Canada s Ballast Water Requirements. September 2016

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Transcription:

Canada s Ballast Water Requirements September 2016

Applicability of Canada s Regulations Ballast Water Control and Management Regulations require vessels from outside Canada s Exclusive Economic Zone (EEZ) to manage their ballast water. Ships remaining exclusively within Canada s EEZ are currently exempt. Exemptions currently exist for ships trading with the Northern U.S. 2

National Ballast Water Management All vessels subject to the Regulations are required to manage their ballast water by: Ballast water exchange, Ballast water treatment, Discharging ballast water ashore, or Retaining ballast water onboard. These regulations permit treatment, but do not yet require it. However, ships choosing to treat must attain the performance standard of the Convention (Regulation D-2). Vessels must provide 96h notice and a ballast water report form. 3

Regional Ballast Water Co-operation Bi-nationally compatible regulations are important to facilitate shipping particularly on the Great Lakes St. Lawrence Seaway system, which crosses federal and state borders. Canada has a long history of co-operation with the U.S., including a joint bi-national inspection program that ensures compliance by all overseas ships bound for the Great Lakes. Joint Canada U.S. inspection of each tank on each transit by each vessel bound for the Great Lakes required to manage ballast water. Corrective action if non-compliant, so no unmanaged ballast water enters the Great Lakes from regulated ships. Joint reporting by Canada and the U.S. 4

Regional Ballast Water Challenges As a party to the Convention, Canada recognizes the importance of globally applicable ballast water regulations. However, the regional context for Canada s implementation is complicated by the differing approach in the U.S. Canada has advised MEPC of challenges it may encounter in implementation: MEPC 68/INF.34, and MEPC 69/4/15 (Annex). Incompatibilities between U.S. requirements and the Convention could introduce delays in the regulatory process needed to align Canada's Regulations with the Convention. 5

The Way Forward Canada welcomes the entry into force of the Convention, which will protect the environment and support the economy. Canada will continue work with the U.S., stakeholders and at the International Maritime Organization to develop plans for a smooth transition to the new regime. Until the Canada s regulations are amended, Transport Canada will continue to apply the existing Canadian regulatory regime: Exchange, Treatment, Retention on board, or Discharge ashore. For greater certainty, Transport Canada will be releasing Ship Safety Bulletins outlining interim criteria for: Vessels using BWMS to comply with the Regulations Canadian vessels fitting BWMS 6

More Information Policy Matters Operational Matters Colin Henein Manager/Senior Policy Advisor Marine Policy Transport Canada colin.henein@tc.gc.ca 613-991-9871 Paul Topping Manager, Environmental Protection Marine Safety and Security Transport Canada paul.topping@tc.gc.ca 613-991-3168 7

Structuring the Experience-Building Phase for the Ballast Water Convention A proposal to MEPC by Canada with the Marshall Islands, the Republic of Korea and IMarEST

Why an Experience-Building Phase? The BWM Convention was drafted based on the best available information, and was adopted unanimously in 2004 by a broad range of IMO members, including countries and stakeholders. 13 years will have passed between the Convention s adoption and its entry into force. Although we have learned a lot about ballast water management, some uncertainty remains. The implementation of any new and transformational Convention can be expected to pose challenges. A plan is needed to identify implementation challenges that may interfere with the objectives of the Convention. A process for making any adjustments is also needed. 9

Vision for Experience-Building IMO will need to gather information in order to identify what is working about the Convention, as well as what is not working. Building a global picture of early ballast water management will not be easy. A recent IMO study was only able to consider 122 of the estimated 2,410 ships with BWMS. This did not allow for a definitive assessment of the reliability and performance of BWMS. IMO will also need an evidence-based process to assess the Convention and negotiate any needed adjustments to the rules. Until any needed adjustments are made, shipowners that are taking appropriate steps to comply should not be penalized. However, shipowners, port states and flag states must work together to protect the environment during this period. 10

The Roadmap Some building blocks are already agreed within MEPC s Roadmap for the Implementation of the Convention: Non-penalization for some ships, subject to environmental protection Contingency measures Some data gathering Trial period for sampling and analysis A potential Convention review These elements should be refined and connected into a clear process. The goal: increased certainty, and a fair, practicable and environmentally protective regime. 11

Proposed Experience-Building Phase The phase should be a structured as a time for the IMO to: 1. Gather data concerning the implementation of the Convention, 2. Participate in the analysis of this data to identify any challenges, 3. Undertake a review of the Convention text and negotiate any amendments. Meanwhile, appropriate non-penalization and environmental protection is needed. 12

Data Gathering Stage Aggregated data would be likely provided by countries to the IMO Secretariat. However, data submissions should be welcomed from all stakeholders. The Secretariat would combine these submissions for consideration by MEPC s ballast water review group. Specific data requirements need discussion, but could include: Numbers of ships certified, survey issues, number of exemptions; Operational status of BWMS, crew familiarity, safety incidents; Volume of ballast water managed, and the methods that work; Extent of failures, why they happened, and contingency measures; Methods and results of sampling and analysis; and Number of other compliance checks, outcomes, and actions taken. 13

Data Analysis Stage Once sufficient data is gathered, the raw data will need analysis in order to produce useful and timely information and considerations for MEPC. It is possible that some studies and expert analysis could be undertaken at this stage. Specific analyses need discussion, but could include: Pace of BWMS installation, systematic challenges and deficiencies; Proportion of compliant discharges, exemptions, exceptions; Reliability of BWMS, extent of exceedances, reasons for failures; Proportion of ships otherwise in compliance, and if not why not; Reasons for exemptions, exceptions, extra measures and warnings; Assessment of the methods of sampling and analysis for trial use; Effectiveness and safety of the Convention. 14

Convention Review Stage The Convention calls for continued development of ballast water management and standards. The data and analysis stages will prepare all members of MEPC to agree on what should be changed about the Convention. This review should have two parts: 1. Textual Review: a holistic assessment of whether the text of the Convention is meeting its policy goals or not, leading to an evidence-based list of issues (critical and non-critical); 2. Amendment: the Parties negotiate a package of amendments at MEPC to address the critical issues. The experience-building phase would end with the entry into force of the critical amendments. A timeline for finishing the experience-building phase should be established at the beginning of the Convention Review stage. 15

Non-penalization Provided that shipowners and crews take the steps under their control to comply with the Convention, environmental protection (rather than penalization) should be emphasized until any needed changes are implemented. Ships should not be warned, sanctioned, detained or excluded if: An approved BWMS is installed, maintained and used correctly; The ballast water management plan has been followed; and The self-monitoring system of the BWMS indicates it is working. The port state may still take actions to protect the environment. The ship, port state and flag state should use MEPC guidelines on contingency measures to determine the most appropriate solution for the discharge of non-compliant ballast water. 16

Benefits of Proposal This proposal is designed to meet the needs of flag states, port states, shipowners and other stakeholders by: Emphasizing environmental protection over penalization; Promoting installation, maintenance and proper use of a BWMS; Encouraging careful BWMS selection (contingency measures); Providing transparency on the parts of the Convention that are working, those that are not, why, and by how much; and Assuring everyone that evidence-based improvements to the Convention will be considered and adopted through a clear process. The proposal will be considered at MEPC 70 in October 2016. If agreed, it will likely be further refined and improved. 17

More Information Structuring the experiencebuilding phase associated with the BWM Convention. MEPC 70/4/14 (Canada, Marshall Islands, Republic of Korea, IMarEST) Dr. Colin Henein Transport Canada colin.henein@tc.gc.ca 18