Title: NATIONAL WASTE MANAGEMENT STRATEGY
1 NATIONAL WASTE MANAGEMENT STRATEGY Parliamentar
y Portfolio Committee on Water and Environmental
Affairs 30th May 2012 Dr Dhiraj Rama
2NATIONAL WASTE MANAGEMENT STRATEGY - ACMP comments
- CONTENTS
- Introduction ACMP
- National waste management strategy( NWMS)- an
overview - Cleaner production in the context of waste
management - Cement Sector Case Study
- Recommendations
- Conclusions
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4NWMS Context
- National Environmental Management Act
- National Strategy on sustainable development
- White Paper on Climate change
- Cleaner Production http//www.environment.gov.za
/projprog/wastemgmt/cleanproduction_pamphlet.htm - 1999NWMS action plan for Integrated Waste
Management Planning - 2000 Clean Town Competitions
www.environment.gov.za - 2001 The Polokwane declaration on waste
management - The Waste Act
- Interpretation waste definition
http//www.sawic.org.za/documents/561.pdf - Current Regulatory framework
- Permits issued under Environmental Conservation
Act recognised - Waste from mining and power generation excluded
form Waste definition GN 1986-24 Aug 1990 - Transitional arrangement recognises this
exclusion clause
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6UNDERSTANNDING HIERARCHY OF WASTE PRINCIPLES
Supporting outcomes of the Waste Act
7NWMS Contextualising Prevention / Minimisation
understanding when a material assumes waste status
8NWMS Contextualising Prevention / Minimisation
- What is Cleaner Production? http//www.environmen
t.gov.za/projprog/wastemgmt/cleanproduction_pamphl
et.htm - It is a continuous application of an integrated
preventative environmental strategy applied to
processes, and services to increase
eco-efficiency and reduce risks to humans and the
environment - The focus of CP is on prevention rather than on
treatment requires a change in process
management, to - Reduce excess inputs
- Better utilisation of non-product output ("waste"
and by-products). - What are the benefits?
- Reduces ecological damage from raw material
extraction, refining operations and the risk of
emissions during processes - What are the NWMS targets?
- Some examples
- Reduced ecological damage
- Reduction of waste/landfilling
- Utilisation of secondary products
- Energy efficiency optimisation
Objective 1 Promote waste minimisation in the design, composition, and manufacturing of products
9OVERVIEW OF NWMS Table 6 Goals, objectives,
indicators and targets
10Recommendation 1
- Review Goals and targets in the context of
current status quo
11CEMENT SECTOR A CASE STUDY
12NGO PERSPECTIVE Campaign Guide to the Waste
Framework Directive transposition opportunities
and actions for NGOs. -EEBÂ
Illustration of factors to take into account in
life cycle analysis (LCA)
EEB is the environmental voice of European
citizens standing for environmental justice,
sustainable development and participatory
democracy They want the EU to ensure all people
a healthy environment and rich biodiversity.Â
13INTERNATIONAL PRACTICE
- TRADED AS PRODUCTS AND NOT WASTE
- European Union
- Waste, Byproduct and recovery definition
- Adopted from EU directive
- Appropriate criteria established to inform when a
substance or object assumes waste status - Appropriate criteria established to confirm when
a waste ceases to be waste
14Consequences Waste definition
- Sources of raw materials for cement production
- Mining
- Secondary products from mining/industrial process
- Challenges to sustainable development
- Secondary products from mining/industrial process
considered as waste in terms of current definition
UNINTENTIONAL CONSEQUENCE CEMENT CLASSIFIED AS WASTE
15OVERVIEW OF NWMS
- Definition of Waste
- DEA has published its intended interpretation of
the definition of waste and by-product as used in
the Waste Act to help stakeholders understand the
Departments intentions. - BUT
- Still poses a challenge
16WASTE DEFINITION CONSEQUENCES OF
MISINTERPRETATION
Industry Primary Product Co-Products Natural Resource conserved Equivalent Product / Material
Steel GBFS Ore
Electricity Fly Ash Limestone / Pozzolan
Steel Coal Char Low Grade Coal
Electricity Boiler Ash Kaolin / Shale
Ferro Vanadium Magnetite Iron Ore
Gas Purification Synthetic Gypsum Natural Gypsum
Steel Furnace Dust Granules(FDG) Iron Ore
17Recommendation 2
- Remove legislative barriers that are
counter-productive to implementation of the
hierarchy of waste principles
18BUILDING THE PILLARS TO ENABLE IMPLEMENTATION OF
NWMS
- The waste definition must allow recognition for
- implementing cleaner production, innovation and
other EIA approved technologies to confirm end of
waste status and an improved understanding on
when a product assumes waste status. - Â
- The ACMP further recommends that the Department
reconsider the following definitions to enable
implementation of the waste hierarchy in the
context of international developments - Waste
- By product
- Prevention and
- Recovery.
- Â
- The current interpretation of the definition (in
the interim) should be revised. - Many countries in the world have agreed sectoral
interpretations to ensure that there is a sound
understanding of when a product assumes waste
status and when a product ceases to be a waste. - South Africa has embraced the GHS (Global
harmonizing system) and direction can be sought
from the global approach to inform the revised
definition. - Key criteria that must be included to inform an
approach (can be adopted form EU for example) - Substances cease to be a waste when they meet all
the criteria specified. - Examples for cement raw materials stated above
are currently deemed to be a waste in South
Africa BUT are not managed as waste
internationally as they meet all the criteria. - It is abundantly evident that the materials are
managed through environment best practice and in
fact have a positive impact as they reduce mining
of non renewal resources as well as energy
consumption. Their use also has positive
mitigating outcomes to GHG emissions.
19INTERNATIONAL APPROACH
20UNDERSTANDING PRODUCT VS WASTE STATUS
Table reflecting examples of valuable resource
supply chain for cement production
21Recommendation 3
- Â Amendments to the Waste Act to address
- Waste related definitions
- Proposed additional definitions
- General matters for Regulations
22PROPOSED DEFINITIONS
- Â
- It is recommended that the Waste Act be amended
as a matter of urgency to along the lines set out
below - "waste" means any substance, whether or not that
substance can be reduced, re-used, recycled and
recovered- - (a)for which no-one has further use for the
purposes of production or - (c) that must be disposed of or
- (d) that is identified as a waste by the Minister
by notice in the Gazette, and includes waste
generated by the mining, medical or other sector,
but- - Â (i) a by-product is not considered waste
- (ii) any substance that was not classified as
waste in terms of the ECA retains its non-waste
status and - (iii) any portion of waste, once re-used,
recycled or recovered, ceases to be waste - Â
- "by-product" means a substance or object,
resulting from a production process, the primary
aim of which is not the production of that item,
may be regarded as not being waste but as being a
by-product only if the following conditions are
met - (a) further use of the substance or object is
certain - (b) the substance or object can be used directly
without any further processing other than normal
industrial practice - (c) the substance or object is produced as an
integral part of a production process and - (d) further use is lawful, i.e. the substance or
object fulfils all relevant product,
environmental and health protection requirements
for the specific use and will not lead to overall
adverse environmental or human health impacts - Â
- recovery means any operation the principal
result of which is waste serving a useful purpose
by replacing other materials which would
otherwise have been used to fulfill a particular
function, or waste being prepared to fulfill that
function, in the plant or in the wider economy
23ADDITIONAL DEFINITIONS FOR INCLUSION IN THE WASTE
ACT
- Â Â
- prevention means measures taken before a
substance, material or product has become waste
that reduce - the quantity of waste, including through the
re-use of products or the extension of the life
span of products - the adverse impacts of the generated waste on the
environment and human health or - the content of harmful substances in materials
and products - Â
- ready and intended for imminent use Waste will
remain waste until it can be demonstrated that it
constitutes a product that is ready and intended
for imminent use without the need for further
treatment to prevent any environmental harm. - Â
- co product material generated by a
manufacturing or production process, or an
expended material, of a physical character andÂ
chemical composition that is consistently
equivalent to the physical character and chemical
composition of an intentionally manufactured
product or produced raw material, if the use of
the material presents no greater threat of harm
to human health and the environment than the use
of the product or raw material  And/or? - Is this as a result of applied mitigation or
chemical characters?
24ADDITIONAL ITEM FOR INCLUSION IN CHAPTER
8,GENERAL MATTERS, PART 1 REGULATIONS
 69. (1) The Minister may make regulations
regarding (a) a waste protocol that confirms an
end of waste status for materials, objects or
substances that have a beneficial use. Â
International harmonisation The Department take note of the European definition of waste and related products as it has been subjected to a robust public participation process as well as subsequent court actions.
25CONSEQUENCES OF NOT AMENDING THE
DEFINITIONINFRASTRUCTURE END OF WASTE STATUS
COMPROMISED
26CONSEQUENCES OF NOT AMENDING THE DEFINITION
- Â Unforeseen negative consequences to
- Green economy strategy
- Construction All concrete products are rendered
as waste buildings, dams, roads, etc - Agriculture Many products currently deemed as
waste and hence application of these substances
to agricultural land deemed to be waste receptors
and hence the land can be considered a waste site - Mining
- Discourage use of products classified as waste
resulting in increased use of non-renewable
resources (eg. Coal combustion products replacing
shale and clinker in cement) - Many Coal combustion products can be used
effectively to remediate old mines, but this is
now considered as depositing waste in mines - Possible constraints to
- Beneficiation strategy
- Industrial policy and action plan
- Job creation
- Innovation as the current definitions allow for
only recycling and recovery processes to
influence the status of waste - Biofuel strategy
27CONSEQUENCES OF AMENDING THE WASTE ACT
- Â Align to International Environmental best
practice - Adopt the Global harmonizing system
- Harmonization of international trade
- Avoid regulatory administrative barriers without
compromising already existing environmental
regulatory obligations. - Retaining these substances as waste will not
render a different approach to management
thereof. The current EIA regulations suffice to
ensure management of these substances both in
terms of protecting the environment as well as
managing our non-renewable natural resources. - Retaining these substances as waste cannot be
justified and adds no value in both terms of - Environmental protection and/or improvement of
the environment, or - Sustainable development.
- Barrier to the efficient implementation of
various national programmes. Examples - Industrial policy and action plan (IPAP)
- Green economy
- Biodiesel strategy
- Climate change strategy
- Sustainable development strategy
- Transboundary movement as product in line with
International practice
28CONCLUSION
- The Department of Environment consider
amendments to the Waste Act to ensure guidance
to - when a substance assumes waste status and
conversely - When a substance ceases to be a waste
- In the interim, the interpretation of the
definition of waste and by products be revised
sectorally to allow for sustainable use of
secondary products. - Consider a sectoral approach to fast track
implementation in terms of the hierarchy of waste
principles - The purpose of amendments is not to avoid
regulating these products - The EIA regulatory framework is adequate to
manage these substances - Classifying the substances as waste will not add
value but will merely add administrative burden
without any positive impact to the environment. - In the case of cement sector, all products comply
with SABS/EU specifications
29 Thank you!