260906natural_england_eir_request_-_tees_maintenance_dredging_protocol_consultation
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| 260906natural_england_eir_request_-_tees_maintenance_dredging_protocol_consultation [2026/09/21 20:09] – created nefcadmin | 260906natural_england_eir_request_-_tees_maintenance_dredging_protocol_consultation [2026/09/21 20:30] (current) – [Response] nefcadmin | ||
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| ===== 260906Natural England EIR Request - Tees Maintenance Dredging Protocol Consultation ===== | ===== 260906Natural England EIR Request - Tees Maintenance Dredging Protocol Consultation ===== | ||
| - | ===== ===== | + | ===== Summary |
| + | |||
| + | PD Ports have only consulted on the Maintenance Dredging Protocol in 2026 and as this consultation is considered to be still ongoing most of the request were refused. | ||
| + | ===== Request ===== | ||
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| + | [[https:// | ||
| Dear Natural England, | Dear Natural England, | ||
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| Please respond within the 20-working-day statutory limit. | Please respond within the 20-working-day statutory limit. | ||
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| + | ===== Response ===== | ||
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| + | 21 September 2026 | ||
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| + | **Access to Information Request – Request no EIR2026/ | ||
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| + | Thank you for your request for information, | ||
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| + | Your request has been considered under the Environmental Information Regulations 2004 (**the EIRs**). | ||
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| + | You asked for the following information (text in bold below). Please find below our response to each of your questions below which is part of a direct | ||
| + | |||
| + | **1. | ||
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| + | PD ports consulted Natural England in 2026. | ||
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| + | **2. Please provide all information, | ||
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| + | Natural England | ||
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| + | **3. Please provide all information, | ||
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| + | **4. Please also provide information on any revisions as a reviewer of the Maintenance Dredging Protocols you have required PD Ports to carry out.** | ||
| + | |||
| + | In response to Questions 3 and 4, advice from Natural England is currently being developed through our ongoing Discretionary Advice Service (DAS). | ||
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| + | As this process is still underway, the information held is being withheld under Regulation 12(5)(d) of the Environmental Information Regulations 2004, which relates to the confidentiality of proceedings. The reasons for applying this exception are set out below. | ||
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| + | Please | ||
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| + | **Regulation 12(5)(d) – Confidentiality of Proceedings** | ||
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| + | In Regulation 12(5)(d) of the EIR Regulations “…a public authority may refuse to disclose information to the extent that its disclosure would adversely affect Material in the course of completion, unfinished documents and incomplete data”. | ||
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| + | The information held by Natural England relates to correspondence, | ||
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| + | Natural England considers that these matters form part of an ongoing and confidential decision-making process. The purpose of the DAS process is to enable applicants and Natural England to engage in detailed technical discussions before any formal application or final decision is made. The effectiveness of this process depends upon participants being able to exchange information, | ||
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| + | The confidentiality of these proceedings is provided by law and arises from the common law duty of confidence attaching to information shared as part of this private advisory process. The information was provided and exchanged with the reasonable expectation that discussions would remain confidential whilst the matter was under active consideration. Disclosure would undermine that expectation and adversely affect the confidentiality of the proceedings. | ||
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| + | **Public Interest Test** | ||
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| + | Natural England recognises the public interest in transparency and accountability in environmental decision-making and in understanding the advice provided in relation to development proposals. | ||
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| + | However, there is a stronger public interest in maintaining the confidentiality of the Discretionary Advice Service (DAS) process. The requested information forms part of ongoing and confidential discussions relating to a proposed development. Effective engagement through the DAS relies on applicants and Natural England being able to exchange information and discuss issues openly and candidly. | ||
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| + | Disclosure of this information would undermine the confidentiality of those proceedings and could discourage parties from engaging fully and frankly with Natural England in future. This would be likely to harm the effectiveness of the advice process and prejudice Natural England' | ||
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| + | Natural England therefore considers that the public interest in protecting the confidentiality and integrity of the ongoing advisory process outweighs the public interest in disclosure. Accordingly, | ||
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| + | ====== Other Pages That Link To This Page ====== | ||
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| + | {{backlinks> | ||
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