260906_cefas_eir_request_-_maintenance_dredging_protocol_consultations
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| - | ===== Cefas EIR Request - Maintenance Dredging Protocol Consultations ===== | + | ===== 260906 |
| - | Dear Centre for Environment, | + | ===== Summary ===== |
| - | I am writing | + | Cefas has never been consulted by a statutory harbour authority on Maintenance Dredging Protocols and only once in 2015 did Cefas provide any advice |
| - | PD Ports as the strategic harbour authority for the Port of Tees and Hartlepool. PD Ports as the competent authority are responsible | + | Cefas say that reference to Cefas in previous documents refer to the Marine |
| - | According to the Maintenance Dredging Protocol for England” PD Ports have to consult yourselves as set out in the Defra advice to Statutory Harbour Authorities as described during the introduction of Maintenance Dredging Protocol - | + | None of this agrees with the processes described |
| - | * [[https:// | + | |
| - | * The Simplified Process Flow Diagram shows the necessary consultation and review steps - [[https:// | + | |
| - | The Maintenance Dredge Protocol was introduced from 2010 onwards, and so PD Ports may have consulted | + | Cefas are consulted |
| - | As I do not know when PD Ports consulted yourselves, I am only able to limit the date range to 2010 to the present day inclusive. However, I only require information which is part of a direct request from PD Ports to yourselves | + | The MMO say they are not the competent authority for the operations of dredging and as such only provide advice |
| - | EIR Requests: | + | The SHAs are responsible to keep navigation channels open and so are tasked by specific Acts of Parliament to dredge their ports' navigation channels. This means the SHAs are the competent authority for the operations involved in maintenance dredging |
| - | 1. Please confirm that PD Ports has consulted yourselves directly on the Port of Tees and Hartlepool Maintenance Dredging Protocol and the years of these consultations. | + | |
| - | 2. Please provide all information, | + | |
| - | 3. Please provide | + | |
| - | Please respond within | + | So if the SHAs perform the same function as the MMO do for certain types of dredging why do SHAs not regularly consult Cefas as the MMO do? |
| - | Yours faithfully, | + | Cefas refered me to the the [[https:// |
| + | ===== Request ===== | ||
| - | Simon Gibbon | + | [[https:// |
| + | Dear Centre for Environment, | ||
| - | https://www.whatdotheyknow.com/ | + | I am writing on behalf of North East Marine Research Group to request environmental information under the Environmental Information Regulations (EIR) 2004 as follows. |
| - | Link to this | + | |
| - | Report | + | |
| - | Data Manager, 7 September 2026 | + | |
| - | Dear Simon, | + | |
| - | Thank you for your Maintenance Dredging Protocol Consultations enquiry which we are processing in accordance with the Environmental Information Regulations (2004). | + | PD Ports as the strategic harbour authority |
| - | We are reviewing your request and will provide a full response | + | According to the Maintenance Dredging Protocol for England” PD Ports have to consult yourselves |
| + | * Defra description of the Maintenance Dredging Protocol - [[https:// | ||
| + | * The Simplified Process Flow Diagram shows the necessary consultation and review steps - [[https:// | ||
| - | Kind regards, | + | The Maintenance Dredge Protocol was introduced from 2010 onwards, and so PD Ports may have consulted anytime between 2010 and today on the Maintenance Dredging Protocol. |
| - | Sue | + | |
| - | Sue Dale | + | As I do not know when PD Ports consulted yourselves, I am only able to limit the date range to 2010 to the present day inclusive. However, I only require information which is part of a direct request from PD Ports to yourselves on the River Tees and Hartlepool Maintenance Dredging Protocol. I do not require information you have supplied to the Marine Management Organisation as part of the licencing of either capital dredging or disposal of dredge arisings at sea. |
| - | Marine Data Coordinator | + | |
| - | Science Data Team | + | |
| - | Pakefield Road, Lowestoft, Suffolk, NR33 0HT, UK | + | |
| - | Tel: +44(0) 1502 524435| Email: [email address] | + | |
| - | Tackling global challenges through innovative science solutions | + | ==== EIR Requests: ==== |
| + | - Please confirm that PD Ports has consulted yourselves directly on the Port of Tees and Hartlepool Maintenance Dredging Protocol and the years of these consultations. | ||
| + | - Please provide all information, | ||
| + | - Please provide all information, | ||
| + | Please respond within the 20-working-day statutory limit. | ||
| - | show quoted sections | + | ===== Response ===== |
| + | 15th September 2026 | ||
| - | Email addresses and phone numbers may have been automatically redacted from this response and any attachments by WhatDoTheyKnow. Find out why. | + | Thank you for your request for information regarding Maintenance Dredging Protocol Consultations which we received on 6th September 2026. It has been processed in accordance with the Environmental Information Regulations 2004 (EIR). |
| - | https://www.whatdotheyknow.com/ | + | Firstly, for clarity, the ‘Marine and Fisheries Agency’, which appears to have been referred to as Cefas, was in fact a predecessor of the Marine Management Organisation (MMO). All consultations relating |
| - | Link to this | + | |
| - | Report | + | |
| - | Data Manager, 15 September 2026 | + | |
| - | 3 Attachments | + | |
| - | Attachment | + | |
| - | image001.png | + | |
| - | 36K Download | + | Responses to your questions: |
| - | Attachment | + | ==== 1. Consultation Dates ==== |
| - | image002.png | + | Question 1: Please confirm that PD Ports has consulted yourselves directly on the Port of Tees and Hartlepool Maintenance Dredging Protocol and the years of these consultations. |
| - | 13K Download | + | Cefas are not, and (to our knowledge) have never been, directly consulted by any Port or similar applicant for these requests. Such requests are only facilitated through the Marine Management Organisation at their request, under the Service Level Agreement Cefas have with the MMO to provide marine licensing advice. Prior to the establishment of the MMO, such requests would have been similarly facilitated by the Marine and Fisheries Agency and other regulatory predecessors. It should be noted that Cefas are generally not consulted on new or updated MDP documents. They are sometimes submitted as supporting documents or for more direct consultation with Statutory Nature Conservation Bodies (SNCBs) where impacts to statutory designations are referenced. For the purposes of Cefas advice, MDPs are more so used to provide contextual information for an application. |
| - | Attachment | + | ==== 2. Consultation on First Version of MDP ==== |
| - | 15 43735 20151118 MLA201500088 PD Teesport Tees and Hartelpool maintenance dredge advice final.docx | + | |
| - | 213K View Download | + | Question 2: Please provide all information, |
| - | Dear Simon, | + | Cefas has undertaken extensive searches of its records, including historic case management databases, the HPE document repository, and relevant team shared mailboxes. Following these searches, we have been unable to identify any records relating to Cefas advising on the original Tees Maintenance Dredging Protocol produced in 2010 and have established that we do not hold the information requested. |
| - | Thank you for your request for information regarding Maintenance Dredging | + | ==== 3. Last Consultation |
| - | Protocol Consultations which we received | + | |
| - | been processed in accordance with the Environmental Information | + | |
| - | Regulations 2004 (EIR). | + | |
| - | Firstly, for clarity, the ‘Marine and Fisheries Agency’, which appears to | + | Question 3: Please provide all information, |
| - | have been referred to as Cefas, was in fact a predecessor of the Marine | + | |
| - | Management Organisation (MMO). All consultations relating to marine | + | |
| - | licensing come at the request of the MMO only, and this is done under | + | |
| - | contract between Cefas/MMO rather than with the Ports directly or through | + | |
| - | any legislative requirement. | + | |
| - | + | ||
| - | Responses to your questions: | + | |
| - | + | ||
| - | Question 1: Please confirm that PD Ports has consulted yourselves directly | + | |
| - | on the Port of Tees and Hartlepool Maintenance Dredging Protocol and the | + | |
| - | years of these consultations. | + | |
| - | + | ||
| - | Cefas are not, and (to our knowledge) have never been, directly consulted | + | |
| - | by any Port or similar applicant for these requests. Such requests are | + | |
| - | only facilitated through the Marine Management Organisation at their | + | |
| - | request, under the Service Level Agreement Cefas have with the MMO to | + | |
| - | provide marine licensing advice. Prior to the establishment of the MMO, | + | |
| - | such requests would have been similarly facilitated by the Marine and | + | |
| - | Fisheries Agency and other regulatory predecessors. It should be noted | + | |
| - | that Cefas are generally not consulted on new or updated MDP documents. | + | |
| - | They are sometimes submitted as supporting documents or for more direct | + | |
| - | consultation with Statutory Nature Conservation Bodies (SNCBs) where | + | |
| - | impacts to statutory designations are referenced. For the purposes of | + | |
| - | Cefas advice, MDPs are more so used to provide contextual information for | + | |
| - | an application. | + | |
| - | + | ||
| - | Question 2: Please provide all information, | + | |
| - | correspondence, | + | |
| - | Ports on the original Maintenance Dredging Protocol you were consulted on. | + | |
| - | + | ||
| - | Cefas has undertaken extensive searches of its records, including historic | + | |
| - | case management databases, the HPE document repository, and relevant team | + | |
| - | shared mailboxes. Following these searches, we have been unable to | + | |
| - | identify any records relating to Cefas advising on the original Tees | + | |
| - | Maintenance Dredging Protocol produced in 2010 and have established that | + | |
| - | we do not hold the information requested. | + | |
| - | + | ||
| - | Question 3: Please provide all information, | + | |
| - | correspondence, | + | |
| - | Ports on the most recent Maintenance Dredging Protocol you have been | + | |
| consulted on. | consulted on. | ||
| - | The last time Cefas were consulted on and/or commented on the MDP document | + | The last time Cefas were consulted on and/or commented on the MDP document for the Tees was under MLA/ |
| - | for the Tees was under MLA/ | + | |
| - | application for the previous Tees maintenance disposal licence. This | + | |
| - | advice is attached, and the reference to the MDP can be found in point 15. | + | |
| - | Updates to the Tees MDP were submitted to the MMO throughout that licence | + | |
| - | period but it does not appear that Cefas explicitly advised on any of | + | |
| - | these updates. All Cefas advice provided for this licence can be found on | + | |
| - | the MMO Public Register. | + | |
| - | Under Regulation 12(4)(a) of the Environmental Information Regulations | + | Under Regulation 12(4)(a) of the Environmental Information Regulations 2004, a public authority may refuse a request where it does not hold the information requested. Following appropriate enquiries and searches of our records, Cefas has determined that it does not hold the information requested in Questions 1 and 2, and accordingly, |
| - | 2004, a public authority may refuse a request where it does not hold the | + | |
| - | information requested. Following appropriate enquiries and searches of our | + | |
| - | records, Cefas has determined that it does not hold the information | + | |
| - | requested in Questions 1 and 2, and accordingly, | + | |
| - | withheld under Regulation 12(4)(a) of the Environmental Information | + | |
| - | Regulations 2004. | + | |
| - | Public Interest Test | + | ==== Public Interest Test ==== |
| - | As Regulation 12(4)(a) is subject to the public interest test, Cefas | + | As Regulation 12(4)(a) is subject to the public interest test, Cefas recognises the public interest in transparency regarding environmental decision-making and dredging activities. However, there is no public interest in requiring a public authority to disclose information that it does not hold, and on balance, the public interest favours maintaining the exception. |
| - | recognises the public interest in transparency regarding environmental | + | |
| - | decision-making and dredging activities. However, there is no public | + | |
| - | interest in requiring a public authority to disclose information that it | + | |
| - | does not hold, and on balance, the public interest favours maintaining the | + | |
| - | exception. | + | |
| - | Handling your information: | + | Handling your information: |
| - | how we treat your personal information. | + | |
| - | Complaints: Under the regulations we are also required to point out that | + | Complaints: Under the regulations we are also required to point out that if you are unhappy with the service you have received in relation to your request and wish to make a complaint, you should write to the Senior Information Risk Owner (SIRO) at the below address, who will arrange for an internal review of your case. |
| - | if you are unhappy with the service you have received in relation to your | + | |
| - | request and wish to make a complaint, you should write to the Senior | + | If you are not content with the outcome of the internal review, you have the right to apply directly to the Information Commissioner for a decision. The Information Commissioner can be contacted at: |
| - | Information Risk Owner (SIRO) at the below address, who will arrange for | + | |
| - | an internal review of your case. | + | |
| - | + | Information Commissioner’s Office | |
| - | + | Wycliffe House \\ | |
| - | If you are not content with the outcome of the internal review, you have | + | Water Lane \\ |
| - | the right to apply directly to the Information Commissioner for a | + | Wilmslow |
| - | decision. The Information Commissioner can be contacted at: | + | Cheshire |
| - | + | ||
| - | Information Commissioner’s Office | + | |
| - | Wycliffe House | + | |
| - | Water Lane | + | |
| - | Wilmslow | + | |
| - | Cheshire | + | |
| SK9 5AF | SK9 5AF | ||
| Kind regards, | Kind regards, | ||
| - | Sue Dale | + | Marine Data Coordinator \\ |
| + | Science Data Team \\ | ||
| + | Pakefield Road, Lowestoft, Suffolk, NR33 0HT, UK | ||
| - | Marine Data Coordinator | + | Tackling global challenges through innovative science solutions |
| - | Science Data Team | + | Follow us @CefasGovUK : [[https:// |
| - | Pakefield Road, Lowestoft, Suffolk, NR33 0HT, UK | + | ===== Request for Clarification ===== |
| - | Tel: +44(0) 1502 524435| Email: [2][email address] | + | While I accept that you do not hold the information I requested, I do not understand your reasons for this. |
| - | My working week is Monday to Thursday | + | Cefas' |
| - | Tackling global challenges through innovative science solutions | + | When I communicated with the Marine Management Organisation over Maintenance Dredging Protocols, I have been told that the MMO have no role in the oversight of dredging operations themselves as they are not the competent authority and so do not regulate any environmental impacts of the dredging operations. The MMO have stated however, they are the competent authority for the disposal of dredged material and so do advise / regulate environmental impacts of the disposal of dredged material. |
| + | |||
| + | So I am now concerned that either I have asked the wrong questions or that the competent authorities (Statutory Harbour Authorities) are not seeking Cefas advice for dredging operations in the same way that the MMO are for disposal of dredged material. | ||
| - | Follow us @CefasGovUK on: | + | I assume that I need to contact Defra to clarify how dredging operations are being overseen. |
| - | [3]A black and pink logo Description automatically generated | + | |
| - | ══════════════════════════════════════════════════════════════════════════ | + | ===== Clarification ===== |
| - | This email and any attachments are intended for the named recipient only. | + | For the purposes |
| - | Its unauthorised use, distribution, | + | |
| - | permitted. If you have received it in error, please destroy all copies and | + | |
| - | notify the sender. In messages | + | |
| - | opinions expressed are the author' | + | |
| - | those of Cefas. Communications on Cefas’ computer systems may be monitored | + | |
| - | and/or recorded to secure the effective operation of the system and for | + | |
| - | other lawful purposes. All messages sent and received by the Centre for | + | |
| - | Environment, | + | |
| - | with relevant [4]UK legislation . | + | |
| - | References | + | We have reviewed the link you provided and do not agree that it designates Cefas as having an explicit role in reviewing Maintenance Dredging Protocols. The Marine and Fisheries Agency was a regulatory agency that preceded the MMO, and Cefas was never part of this agency. |
| - | Visible links | + | Regarding your concern that " |
| - | 1. https:// | + | |
| - | 2. mailto: | + | |
| - | 3. https:// | + | |
| - | 4. https:// | + | |
| + | We trust that this response, together with our comprehensive response to the duplicate request submitted directly to our Senior Advisor, clarifies Cefas' position regarding the issues raised. | ||
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