Waste Issues and Options

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Comment

Waste Issues and Options

Question 1

Representation ID: 434

Received: 05/05/2020

Respondent: Peel Environmental Ltd

Representation Summary:

We believe the period to 2038 is appropriate and note, that in accordance with NPPF paragraph 33, the WLP needs to be reviewed at least every 5 years through this period.

Comment

Waste Issues and Options

Question 2

Representation ID: 435

Received: 05/05/2020

Respondent: Peel Environmental Ltd

Representation Summary:

We have no comments.

Comment

Waste Issues and Options

Question 3

Representation ID: 436

Received: 05/05/2020

Respondent: Peel Environmental Ltd

Representation Summary:

We are in general agreement with the waste quantities estimated on the assumption they are derived correctly from stated source and proper account has been given to imports / exports from the WLP area.

Comment

Waste Issues and Options

Question 4

Representation ID: 437

Received: 05/05/2020

Respondent: Peel Environmental Ltd

Representation Summary:

We note that 2018/19 household waste recycling data is now available and the more contemporary data should be used as the WLP moves forward. The LACW data for the City Council looks high bearing in mind in 2018/19 they only achieved 26.5% recycling for household waste. See: https://www.letsrecycle.com/councils/league-tables/2018-19-overall-performance/

Comment

Waste Issues and Options

Question 5

Representation ID: 438

Received: 05/05/2020

Respondent: Peel Environmental Ltd

Representation Summary:

The scenarios offer a good range. Based on patterns over the past 10 years (household waste grew by only 2.2% 2010-2017)1 we consider scenario B is most realistic i.e. the quantity of waste produced per household will be broadly static, albeit with economic boom and recessionary peaks and troughs, but overall LACW will increase over time as there is growth in the number of households .

Comment

Waste Issues and Options

Question 6

Representation ID: 439

Received: 05/05/2020

Respondent: Peel Environmental Ltd

Representation Summary:

The scenarios offer a good range. We consider something around scenarios A and B is most realistic. We note DEFRA estimated C&I growth for 2010-2016 was an average of 1.5% per annum.

Comment

Waste Issues and Options

Question 7

Representation ID: 440

Received: 05/05/2020

Respondent: Peel Environmental Ltd

Representation Summary:

We have no comments.

Comment

Waste Issues and Options

Question 8

Representation ID: 441

Received: 05/05/2020

Respondent: Peel Environmental Ltd

Representation Summary:

We have no comments.

Comment

Waste Issues and Options

Question 9

Representation ID: 442

Received: 05/05/2020

Respondent: Peel Environmental Ltd

Representation Summary:

We agree that recycling rates are capable of increasing by circa 10% over the WLP period, but this requires quite significant intervention and implementing all of the measures in ‘Our Waste, Our Resources; A Strategy for England’ (DEFRA 2018). Achieving circa 50% household waste recycling and circa 65% C&I waste recycling by the end of the WLP period would be in line with Tolvik national modelling

Comment

Waste Issues and Options

Question 10

Representation ID: 443

Received: 05/05/2020

Respondent: Peel Environmental Ltd

Representation Summary:

We suggest the WLP amends the terminology used. ‘Recovery’ includes recycling and we believe what is being referred to here is, for the purposes of the waste hierarchy, ‘other recovery’. However, we suggest the term ‘energy recovery’ is adopted as it is likely to be better understood.
The RDF export market has contracted more drastically than the WLP indicates. With measures such as the Dutch introduction of a €31-per-tonne tax on the import of waste into the country for incineration, in January 2020, it is forecast that RDF exports will radically decrease. Further, the UK’s commitment for Net Zero by 2050 requires the elimination of ‘off-shoring’ waste.

Further, the UK is still landfilling large quantities of waste that could be subject to energy recovery.
Accordingly, there will be an increased role for energy recovery in the future.
Finally, we note that the extant Waste Core Strategy aims for Nottingham & Nottinghamshire to be ‘self-sufficient’, but there is less emphasis on this in the emerging WLP and Preliminary Waste Needs Assessment. In terms of energy recovery infrastructure, we make two points on this matter:
• We believe it is important that Nottinghamshire actually delivers more energy recovery infrastructure within the WLP area.
• As the UK moves towards delivering its final energy recovery capacity, which will occur in the WLP period, the WLP must be flexible and recognise that the latter EfW facilities will undoubtedly rely on wider catchment areas to ‘mop up’ the remaining residual waste. Thereafter there will probably be an element of geographic rebalancing as waste contracts expire and are replaced. Accordingly, the WLP must be permissive of the potential for residual waste to be exported into the Plan area, where such a movement supports the delivery of new energy recovery infrastructure that can also be used for the management of the City’s / County’s waste. Such an approach is entirely consistent with national Government strategy3 which specifically acknowledges that there is nothing in the legislation or the proximity principle that says accepting waste from another council, city, region or country is a bad thing and indeed in many cases it may be the best economic and environmental solution.

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