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Outfall ecological report 2011-2013

exceed 11,950 m3, rate of discharge not to exceed 138 L/s Data submitted to TRC in monthly and annual reports by NPDC (Appendix IV). Yes 2. Cease discharge after Waitara to New Plymouth pipeline is commissioned Pipeline due to be commissioned during summer 2014. N/A 3. pH 6-12 in at least 98% of discharge samples over 12 month period Data submitted to TRC in monthly and annual reports by NPDC (Appendix IV). Not quite: 97.3% pH 6-12 See Appendix IV 4.

Annual report 2012-2013

ecology inspection. The Company carried out air emission sampling and groundwater monitoring through independent consultants and further storm water sampling, and forwarded the results to the Council for audit and review. Processing rates continued to increase during the period, particularly for herbicides. The monitoring showed that the Company has had no significant impact on air quality in the vicinity of the plant or on water quality in the Herekawe Stream. No complaint about odour was

Todd deep well injection monitoring 2017-2018

Council to continually re-evaluate its approach and that of consent holders to resource management and, ultimately, through the refinement of methods and considered responsible resource utilisation, to move closer to achieving sustainable development of the region’s resources. 1.1.4 Evaluation of environmental and administrative performance Besides discussing the various details of the performance and extent of compliance by the Company, this report also assigns them a rating for their

Policy & Planning agenda June 2018

interventions and any evidence of a change in attainment of the NPS-FM swimmability criteria; the very high rate of attainment of swimmability in Taranaki if assessed against EU criteria instead of NPS-FM criteria; and the absence of any correlation between nutrient trends and macroinvertebrate community health trends 4. notes the report’s findings highlight the potential dangers of a ‘one size fits all’ problem analysis and solution imposition to water quality interventions at a national level

Annual report 2012-2013

low flow conditions during the monitoring period (at which time the Manaia system had been upgraded with the addition of two wetlands, the Kaponga pond subsurface discharge rate was very low and receiving water dilution very high, and the Patea upgraded ponds system discharged continuously), or on other occasions when monitoring of impacts was required by specific consent conditions. This monitoring continued the increased frequency of bacteriological receiving water surveys in the lower

Report 2013-2014

unless the activity is expressly allowed for by resource consent or a rule in a regional plan, or it falls within some particular categories set out in Section 14. The Council determined that the application to take groundwater fell within Rule 49 of the Regional Freshwater Plan for Taranaki (RFWP) as the rate and daily volume of the groundwater abstraction might exceeded that of the permitted activity (Rule 48). Rule 49 provides for groundwater abstraction as a controlled activity, subject

Annual report 2015-2016

and a administrative performance for their two facilities located on the Waitara and Pennington Roads, while environmentally, improvement is required at RNZ’s Mokau Road facility at Uruti, though there administration was rated as good. For reference, in the 2015-2016 year, 71% of consent holders in Taranaki monitored through tailored compliance monitoring programmes achieved a high level of environmental performance and compliance with their consents, while another 24% demonstrated a good

Value Timber monitoring report 2020-2021

details of the performance and extent of compliance by the Company, this report also assigns them a rating for their environmental and administrative performance during the period under review. Environmental performance is concerned with actual or likely effects on the receiving environment from the activities during the monitoring year. Administrative performance is concerned with the Company’s approach to demonstrating consent compliance in site operations and management including the

Remediation Hearing Bendall & Baker Legal Submission

avoid, remedy or mitigate adverse effects of potentially hazardous, noxious, dangerous or toxic contaminants by ensuring that any such discharge does not occur at a volume, concentration or rate or in such a manner that causes or is likely to cause a hazardous, noxious, dangerous or toxic effect on human or animal health, significant ecosystems or structures. "by ensuring any such discharge does not occur" is directive language establishing a bottom line in terms of dangerous