| File Note: |
<p>Discussed, the industry has submitted reply of the clarifications and compliance report of the observations of the under-signed visit dated 21.12.2022 vide email dated 02.01.2023 as under:</p>
<p>1) They have provided dedicated room for storage of hazardous waste.</p>
<p>2) They have provided water meter on inlet and outlet of ETP.</p>
<p>3) They have started giving black oil to authorized person.</p>
<p>4) They have started chemical dosing in ETP.</p>
<p>5) The outlet pipe of ETP has been attached to tank for reuse and with sewerage.</p>
<p>6) Sampling arrangement has been completed.</p>
<p>7) Sand has been added to sludge drying bed.</p>
<p>8) They have started maintaining record of operation of ETP.</p>
<p>Copy of the reply is enclosed.</p>
<p>In view of above, it is recommended that further necessary action on the directions issued against the industry u/s33-A of Water Act, 1974 for electricity disconnection may be dropped and the industry may be granted CTO under Water ACt, 1974 and Air Act, 1981 till 30.09.2023 subject to special conditions as under:</p>
<p>1) The industry will operate its ETP regularly and efficiently in order to meet the prescribed standards. The industry will maintain record of operation of ETP.</p>
<p>2) The industry will carry out effluent monitoring after ETP from NABL approved lab and submit report to Board within 1 month.</p>
<p>3) The industry will make agreemnet for disposing off used filters and used oil only to registered recyclers of the Board and will obtain maintain record. The industry will obtain authorization of the Board under HWM Rules, 2016 within 1 month.</p>
<p>4) The industry will use the treated water from ETP for washing & the excess will be disposed off into MC sewer.</p>
<p><strong>*Competency - Chief Environmental Engineer. </strong></p>
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