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It is submitted that while perusing the note, the note of AEE/EE, Regional Office, SGR, it has been observed that :
1. There are 2 poultry sheds with capacity of birds @ 4000 and 20000 respectively, which are separated by a LPG godown. The poultry farm has applied for CTOs under the single name. As such, Environmental Engineer, Regional Office, SGR is required to clarify, whether the 2 different premises could be granted consent as single unit under single name.
2. There are 13 houses within 300 mtr and 23 houses within the 500 mtr of the poultry farm/ sheds. As per siting guidelines issued by CPCB, the poultry farm should be at a distance of 500 mtr from the residential zone. Environmental Engineer, Regional Office, SGR is required to comment on this issue, as to whether the site of poultry farm is suitable as per the siting guidelines issued by CPCB.
3. As per guidelines issued by CPCB, the poultry shed should not be constructed within 10 mtr from the boundary wall for better cross ventilation. As per the note of AEE, the poultry farm has not constructed any wall thus this criteria is not applicable in the present case. Regional Office has required to comment upon, as to whether the poultry farm is having sufficient land beyond the walls of the shed i.e. atleast 10 mtr at any side, if boundary wall is to be constructed at any point of time by the poultry farm.
In view of above, if approved, Regional Office be requested to submit clear cut reply in annotated form as per the prevailing policy and submit fresh recommendations, accordingly please.
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