cefas_thoughts_about_the_river_tees_over_time
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| cefas_thoughts_about_the_river_tees_over_time [2025/12/21 23:05] – [Cefas 14th August 2019] nefcadmin | cefas_thoughts_about_the_river_tees_over_time [2025/12/28 23:19] (current) – [Cefas 5th October 2023] nefcadmin | ||
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| Observed metal and organotin levels considered acceptable for disposal at sea. Bamletts Wharf and Britannia Enterprise Zone, showed lead levels in excess of Cefas AL2 comparable to other excluded areas such as Teesport Commerce Wharf (TPC) Dry Dock, all higher than 2010 measurements suggesting some | Observed metal and organotin levels considered acceptable for disposal at sea. Bamletts Wharf and Britannia Enterprise Zone, showed lead levels in excess of Cefas AL2 comparable to other excluded areas such as Teesport Commerce Wharf (TPC) Dry Dock, all higher than 2010 measurements suggesting some | ||
| sporadic source of contaminant input into these sites. | sporadic source of contaminant input into these sites. | ||
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| " | " | ||
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| "It is my view that these works will fall outside the scope of a relevant project as defined by the | "It is my view that these works will fall outside the scope of a relevant project as defined by the | ||
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| [[this> | [[this> | ||
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| + | Advice based on 37 samples in the downstream Tees without provision of PBDE analysis. | ||
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| + | Correct disposal volume quoted - "The licence permits the licence holder to dredge and dispose of 2,988,700 tonnes of material..." | ||
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| + | No issues seen for PCBs all below AL1, or metals close or slightly above AL1, PAHs exceed ERLs for both LMW and HMW, plus all samples exceeded LMW ERM. So "11. Considering these results alone the disposal activities present too high a risk and are thus not acceptable for disposal at sea." | ||
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| + | So once again based on past history of the Tees, disposal of material is allowed that would not be allowed elsewhere in the UK. | ||
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| + | It was also concerning that "12. Figure 3 (sum of LMW PAHs) shows a larger range of results from 2015, in that the 2015 dataset contains both the lowest and highest values across both datasets.", | ||
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| + | It is amazing that the conclusion was "14. The data presented for this consultation do not present significant cause for concern." | ||
| ==== Cefas 7th November 2019 ==== | ==== Cefas 7th November 2019 ==== | ||
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| [[this> | [[this> | ||
| - | ==== Cefas 14th November 2019 ==== | + | This response was on receipt of the final set of PBDE analyses, bearing in mind that first only upstream results were supplied, then all but PBDE for the downstream samples and that no samples were requested for the approaches, Seaton channel, Teesport or Philips berths. |
| - | [[this> | + | It does not inspire confidence at the care which taken over the preparation of analysis data when "The licence holder initially submitted a dataset with very high levels of PBDEs; levels that are not usually observed in environmental concentrations i.e. BDE209 was recorded at 400 ppm in one sample. The licence holder has now confirmed (6th November 2019) that these results were not correctly transcribed into the MMO Results Template, in that, they were not converted from ppb to ppm as is the usual procedure. The licence holder has provided the original certificate of analysis to corroborate |
| - | ==== Cefas 1st April 2021 ==== | + | There is a comment about sampling number meeting OSPAR guidelines "Using the OSPAR guidelines, this equates to approximately 30-35 samples required, as the guidelines stipulate that 16 – 30 samples should be taken for dredges between 500,000 m³ and 2,000,000 m³ and an additional 10 samples for each 1,000,000 m³ beyond this amount. As such, the sampling effort, 37 samples including one exclusion, is acceptable." |
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| + | Dredging was allowed to continue. | ||
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| + | ==== Cefas 29th March 2021 ==== | ||
| [[this> | [[this> | ||
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| + | Once again the wrong dredged volumes are quoted as the levels against which the assessment is carried out "PD Teesport (PDT) hold marine licence L/ | ||
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| + | "20. In light of the above points (17 – 20), my opinion is that the levels of BDE-209 recorded in the 2021 data pose a potentially unacceptable risk to the marine environment. However, the concentrations for all other BDE-congeners and analytes (i.e., metals, tins, PAHs and PCBs) observed do not preclude the material from disposal to sea. As the generally elevated presence of PBDEs in the Tees is documented with sampling data and published literature, and as we know that this elevated presence can be traced to historic industrial inputs, I am content at this time that the proposed works be licensed. However, I recommend that PBDEs analysis is continued for them to be fully assessed in future sampling campaigns in the Tees." | ||
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| + | Once again despite sediments showing levels which should have made disposal at sea a last resort, disposal at sea continued. | ||
| ==== Cefas 20th December 2021 ==== | ==== Cefas 20th December 2021 ==== | ||
| [[this> | [[this> | ||
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| + | Once again Cefas are under the impression that only 10% of the material that is actually dumped from Tees annually is being dumped " | ||
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| + | Why does the applicant not follow the exact instruction on sampling advice? | ||
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| + | 8. Further, the sample plan recommended only 8 samples, but the licence holder has presented data for 20. As these samples appear to be representative of the dredge areas, I will consider the results alongside the 8 recommended samples," | ||
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| + | PAHs once again show the major concern with most exceeding LMW PAHs ERM and many being close to the HMW PAHs ERM, such results should preclude disposal at sea. | ||
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| + | "14. Viewed in isolation, these results would preclude material from continued disposal at sea. However, it is essential to consider the local and regional context. The Tees river, as with other North-east English rivers, has a documented history of specific industrial activity, which has led to a noticeable presence of both man-made and naturally occurring contaminants. Further, the general PAH footprint of the Tees typically skews more towards LMW PAHs than HMW PAHs, which is reflected in the results presented. Nonetheless, | ||
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| + | However "17. Considering the results in both the local context of the Tees, and in comparison to previous years’ data, the PAH results presented for this review do not preclude material from continued disposal at sea." | ||
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| + | This response was prepared just after the initial crustacean die-off had occurred in the River Tees and the local coast. | ||
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| + | ==== Cefas 26th July 2023 ==== | ||
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| + | ==== Cefas 5th October 2023 ==== | ||
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| + | ==== MMO 30th July 2024 ==== | ||
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| + | [[https:// | ||
| + | Tees and Hartlepool, Teesside]] | ||
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| + | The MMO advice is introduced by a misquoting of the [[OSPAR Sampling Guidelines]] | ||
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| + | "2.1. In accordance with the recommendations of the OSPAR Guidelines for the Management of Dredged Material, samples should be taken to provide a good representation of the volume of material to be dredged. The distribution and depth of sampling should reflect the size and depth of the area to be dredged, the amount to be dredged and the expected variability in the horizontal and vertical distribution of contaminants. The MMO also uses the OSPAR guidelines to inform our advice on sampling requirements for other activities which are likely to lead to the mobilisation of sediments. Based on the information submitted (as described above), the following sampling and analysis is required." | ||
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| + | The advice then advised that "In consideration of the volume details of the proposed dredge, the MMO advises that 31 samples should be taken from within the footprint of the proposed dredge area." and then said " | ||
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| + | The 31 sites were shown in figure 1: | ||
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| + | Measurements were required from all 31 sites: Particle Size Analysis (PSA), Trace metals (including arsenic), Organotins (tributyltin and dibutyltin), | ||
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| + | ==== MMO Covering Letter for Cefas 25th January 2025 ==== | ||
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| + | [[https:// | ||
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| + | The MMO considered that the sample results submitted discharged the conditions on the licence. | ||
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| + | Cefas comments on particle size were based on the mass particle size distribution, | ||
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| + | All trace metals (including arsenic) showed levels greater than Cefas Action Level 1 (AL1) (beige markers on maps) in multiple samples, but no samples were greater than AL2. | ||
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| + | There is only an AL1 for individual polycyclic aromatic hydrocarbons (PAHs), so the maps for the individual PAHs are colour coded as green when below AL1, beige when between AL1 and 10*AL1 and red when greater than 10xAL1. | ||
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| + | As there is no AL2 for PAHs Cefas uses the Gorham-Test protocol to examine sums of low molecular weight (LMW) and sums of high molecular weight (HMW) PAHs. The sum of each are assessed against effect range low (ERL) below this the sediment is low risk and effects-range median (ERM) above which the sediment is considered of high risk. | ||
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| + | "Out of the 31 samples analysed for PAHs 29 were greater than the LMW ERM ranging from around the ERL threshold (3,160 µg/kg) to 4.4x the ERM threshold (14,047 µg/kg). The remaining two samples were 1 (Figure 1 Exolum Riverside) and 27 (Figure 1 Chart 12); sample 1 contained LMW PAH levels greater than ERL but close to the ERM threshold whilst sample 27 contained levels of LMW PAHs less than ERL. Only one sample, sample 6 (Figure 1 Chart 3), was close to, but below, the ERM threshold for HMW PAHs. All remaining levels of HMW PAHs were below the ERM except for three samples which were below the ERL. The three samples below ERL were sample 24 (Figure 1 Chart 9), sample 27 (Figure 1 Chart 12) and sample 28 (Figure 1 Hartlepool Channel). Of note is that sample 27 is the only sample to contain levels of both LMW and HMW PAHs below their respective ERLs." | ||
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| + | "**The levels of LMW PAHs alone would normally preclude the material from continued disposal to sea due to levels that would pose a risk to the marine environment**, | ||
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| + | Cefas basically say these high levels are not an issue, despite most of the samples having LMW PAHs above ERM and as Cefas said any sample above ERM "can be considered higher risk, with more likelihood of harm occurring." | ||
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| + | "It is observed that levels of LMW PAHs have maintained a similar level since 2023; the minimum value is less than 2023, the median and mean are of a similar value to 2023 but the maximum has increased since 2023. Viewing the levels of LMW PAHs since the start of the licence in 2015 indicates that they have continued to drop over the years with the Tees and Hartlepool dredge area. Interpretation of the HMW PAH levels is more clear cut with all factors (min, median, mean and max) all decreasing in value since 2015, and in broader terms all seeing a decrease every year since 2019." | ||
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| + | " | ||
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| + | Neither Cefas figure 4 or 5 show the ERL or ERM levels, but when the ERM level is shown on figure 4, it is obvious that these samples present a significant risk of harm to the marine environment: | ||
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| + | This chart without the ERM level was reproduced in the Tees MDP Baseline Document to show how the Tees was getting better, which may be the case, but continued dredging and dumping will still be doing damage and as such should be curtailed. | ||
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| + | Surprisingly only low concentrations of PCBs are seen in the samples and only a few organochlorine samples were found to be above German AL1, as the UK has no AL2. | ||
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| + | Polybrominated diphenyl ethers were a different story with BDE 209, 99, 100 and 85 show levels that are of concern. | ||
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| + | Once again dredging is allowed to continue with disposal of this material to sea: "Given the above, levels of PBDEs pose a high risk to the marine environment at some sites. Overall, my opinion is that **the levels of BDE209 and BDE99 observed in the 2024 data pose a potentially unacceptable risk to the marine environment.** However, the levels for all other BDE congeners and other contaminants analysed do not preclude the material from disposal to sea. Given that **the levels of BDE209 and BDE99 appear to be lower or generally consistent with the levels observed in previous years (excluding the BDE99 maximum)** and given that the **elevated presence of PBDEs in the river Tees that can be traced to historic industrial inputs** the **material whilst of concern may be allowed for disposal, in this case to Tees Bay A (TY160) disposal site.** However, to evidence the impact of the disposal activity with contaminants at these levels it would be prudent to undertake a site-specific monitoring survey to look at impacts in the sediment flora and fauna around the area of the disposal site. I recommend that Tees Bay A (TY160) disposal site and the wider area, is flagged for future monitoring by the MMO." | ||
| + | ==== MMO Quoting Cefas 1st Arpil 2025 ==== | ||
| + | [[https:// | ||
| + | 5.2.3]] | ||
cefas_thoughts_about_the_river_tees_over_time.1766358309.txt.gz · Last modified: by nefcadmin
