Consultation Comments Table - Impact Assessment 8 December 2014
Consultation Comments Table - Impact Assessment 8 December 2014
Consultation Comments Table - Impact Assessment 8 December 2014
Respondent
Date
received
Summary of Comments
Response
Swiss Marine
08/05/14
EGCSA
13/05/14
Class NK
21/05/14
Noted.
Nautilus International
04/06/14
12/06/14
18/06/14
Noted.
Noted.
They are not aware of any other costs that have not
Noted.
Noted.
Noted.
Noted.
General comments
Question who the polluter is with respect to the
polluter pays principle. They consider the IA paints
shipping in an unfavourable light.
19/06/14
Noted.
Noted.
recognised.
Noted.
DFDS
23/06/14
Noted
BP Shipping Ltd
24/06/14
24/06/14
Noted
26/06/14
Noted
26/06/14
Noted
26/06/14
Noted
response)
Some of the non monetised health and air quality
benefits appear to be overstated. For example with the
one of exception of Dover, there are no Air Quality
Management Areas in ports attributable to emissions
from ships.
Forth Ports
27/06/14
27/06/14
Bunkerworld
01/07/14
P&O
01/07/14
Noted.
Noted
Noted
occur in 2018.
Fuel switching
It should be made clear that there is no requirement to
use the 0.1% sulphur content fuel (MGO) prior to
01/01/2015, as if companies switch over early to
ensure full compliance they will incur the additional
costs of burning MGO within 2014 which has probably
not been budgeted for.
Noted.
Alternative fuels
General industry view is that LNG is only feasible for
new builds.
Noted.
Noted.
Noted.
Noted.
Noted.
Noted.
Noted
General point
They consider consultation and implementation should
have happened earlier.
Noted
Noted.
01/07/14
General
Do not support the UK Government approach to
implementing the Directive.
Cite the example of the Harwich/Esjberg ferry service
closing in light of the proposal. Also refer to the
Brittany Ferry service between Poole and Spain.
Noted
These comments have been
incorporated in the IA where
appropriate
01/07/14
Noted.
01/07/14
Noted.
They consider shipping lines may take a risk of noncompliance even after fines are paid.
Unite believe spot checks on vessels are ineffective as
the ship could change fuels when an inspection team
is in sight. They believe monitoring equipment should
be on board the vessel.
General comment
Unite believe that there are some serious flaws in the
implementation of the legislation particularly, in respect
of the clause which allows a ship to simply declare that
they have not been able to obtain the fuel to avoid
compliance. Unite does not believe it is unreasonable
to require shipping lines to be responsible for ensuring
that adequate fuel supplies available at port of call.
02/07/14
Noted
04/07/14
04/07/14
Noted
Page 7:
Marine fuel has been increasing in average sulphur
content The only monitoring at global level that
we are aware of is the IMO monitoring, which was
started in 2004 showing an average S level of 2.7% for
heavy fuel oil, and reported an average of 2.43% in
2013.
disposing of excess elemental sulphur and
this is incorrect and refineries do not operate in this
way. Sulphur in its elemental form after being removed
from the fuel is supplied to the chemical industry as
feedstock. The sulphur content in marine fuels comes
from the sulphur which is naturally within the crude oils
processed themselves and those streams which are
used to blend the fuel. Elemental sulphur is not added
to marine fuel in the way implied by the impact
assessment.
Page 31:
The higher efficiency of distillate fuel is relatively small
compared to residual fuel. CO2 emissions from the
ship are indeed lower, but these savings are more
Exxon Mobil
04/07/14
RMT Union
04/07/14
Stena Line
01/07/14
Environmental Impacts
The Impact assessment in Annex B is noted.
Noted.
Comment taken into account in the
final IA.
Noted.
Noted.
Noted.
Noted
Noted.
Noted.
02/07/14