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annexure-c_-gem09_l011_eskom_sumbission_proposed-minimum-emission_standards_feb09-1-59bb62391cb6b41c.pdf
A submission from Eskom to Working Group 1 requesting revisions to proposed Minimum Emission Standards for power plants, specifically regarding particulate matter (PM) limits for existing plants and sulfur dioxide (SO2) limits for new plants.
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Document type: Statement
annexure-d-eskom_s-comments-on-notice-of-intention-to-amend-the-list-of-activities-nemaqa-91d9e06058865dae.pdf
This document is a formal statement from Eskom Holdings SOC Limited submitted to the Department of Environmental Affairs on 22 June 2017. It provides comments and recommendations regarding the 'Notice of Intention to Amend the List of Activities which Result in Atmospheric Emission' under the National Environmental Management: Air Quality Act (39/2004). Eskom argues that the proposed emission standards lack comprehensive cost-benefit analysis and could lead to severe financial and operational burdens, potentially necessitating significant electricity tariff increases.
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Document type: Statement
APPEAL TO THE MINISTER OF ENVIRONMENTAL AFFAIRS AND TOURISM
The Vaal Environmental Justice Alliance (VEJA) and groundWork have appealed a decision by the National Air Quality Officer (NAQO) to grant ArcelorMittal South Africa (AMSA) postponements and alternative emission limits for Hydrogen Sulphide (H2S) at its Vanderbijlpark facility. The appellants argue that the granted limits are unlawfully weaker than existing plant standards and that AMSA's history of environmental non-compliance makes it unfit to receive such leniency.
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Document type: Statement
annexure-d-ror-d47cdf091deca383.pdf
This Record of Recommendation (RoR), dated 25 January 2017, provides the assessment by the South African Department of Water and Sanitation regarding an Integrated Water Use Licence Application (IWULA) for a 600 MW coal-fired power plant proposed by KiPower (Pty) Ltd near Delmas, Mpumalanga.
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Document type: Report
annexure-d_gem09_l019_emission_standards_compliance_timeframes_mar09-1-979b3ed0e8512e11.pdf
A letter from Eskom to the South African Bureau of Standards (SABS) detailing the company's position on compliance timeframes for proposed Minimum Emission Standards for its coal-fired power stations.
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Document type: Statement
annexure-e-groundwork-authorisation-bad16d432cba2c85.pdf
A letter dated 6 September 2017 from Sven Eaton Patrick Peck, Director of groundWork, appointing the Centre for Environmental Rights (CER) as attorneys of record to represent groundWork in an appeal to the Water Tribunal regarding a water use licence for the proposed KiPower 600MW coal-fired power station.
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Document type: Statement
KM_C654e-20180221122406
The Department of Environmental Affairs (DEA) of South Africa responded to concerns raised by the Centre for Environmental Rights (CER) regarding the interpretation and implementation of the National Greenhouse Gas (GHG) Reporting Regulations and the National Pollution Prevention Plan (PPP) Regulations.
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Document type: Statement
annexure-e_gem11_l175_comments_mes-listed-activities-amendments_sept2011-1-e7df962682fa63d1.pdf
A letter from Eskom to the South African Department of Environmental Affairs providing comments on draft amendments to the Listed Activities and Associated Minimum Emission Standards under the National Environmental Management: Air Quality Act (Act No 39 of 2004).
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Document type: Statement
annexure-f_eskom-comments-of-the-draft-emission-standards-to-direct-general-dea-24-august-2009-1-217fae1117217c92.pdf
A 2009 statement from Eskom to the South African Department of Environmental Affairs (DEA) regarding draft minimum emission standards. Eskom expresses support for the standards as a long-term goal but argues that the proposed timeframes and limit values are practically and financially unfeasible for its existing power station fleet due to resource constraints and economic impacts.
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Document type: Statement
annexure-g_submission-to-the-parliament-portfolio-committee-on-water-and-dea-april-2013-1-200121e7f260bef7.pdf
In a submission to the Parliament Portfolio Committee on Water and Environmental Affairs dated 12 April 2013, Eskom expresses concerns that full compliance with the Minimum Emission Standards (MES) for Listed Activities under the National Environmental Management: Air Quality Act, 2004, would threaten energy security and increase electricity tariffs. While supporting the act in general, Eskom argues that the standards ignore local scientific evidence and resource constraints, specifically regarding water availability and capital costs.
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Document type: Statement
annexure-h_eskoms-response-to-deas-additonal-information-request-in-terms-of-the-postponement-applications_camden-power-station-4cfac5ed4422baee.pdf
This document is a response from Eskom to the Department of Environmental Affairs (DEA) regarding a request for additional information on the postponement application for the Camden Power Station to comply with Minimum Emission Standards (MES). Eskom states that the station will not comply with 'new plant' standards for particulate matter (PM), sulfur dioxide (SO2), or nitrogen oxides (NOx) before its expected decommissioning between 2020 and 2023.
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Document type: Briefing
annexure-h_eskoms-response-to-deas-additonal-information-request-in-terms-of-the-postponement-applications_hendrina-power-station-d57cbbdc7c872fea.pdf
This briefing, dated 17 July 2014, is a response from Eskom to the South African Department of Environmental Affairs (DEA) regarding a postponement application for the Hendrina Power Station to comply with Minimum Emission Standards (MES). Eskom outlines current stack emission limits, its lack of plans to upgrade the station for certain pollutants, and provides ambient air quality monitoring data showing non-compliance for particulate matter.
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Document type: Briefing
annexure-h_eskoms-response-to-deas-additonal-information-request-in-terms-of-the-postponement-applications_komati-power-station-75b77503ae5b7ee9.pdf
Eskom's 2014 response to the DEA regarding the Komati Power Station's request to postpone compliance with Minimum Emission Standards (MES). Eskom states it has no plans to upgrade the station to meet 'new plant' limits for PM, SO2, and NOx because the station is old (commissioned 1961-1966) and slated for decommissioning between 2024 and 2028. While the station complies with ambient SO2 and NOx standards, it is in non-compliance with ambient PM10 standards, recording between 82 and 162 exceedances of the 24-hour limit per year. Eskom argues that further emission reductions at Komati would not meaningfully improve ambient PM levels as the station's contribution is small compared to total levels.
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Document type: Briefing
annexure-h_eskoms-response-to-deas-additonal-information-request-in-terms-of-the-postponement-applications_lethabo-power-station-8abc67952e171fd4.pdf
This document is a letter from Eskom to the Department of Environmental Affairs (DEA) dated 17 July 2014, providing additional information to support a postponement application for the Lethabo Power Station's compliance with Minimum Emission Standards (MES). Eskom outlines current stack emission limits, argues that full compliance by 2015 and 2020 is not practically feasible, and provides ambient air quality monitoring data and a register of public complaints regarding pollution.
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Document type: Briefing
annexure-m-dws-letter-1-9-17-14e8fe525742f5a4.pdf
A letter from the South African Department of Water and Sanitation to the Centre for Environmental Rights requesting an extension until 15 September 2017 to provide information regarding the Integrated Water Use Licence for KiPOWER (PTY) LTD.
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Document type: Statement
annexure-ra2-a84a67dd69d699d1.pdf
A legal letter from Shepstone & Wylie to the Minister of Mineral Resources and Energy requesting a decision on a suspension application regarding the Tormin Mine. The firm argues that an appeal by the Centre for Environmental Rights (CER) is invalid due to non-compliance with Regulation 74 of the Mineral and Petroleum Resources Development Regulations.
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Document type: Statement
annexure-ra5-cd2eb1b515ce9727.pdf
The Minister of Environment, Forestry and Fisheries of South Africa dismissed appeals brought by the Centre for Environmental Rights and the North Western Cape Mining Forum against an Environmental Authorisation (EA) granted to Mineral Sands Resources (Pty) Ltd. The EA was issued under section 24G of the National Environmental Management Act (NEMA) to rectify the unlawful commencement of listed activities—specifically the clearance of vegetation and the construction of a process water dam—on the farm Geelwal Karoo 262 in the Western Cape Province.
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Document type: Statement
annexure-ra7-part-1-of-2-695326620eb9351d.pdf
The 'Mining and Biodiversity Guideline: Mainstreaming biodiversity into the mining sector' (2013) is a practical manual designed to help the South African mining industry, regulators, and practitioners integrate biodiversity considerations into the entire mining life cycle, from reconnaissance to closure. It aims to balance economic growth from mineral wealth with the conservation of South Africa's megadiverse ecosystems by providing a risk-based approach to land-use planning and impact management.
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Document type: Guide
annexure-ra7-part-2-of-d30f1165fbad3b3e.pdf
This guide provides a framework for integrating biodiversity and ecosystem services into the mining life cycle in South Africa. It details the application of the mitigation hierarchy—avoidance, minimisation, rehabilitation, and offsetting—across various stages of mining, from reconnaissance to decommissioning and closure. The document emphasizes the role of Environmental Management Programmes (EMPs) and the necessity of robust financial provision for environmental remediation, particularly when operating in biodiversity priority areas.
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Document type: Guide
20200221_Correspondence_Proposed determinations (00000002).pdf
A government notice from the South African Department of Mineral Resources and Energy determining the procurement of 2000 MW of new generation capacity from independent power producers to ensure energy security between 2019 and 2022.
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Document type: Statement