12.1.1 This
section further elaborates the requirements of EM&A for the construction
and operation of the Project, based on the assessment results of various
environmental issues.
12.1.2 The objectives
of carrying out EM&A for the Project include the following:
·
to provide a database against which any short or long
term environmental impacts of the Project can be determined
·
to provide an early indication should any of the
environmental control measures or practices fail to achieve the acceptable
standards
·
to monitor the performance of the Project and the
effectiveness of mitigation measures
·
to verify the environmental impacts predicted in this
EIA
·
to determine project compliance with regulatory requirements,
standards and government policies
·
to take remedial action if unexpected problems or
unacceptable impacts arise
·
to provide data to enable an environmental audit.
12.1.3 The
following sections summarise the recommended EM&A requirements. Details of EM&A are provided in a
stand-alone EM&A Manual.
12.2.1 No adverse air quality impacts at
the ASRs are expected during construction of temporary typhoon shelter. However, requirements
of the Air Pollution Control (Construction Dust) Regulation shall be adhered to
during the construction period. In
addition, the operated dredgers should be regularly maintained to minimise
emissions.
12.2.2 Air quality monitoring is not recommended but regular site audit is
required to ensure that the dredgers are regularly maintained.
Construction Phase
12.3.1 No noise
exceedances arising from this Project, in addition to the concurrent
construction tasks of other Schedule 2 designated projects, would be expected
at the NSRs identified in this EIA. Thus, noise monitoring during construction
phase of this Project would not be considered required. However, weekly site inspection
shall be carried out throughout the construction phase to ensure that
appropriate noise control measures would be properly implemented with a view to
minimizing the construction noise impact.
Operational Phase
12.3.2 Considering the nearest noise
sensitive receivers, Marco
Polo Mansion
and staff quarters of FEHD, are located at approximately 370m and 250m away
from the temporary typhoon shelter mooring area, the noise impact during the
operation phase of temporary typhoon shelter would not be considered
significant. Monitoring and audit programme is not required.
Construction
Phase
12.4.1 There
would be potential water quality impacts upon the water sensitive receivers due to
the marine works. Appropriate
mitigation measures are recommended in order
to minimize the potential impacts.
Water quality monitoring and audit during construction phase will need to be carried out
to ensure that such mitigation measures are implemented properly.
Operational Phase
12.4.2 No unacceptable water quality
impacts would be expected from the Project. No monitoring programme specific for
operational water quality would be required.
12.5.1 Waste
management will be the contractor’s responsibility to ensure that all wastes
produced during the construction of the Project are handled, stored and
disposed of in accordance with the recommended good waste management practices
and EPD’s regulations and requirements.
The mitigation measures recommended in Section 6 should form the basis
of the site Waste Management Plan to be developed by the Contractor at the
construction stage.
12.5.2 It is
recommended that the waste arisings generated during the construction
activities should be audited periodically to determine if wastes are being
managed in accordance with approved procedures and the site Waste Management
Plan. The audits should look at all
aspects of waste management including waste generation, storage, transport and
disposal. An appropriate audit
programme would be to undertake a first audit near the commencement of the
construction works, and then to audit on a quarterly basis thereafter. In addition, the routine site
inspections should check the implementation of the recommended good site
practices and other waste management mitigation measures.
12.7.1
No monitoring programme specific for marine ecology
would be required.
Introduction
12.8.1 The EIA has recommended landscape
and visual mitigation measures to be undertaken during construction and operation
phases of the Project. This Section defines the EM&A requirements to ensure
the proposed landscape and visual impact mitigation measures are effectively
implemented.
12.8.2
The construction phase EM&A of the landscape and visual environment
and mitigation works shall be carried out as part of the site audit programme.
Specific EM&A during operation phase of the Project is not required as long
as the proposed mitigation measures in the EIA and as depicted in the Landscape
Mitigation Plan are fully implemented.
Baseline Monitoring
12.8.3
Baseline changes with respect to the landscape and visual environments
should be carried out in reference to the recorded baseline conditions of the
site as described in Section 10 of the EIA. The monitoring should in particular
record changes of each landscape resource, landscape character area and the
view conditions of each visually sensitive receiver. Parameters used to
describe changes in each of the above should be the same as in Section 10 of
the EIA.
12.8.4
The baseline monitoring should be conducted as a one-off site survey
prior to commencement of any construction works.
Construction Phase
12.8.5
The proposed landscape and visual mitigation measures for the
construction phase are described in Sections 10 and 13. The measures are on-site management
measures to be undertaken by the Contractor. All mitigation measures proposed in the
EIA and implemented by the Contractor should be audited by a landscape auditor,
as a member of the Environmental Team, on a regular basis to ensure compliance
with the intended aims of the measures. Site inspection should be undertaken at
least once every two weeks throughout the construction period.
12.8.6
In particular, the extent of the agreed works areas should be regularly
checked during the construction phase. Any trespass by the Contractor outside
the limit of the works, including any damage to the existing trees, woodland
and vegetation should be noted.
12.8.7
The landscape auditor should also audit the proposed operation phase
mitigation measures in the EIA and as depicted in the Landscape Mitigation Plan
to ensure that they are fully implemented within the Project design and
construction.
Operation
Phase
12.8.8
During operation of the
proposed WDII project, there will be no impacts on all existing and planned
VSRs. No monitoring programme specific for
operational phase would be required.
12.9.1 There is no monitoring and audit
requirement for the marine archaeology.