AfterBarker: Environmental Impact Assessment Procedures in the Uk Planning Regime

2007 ◽  
Vol 9 (1) ◽  
pp. 46-54
Author(s):  
Tom Ball
2004 ◽  
Vol 06 (02) ◽  
pp. 177-188 ◽  
Author(s):  
JOE WESTON

Directive 97/11/EC, amending the Environmental Impact Assessment (EIA) Directive (85/337/EEC), introduced a number of key changes to the procedures of EIA in the European Union (EU). One significant amendment was the introduction of a requirement for EIAs to be completed for "changes or extensions to Annex I or II projects that have already been authorised executed or are in the process of being executed and which are likely to have significant adverse effects on the environment (CEC, 1997). That requirement imposes a duty on competent authorities to screen all changes and extensions of Annex I and Annex II projects for the need for EIA. Applying legal and policy principles established in the European Union, the scope of what constitute relevant changes and extensions is very wide. Given this wide scope, it would be reasonable to assume that screening changes or extensions would have been a major growth area of EIA activity in the UK. However, evidence presented here indicates just the opposite and suggests that many local planning authorities are not fully aware of the full implications of this clause in the EIA Directive. Furthermore, for the full implications of the "changes and extensions" clause to be implemented in the UK may require further amendments to the EIA legislation.


Pomorstvo ◽  
2020 ◽  
Vol 34 (1) ◽  
pp. 65-73
Author(s):  
Lidija Runko Luttenberger ◽  
Jadranka Matić ◽  
Draga Mihelić ◽  
Nikola Mandić

Appropriately high level of marine environment protection implies taking the measures of prudence, precaution, reasonable and rational use of marine natural resources, and that is achieved also through the assessment of potential significant negative impacts at the early stage of planning of a particular project. Marine fish and shellfish farms, marine ports, minerals exploitation, shore nourishment, seabed deepening and drying, construction in and at the sea and other projects in marine environment are subject to implementation of environmental impact assessment and screening projects based on environmental reports. The description of main features of technological processes of planned projects and their impact on marine environment constitute an integral part of environmental reports, as technical baselines for assessing potential significant negative impacts. In order to prevent pollution, pursuant to law provisions, it is necessary to apply technologies that are most efficient for achieving high level of marine environment protection. In assessing at the planning stage whether most acceptable technologies are used, consultative expert committee consisting of scientists and professionals is engaged in environmental impact assessment procedures. Paper analyses the parts of environmental reports describing technological procedures and proposes the methods of upgrading their quality by involving experts and scientists in examining thereof.


2012 ◽  
Vol 14 (03) ◽  
pp. 1250020 ◽  
Author(s):  
ANASTASSIOS PERDICOÚLIS ◽  
JOHN GLASSON

Causality, or the relation of cause and effect, is a fundamental notion in impact assessment, indicating how impacts arise from development actions. In the context of Environmental Impact Assessment (EIA), recent research in the UK has indicated that impact statements typically do not contain graphic expressions of causality. This article explores the extent to which causality about environmental impacts is described in the text of the Environmental Impact Statements (EIS). The analysis methodology employs two techniques, semantics analysis and transcription of the text into causal digraphs, while the case study material is sampled from ten recent UK and US impact statements. The research indicates in many cases that the communication of causality has faults such as uncertainty or absence of important information, and we highlight the implications for the practice of EIA.


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