potentially an issue of legal
liability, the Council must be able to prove by investigation that the identified company is indeed the source
of the incident (or that the allegation cannot be proven).
Any investigations, interventions, and incidents for each site are discussed in subsection 3.
1.1.5. Evaluation of environmental performance
Besides discussing the various details of the performance and extent of compliance by SDC during the
period under review, this report also assigns a rating
officer who has experience
in dust complaints. This assessment will take
into account similar factors as for odour – the
frequency, intensity, duration, offensiveness, and
location of the event. In terms of the intensity of
a dust event being deemed offensive or
objectionable, it can be noted that in situations
involving exposure by the general public, the
experience of the Council is that a deposition rate
of more than O.13 grams per square metre per
day can
meeting allowance rate remains at $80/hr
Five hours prep time for meetings.
Lean/Joyce
10. Participation in Regional Economic Development, Tourism Promotion and Event
Attraction/Promotion Activities
10.1 Mr M J Nield, Director – Corporate Services, spoke to the memorandum to initiate a
discussion on the involvement of the Council in regional economic development,
tourism promotion and event attraction/promotion activities ahead of the inclusion of
any changes in the draft …
Welcome to the first Regional Walkways and Cycleways Strategy for the Taranaki region. This
document provides a framework for developing and implementing a range of walking and cycling
related initiatives in the Taranaki region and is an extension on New Zealand’s commitment to
promoting walking and cycling throughout the country.
As New Zealand now has one of the highest rates of vehicle ownership in the world it is not
surprising that we have become more and more reliant on our motor
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 consent holder during the period under review, this report also assigns a rating as
to the Company’s environmental and administrative performance.
Environmental performance is concerned with actual or likely effects on the receiving
environment from the activities during the monitoring year.
of compliance by
the consent holder during the period under review, this report also assigns a rating as
to GPL’s environmental and administrative performance.
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 GPL’s approach to demonstrating consent compliance
in site operations and management including the timely provision of information to
water
required to be abstracted for washing at quarries fit within the permitted activity rule
[Rule 15] of the Regional Fresh Water Plan for Taranaki. That is, the abstraction
volume shall not exceed 50 cubic metres in any one day, and the abstraction rate shall
not exceed 1.5 litres per second.
1.4.2 Water discharge permit
Section 15(1)(a) of the RMA stipulates that no person may discharge any
contaminant into water, unless the activity is expressly allowed for by a resource
1.1.4 Evaluation of environmental and administrative performance
Besides discussing the various details of the performance and extent of compliance by STDC, 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 STDC’s approach
alleged to be associated with a particular site. If there is
potentially an issue of legal liability, the Council must be able to prove by
investigation that the identified company is indeed the source of the incident (or that
the allegation cannot be proven).
1.1.5 Evaluation of environmental performance
Besides discussing the various details of the performance and extent of compliance
by the consent holder(s) during the period under review, this report also assigns a
rating as to each
statistically significant, and that has a relative magnitude > 1 percent change per year),
it has not been adopted in this report. While this method is useful and indicative when used to analyze a
short, or initial, time period, it becomes less useful as the time series being studied grows longer. In fact, the
rate of change which may be considered meaningful is specific to each unique site. As a consequence, while
absolute and relative rates of change are calculated in this report, the interpretation