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McKee Power Plant monitoring 2019-2020

page page Appendix I Resource consents held by Todd Generation Taranaki Ltd (For a copy of the signed resource consent please contact the TRC Consents department) page Water abstraction permits Section 14 of the RMA stipulates that no person may take, use, dam or divert any water, unless the activity is expressly allowed for by a resource consent or a rule in a regional plan, or it falls within some particular categories …

Annual report 2016-2017

of the RMA stipulates that no person may take, use, dam or divert any water, unless the activity is expressly allowed for by a resource consent or a rule in a regional plan, or it falls within some particular categories set out in Section 14. Nova Energy holds water abstraction permit 2393-3 to take water from the Mangaone Stream for use in a gas fired Power Station. This permit was originally issued as a water take for oilfield water flooding purposes on 17 February 1988 under the Water

Annual report 2015-2016

(0.808 g/m3) continued the trend of falling values at the site (Figure 5). Figure 5 Zinc concentrations recorded in the discharge sample (IND005014) from the Company’s site between June 1992 and May 2015 4 3 Sampling was not undertaken in the 2012-2013 and 2013-2014 monitoring periods due to lack of discharge. 4 Sampling was not undertaken in the 2012-2013 and 2013-2014 monitoring periods due to lack of

Transport Activity Procurement Strategy

units as they fall due. For the urban service (Citylink) the retendering process will commence no less than twelve months prior to the expiry date of the contract. For the rural services (SouthLink) the retendering process will commence no less than four months prior to the expiry date of the contract. For the daily Hawera to New Plymouth service (Connector) the retendering process will commence no less than nine months prior to the expiry date of the contract. page 7

Annual report 2013-2014

process and subsequent compliance monitoring is an appropriate regulatory regime. In the Taranaki region, the discharge of contaminants by DWI requires resource consent from the Council. The activity falls under Rule 51 of the Regional Freshwater Plan for Taranaki and is classified as a discretionary activity. The application may be non- notified if no parties are deemed to be adversely affected by the proposed activity. At the time of writing, there were a total of 19 current resource

Annual report 2013-2014

contamination may not take place unless expressly allowed by a rule in a regional plan, resource consent or other relevant regulations. The control of DWI activities through the resource consenting process and subsequent compliance monitoring is an appropriate regulatory regime. In the Taranaki region, the discharge of contaminants by DWI requires resource consent from the Council. The activity falls under Rule 51 of the Regional Freshwater Plan for Taranaki and is classified as a discretionary

Annual report 2014-2015

by DWI requires resource consent from the Council. The activity falls under Rule 51 of the Regional Freshwater Plan for Taranaki and is classified as a discretionary activity. The application may be non-notified if no parties are deemed to be adversely affected by the proposed activity. At the time of writing, there were a total of 19 current resource consents for DWI in Taranaki. However, several resource consents have been issued for relatively short- term activities during

Annual report 2012-2013

through the resource consenting process and subsequent compliance monitoring is an appropriate regulatory regime. In the Taranaki region, the discharge of contaminants by DWI requires resource consent from the Council. The activity falls under Rule 51 of the Regional Freshwater Plan for Taranaki and is classified as a discretionary activity. The application may be non-notified if no parties are deemed to be adversely affected by the proposed activity. At the time of writing, there were a

Annual report 2012-2013

onto or into land that may result in water contamination may not take place unless expressly allowed by a rule in a regional plan, resource consent or other relevant regulations. The control of DWI activities through the resource consenting process and subsequent compliance monitoring is an appropriate regulatory regime. In the Taranaki region, the discharge of contaminants by DWI requires resource consent from the Council. The activity falls under Rule 51 of the Regional Freshwater Plan for

Annual report 2014-2015

at the industrial discharge site (IND005014) (Table 2). Figure 4 pH levels recorded in the discharge (IND005014) from the Company’s site between October 1991 and May 20153 Dissolved zinc concentrations have fallen within the consent limit of 5 g/m3 (consent conditions granted June 2010) and have decreased considerably in the last 12 years though the current result (4.3 g/m3) was a reverse in the trend of falling values at the site (Figure 5).