87 research outputs found

    An independent review of monitoring measures undertaken in Neath Port Talbot in respect of particulate matter (PM10)

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    The purpose of this Executive Summary is not to provide a comprehensive summation of all the observations and conclusions identified during this study but rather provide a synopsis of the main findings of this independent review. The points raised in this Executive Summary are supported by in-depth discussion and data analysis in the main document and therefore the reader should not draw any conclusions without reading the main document in detail.The Air Quality Management Resource Centre (AQMRC), University of the West of England, Bristol (UWE) was appointed by the Welsh Assembly Government following a competitive tendering process to undertake a project entitled ‘An Independent Review of Monitoring Measures Undertaken in Neath Port Talbot in Respect of Particulate Matter (PM10) - Contract Number RPP0001/2009’. Within the Tender Specification prepared by the Welsh Assembly Government, clear project aims have been highlighted as follows:- Provide an independent amalgamation and review of the monitoring, modelling, source apportionment and atmospheric particle characterisation work undertaken in respect of PM10 pollution in the Neath Port Talbot area since 2000;- Draw upon the projects undertaken by, and experiences of, relevant stakeholders including Neath Port Talbot County Borough Council (NPTCBC), contracted consultants, WAG, the Environment Agency Wales (EAW), the Port Talbot Steelworks site operators and several university researchers;- Provide advice to WAG on further measures to pinpoint sources of particulate matter within the area; and- Assist the Welsh Minister’s understanding of the issues and implementation of actions in the affected area to ensure that concentrations of PM10 attain the air quality standards as set out in the Air Quality Standards (Wales) Regulations 2007.Following the Environment Act 1995 all local authorities have a statutory duty to review and assess air quality within their administrative area. NPTCBC have undertaken their review and assessment duties since the commencement of Round 1 in 1998. In Round 1 the Council identified an exceedence of the PM10 24-hour air quality objective and the Taibach Margam Air Quality Management Area for PM10 (24-hour objective) was declared on the 1st of July 2000.Subsequently, as required by the Environment Act 1995, NPTCBC undertook a Stage 4 / Further Assessment of air quality in which their source apportionmentstudy identified the Port Talbot Steelworks as the primary source of PM10 emissions. As required by the legislation NPTCBC has developed the Taibach Margam Air Quality Management Area (PM10) Air Quality Action Plan (NPTCBC AQAP) in collaboration with various stakeholders including the site operators and Environment Agency Wales (EAW) and has subsequently continued with their statutory Local Air Quality Management (LAQM) duties. A synopsis of all the key conclusions and recommendations from this study are provided below and they have been categorised according to the primary objectives of the project tender specifications as outlined in Section 2.1

    Enhancing the communication potential of smart metering for energy and water

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    © 2018 Elsevier Ltd The success of water and energy smart metering is highly contingent on a successful communication strategy. We report on the findings from a qualitative study involving discourse analysis of customer messaging and focus groups with utility professionals. Discourse analysis suggests that the primary framings applied are “control” “convenience and “savings”. Focus groups revealed paradoxes contained in these framings as the participants associate metering with the loss of control over private data, inconvenience during the installation process, and lack of financial gains if customers’ lifestyles cannot support “smart” decisions. Future communications should be tailored to the values and needs of consumers

    Co-designing food waste services in the catering sector

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    © 2018, Emerald Publishing Limited. Purpose: The purpose of this paper is to present results from the action research project, where sustainability professionals, local businesses and academic researchers collaborated on exploring barriers for food waste recycling in SMEs food outlets in order to inform local policy and business practices in Bristol, UK. Design/methodology/approach: The researchers conducted face-to-face, qualitative surveys of 79 catering businesses in three diverse areas of the city. The action research methodology was applied, where a range of co-researchers contributed towards study design and review. Findings: The research reveals the main barriers to recycling and how such perceptions differ depending on whether the respondents do or do not recycle, with “convenience” and “cost” being the main issue according to the already recycling participants. On the other hand, participants who do not recycle state that their main reason is “not enough waste” and “lack of space”. Practical implications: Participants recommended a range of measures, which could improve the current food waste services in Bristol. For example, they suggest that business engagement should address the barriers voiced by the participants applying the framings used by them, rather than assuming restaurants and cafes are not aware of the issue. By inviting a variety of non-academic stakeholders into the process of research design and analysis, the project addressed the imbalances in knowledge production and policy design. Originality/value: Despite the local and qualitative focus of this paper, the results and research methodology could act as a useful guide for conducting food waste action research in the policy context

    Policy disconnect: A critical review of UK air quality policy in relation to EU and LAQM responsibilities over the last 20 years

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    © 2018 Elsevier Ltd This paper critically reviews United Kingdom (UK) air quality policy in relation to European and Local Air Quality Management (LAQM) responsibilities over the last 20 years. The arguments articulated in this paper highlight the gulf between national and local air quality management in the UK, including differences in legislation, legal responsibilities, scales of operation, monitoring and modelling requirements, exceedence reporting and action planning. It is argued that local authorities cannot be held responsible for the UK's failure to achieve the European Union (EU) nitrogen dioxide (NO2) limit values due to fundamental differences between local government responsibilities under LAQM and the UK compliance assessment reporting to the EU. Furthermore, unambitious and counterproductive national policies and the failure of EU light-duty vehicle type approval tests and Euro standards to reduce real-world emissions of nitrogen oxides (NOx) are the main reasons for continued NO2 limit value exceedences. This failure of EU and national air quality policies has effectively undermined local authority action to improve local air quality, resulting in delays in achieving the standards, wasted resources at local and national levels, and, ultimately, unnecessary loss of life and increased morbidity in the UK population. This paper concludes that the current emphasis that the UK government is placing on implementation of Clean Air Zones (CAZs) to achieve the Ambient Air Quality Directive (2008/50/EC) (AAQD), and avoid substantial fines imposed by the European Court of Justice (CJEU), is flawed. Based on the arguments presented in this paper, a series of recommendations is proposed for the European Union, the UK government, devolved administrations and local authorities

    Mapping ammonia risk on sensitive habitats in Ireland

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    © 2018 Elsevier B.V. The aim of this study was to provide a simple, cost-effective, risk-based map of terrestrial areas in Ireland where environmental quality may be at risk from atmospheric ammonia. This risk-based approach identifies Natura 2000 sites in Ireland at risk from agricultural atmospheric ammonia, collating best available data using Geographical Information Systems (GIS). In mapping ammonia risk on sensitive habitats (MARSH), the method identifies sources of ammonia, classifying them on a scale of risk from 0 to 5. These sources are subsequently summed based on a weighting determined by their contribution to national emissions divided by their potentially impacted area. A Pearson's correlation coefficient of 0.72 allows for concentrations from United Kingdom's FRAME modelling to be applied to the MARSH model, which are corrected based on recent monitoring. Applying Designation Weighted Indicators (DWI), the MARSH model predicts that 80.7, 34.3 and 5.9% of Natura 2000 sites in Ireland may exceed ambient concentrations of 1, 2, and 3 ÎŒg/m3, respectively. A Nitroindex map of Ireland based on available lichen records was also developed and is presented as part of this study. This Nitroindex was used to identify areas where impacts have already been recorded, thus informing the classification of sites “at-risk”. The combination of both the MARSH and Nitroindex models ascertains which Natura 2000 sites are most at risk, thereby providing valuable data to relevant authorities. The MARSH model acts as a first step towards screening and assessing Natura 2000 sites most at risk from atmospheric ammonia, providing a tool to demonstrate compliance with the National Emissions Ceilings Directive

    A critical review of the robustness of the UK government’s air quality plan and expected compliance dates

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    Globally, poor air quality is the most significant environmental health concern. Across Europe, 400,000 deaths were attributed to air pollution in 2012, whilst in the UK over 50,000 deaths per year are due to a combination of gaseous and particulate matter air pollution. The deadline for achieving the EU limit value for NO2 was the 1st of January 2010, yet the UK remains non-compliant in 38 of 43 zones and agglomerations. As a consequence, in April 2015, the government was ordered by the UK Supreme Court to draw up new air quality plans to achieve the EU limit values in the shortest time possible. In response the UK government consulted on a draft national air quality plan, which estimated compliance with the EU Air Quality Directive by 2020 in all zones and agglomerations except London (compliance by 2025). The plan introduces the concept of a Clean Air Zone (CAZ) to address the non-compliant zones but overall has significant weaknesses in many zones and agglomerations and compliance by 2020 (and 2025 in London) is considered to be overly optimistic. The plan’s predictive models use vehicle emission factors that are not considered representative of actual driving conditions, and transparency in the data underlying vehicle fleet turnover calculations is lacking. The suitability of CAZ as a cornerstone of the plan is of particular concern. This contribution examines new evidence that challenges the robustness of the UK government’s air quality plan. If air quality within the UK is to improve within the shortest time possible, significant improvements in the analysis and proposed solutions will be required
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