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(E.C. Letter No. F.No.J-11011/316/2006-IA II (I) Dated 21-11-2007 and EC extension letter dated 01-03-2013, EC Letter No: J-11011/316/2006-IA (II) (I) dtd: 30.09.2015) (For the Period April’18 to September‘18) FOR Dahej Petrochemical Complex M/s. ONGC Petro Additions Ltd. Located at - Plot no. Z-1 & Z-83, Z-83/1, Dahej SEZ Ltd., Village-Ambheta, Taluka - Vagra, Dist - Bharuch (Gujarat) COMPLIANCE REPORT OF ENVIRONMENTAL CLEARANCE

COMPLIANCE REPORT OF ENVIRONMENTAL CLEARANCE

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Page 1: COMPLIANCE REPORT OF ENVIRONMENTAL CLEARANCE

(E.C. Letter No. F.No.J-11011/316/2006-IA II (I) Dated 21-11-2007 and

EC extension letter dated 01-03-2013,

EC Letter No: J-11011/316/2006-IA (II) (I) dtd: 30.09.2015)

(For the Period April’18 to September‘18)

FOR

Dahej Petrochemical Complex M/s. ONGC Petro Additions Ltd.

Located at - Plot no. Z-1 & Z-83, Z-83/1, Dahej SEZ Ltd., Village-Ambheta,

Taluka - Vagra, Dist - Bharuch (Gujarat)

COMPLIANCE REPORT

OF

ENVIRONMENTAL

CLEARANCE

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.

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HALF YERALY COMPLIANCE REPORT TO ENVIRONMENTAL CLEARANCE CONDITIONS

(Period of April’18 to September’18)

Proposed Process Units with Production Capacity

Units Capacity

Dual-feed Cracker unit 1100 KTPA

Pyrolysis Gasoline Hydrogenation (PGH) unit 360 KTPA

Linear Low density Poly-ethylene (LLDPE)/High density Poly-ethylene (HDPE) Swing unit

2 x 360 KTPA

High density Poly-ethylene (HDPE) Dedicated unit 1 x 340 KTPA

Poly-propylene (PP) 1 x 340 KTPA

Butene-1 unit 35 KTPA

Benzene Extraction Unit (BzEU) 150 KTPA

Butadiene Extraction unit (BdEU) 115 KTPA

Styrene Monomer unit 95 KTPA

Styrene Butadiene Rubber (SBR) 160 KTPA

C9+ Fraction 32.4 KTPA

Low Polymer Wax 8.211 KTPA

C6+ 2.9304 KTPA

Status of Proposed Dahej Petrochemical Complex: The actual overall progress as 30th

September, 2018 is 99.85 % against scheduled progress of 100%.

Status of Environmental Clearance: Environmental Clearance was awarded vide Letter No.

F.No.J-11011/316/2006-IA II (I) Dated 21-11-2007 by MoEF&CC. As per the EIA Notification

2006 the validity period of Environmental Clearance is for Five Years and accordingly

submitted application for extension of validity period on 15th June, 2012 and the validity is

of EC is extended for next five years (i.e. up to 2017). As per the EIA Notification 2006 the

Environmental Clearance amendment in product profile is obtained vide letter no.F.No.J-

11011/316/2006-IA II (I) Dated 30-09-2015 by MoEF&CC. The complex has been in

operation & started production in the month of Jan 2017.

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Status of Consent to Establish from GPCB: Consent to establish was granted by GPCB vide

reference letter CTE Order Ref. No. : GPCB/BRCH/NOC-3498/29716, Dated: 24-10-2007

and vide amendment letter-I(for Validity extension)CTE Order Ref. No. : GPCB/BRCH/NOC-

3498/ID-30328/71708, Dated: 31-01-2011, which was valid up to 23-10-2012 and the

same has been extended up to 23-10-2017.

Consent to establish (Amendment letter-II for setting up of an industrial Plant/activity)

was granted by GPCB, CTE Amendment No. : 73651(Ref. No. GPCB/BRCH/CCA-154 (3)/ID-

30328/334040), Dated: 07-12-2015. OPaL has applied to GPCB for amendment in Product

profile in line with EC letter: J-11011/316/2006-IA II (I) dtd: 30.09.2015 and the application

has been accepted by GPCB. Said amendment order is awaited. OPaL has also applied to

GPCB for CTE amendment for its HC feed pipeline which has also been accepted by GPCB.

The final amendment order has been received from GPCB and placed along with

Annexure-XV.

Status of consolidated consent and Authorization from GPCB: Consolidated Consent &

Authorization (CC&A) was granted by GPCB vide consent order No. : AWH-73652, Dated:

07-12-2015, which was valid up to 07-07-2020 and CCA amendment in product profile has

been received and is placed at Annexure -XV.

Compliance to Conditions of Environmental Clearance :

Sr. No.

Point Compliance status

A Specific conditions

i. Ambient air quality monitoring stations, [SPM, SO2, NOx and NMHC] shall be set up in the petrochemical complex in consultation with SPCB, based on occurrence of maximum ground level concentration and down-wind direction of wind. The monitoring network must be decided based on modeling exercise to represent short term GLCS continuous on-line stack monitoring system shall be installed for measurement of SO2 and NOX data on VOC shall be monitored and submitted to the SPCB / ministry.

Installation of 3 Nos. CAAQMS Stations have been in progress.

Continuous on-line stack monitoring system has been installed for measurement of SO2, NOX, CO and Stack Emission Monitoring reports are being submitted to GPCB .

Annexure-I, the Ambient air quality monitoring report (April’18 to Septe’18). The results of Ambient air quality monitoring is provided in the Table no.1 mention below:

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Table.No.1: Ambient Air Quality Monitoring Data Max. and Min. of Ambient Air Quality Monitoring Data (Period : April - 2018 to September - 2018)

LOCATION Max. / Min.

Parameter with Results ( µg/m3)

PM10 PM2.5 SO2 NO2 HCl Cl2 H2S HC NH3 HF CS2 CO

mg/m3

AAQM-1 (Near 220 KV Switch Yard

Control Room)

Max. 88 32 18.9 23.4 BDL BDL BDL 69.0 BDL BDL BDL 0.00

Min. 61 16 11.2 13.1 BDL BDL BDL 44.0 BDL BDL BDL 0.00

AAQM-2 (Near Sub Station:11)

Max. 78 28 21 27 BDL BDL BDL 72 BDL BDL BDL 0.00

Min. 52 14 12 16 BDL BDL BDL 41 BDL BDL BDL 0.00

AAQM-3 (Near Sub Station:15)

Max. 77 28 22.4 26.3 BDL BDL BDL 77.0 BDL BDL BDL 0.00

Min. 51 14 13.8 16.6 BDL BDL BDL 41.0 BDL BDL BDL 0.00

Specific Value as per NAAQMS/ GPCB/CTE

100 60 80 80 200 100 500 160 400 60 2000 2.0

NOTE: 1). Ambient Air Monitoring carried out during dry day, 2). BDL: Below Minimum Detectable Limits, 3) NAAQMS: National Ambient Air Quality Monitoring Standard 4). Minimum Detection Limits : HC (10 μg/m3), HCl (0.5 μg/m3),CL2(0.5 μg/m3), H2S(6.0 μg/m3), NH3(5.00 μg/m3),HF(0.9 μg/m3), CS2 (0.5 μg/m3), CO (0.1 mg/m3)

Ambient Air quality monitoring was carried out by NABL accredited laboratory M/s. UniStar Environment and Research Labs Pvt. Ltd., Vapi, NABL Certificate No. T-2239, NABL Valid Until: 14.09.2018.

ii. Continuous monitoring of AAQ shall be carried out at least at three locations and data displayed on the website.

Installation of 3 Nos. CAAQMS Stations have been in progress. Manual monitoring of AAQ has been started from 1st December, 2012 and the report for the same is enclosed as annexure-I. The data is also being displayed on website. The continuous emission monitoring and AAQMS photographs are provided as fig.no.1 and 2.

Fig.No.1: Continuous Emission Monitoring system

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Fig.No.2: AAQMS Stations Photographs

iii. Fugitive emissions of HC from product storage tank yards etc. must be regularly monitored. Sensors for detecting HC leakage shall also be provided at strategic locations. The company shall use low sulphur fuel to minimize SO2 emission.

The monitoring of fugitive emissions has been carried out. Gas detectors have been provided near potential leakage sources to detect and provide alarm in case of any HC gas. OPaL ensures to use low sulfur fuels and accordingly specifications of the selected fuels are finalized as presented in Annexure –II. Gas detection photographs are provided as fig.no.3 and 4.

Fig.No.3:Gas detection-detection system Fig.No.4:Gas detection-detection system

iv. The company shall install online O2 monitor in the furnace and boilers shall be operated with minimum excess air for optimal fuel consumption and to minimize NOX emission.

The Online O2 monitor is installed in the furnace and boilers to control the emission with minimum excess air for optimal fuel consumption and to minimize NOX emission.

Online O2 Monitoring system photographs are as Fig.no.5 and 6.

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Fig.No.5:Online O2 Monitoring System Fig.No.6:Online O2 Monitoring System

Fire stack burners and steam injection system shall be designed for smokeless operation to minimize NOX emission.

The fire stack burners and steam injection system have been designed for smokeless operation to minimize NOx emission.

v. For control of fugitive emissions, the company shall provide for a main flare system and an auxiliary flare system, and route all unsaturated hydrocarbons to the flare system.

OPaL has provided main and auxiliary flare system and all unsaturated HC have been routed to these flare system. Auxiliary flare system photographs are as Fig.no.7.

Fig.No.7:Auxiliary flare system photographs

All the pumps and other equipment are where there is a likelihood of HC leakages shall be provided with LEL indicators and also provide for immediate isolation of such equipment, in case of a leakage.

All areas having potential of HC Leak are provided with HC detectors with LEL warning. Also safe isolation distance is provided for the equipment of concern. HC detectors photographs are as Fig.no.8.

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The company shall adopt leak detection and repair (LDAR) programmer for quantification and control of fugitive emissions.

After commissioning, with technical inputs from plants, OPaL will prepare a schedule for leak detection and repair (LDAR) and will implement the program.

The Leak detection system photograph is provided as fig.No.9.

The detail of the flare system as per the design specification for the complex is enclosed as Annexure-III.

Fig.No.8:HC detection system Fig.No.9:Leak detection system

vi. Data on fugitive emission shall be regularly monitored and records maintained. The company shall conform to the process vent standards for organic chemicals including non-VOCS and all possible VOCS i.e. TOCS standard and process vent standard for top priority chemicals. The company shall install online monitor for VOC measurements. Action on the above shall be taken during the detailed design stage of the NCC and intimate to this ministry.

Opal has provided the detectors at the selected locations of air monitoring. The detectors include SO2 analyzer, NOx analyzer, SPM analyzer, NMHC analyzer, VOC analyzer, RSPM analyzer, HCl analyzer, Cl2 analyzer, Ammonia analyzer, Hydrocarbon (Methane and non-Methane) analyzer and H2S analyzer. The detectors are provided with local data loggers, calibrators, calibration cylinders and zero gas generators.

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vii. The company shall ensure that no halogenated organic is sent to the flares. If any of the halogenated organic are present then the respective streams may be incinerated, if there are no technically feasible or economically viable reduction/recovery options. Any stream containing organic carbon, other than halogenated shall be connected to proper flaring system, if not to a recovery device or an incinerator.

There will not be any halogenated organic compound processing in the complex and we shall comply with this condition during routine operation of plant.

viii. All new standards/norms that are being proposed by the CPCB for petrochemical plants and notified subsequently shall be applicable for the proposed unit.

All new standard/Norms applicable for Petrochemical plants are being /will be complied.

ix. Flue gas emission from the various stacks attached to the boilers, furnace/heaters shall conform to the prescribed standards.

We are monitoring stack emission on regular basis and the monitoring reports are enclosed as Annexure- I.

x. The effluent generation shall not exceed 35520 m3/d. The waste water generated shall be treated in waste water treatment plant. As reflected in the EIA/EMP report, the company shall maximize the recycling of treated effluent and treated effluent (3600m3/d) after conforming to the prescribed standards shall be discharged into the deep sea through effluent disposal pipeline. A holding pond for treated effluent for bio assay test shall be constructed before discharging the effluent into the sea. The domestic effluent (2160m3/d) after treatment and conforming to the prescribed standards shall be discharged along with industrial effluent. A proper drainage system shall be provided for storm water drain.

The effluent generation is not/will not exceed 35520 m3/d. The Waste water Treatment Plant (ECTS) for the Complex is designed to ensure that maximum amount of treated effluent is recycled within the complex. The Effluent Collection and Treatment System (ECTS) also includes RO Based Tertiary Treatment section to further process the treated Effluent and recycle the water as make-up water to Cooling Towers and as DM water. The effluent considered for discharge to Sea from the complex is not exceeding 3600 m3/day and meets the prescribed Quality standards. Domestic effluent is being treated in a Separate Package Unit within the Effluent Collection and Treatment System (ECTS) and the treated domestic effluent is being recycled back as horticulture water within the premises.

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The Process Flow Diagram of the Effluent Collection and Treatment System (ECTS) is enclosed as Annexure-V. and Copy of Drainage connection letter from GIDC, Bharuch is enclosed as Annexure-VI. The ETP primary, secondary and tertiary

treatment Photographs are provided as fig.no.11, 12 and 13.

The last six month effluent generation is provided as fig.no.10.

Fig.No.10:Last Six Months effluent generation data:

Fig.No.11: Primary Treatment System

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Fig.No.12: Secondary Treatment System

Fig.No.13: Tertiary Treatment System

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xi. The company shall obtain necessary approval from the State Irrigation Department to meet the water requirement.

Total water is being supplied by GIDC and required permission is obtained. The copy of the permission letter is attached herewith as Annexure-VII.

xii. The company shall undertake rainwater harvesting measures, to recharge the ground water and also to minimize the water drawl from the Narmada river.

As per GPCB NOC issued vide ref no: GPCB/BRCH/NOC-3498/29716 dtd: 21.10.2007, point no-3, Ground water extraction is not permitted. However, rain water harvesting measures are provided nearby administrative building for roof top rain water harvesting from the buildings. Contaminated rain Water from the Process unit areas is being pumped to the Effluent Collection and Treatment System (ECTS) and is being treated in a dedicated Contaminated Rain Water Treatment (CRWS) section. The Treated water is reused. The Rain water harvesting system photographs is provided as fig.no.14.

Fig.No.14:Rain water harvesting Photographs

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xiii. Green belt shall be raised in an area of 52.5 ha to mitigate the fugitive emissions from the plant. Selection of plant species shall be as per the Central Pollution Control Board guidelines.

A Green Belt of 50.0 m wide all along the complex is provided. At present, green belt maintenance and development activity is taken care by in house horticulture team. The green belt photographs are provided as fig.no.15.

Fig.No.15: Green Belt Photographs

xiv. Occupational health surveillance of the workers should be done on a regular basis and records maintained as per the factories Act.

Occupational health surveillance of the employees is being carried out on regular basis and records maintained as per the Factories Rules. A separate Occupational Health Center is developed to carry out the different activities of occupational health services. The medical facility and medical checkup details of employees are provided as fig.no.16, 17, 18, 19, 20, 21, 22, 23, 24,25, 26 and 27.

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Fig.No.16:Opal Medical Center Fig.No.17:Emergency Treatment room and admission /recovery Room

Fig.No.18:Ambulance and Emergency Resuscitation Equipments

Fig.No.19: Back Up Ambulance

Fig.No.20: Medical checkup Reports Fig.No.21: Medical checkup Reports

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Fig.No.22: Medical checkup Reports Fig.No.23: Medical checkup Reports

Fig.No.24: Medical checkup Reports Fig.No.25: Medical checkup Reports

Fig.No.26: Medical checkup Reports Fig.No.27: Medical checkup Reports

xv. The company shall comply with all the recommendations made in the EIA/EMP report and risk assessment report.

We have being complying with All recommendations made in the EIA/EMP Report and the Risk Assessment Report

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B General Condition

i. No further expansion or modernization in the plant shall be carried out without prior approval of the Ministry of Environment Forests.

We undertake that, we will not carry out any expansion without prior approval of the Ministry of Environment and Forest. There is no deviation/ alternation in the project, which is as per submission to the MoEF.

ii. The gaseous emission (SO2, NOX, CO, NMHC, CL2 and HCL) from the various process units should conform to the standers prescribed under Environment (Protection) Rules, 1986 or norms stipulated by the SPCB whichever is more stringent, at no time, the emissions level shall go beyond the stipulated standards. In the event of failure of Pollution Control System(s) adopted by the unit, the respective unit should not be restarted unit the control measures are rectified to achieve the desired efficiency.

The Emissions from the different process unit and flue gas stacks will conform to the prescribed Standards. In the event of failure of Pollution Control System(s) adopted by the unit, the respective unit will not be restarted until the control measures are rectified to achieve the desired efficiency.

iii. At no time, the emissions should go beyond the prescribed standards.

We are regularly monitoring the emission and confirm to be within the prescribed standard.

In the event of failure of any Pollution Control System adopted by the units, the respective unit should be immediately put out of operation and should not be restarted unit the desired efficiency has been achieved.

In the event of failure of any Pollution Control System adopted by the units, the respective unit will be immediately put out of operation and should not be restarted until the desired efficiency has been achieved.

iv. The overall noise levels in and around the plant area shall be kept well within the standards (85 dBA) by providing noise control measures including acoustic hoods, silencers, enclosures etc. on all sources of noise generation. The ambient noise levels should conform to the standards prescribed under EPA Rules, 1989 viz, 75 dBA (day time) and 70 dBA (night time).

We regularly monitor noise level within the premises through NABL accredited laboratory. The results of which are enclosed herewith as Annexure: I. We have provided noise control measures like acoustic hoods, silencers, enclosures etc. on all sources of noise generation i.e. D G set & boiler room. We ensure that; ambient noise level are well within the permissible limit prescribed under Environment (protection) Act, 1986 Rules,1989 viz. 75 dBA (day time ) and 70 dBA (night time). The Summary of noise level monitoring is provided in the Table no.2 mention below:

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Tale No.2:Noise Monitoring Data Noise Monitoring Data(Period : April - 2018 to September- 2018)

Month Max./ Min.

NM-1, (Near Gate

No.1)

NM-2, (Near Gate

No.2)

NM3, (Near Gate

No.3)

NM-4, (Near Gate

No.4)

NM-5, (Near

Oil Catcher-02

Area)

NM-6, (Near

Fire Water Pump

House)

Result dB (LEQ)

April-18 Max. 68.2 71.3 73.2 68.5 66.2 67.8

Min. 51.3 52.4 48.9 44.6 57.2 58.6

May-18 Max. 64.3 72.8 71.4 66.3 64.2 66.6

Min. 52.1 48.6 44.3 46.8 56.2 57.6

June-18 Max. 66.3 71.1 68.6 72.3 66.9 64.2

Min. 51.2 52.3 48.6 44.7 47.2 41.3

July-18 Max. 64.2 72.3 66.8 71.1 67.2 62.4

Min. 52.6 51.2 46.7 42.3 48.1 51.6

August-18 Max. 66.1 73.3 64.7 72.3 66.8 61.2

Min. 55.4 52.6 47.2 41.3 46.8 42.7

September-18 Max. 68.1 71.1 66.2 71.2 67.2 63.5

Min. 56.4 55.2 51.1 46.8 44.8 42.3

Max. 68.2 73.3 73.2 72.3 67.2 67.8

Min. 51.2 48.6 44.3 41.3 44.8 41.3

NOTE: Permissible Limit CPCB (Day Time): <75 Db(A), Permissible Limit CPCB (Night Time): <70 Db(A)

Noise monitoring was carried out by NABL accredited laboratory M/s. UniStar Environment and Research Labs Pvt. Ltd., Vapi, NABL Certificate No. T-2239, NABL Valid Until: 14.09.2018.

v. The project authorities must strictly comply with the provisions made in manufacture, storage and import of hazardous chemicals rules 1989 as amended in 2000 for handling of hazardous chemicals etc.

We are complying with the provisions made in manufacture, storage and import of hazardous chemicals rules 1989 as amended in 2000 for handling of hazardous chemicals.

Necessary approvals from Chief Controller of Explosives must be obtained before commission of the project.

Necessary approvals from Chief Controller of Explosives are obtained before commission of the project.

vi. The project authorities must strictly comply with the rules and regulations with regard to handling and disposal of hazardous waste in accordance with the Hazardous Waste (Management and Handling) Rules, 2003. Authorization from the State Pollution Control Board must be obtained for collections/treatment/storage/disposal of hazardous wastes.

We are complying with this condition and we have also obtained TSDF membership from SEPPL, Surat for disposal of Solid/ hazardous waste.

OPaL obtained GPCB authorization No: 73652

Dated of issue: 07.12.2015.

Valid up to: 07.07.2020.

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OPaL has obtained TSDF membership from M/s. Bharuch Enviro Infrastructure Limited (BEIL), Ankleshwar, Geo-hybrid Industrial Solution Pvt. Ltd, (GSPL, Surat ) for disposal of Solid/ hazardous waste and same are enclosed as Annexure-X.

BEIL Membership

Membership No: Oth/609 GSPL Membership

Date of Issue: 13.04.2017.

GPCB ID: 26263

Client Code: CPAW1O0010.

vii. The project authorities will provide adequate funds both recurring and non-procuring to implement the conditions stipulated by the Ministry of Environment and Forests as well as the State Government along with the implementation schedule for all the conditions stipulated herein. The funds so provided should not be diverted for any other purposes.

OPaL has provided adequate fund both recurring and non-recurring to implement the conditions stipulated by Ministry of Environment and Forest as well as GPCB along with implementation schedule for all the conditions stipulated. Also it is assured that the fund so provided shall not be diverted for any other purpose.

viii. The stipulated conditions will be monitored by the Regional office of this Ministry at Bhopal/Central Pollution Control Board/State Pollution Control Board. A six monthly compliance report and the monitored data should be submitted to them regularly.

We are regularly submitting Comprehensive

EC compliance report for the period of April

to September and October to March to the

Ministry’s regional office at Bhopal,

respective Zonal Office of CPCB and the

Gujarat Pollution Control Board well within

the stipulated date.

The copy of Environmental Clearance and six

monthly compliance status reports is being

posted on the website of the company.

The Six-Monthly EC Compliance Submission dates for the last three year are as under: 1. (April’15 to September’15) Date:

26.11.2015 2. (Octo’15 to March’16) Date: 21.05.2016 3. (April’16 to Sept’16) Date: 21.11.2016 4. (Octo’16 to March’17) Date: 25.05.2017. 5. (April’17 to Sept’17) Date: 24.11.2017. 6. (Octo’17 to March’18) Date: 25.05.2018 Acknowledge copies are provided as fig. No. 28, 29, 30, 31, 32,33, 34 and 35.

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Fig.No.28:EC Compliance Submission Acknowledge copy

Fig.No.29:EC Compliance Submission Acknowledge copy

Fig.No.30:EC Compliance Submission Acknowledge copy

Fig.No.31:EC Compliance Submission Acknowledge copy

Fig.No.32:EC Compliance Submission Acknowledge copy

Fig.No.33:EC Compliance Submission Acknowledge copy

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Fig.No.34:EC Compliance Submission Acknowledge copy

Fig.No.35:EC Compliance Submission Acknowledge copy

ix. The project proponent shall inform the public that the project has been accorded environmental clearance by the Ministry and copies of the clearance letter are available with the State Pollution Control Board/Committee and may also be seen at Website of the Ministry of Environment and Forests at http://www.envfor.nic.in This should be advertised within seven days from the date of issue of the clearance letter at least in two local newspaper that are widely circulated in the region of which one shall be in the vernacular language of the locality concerned and a copy of the same shall be forwarded to the Regional office.

We have already informed to the public by local newspaper that we have accorded environmental clearance by the Ministry and copies of clearance letter are available with the state Pollutions Control Board and may also be seen at website of the Ministry of Environmental and Forests at website of the Ministry of Environmental and Forests at http/envfor.nic.in.

x. The project authorities shall inform the Regional office as well as the Ministry, the date of financial closures and final approval of the project by the concerned authorities and the date of commencing the land development work.

The date of financial closures -the project is still under commissioning and Overall Project Progress: 99.85% against scheduled 100%.

Final approval of the project by the concerned authorities - Consolidated Consent & Authorization (CC&A) was granted by GPCB vide consent order No. : AWH-73652, Dated: 07-12-2015

The date of commencing the land development work.- 05/05/2008

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Note:

The project was originally envisaged to be completed in 48 months from the date of award of Cracker with concurrent award of Polymer and Utility units. However after the award of Cracker in December 2008, the product slate had to be changed considering the market dynamics and changing demand /supply scenario of specialty grade petro-products. Consequently, the configuration of polymer units was changed. This resulted in extension of time schedule for award of Licensor & EPC packages for Polymer units and also the Utility packages. Also after award of all Lump Sum Turn Key (LSTK) contracts, during execution 3 of the LSTK Contractors are facing financial crunch. To expedite project progress financial support is being extended by OPaL to these 3 contractors, within the overall ambit of Contractual provisions, so as to achieve timely completion. Now the completion schedule of the entire complex is targeted for December 2017. List of Annexure

No. of Annexure

Name of Annexure

I. Ambient Air Quality Monitoring Reports, meteorological data along with noise monitoring and ground water testing reports measured during the period.

II. Fuel specifications for both Gas and Liquid fuels for the Complex.

III. The details of the flare system as per the design specification for the complex.

IV. The flue gas emissions from DFCU cracking furnaces specifications.

V. The Process Flow Diagram of the Effluent Collection and Treatment System (ECTS).

VI. Copy of Drainage connection letter from GIDC, Bharuch.

VII. Copy of Raw water resourcing from GIDC, Dahej.

VIII. Drawing wherein the locations of Rain water harvesting recharge pit in the complex are indicated.

IX. Noise control design basis.

X. Copy of TSDF membership.

XI. Project cost, CSR and project status report.

XII. Copy of Consent to Establish and its amendment.

XIII. Copy of Consolidated Consent & Authorization and its amendment.