| File Note: |
<p>In addition to the note of AEE, it is further mentioned as under:-</p>
<p>1. The industry was found disposing off purge water at its back side into empty plots for stagnation, photographs of which area attached for reference. </p>
<p>2. M/s DSG Paper Mills have valid authorization under HOWM Rules, 2016 for disposing off its ETP sludge @ 1200 TPA whereas validity of authorization under HOWM Rules, 2016 of M/s Vishal Paper Industries Pvt. Ltd. for disposing off its ETP sludge @ 2718 TPA just expired recently on 31.03.2023.</p>
<p>3. The industry could not show the record/log book maintained by it regarding quantity of ETP sludge received from the respective paper mills, quantity processed, hazardous waste generated, residues generated/disposed off etc. as the industry is not maintaining the record regarding the same.</p>
<p>4. Also, the industry could not furnish the details regarding the details of trolley/truck/loader used for transportation of ETP sludge from paper mills to its premises.</p>
<p>5. Authorization obtained by the industry under the HOWM Rules, 2016 for procurement and utilization of HW ETP sludge @ 1800 TPA is valid up to 30.06.2023.</p>
<p> </p>
<p>Considering above details along with note of AEE, it is recommended as proposed by AEE i.e. for issuance of SCN before refusal of CTO under the Water Act, 1974 along with P.H. before CEE (P) and also for revocation/cancellation for authorization obtained by the industry under the HOWM Rules, 2016 please.</p> |