| 30794575 |
false |
|
true |
It is intimated that the point-wise clarifications/documents as raised by the Zonal Office, Bathinda are required to be submitted, which are as under:
1. The industry shall submit a revised report from the Revenue Authority clearly certifying that the project site is located beyond 100 meters from:
a.) the limits of any Municipal Council/Nagar Panchayat,
b.) Lal Lakir/Phirni of any village, and
c.) any approved residential area or cluster of 15 pucca houses.
2. The Project Proponent (PP) shall clarify whether the domestic effluent generated from the kitchen and toilet sections shall be:
a.) discharged into a soakage pit after treatment through septic tank, as proposed in the feasibility report, or
b.) disposed of onto land for plantation, as proposed in the undertaking dated 22.12.2025.
3. The industry shall clarify whether the project site is located within or outside the municipal limits.
4. The industry shall clarify that although they have applied for Consent to Establish, in the online application form the month and year of commissioning has been inadvertently marked as January 2002, which requires correction/justification.
5. The industry shall submit complete details of machinery installed, including the number and capacity of:
a.) hammer mills, b.) shredders, c.) dryers, and d.) pellet machines.
6. The industry shall clarify the contradiction between the feasibility report and the undertaking submitted, specifically:
a.) as per the feasibility report, one additional cyclone separator is proposed with the shredding section; whereas
b.) as per the undertaking, the PP has proposed installation of separate two-stage APCDs on two hammer mills, comprising a cyclone separator followed by a Pulse Jet Type Bag House Filter (180 bags) as an integrated part of the hammer mills.
7. The PP has applied for production of Non-Torrefied Biomass Pellets @ 5 TPH using paddy straw @ 240 MT/year and sugarcane bagasse/other waste @ 48 MT/day as raw material. Based on these figures, the plant would operate for only 57.6 hours per year, which appears technically unfeasible. The PP shall therefore clarify the actual raw material requirement and operating schedule.
It is therefore requested to furnish the requisite documents and submit the above clarifications within 02 days for further processing of the case. |
2025-12-31 13:27:16.642 |