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1,469 documents from Centre for Environmental Rights
REQUEST FOR INFORMATION: KARPOWERSHIP SOUTH AFRICA
A letter from the Centre for Environmental Rights, on behalf of Fair Finance Southern Africa (FFSA), requesting information from Investec Group regarding its role in financing Karpowership SA. The letter highlights environmental concerns, legal challenges, and potential contradictions with Investec's net-zero commitments.
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Document type: Statement
REQUEST FOR INFORMATION: KARPOWERSHIP SOUTH AFRICA
The Centre for Environmental Rights, on behalf of Fair Finance Southern Africa (FFSA), sent a request for information to Türkiye İş Bankası A.Ş. (Isbank) regarding its role in financing Karpowership, a joint venture operating in South Africa. The letter highlights environmental and legal challenges facing the project and questions the bank's alignment with its Net Zero Banking Initiative commitments.
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Document type: Statement
REQUEST FOR INFORMATION: KARPOWERSHIP SOUTH AFRICA
A letter from the Centre for Environmental Rights, on behalf of Fair Finance Southern Africa (FFSA), requesting information from the Mauritius Commercial Bank (MCB) regarding its role in financing Karpowership, specifically in relation to proposed floating gas-to-power projects in South Africa.
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Document type: Statement
REQUEST FOR INFORMATION: KARPOWERSHIP SOUTH AFRICA
A letter from the Centre for Environmental Rights, on behalf of Fair Finance Southern Africa (FFSA), requesting information from Standard Chartered Bank regarding its role in financing Karpowership South Africa. The letter highlights environmental concerns, legal challenges, and potential contradictions with the bank's net-zero commitments.
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Document type: Statement
LIFE AFTER COAL COMMENTS ON DRAFT 8TH NATIONAL GREENHOUSE GAS INVENTORY REPORT
The Centre for Environmental Rights, representing the Life After Coal/Impilo Ngaphandle Kwamalahle Campaign, submitted comments on the Draft 8th National Greenhouse Gas Inventory Report (NGHGIR) on 31 August 2022. The submission argues that the draft significantly undercounts methane emissions due to the omission of fugitive emissions from the oil and gas industry, pipeline transport, and abandoned mines, and criticizes the use of outdated global warming potential (GWP) metrics and low emission factors for coal mining.
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Document type: Statement
2022: Combined comments on proposed regulations pertaining to Financial Provisioning for Mitigation and Rehabilitation of Environmental Damage caused by Reconnaissance, Prospecting, Exploration, Mining or Production Operations
The Centre for Environmental Rights submitted combined comments on 25 August 2022 regarding proposed regulations for financial provisioning for the mitigation and rehabilitation of environmental damage caused by mining and exploration operations.
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Document type: Statement
COMMENTS ON THE PROPOSED REGULATIONS PERTAINING TO FINANCIAL PROVISIONING FOR MITIGATION AND REHABILITATION OF ENVIRONMENTAL DAMAGE CAUSED BY RECONNAISSANCE, PROSPECTING, EXPLORATION, MINING, OR PRODUCTION, 2022
This document contains joint comments submitted by the Centre for Environmental Rights (CER) and seven other civil society organisations to the South African Department of Forestry, Fisheries, and the Environment (DFFE). The submission critiques the proposed 2022 regulations regarding financial provisioning for the mitigation and rehabilitation of environmental damage caused by extractive activities, arguing that the regulations should prioritise environmental protection and community rights over corporate profitability.
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Document type: Statement
STAATSKOERANT
This government notice and accompanying Terms of Reference establish the National Environmental Consultative and Advisory Forum to advise the Minister of Forestry, Fisheries and the Environment on applications for the suspension and postponement of compliance with Minimum Emission Standards (MES) and the issuance of Provisional Atmospheric Emission Licences (PAEL).
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Document type: Report
SOUTH AFRICA’S NATIONALLY DETERMINED CONTRIBUTION
The Centre for Environmental Rights, representing the Life After Coal/Impilo Ngaphandle Kwamalahle Campaign, submitted a letter to the South African Minister of Forestry, Fisheries and the Environment on 5 August 2022. The letter urges the government to strengthen its 2030 Nationally Determined Contribution (NDC) targets to align with the Paris Agreement and the Glasgow Climate Pact, arguing that current targets are insufficient to limit global warming to 1.5°C.
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Document type: Statement
WRITTEN REPRESENTATIONS ON THE DRAFT MINE HEALTH AND SAFETY AMENDMENT BILL, 2022
The Centre for Environmental Rights (CER) submitted written representations on 29 July 2022 regarding the Draft Mine Health and Safety Amendment Bill, 2022. The CER argues that the current Mine Health and Safety Act 29 of 1996 and the proposed amendments fail to adequately protect the constitutional rights of communities living near mines, specifically regarding the impacts of mine blasting.
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Document type: Statement
DRAFT EXPLANATORY MEMORANDUM ON THE TAXATION LAWS AMENDMENT BILL, 2022
This draft explanatory memorandum outlines proposed amendments to the Taxation Laws Amendment Bill, 2022, covering income tax, value-added tax (VAT), carbon tax, and customs and excise duties. The proposals aim to resolve technical anomalies, align tax laws with new accounting standards (IFRS 17), curb tax avoidance regarding contributed tax capital, and support South Africa's climate commitments through a ramped-up carbon tax trajectory and extended energy efficiency incentives.
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Document type: Report
Daniel Billy and Others v Australia (Torres Strait Islanders Petition)
This case study details a petition filed by eight Torres Strait Islanders and six children against the Australian government to the United Nations Human Rights Committee, alleging that Australia's failure to address climate change violated their fundamental human rights under the International Covenant on Civil and Political Rights (ICCPR).
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Document type: Case study
OBJECTIONS TO THE WATER USE LICENCE APPLICATION FOR THE PROPOSED MOKOLO CROCODILE RIVER (WEST) WATER AUGMENTATION PROJECT PHASE2A (MCWAP-2A)
The Centre for Environmental Rights (CER), on behalf of Earthlife Africa and groundWork, submitted formal objections on 14 June 2022 to the Integrated Water Use Licence Application (IWULA) for Phase 2A of the Mokolo Crocodile River (West) Water Augmentation Project (MCWAP-2A). The CER argues that the project is an unnecessary inter-basin transfer designed to support coal expansion, which contradicts South Africa's climate commitments and poses severe risks to aquatic ecosystems and local communities.
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Document type: Statement
LIFE AFTER COAL CAMPAIGN COMMENTS ON THE CLIMATE CHANGE BILL, 2022
The Life After Coal/Impilo Ngaphandle Kwamalahle Campaign, represented by the Centre for Environmental Rights, groundWork, and Earthlife Africa, submitted comments on the Climate Change Bill, 2022. The submission argues that the Bill is insufficient to address the climate emergency and lacks the urgency, ambition, and enforcement mechanisms necessary to meet South Africa's international obligations under the Paris Agreement and protect constitutional rights.
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Document type: Statement
URGENT REQUEST FOR INFORMATION RELATING TO CLIMATE CHANGE BILL B9-2022
The Centre for Environmental Rights, representing groundWork, Earthlife Africa, and the Life After Coal/Impilo Ngaphandle Kwamalahle Campaign, submitted an urgent request for information to the South African Minister of Forestry, Fisheries and the Environment regarding the Climate Change Bill B9-2022. The letter seeks clarification on the removal of emissions trajectories, the status of national adaptation plans, the timeline for regulations, and access to a recent socio-economic impact assessment to enable meaningful public participation before the May 27, 2022, comment deadline.
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Document type: Statement
RULE 16A NOTICE
This Rule 16A Notice, filed by the Centre for Environmental Rights on behalf of GroundWork Trust and the South Durban Community Environmental Alliance, raises a constitutional issue regarding the Minister of Forestry, Fisheries and the Environment's decision to refuse an appeal on 20 November 2021 concerning an Environmental Authorisation granted to Phinda Power Producers (Pty) Limited.
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Document type: Statement
NOTICE IN TERMS OF RULE 41A
A legal notice filed by the Centre for Environmental Rights on behalf of GroundWork Trust and the South Durban Community Environmental Alliance opposing the referral of a case to mediation regarding an environmental authorisation for a 320MW gas power plant.
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Document type: Statement
ENVIRONMENTAL IMPACT ASSESSMENT FOR THE PROPOSED METALLURGICAL CLUSTER OF THE MUSINA-MAKHADO SPECIAL ECONOMIC ZONE (LEDET ref: 12/1/9/2-V79; NEAS ref: LIM/EIA/0000793/2019)
The Centre for Environmental Rights (CER), representing several environmental and community organisations, has requested the urgent intervention of the Minister of Forestry, Fisheries and the Environment (DFFE) regarding the environmental authorisation of the Musina-Makhado Special Economic Zone (MMSEZ) project. The CER argues that the Limpopo Department of Economic Development, Environment and Tourism (LEDET) is not the lawful competent authority due to a conflict of interest and that the project's scale and transboundary implications require national-level oversight under the National Environmental Management Act (NEMA).
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Document type: Statement
APPEAL TO THE APPEAL AUTHORITY, DEPARTMENT OF ECONOMIC DEVELOPMENT, ENVIRONMENT AND TOURISM, LIMPOPO
This document is a formal appeal submitted by the Centre for Environmental Rights (CER) on behalf of four appellants—Earthlife Africa, groundWork, the Mining and Environmental Justice Community Network of South Africa, and Dzomo La Mupo—to the Member of the Executive Council (MEC) of the Limpopo Department of Economic Development, Environment and Tourism (LEDET). The appeal seeks to set aside Environmental Authorisation (EA) No. 12/1/9/2-V79, granted on 23 February 2022 to the Musina-Makhado Special Economic Zone (SOC) Ltd (MMSEZ). The EA allows for the site clearance of 3,863 hectares of indigenous vegetation and the development of bulk infrastructure in the Vhembe District of Limpopo. The appellants argue that the EA is unlawful due to procedural irregularities, a lack of authority by the decision-maker, failure to assess cumulative and climate impacts, and the disregard of cultural heritage and water scarcity issues.
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Document type: Statement
COMMENT ON THE SECOND AMENDMENT BILL OF THE ELECTRICITY REGULATION ACT 94 OF 2006 (GN1746 of 10 February 2022)
The Centre for Environmental Rights (CER), on behalf of the Life After Coal Campaign (LAC), submitted comments on the Second Amendment Bill of the Electricity Regulation Act (ERA) 94 of 2006. The CER argues that the amendments fail to integrate climate change obligations and a just transition, while granting excessive discretionary power to the Minister of Mineral Resources and Energy. The submission calls for stronger regulatory oversight by NERSA, increased transparency in licensing and procurement, and the protection of public participation rights in line with PAJA and PAIA.
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Document type: Statement