looking at
a topology based on rail or where the fossil fuels may be least impacted.
4.14.4 Future developments of housing and infrastructure may cause such designations to be
false and indeed if there is no commitment to a large integrated waste facility is not
necessary.
4.15 Section 4.6 Future Waste Management Needs – The Issues
4.15.1 The major issue is that Wiltshire County Council in this proposal do not understand
the fundamentals of waste management and are not making enough investment in really
understanding what needs to happen. Learnings from other councils and overseas
demonstrate that there are other methods and ways of managing waste, but WCC has not
investigated these to have a degree of knowledge to tackle some of the problems identified in
this section.
4.16 Q24 Key components of a land-use strategy NO
This section kindly submitted by Jean Saunders Friends of the Earth Swindon.
4.16.1 In order that the land-use strategy is successful, it also needs to be flexible and to
allow communities and businesses to adjust. Waste management systems can change
dramatically as new best practice options come on stream. A reliance on a system with
massive start-up capital costs (such as mass-burn technology) can fail as a result.
4.16.2 For example most London Boroughs have chosen to start with weekly, kerbside
collections using an open-top box. This system allows instant feedback to households on
quality control, enables the community to make recycling a regular part of their lives,
produces visible and tangible results, and doesn’t require expensive centralised MRFs to start.
They are already achieving participation rates of 60%-90% across London, from Hackney to
Hounslow. Over time, more materials can be added to the boxes, the number of separate
categories operatives sort materials into can be reduced as MRF capacity is built, etc.
4.16.3 Some composting systems are similar in that they are quite easily managed by
households with gardens, and can produce large-scale diversion at very low cost to the local
authority. More complex and expensive kerbside collection of organics can then be
considered for the remainder, once system are set in place, and the public well-educated in
the importance of keeping materials clean.
4.16.4 It also needs to be noted how quickly systems can change. The speed with which a
city or county can change its waste management practices is much faster than a decade ago,
when most systems were being created from scratch. The first kerbside boxes, MRFs and
multi-compartment vehicles were created less than 15 years ago. Nowadays, many variants
on these systems exist and are readily available. They are backed up with detailed training
and promotional materials, and markets are growing daily. Some small communities in
North America are now able to go from minimal recycling rates all the way to 60%-70%, in a
matter of less than 2 years.
4.16.5 Nonetheless, the U.K. is just now beginning its period of explosive growth in the
recycling sector, with a whole range of pieces being put in place, and it is inevitable that
these will require more time than just 24 months to be fitted together. These tools include:
small electric collection carts for urban areas; new paper mill expansions in Bridgewater,
Shotton and Aylesford; steady planned increases in disposal taxes; the new Producer
Responsibility and Packaging Recovery Note (PRN) schemes; landfill tax rebates; new
doorstep collection methods for estate housing; new office recycling systems; expanded
central composting sites and markets; the availability of training and employment subsidies
through the New Deal; etc.
4.16.6 In other words, recycling and composting in the U.K. is entering a period of
extremely rapid growth - similar to that found in Germany and Canada and the US from
1986-1995 - and communities can look forward to a wide range of economic, environmental
and community gains, but it will probably take any community 2-3 years to first reach 25%,
then another 3-5 to reach beyond 50%. Each community in the U.K. will probably follow a
slightly different timeline, and use somewhat different methods - but together, the momentum
and critical mass required for Britain to catch up and even surpass the results from other
nations now appears to be coming into place.
4.16.7 We believe that energy savings should be explored further under transport. For
example the segregated recovery of waste is more efficient in energy and resource terms than
bulk recovery followed by dirty MRF' recovery or bank collection. The benefits of kerbside
collection schemes include:
_
Separated waste is the best option for securing a stock of good quality material forrecycling purposes and providing authorities with the best price from waste
merchants
_
It reduces the need for "un-neighbourly" banks and their costly upkeep_
It reduces the need to travel to recycling points_
It enables every household to participate_
It can lead to a reduction in weekly "waste" collection reducing costs further_
It provides employment4.17 Q25 (Swindon area), No comment
4.18 Q26 (Central & W.Wilts area)
See section 4.3 above
4.19 Q27 (Salisbury) Do you agree that an Integrated Waste Management Facility
should be provided for household waste in Salisbury area NO
4.19.1 We do not believe that technically any Integrated Waste Management Facility is a
going concern unless it can replace a power station. Again we refer you to the detailed
Coopers & Lybrand report submitted and Annexed summary in the way for waste document.
This suggests that integrated waste facilities will only be viable when the basic packaging and
collection of mixes of waste has been carried out. That generally takes more time and
investment up front, but often leads to not needing such facilities.
4.19.2 This leads to 55,000 tons and going down for Salisbury in an small area which is
environmentally rich and only transporting 4 lorries daily to Compton Bassett. We would
submit without high levels of imports and against some of the earlier policies, this would not
be economically viable and would dramatically affect the environment and quality of life for
Salisbury.
4.19.3 We believe we have answered this in section 4.3.3. The solution therefore is to look at
negotiating with other counties and through the dTI and DETR. The emphasis should be to
control the creation of waste and ensure that this waste will naturally decompose. This means
to make EC targets, the government must legislate to stop the kinds of packaging and waste
creation that the Environmental Agency is woefully lacking in containing after the horse has
bolted. All other kinds of waste should be transferred by rail to other counties or to the
Mendips or other really hazardous waste areas that have already polluted areas.
4. 19.4 For Salisbury District Council the current process is to transfer waste from Thorney
Down to Compton Bassett with this taking an average of 4 or less lorry loads per day. If
waste creation was reduced or maintained then transferring to say Marchwood incinerator
now in the planning stage or even a minimum increase in landfill say at Porton Down or East
Chitten would be sufficient and meet the sustainability principles which clearly the Area of
Search at the A36 would not.
4.20 Q28 No comment
4.21 Q29 See the way for waste and more accurately complete this section
4.22 Q30 Do you agree that, in general, these types of facilities are best located in the
types of areas listed above? NO
4.22.1 Again the over-arching principle should be towards the environment and the quality of
life principles. Existing facilities being upgraded to take on non inert substancies means a
complete new planning and discovery cycle. Current legislation and the Environmental
Agency do not have a positive track record for upgrading existing sites.
4.22.2 The principle should be to plan and discover how to fulfil this need not to blinding
upgrade or focus on upgrading existing sites.
4.23 Q31 Do you consider that these two areas are suitable for strategic waste
facilities? Are there alternative areas, which may be more suitable? No comment
4.24 Q32/Q33/Q34 Is the Area of Search the most suitable area to identify? NO
certainly not
4.24.1 Firstly, the area of search as identified contains part of the New Forest Heritage Area
in the Titchborn barns lower left corner. Within the next five years it is likely that the
New Forest boundary will most likely include this area
4.24.2 The SSSIs protected areas in the area of search have been ignored. WCC officers have
admitted that they had omitted 3 SSSI’s for Dean Hill in the preparation of this
document.
4.24.3 Most of the development of Salisbury is happening North of Salisbury.
4.24.4 See Botanic response, but several applications have been rejected due to rare wildlife
in this area
4.24.5 Transportation see response, but there is no rail that could be utilised in this area.
4.24.6 Officers of WCC have admitted that they cannot control importing waste and the area
of search represents an optimum location to attract imported waste at a far greater
tonnage than required for the Salisbury area to make the site economically viable.
4.24.7 The proposed facility would be westerly of a village with a population of 1500 people
and some 6000 in the area. The prevailing winds are westerly/south westerly,
pollution would therefore be unavoidable. This is currently being seen with the lack
of commitment and resolution by the Environmental Agency to gaseous odours from
the existing Biffa site. This also demonstrates the non control of policing capability of
WCC after an installation is operational
4.24.8 An integrated waste management facility is a factory and an industrial complex for
which a rural location is inappropriate. This should be located on a brownfield site
and in an industrial location and is contrary to the Local plan.
4.24.9 All residents of Whiteparish and the immediate areas object strongly to any such
facility and are supported by Robert Key MP, Gerard Downes WCC, Roger Duncan
SDC, Trevor King PC.
4.24.10 The method of reaching the area of search is suspect. See section
4.25 Q35 Are there any other areas that may be suitable?
The solution therefore is to look at negotiating with other counties and through the dTI and
DETR. The emphasis should be to control the creation of waste and ensure that this waste
will naturally decompose. This means to make EC targets, the government must legislate to
stop the kinds of packaging and waste creation that the Environmental Agency is woefully
lacking in containing after the horse has bolted. All other kinds of waste should be
transferred by rail to other counties or to the Mendips or other really hazardous waste areas
that have already polluted areas. For Salisbury District Council the current process is to
transfer waste from Thorny Down to Compton Bassett with this taking an average of 4 or less
lorry loads per day. If waste creation was reduced or maintained then transferring to say
Marchwood incinerator now in the planning stage or even a minimum increase in landfill say
at Porton Down or East Chitten would be sufficient and meet the sustainability principles
which clearly the Area of Search at the A36 would not.
4.26 Q36 Do you think this would be an appropriate policy? NO
4.26.1 You have not used a detailed sustainability criteria as outlined in this document in
Appendix 22. Your suggested preferred area options and facilities must have explicit
justifications which the officers have neither identified nor justified. We cannot
comment on existing facilities, but it is clear that the officers have not used
sustainability criteria and this section is seen as providing a less comprehensive
methodology.
4.26.2 We would see the WCC as committing mal-administration if it adopted this policy.
4.27 Q37 How can the potential conflicts arising from siting waste management uses
on designated employment land be resolved. No Comment
4.28 Q38 Is a policy to cover facilities proposed outside of preferred areas
appropriate? NO. What are your views on the criteria suggested for assessing
such proposals
4.28.1 Again there must be an over-arching environmental and quality of life set of
principles. The ‘do’, no matter the consequences as proposed in this policy does not
resolve the real issues.
4.28.2 We would strongly object to a policy containing clause 1 or 3 which had no real
planning and discovery process. We refer you to section 4.3
4.49 Q39 Waste Audits
4.49.1 A way for waste identifies that legislation and forthcoming legislation which will
make this an obligation.
4.50 Q40/41/42/43/44 No Comment
4.51 Q45 Energy recovery
Please read our critique of mass-burn incineration with energy recovery section. We
maintain our strong objection to this.
It is clear the officers of WCC are not qualified to make such proposals.
Section 7 provides different ways of waste disposal. The majority are neither
environmentally friendly nor technically viable. I refer specifically to incineration, anaerobic
digestion, gasification, and pyrolysis. The latest not mentioned being anaerobic degradation.
Each of these methods is suspect in that it relies heavily on getting the waste into a state
where what you burn or what is provided is non toxic. We are a light year away from this in
Wiltshire at this point in time and should focus more on the earlier stages of waste
management to ensure the waste created contains no toxins or dioxins. This can only be done
with co-operation with the government.
4.52 Q46 Energy recovery of landfill gas NO
4.52.1 Until the technology which still in its infancy is proven we cannot consider supporting
such a proposal.
4.53 Q47 Landfill
4.53.1 We share concerns about the restoration of mineral workings with waste. This would
depend on the nature of the waste, the porosity of the mineral worked and the proximity to
groundwater vulnerability zones.
4.53.2 We are totally opposed to the disposal of untreated waste to mineral voids in
permeable geological strata that can lead to contamination of groundwater. It is impossible to
adequately engineer a landfill liner (either man-made material or of clay) to contain waste
and prevent pollution. Friends of the Earth can provide you with a critique of landfill liners if
you are interested. As such we support the WPAs move to restrict non-inert materials going
to landfill - this reflects EU policy.
4.53.3 We are extremely concerned of the ability of the Environmental Agency to upgrade
licenses without the appropriate public consultations as has happened at the Whiteparish
Chalk Quarry. We are really concerned with the existing odours and the lack of management
or control from Biffa, the EA and WCC.
4.54 Q48 Landraise
4.54.1 The submission by CSG of Whelpley Farm Landraise within the proximity of the Area
of Search and was withdrawn by CSG, but still rejected by WCC. We would expect the
reasoning to be applied to all landraise sites.
4.55 Q49/Q51 In light of the effects of EC legislation should the Plan be making
provision for additional facilities to deal with special waste?
4.55.1 Please clearly look at a way for waste document and look specifically at the EC
legislation. We would suggest that all special waste should be exported from Wiltshire via
rail.
4.56 Q50 Facilities for special waste
4.56.1 We support the suggested policy area but suggest that the majority of land-use
planning relevant to special waste (as identified in the legislation) is subject to Environmental
Impact Assessment. The definition in the EIA regulations refers to the "deposit" of special
waste and this includes temporary storage and waste transfer. We attach a copy of a letter
from GOSE (5 May 1995) that directed that an EIA should accompany a proposed waste
transfer station at Culham, Oxfordshire tat would handle small amounts of special waste.
Environmental Impact Assessment - this is a policy area that we believe has been omitted
and which requires attention.
4.57 Q52 Sewage Treatment No comment
4.58 Q53/Q54/Q55 WPA monitoring and reporting?
4.58.1 We do not see WCC having created a WPA that is capable of fulfilling such duties.
When the WPA has the right capability, is certified and regulation is considered then we
would be able to comment.
5.0 PROXIMITY PRINCIPLE
5.1 "‘The Proximity Principle’ as defined in the Department of Environment Transport and the
Regions (DETR) document "A Way with Waste – A Draft strategy for England and Wales – Part
One" dated June 1999 states, (item 2.8)
"The proximity principle suggests that waste should generally be disposed of as near to
its place of production as possible. As Less Waste: More Value explains, this is in part
to ensure that problems are not simply exported to other regions or countries. It also
involves recognition that the transportation of wastes can have a significant
environmental impact. A network of facilities would enable these environmental impacts
– and in many cases financial costs - to be reduced. The Government reiterates its
support for this principle".
5.2 In the "Wiltshire and Swindon Waste Local Plan 2011 – Consultation on Issues and Options"
document section 2.7.9 states
….."In practise, the Proximity Principle may result in some waste being imported into
the Plan Area, particularly to sites that are close to the County or Borough Boundaries".
5.3 In Section 2.7.5 it states:
"It is important to consider the management of waste flexibility, so that flows of waste
across administrative boundaries are accommodated where this is the most sustainable
option. The Plan Area is also at the periphery of the South West Region and therefore
some waste is imported from nearby areas within the South East Region".
5.4 Section 2.7.6 states:
….. "Facilities that would primarily serve other counties should only be permitted where
this is the most sustainable option".
5.5 Section 4.4.6 states:
….." In the Salisbury Area, 62% of the waste deposited in licensed landfill/landraise
sites is currently imported from outside the Plan Area. In the Plan Area as a whole,
28% of deposited waste is imported". Whiteparish Preservation Group
A considered response to Wiltshire and Swindon Waste Local Plan 2011
Consultation on Issues and Options
Report/February 2000
5.6 If one considers the "Area of Search" South East of Salisbury along the A36 corridor the
immediate observations are:
5.6.1 The Area of Search is close to the Hampshire border and as 62% of waste in the Salisbury area
is imported from Hampshire, then any Integrated Waste Facility is ideally situated to
accommodate imported waste in order for a facility to be a "sustainable option".
5.6.2 The majority of household waste generated in the Salisbury area must be in areas of the
greatest housing density. Present and planned housing development is to the North East of
Salisbury.
In order to accord with the "Proximity Principle" therefore, "in order to minimise the impact of its
transportation on the environment " (Section 2.7.8 of "Issues and Options") the area of search
should be to the North and North East of Salisbury. This would also alleviate the number of
vehicle movements on the already congested A36 to the South East of Salisbury converging on
the College Roundabout.
5.7 At meetings held at Whiteparish and Landford, Wiltshire County Council representative’s state a
radius of 5-10 miles from the centre of Salisbury for the transportation of waste. No mileage
radius is given in the DETR document "A way with Waste", this is purely a WCC figure and
could, as acknowledged by WCC representatives, be extended to cover an area west of
Salisbury.
6.0 ENERGY RECOVERY
6.1 Wiltshire County Council state in answer to a letter from residents of Whiteparish that
……"in 1 year the people of Salisbury generate approximately 50-55,000 tonnes of
household waste per year. This amounts to roughly 19 dust cart loads of rubbish per
day".
6.2 At all of the presentations WCC representatives stated that this annual tonnage of waste was all
that was being considered for disposal by an Integrated Waste Facility within the area of search.
However, as already stated above in items 5.3 and 5.4 in order for a facility to be a "sustained
option" then it may accept waste from "across administrative boundaries".
If this were the case then a facility in excess of handling 55,000 tonnes per annum would be
built.
6.3 In Appendix 3 of the Issues and Options document the Area of Search between Alderbury and
Newton states "Potential Uses:
"An integrated waste management facility is proposed, possibly including composting,
landfill and energy recovery".
At all of the public meetings at Whiteparish and Landford this has been stated and re-stated.
6.4 Considering energy recovery, section 7.2.10 of the Issue and Options document states:
"Incineration without energy recovery is not generally considered to be an acceptable
method of waste management. However, where it includes energy recovery it is a more
sustainable option".
6.5 The DETR document "A Way with Waste" states in Chapter 2:
2.19 "The UK has a legally binding Kyoto target to cut greenhouse gas emissions by 12.5%
by 2008 to 2012, as well as a domestic aim of a 20% cut in carbon dioxide emissions by
2010".
2.20 "This strategy has been developed bearing in mind the importance of reducing
emissions of greenhouse gases".
2.21 "In March 1999 the Government launched a consultation paper on its proposal for a
renewable energy strategy (New and Renewable Energy: Prospects for the 21 st
Century). The paper suggests that a significant contribution to the renewables
programme might be expected from recovery of energy from waste, and a smaller
contribution from the burning of methane produced by decomposition of wastes in
landfill sites".
6.6 In the DETR document "A Summary of the Responses of Less Waste more Value" (June 1999)
it states (P22):
"Many respondents urged that when considering incineration with energy recovery
facilities combined heat and power (CHP) schemes should be followed, as should
plants which fully segregate waste, removing any recyclables prior to burning. Tax
incentives could be offered to achieve this end
6.7 Speaking at the Combined Heat and Power Association industry annual conference at the end
of November 1999 the Environment Minister, Michael Meacher, said that "CHP – which
generates both heat and electricity, usually from the incineration of waste material – is a win-win
situation for Britain. Meacher said that industry will win because power from CHP can be
cheaper than from conventional sources. Lower costs mean lower prices for the consumer and
the environment wins because burning waste means less landfill, less waste, less pollution and
more chance of this country honouring its Kyoto Protocol goals".
The subject of less pollution is debatable, a subject which we will cover in more detail later in
this document.
6.8 An article which appeared in Professional Engineer on 9 December 1998 states:
"The CHP market has strengthened its position greatly over the past decade. Since
1988, the UK’s CHP capacity has doubled to close on 4,000MW. That equates to a
£500 million saving in energy costs and a reduction in CO2 emissions of some five
million tonnes a year".
"Meacher believes CHP’s potential is still largely untapped and wants to see those
figures double again over the next 10 years, to the stage where CHP supplies two-thirds
of all industrial electricity".
"According to a survey undertaken by the Environmental Technology Support Unit,
ETSU, CHP certainly seems to possess the potential to deliver the goods. ETSU
claims CHP could generate up to 10GW of power by 2010".
"This is, Meacher admits, going to demand a serious amount of capital investment - £5
billion if ETSU is correct – but the government has thrown its backing heavily behind the
CHP initiative so long as proposed plants meet certain criteria. First, any plant has to
attain a significantly higher level of efficiency – well over 70% in most cases – than a
conventional coal or nuclear plant. The second criterion is that nearby heat uses are
clearly identified, and third, a CHP plant should have an in-built flexibility to be able to
export spare electricity".
"Meacher reassures companies considering CHP units that the Government will
undertake to provide long-term access to fair market prices"
Also in the 12 January 2000 Professional Engineer an article on "Beyond the Emission
Statement" states:
"The Government plans to introduce a range of "regulatory, fiscal and other policy
instruments, including the climate change levy" to promote the take-up of CHP plants as
well as to encourage business to use energy more efficiently. The levy is an additional
tax on business use of gas, coal and electricity. The debate continues as to what the
rate of levy should be and the Government’s decision will be announced in the 2000
finance bill, which is expected in April".
"Use of renewable energy sources is the obvious choice to decrease CO2 emissions
and the Government wants them to provide 10% of UK electricity supplies by 2010. In
1998 they accounted for 2.6% of the UK’s electricity and an interim target of 5% has
been set for 2003. That would require 1998 levels to almost double in five years. Large
scale hydro generation schemes made up the bulk of this sector in 1998, while other
large renewable sources were landfill gas and municipal solid waste combustion, up
29% and 45% respectively on 1997 figures".
"Until the recycling market is strong enough, waste will have to be incinerated", says the
Department of the Environment, Transport and the Regions. "Everybody has to take
more ownership of their waste. This way we can make it a resource and get some
energy out of it, as well as reducing landfill and cutting down on methane".
6.9 In the DETR document "A way with Waste" Chapter 3, item 3.13 states:
….." The scale of the challenge is crystallised in the new Landfill Directive, which sets
targets for diversion of biodegradable municipal waste from Landfill. In 1995, we
landfilled around 85% of the 27 million tonnes of municipal waste we produced. By
2020 the UK will need to divert at least 6 million tonnes of waste from landfill, and if
arisings continue to grow, as much as 33 million tonnes".
Item 3.14 states:
….."Meeting this challenge will require substantial increases in recycling, composting
and recovery of energy from waste".
Item 3.19 states:
….."The Regulatory Impact Assessment for the Landfill Directive suggested that,
assuming recycling at 25%, around 8-33 million tonnes of incineration capacity (this
equates to 28-165 new incinerators, assuming an average capacity 200,000 tonnes)
might be needed to meet the final target in the Directive (to reduce biodegradable
municipal waste to 65% of 1995 arisings).
The goal proposed in this draft strategy is for a third of household waste to be recycled by 2015.
Even at that level, modelling suggests that around 8-26 million tonnes capacity (40 – 130 new
incinerators averaging 250,000 tonnes) might be needed".
An Integrated Waste Management facility as proposed handling 50-55,000 tonnes of waste will
not meet the Governments aspirations for a renewable energy strategy as a plant of such size
would only export into the National Grid approximately 3MW of electricity, enough to feed 5,000
homes.
6.10 From a commercial viewpoint, this size of plant is not viable and therefore in order to meet the
Governments targets as outlined above, pressure will be exerted for a facility to be in excess of
55,000 tonnes per annum, probably as outlined in item 6.9) this will be 200,000 tonnes per
annum. All evidence as stated above points to this in order for a facility to be a "sustainable
option".
6.11 As stated earlier in item 6.6) respondents to the DETR document "A summary of the Response
of Less Waste More Value" stated that CHP plants should be favoured and as can be seen by
items 6.7) and 6.8) this is the Governments preferred option also.
If this is the preferred option then where will the generated surplus heat from an Integrated
Waste Management facility in the rural countryside go to? Also where will the generated power
go to as the existing 11kV and 33kV networks in the Area of Search may not be capable of
accepting power from rotating generating plant.
If such a facility is to be commercially considered then this should be on a "brown field" site
which is not in the "Area of Search", so that exported heat and power can be usefully used.
For a new CHP plant to be viable then it needs to be part of a planned development for new
housing or commercial properties where the surplus heat can be utilised.
6.12 Two salient factors arise in considering added value to a facility for exporting heat and power.
Capital cost and consistency of heat source and demand. In the Area of Search a substantial
domestic or business/commercial district heating scheme would be required. Both have a
marked seasonal profile which limits revenue and would require reversion to direct cooling in the
summer months.
6.13 At the public meetings in Whiteparish and Landford the WCC representatives also suggested
the energy recovery could be obtained by emerging technologies such as Pyrolysis and
Anaerobic Digestion.
6.14 In ‘A way with waste’ – part two published by the DETR in June 1999 chapter 4.0 item 4.55
states:
PYROLYSIS
"In this treatment, organic waste is heated in the absence of air to produce a mixture of
gaseous and liquid fuels and a solid inert residue (mainly carbon). Pyrolysis generally
requires a consistent waste stream such as tyres or plastics to produce a usable fuel
product. Currently, there is only one pilot plant established in the U.K. taking in tyres".
6.15 With regard to anaerobic digestion item 4.57 of chapter 4.0 states:-
ANAEROBIC DIGESTION
"This is the biological degradation of organics in the absence of oxygen, producing
methane gas and residue (digestate) suitable for use as a soil improver. It has been
used successfully for many years to treat sewage sludges; the methane gas is used to
meet on site power and process heat requirements. It has also been used to treat cattle
slurry on farms. It is possible that the process can treat the organic fraction of MSW,
but there are reservations about the cost and the high degree of segregation required to
produce a marketable digestate."
6.16 In a paper published by Hampshire County Council on Project Integra, it states that facilities
below 100,000 tonnes per year are not economic for mass burn incineration and that plants for
Gasification and Pyrolysis are expensive and these technologies have to establish a sound track
record of performance at commercial scales of operation, which is in excess of 100,000 tonnes
per year. Whiteparish Preservation Group
6.17 Considering the above therefore, the new emerging technologies for energy recovery at a
commercial operation, have yet to be established and that at the moment there is only one
sustainable option to meet Government guidelines. This is incineration, or if Pyrolysis is
considered, the burning of tyres.
6.18 The mention therefore by WCC representatives of consideration of new emerging technologies
for an ‘Integrated Waste Management System’ with energy recovery is futile.
6.19 In chapter 4 of ‘A way with waste’ – part two states, item 4.43 "Incineration without energy
recovery of power or heat is categorised as waste disposal and is not an option that the
Government would generally wish to encourage as part of a move towards greater sustainability"
6.20 Unless the A36 corridor adjacent to the New Forest Heritage Area is going to be developed into
an industrial area complete with housing, which is completely out of the question, then the
positioning of an Integrated Waste Management System facility with energy recovery located in
the Area of Search is completely in the wrong place. It should be on a brown field site. There is
no brown field site in the Area of Search.
6.21 In Section 4.0 of the "Issue and Options" document item 4.6 it states for Central and West
Wiltshire Area:
"Large volumes of waste will have to be re-cycled, composted or recovered for energy if
targets are to be met".
For the Salisbury Area (Item 4.6.5)
__ "Very high levels of imported waste – currently 62% of total recorded waste deposited in
1996/97".
__ "Volumes of waste required to be recycled, composted or recovered for energy to meet
targets will be lower than in the other two areas".
6.22 If the volume of waste for Salisbury is lower than the other two areas and as Central and West
Wiltshire Area require large volumes of waste to be "recycled, composted or recovered for
energy if targets are to be met", is there not an argument for combining Salisbury, Central and
West Wiltshire which will accord with the "Proximity Principle". Whiteparish Preservation Group
A considered response to Wiltshire and Swindon Waste Local Plan 2011
Consultation on Issues and Options
Report/February 2000
6.23 A facility strategically situated West of Salisbury serving Salisbury, Central and West Wiltshire
could:
a) accord with Proximity Principle
b) give opportunities for rail transportation
c) reduce vehicle movements
d) give sustainability to a commercial facility.
If the above points are considered a totally different centre-point for the application of the
"Proximity Principle" will be reached (perhaps not far from the existing site at Chitterne which
has capacity for expansion). A facility in this position would best serve West Wiltshire, Kennet
and the Salisbury District.
7.0 STACK HEIGHT
7.1 An Integrated Waste Management facility with energy recovery will require a chimney or "stack"
which would be the dominant feature of the plant. Stack profile and structure is governed by
ground conditions and wind loadings. The stack height and diameter are a function of efflux
velocity and mass flow dictated by the boiler design and also the local topography.
Likewise the size of a plant is dictated by the sizes of boiler, turbines, heat exchangers etc.
7.2 The standard design reference for stacks is HMIP’s (now the EA) Technical Guidance Note 01
– "Guidance on Discharge Stack Heights for Polluting Emission". This guidance note is based
on the requirements of the Environmental Protection Act 1990. The guidelines are concerned
with the plume dispersion over the local topography and incorporate adjustment factors to
theoretical minimum height to account for local features such as hills (Pepperbox and Dean Hill)
valleys, flat areas, buildings or other structures.
7.3 For sites where there are no adverse topographical features one would expect a minimum stack
height of 40 to 50 metres based simply on the need to ensure that the plume does not linger or
migrate to ground level. For a facility in excess of 100,000 tonnes per annum located within the
Search Area the stack height would be in the range of 80 – 100m.
7.4 What we are now talking about is a large industrial complex with a chimney height of 80m plus
in a rural environment close to the New Forest, the National Trust site at Pepperbox Hill and
several SSI sites. Is this really the way forward in such a rural sensitive position?
8.0 VEHICLE MOVEMENTS
8.1 With any facility incorporating Integrated Waste Management System with energy recovery will
come the problems of daily vehicle movements.
8.2 A facility with energy recovery will require to be in operation twenty four hours a day, seven
days a week in order to feed it, or in the case of a plant accepting deliveries five/six days a
week an area large enough to store waste.
8.3 Studies have shown a 200,000 tonne plant will attract 200-250 vehicle movements a day
involving HGV lorries.
Likewise the lorry movements for a 100,000 tonne plant will be 100-125 and for a 50,000 tonne
plant 50-60 (not 19 as stated by WCC representatives).
Figures published for the South East London Combined Heat and Power Plant (SELCHP) which
is a 400,000 tonne capacity plant indicate 400 vehicle movements per day.
8.4 The A36 is already heavily congested as everyone using the road daily from West Wellow to
Salisbury can vouch for. Additional HGV traffic of 200-250 movements per day will create even
more problems in pollution, congestion and also safety.
8.5 The positioning of an Integrated Waste Management facility along the A36 corridor will
therefore generate major and unacceptable traffic congestion.
Traffic will also use the A27 from Romsey through Sherfield English and Whiteparish. The
‘Street’ in Whiteparish is not wide enough to take large articulated lorries carrying waste from
Hampshire or even further afield.
Common Road in Whiteparish is the location of the village school, lorries would be tempted to
divert down Common Road to the A36. Common Road is already congested at School start
and finish times, further traffic will endanger the lives of the schoolchildren.
A riding stable is also located along Common Road which has already had one bad experience
with an HGV vehicle.
8.6 In Chapter 5 of Wiltshire and Swindon Waste Local Plan 2011 – Consultation on Issues and
Options it states in item 5.1.1.
"Locating waste management facilities where they have suitable access to the transport
network including potential opportunities for rail transport".
Also in item 3.7.2 it states:
"The volume of road transport can be reduced by encouraging the use of more
sustainable forms of transport such as rail to transport waste…."
The DETR document "A way with Waste" parts one and two also encourage the use of rail to
transport waste.
8.7 Within the "Search Area" there is no such opportunity to transport waste by rail.
Surely every effort must be made to find a site that can be served easily by rail in order to cut
down the pollution of HGV lorries and the number of vehicles on our roads. No effort has been
made in determining the "Area of Search.
8.8 In the Issue and Options document it states in Section 5 item 5.1.10:
"Government policy and Wiltshire Structure Plan policies support alternative modes of
transport to road. In Wiltshire and Swindon the most realistic alternative for waste
transportation is likely to be rail, although water may also be an option. The WPAs
consider that potential opportunities for the transport of waste by rail should be a factor
when identifying suitable areas for waste management. Applicants should consider the
potential to transport waste using rail as an alternative to using the road network".
8.9 No such consideration for rail transportation has been given in choosing an "Area of Search"
around the A36 corridor.
Pages 31 to 59 here - to be uploaded later
Wiltshire & Swindon Waste Local Plan 2011 - consultation on Issues and Options,
November 1999
Swindon Friends of the Earth are generally in support of the proposed policy areas proposed
by the Waste Planning Authorities. We believe that in order to plan for more sustainable
waste management there needs to be flexibility in the Plan. The UK lags behind many other
countries who have achieved far higher recycling and composting rates which we describe in
response to question 21. As such we would urge caution against suggesting options that
involve great initial capital expense and might have limited value in the long term. Waste
management policy is changing rapidly. Recycling is put at a disadvantage by a change in
the market value of a waste material. However the intrinsic value of the material with regard
to resource use remains constant and markets can change overnight.
We have already submitted a written response to the key issues summary booklet and an
extensive critique of mass-burn incineration with energy recovery to which we are
vehemently opposed. We have explored a few of the questions raised in the main
consultation document where we feel that we can make useful comment.
Q1 Need, Regional Self-Sufficiency and the Proximity Principle
1.1 We support these principles but would add the PRECAUTIONARY APPROACH as
a key guide-line. The Precautionary Principle: was established in the 1990 White Paper on
the Environment, 'This Common Inheritance', and subsequently endorsed in the UK
Sustainable Development Strategy, Agenda21/The Rio Declaration, and the Government's
guidance on risk assessment and management.
1.2 The precautionary approach is explained in PPG23 (paragraph 1.12): The
Environment White Paper stressed that the Government's approach to pollution issues is a
precautionary one. Where there are significant risks of damage to the environment, pollution
controls will take into account the need to prevent or limit harm, even where scientific
knowledge is not conclusive. This "precautionary" principle applies particularly where there
are good grounds for judging either that action taken promptly at comparatively low cost
may avoid more costly damage later, or that irreversible effects may follow if action is
delayed".
Q2 The Waste Hierarchy
2.1 Paragraph 2.7.11 - the least favoured option on the ladder should be amended to
reduce the plan's need for "final disposal" rather than an emphasis on landfill/landraise which
would also be reduced as a result of the aim. Landfill waste can generate energy. Final
disposal will be to landfill or to the atmosphere.
2.2 Paragraph 2.7.13 states that as far as recycling, composting and energy recovery are
concerned "each has an equal place in the hierarchy". This statement is inaccurate and we
strongly object to its inclusion in the Plan. Energy recovery is viewed below the ranking of
the other two options in Government strategy. It states in paragraph 2.7 of A way with waste
- a draft waste strategy for England and Wales (Part one - June 1999, DETR) in the section
that examines the waste hierarchy:
Within this framework "Less Waste: More Value" proposed that incineration with energy
recovery should not be considered without consideration first being given to the possibility of
composting and material recycling. This approach to the hierarchy received widespread
support, with the overwhelming majority who expressed a view agreeing with the
Government’s suggestion. The Government therefore reiterates its support for the waste
hierarchy, within which recycling and composting should be considered before recovery of
energy from waste. .
2.3 As such Government strategy should be reflected in the Plan.
Q3 Is this an appropriate list of issues to be addressed in proposals?
3.1 Key objective 5 - paragraph 2.7.18 is "to reduce the adverse impacts of waste
management on the natural and built environment and on people's quality of life" which we
would assume would include health considerations.
3.2 Question 3 relates to residential amenity and, as such, the list could be extended to
include other matters that are highlighted under air, water and land quality elsewhere in the
consultation document but which also relate to health risks.
3.3 The obligation under the Waste Management Licensing Regulations (Paragraph
4(1)(a), Schedule 4, Waste Management Licensing Regulations 1994, SI. 1994/1056)is to:
"ensure that waste is recovered or disposed of without endangering human health and
without using processes or methods which could harm the environment and in particular
without -
Risk to water, air, soil, plants or animals; or
Causing nuisance through noise or odours; or
Adversely affecting the countryside or places of special interest."3.4 There are no questions regarding sustainable options for waste management with
regard to public health. As such we suggest that this matter is added to the policy area in
question.
Q10 Nature conservation - designated sites
10.1 We support the proposal to allow for different levels of protection dependent on the
designated status of the site and, we would add, that candidate sites would receive similar
protection. We would also include a policy that protects endangered species (and their
habitats) under the Biodiversity Action Plan that do not necessarily fall into the policy area
proposed by Q11.
10.2 However we object to paragraph 3.9.2 regarding SPAs and SACs that states "waste
management proposals will only be permitted where they do not adversely affect the site’s
integrity". This conflicts with the EU Birds and Habitats Directives that calls for ultimate
protection against development of internationally designated sites.
10.3 Note that the European Commission announced on 11 January 2000 that the UK is to
be targeted with further infringement actions over failure to comply with the 1992 EU
Habitats Directive. A court case will be launched against Britain for failure to nominate a
complete list of areas to become part of the Natura 2000 network of protected sites. The UK
have only nominated 340 sites to become part of the Natura 2000 network. The EU
executive complains that the list is insufficient. This applies to "nearly half" the relevant
endangered habitat types and wildlife species listed in the 1992 directive, based on the
presence of which a full list of sites should have been nominated by 1995. It is likely that
more SSSIs of biological importance will be brought forward to meet the Directive. As such
policies for SSSIs designated for their wildlife quality should be afforded the protection of
internationally protected sites.
10.4 The UK is proposing new legislation under the Wildlife Bill that is, as yet, to be
drafted. This will ensure that SSSIs are offered greater protection against damage. The Plan
should reflect that there is future guidance in the offing to increase protection and
enhancement of the UK’s best wildlife sites.
Q21 waste reduction targets and promotion of incineration?
21.1 We believe that the waste reduction targets are not only achievable but could be
exceeded and draw attention to good practice elsewhere that is used without promoting
energy recovery. It is well-documented that waste diversion (recycling plus composting)
rates are rising rapidly across the Western World, with national rates now reaching over 30%
in the U.S. and Germany. At the state and city level, the trend toward ever higher rates is
even more clear. In the U.S., 7 states with a total population of over 55 million residents now
have rates of over 40% and there are similar numbers from German states as well. At the city
and county/region level, the leading jurisdictions are now above 50%, 60% and even 70% -
e.g. Alachua County, Florida (population 182,000) is at 74%;
the Quinte and Bluewater regions of Ontario, Canada (populations totalling 200,000) arebetween 65%-75%;
Passaic and Morris Counties in New Jersey (populations totalling over 898,000) areabove 60%; and the cities of Seattle, Washington and San Jose, California (populations
totalling over 1,300,000) are both at 50%.
21.2 What can be seen over the last decade's development of recycling and composting is a
process whereby smaller towns and cities lead the way in testing new techniques, thus
proving that higher rates are possible and cost-effective with the new systems, before they are
taken up on a wider regional and national scale. In the same way - but with a significant time
lag - the UK's national rate of 8% is expected to begin its climb toward higher rates, now that
smaller U.K. communities, such as Wye in Kent (60%) and Bury-St. Edmonds (40%) are
showing the way. For example recent applications of more intensive recycling and
composting techniques in London have lifted its rate from 6% to nearly 12% in a year.
21.3 In contrast, the share of all waste managed through both incineration and landfill is in
decline. 'Energy From Waste' rates in the U.S. have fallen from 12% to 9%, and landfill rates
have fallen from 80% to 61% whilst recycling rose from 8% to 30% over the past decade.
21.4 This same process can be seen by looking at the recycled percentage in major
manufactured materials, as the expansion and conversion of these industries must proceed
apace in order to reprocess these materials. World steel production is already more than 50%
from recycled scrap/cans/etc.; and world pulp and paper production now uses more than 40%
recycled content.
21.5 The size of the recycling and composting industry have grown accordingly and
nations which have aggressively pursued the path of waste diversion have reaped enormous
economic gains. e.g. A November 1997 report from Dresdner Kleinwort Benson found that
the revamped German waste/recycling industry not only employed more than 150,000
employees, and was not only larger than "sectors such as telecommunications and
engineering" but that it now "dwarfs the retail and steel sectors." This massive, world-wide
transformation has not only changed the face of waste management, it has changed many
material manufacturing sectors, and it has brought large-scale, measurable economic benefits
to nations such as Germany, the U.S. and Canada.
21.6 On the waste reduction front, similar progress has been made, with the German
producer responsibility legislation stimulating remarkable reductions in packaging; and the
Canadian Packaging Protocol achieving its goal of 50% recycling, reuse and reduction by
1996.
21.7 Most of the figures above are not just for household waste, but include large sections
of other waste streams. The process of change tends to focus on residential waste because: it
is the most publicly visible portion of the waste stream. However for each tonne of consumer
packaging there is, on average, 10-20 tonnes of waste created in its
mining/logging/reprocessing stages.
21.8 Dozens of detailed household waste composition studies recently completed in
London have found that more than 40% of waste is classified as "easily recyclable"; with
nearly another 40% classified as "compostable". The remaining 20% is made up of materials
which can be re-used, recycled using more complex systems, reduced through producer or
consumer changes, or which must be disposed of.
21.9 Waste coming through other channels and from other sectors is actually easier to
divert. For example, large amounts of green waste are taken to Civic Amenity Sites and it is
largely clean of other contaminants. A diversion system for these materials is therefore quite
simple: good site management to control where materials are dropped; containers for the
source-separated material; a transportation system; and a composting site somewhere within
hauling distance.
21.10 Another example is office waste, 70%-90% of which is office paper. The "Green
Workplace" system developed in Ontario requires very little separation by staff, and has been
found to achieve 70%-90% diversion very rapidly. Two pilot local authority buildings in
Bexley and Haringey, London, implemented a basic version of this system in 1997, and
achieved 63% and 70% measured diversions from their first week.
21.11 At the level of industrial waste, large-scale diversion can be even more rapid and
more cost-effective, for a number of reasons. Such firms tend to have very large quantities of
materials flowing through; in-house staff with time and responsibilities which enable a
concentrated approach to change; a clear financial benefit, both from reducing waste disposal
costs, but more importantly from increasing productivity and reducing purchases of material
inputs. While there are thousands of industrial examples to choose from world-wide, the
Green Industrial Analysis and Retrofit Programme in Ontario produced 80% reductions in
solid waste, along with 20% energy savings and 30% water use reductions, for a minimal
cost, and with paybacks to the firms involved of less than 18 months.
21.12 Construction and demolition waste is a major portion of U.K. waste going to
landfill by tonnage - although rather less important in terms of its potential negative
environmental effects. The Danes appear to be the world leaders in transforming this waste
stream, as they have now reduced it by more than 70%. These materials can be reused onsite,
recycled for use elsewhere, crushed at central sites, etc.
21.13 The changes taking place in the non-residential sectors can perhaps be best illustrated
by looking at some of the global firms in California, where front-line media/entertainment
companies such as Disney and Warner Brothers have now put in place recycling systems to
rival those of more obviously "green" firms such as Xerox. In an increasingly global
economy, and with corporate access to leading-edge information soaring as a result of the
internet's growth, companies everywhere can benefit almost instantly from techniques and
systems developed anywhere.
21.14 We hope we have demonstrated what can be achieved without a reliance on
incineration. As such we support the suggested policy areas in Chapter six although we
believe that there should be more attention paid to kerbside collection potential and
community composting.
Q22 Waste imports
22.1 We have sympathy with the planning authorities with regard to dealing with spare
capacity in landfills and pressures to accept waste from outside the County. However the
forthcoming landfill legislation that will ban the disposal of putrescible waste should ensure
that more green/paper/agricultural/sewage waste etc is disposed of by composting/anaerobic
digestion or, in the case of paper, by recycling by the relevant authorities.
22.2 The landfill levy is now having a positive and marked effect on reducing, for
example, construction waste to landfill.
22.3 Whilst we support the proximity principle, it is only fair that Wiltshire should
anticipate that they will provide for final disposal of some waste from outside the County
albeit at a lower level than in the past.
Q24 Key components of a land-use strategy
24.1 In order that the land-use strategy is successful, it also needs to be flexible and to
allow communities and businesses to adjust. Waste management systems can change
dramatically as new best practice options come on stream. A reliance on a system with
massive start-up capital costs (such as mass-burn technology) can fail as a result.
24.2 For example most London Boroughs have chosen to start with weekly, kerbside
collections using an open-top box. This system allows instant feedback to households on
quality control, enables the community to make recycling a regular part of their lives,
produces visible and tangible results, and doesn’t require expensive centralised MRFs to start.
They are already achieving participation rates of 60%-90% across London, from Hackney to
Hounslow. Over time, more materials can be added to the boxes, the number of separate
categories operatives sort materials into can be reduced as MRF capacity is built, etc.
24.3 Home composting systems are similar in that they are quite easily managed by
households with gardens, and can produce large-scale diversion at very low cost to the local
authority. More complex and expensive kerbside collection of organics can then be
considered for the remainder, once system are set in place, and the public well-educated in
the importance of keeping materials clean.
24.4 It also needs to be noted how quickly systems can change. The speed with which a
city or county can change its waste management practices is much faster than a decade ago,
when most systems were being created from scratch. The first kerbside boxes, MRFs and
multi-compartment vehicles were created less than 15 years ago. Nowadays, many variants
on these systems exist and are readily available. They are backed up with detailed training
and promotional materials, and markets are growing daily. Some small communities in
North America are now able to go from minimal recycling rates all the way to 60%-70%, in a
matter of less than 2 years.
24.5 Nonetheless, the U.K. is just now beginning its period of explosive growth in the
recycling sector, with a whole range of pieces being put in place, and it is inevitable that
these will require more time than just 24 months to be fitted together. These tools include:
small electric collection carts for urban areas; new paper mill expansions in Bridgewater,
Shotton and Aylesford; steady planned increases in disposal taxes; the new Producer
Responsibility and Packaging Recovery Note (PRN) schemes; landfill tax rebates; new
doorstep collection methods for estate housing; new office recycling systems; expanded
central composting sites and markets; the availability of training and employment subsidies
through the New Deal; etc.
24.6 In other words, recycling and composting in the U.K. is entering a period of
extremely rapid growth - similar to that found in Germany and Canada and the US from
1986-1995 - and communities can look forward to a wide range of economic, environmental
and community gains, but it will probably take any community 2-3 years to first reach 25%,
then another 3-5 to reach beyond 50%. Each community in the U.K. will probably follow a
slightly different timeline, and use somewhat different methods - but together, the momentum
and critical mass required for Britain to catch up and even surpass the results from other
nations now appears to be coming into place.
24.7 We believe that energy savings should be explored further under transport. For
example the segregated recovery of waste is more efficient in energy and resource terms than
bulk recovery followed by dirty MRF' recovery or bank collection. The benefits of kerbside
collection schemes include:
_
Separated waste is the best option for securing a stock of good quality material forrecycling purposes and providing authorities with the best price from waste
merchants
_
It reduces the need for "un-neighbourly" banks and their costly upkeep_
It reduces the need to travel to recycling points_
It enables every household to participate_
It can lead to a reduction in weekly "waste" collection reducing costs further_
It provides employmentQ25 (Swindon area), Q26 (Central & W.Wilts area) and Q27 (Salisbury) and 31-34.
It is difficult to predict waste arisings and disposal in Wiltshire (particularly if Wiltshire is a
net importer of waste). Predictions could fall short as government targets and the landfill
levy regulations bite deeper. The latter has had a significant impact on construction waste
(1995-6) as Fig 4.1 of the consultation document shows. However we are concerned that
high GDP per head of population is also a significant factor in generating more waste. Poor
people throw away less waste than rich, particularly if the nil waste minimisation/recycling
option is included.
We do not wish to comment at this stage on the suitability of the preferred areas for the waste
management options. This requires detailed study of the areas concerned and Environmental
Impact Assessment of the waste management option selected. We might well support
anaerobic digestion at the site selected in West Wiltshire or in Area of search for Salisbury
but not incineration with energy recovery. Similarly anaerobic digestion in conjunction with
sewage waste could be a viable option for Barnfield Road/Sewage Treatment Works in
Swindon. We might support landfill on clay but not on mineral workings of chalk, gravel and
sandstone. We are likely to support a MRF in conjunction with landfill management or a
local recycling/composting centre that reduces the need to travel and makes use of a
brownfield site.
With regard to Swindon, we agree that multiple sites are required in order to reduce travel
under the current system. However if kerbside collection of separated waste from
commercial premises and households is implemented, then Barnfield Road site has the
greatest potential for development of a MRF and the preferred sites at Faraday Road and
Radway Road may not be required.
Q45 Energy recovery
Please read out critique of mass-burn incineration with energy recovery previously
submitted. We maintain our strong objection to this.
We agree the suggested policy area for other energy recovery systems and this should include
landfill - it doesn’t need to be a separate policy area. Include support for heat recovery as part
of combined heat and energy recovery where appropriate.
Q46 Energy recovery of landfill gas
We support the suggested policy area (see 45). Mention potential of direct heat use locally
(ie combined heat and power).
Q47 Landfill
We share concerns about the restoration of mineral workings with waste. This would depend
on the nature of the waste, the porosity of the mineral worked and the proximity to
groundwater vulnerability zones.
We are totally opposed to the disposal of untreated waste to mineral voids in permeable
geological strata that can lead to contamination of groundwater. It is impossible to
adequately engineer a landfill liner (either man-made material or of clay) to contain waste
and prevent pollution. We can provide you with a critique of landfill liners if you are
interested. As such we support the WPAs move to restrict non-inert materials going to
landfill - this reflects EU policy.
Q48 Landraise
The Environment Agency believe that landraise is preferable to landfill. Contamination of
groundwater is easier to control and detect. We tend to agree in view of our concerns about
using filling mineral voids with active wastes (Q47).
Q50 Facilities for special waste
We support the suggested policy area but suggest that the majority of land-use planning
relevant to special waste (as identified in the legislation) is subject to Environmental Impact
Assessment. The definition in the EIA regulations refers to the "deposit" of special waste
and this includes temporary storage and waste transfer. We attach a copy of a letter from
GOSE (5 May 1995) that directed that an EIA should accompany a proposed waste transfer
station at Culham, Oxfordshire tat would handle small amounts of special waste.
Environmental Impact Assessment - this is a policy area that we believe has been omitted
and which requires attention.
Thank you.
Yours sincerely
Jean Saunders
Co-ordinator
Enc