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Windsor Bridge Replacement Construction Environmental Management Plan i
Document control File name WBR_CEMP_ Rev 0.DOCX
Report name Windsor Bridge Replacement Construction Environmental Management Plan
Revision number 1
Revision history Revision Date Description Approval
1 17/05/19 Following approval of additional AFA TH
0 14/09/18 For construction DP&E
H 27/08/18 OEH Heritage and DPE Review
G 10/08/18 Update of consultation table
F 9/08/18 Update of consultation table
E 10/07/18 ER & DP&E Review
D 02/07/18 RMS Review
C 26/06/18 RMS Review
B 19/06/18 RMS Review
A 28/05/18 For review
Distribution of controlled copies Copy no. Issued to Version
1 RMS, DP&E, ER H
Windsor Bridge Replacement Construction Environmental Management Plan i
Contents 1 Introduction ....................................................................................................................... 1
1.1 Background ............................................................................................................... 1
1.2 Purpose of this CEMP ............................................................................................... 1
1.3 Consultation ............................................................................................................. 10
1.4 Certification and approval ........................................................................................ 11
1.5 Distribution ............................................................................................................... 11
1.6 Revision ................................................................................................................... 11
2 Project description .......................................................................................................... 13
2.1 General features ...................................................................................................... 13
2.2 Construction activities and sequence ...................................................................... 15
2.3 Compound and ancillary facilities ............................................................................ 15
2.4 Hours of Operation .................................................................................................. 17
3 Planning .......................................................................................................................... 18
3.1 Project environmental obligations ............................................................................ 18
3.2 Legal and other requirements .................................................................................. 18
3.3 Approvals, permits and licensing ............................................................................. 18
3.4 Environmental aspects and impacts ........................................................................ 20
3.5 Environmental policy ............................................................................................... 20
3.6 Objectives and targets ............................................................................................. 20
3.7 Project refinements .................................................................................................. 22
4 Implementation and operation ........................................................................................ 25
4.1 Environmental management system documentation ............................................... 26
4.2 Resources, roles, responsibilities and authority ...................................................... 29
4.3 Sub-contractor management ................................................................................... 36
4.4 CEMP availability ..................................................................................................... 36
5 Competence, training and awareness ............................................................................ 37
5.1 Environmental induction .......................................................................................... 37
5.2 Toolbox talks, training and awareness .................................................................... 38
5.3 Daily Pre-Start Meetings .......................................................................................... 38
6 Communication ............................................................................................................... 40
6.1 Internal communication ........................................................................................... 40
6.2 External and government authority consultation ..................................................... 40
6.3 Stakeholder and community communication ........................................................... 40
7 Incidents and emergencies ............................................................................................. 42
7.1 Notification ............................................................................................................... 42
8 Inspections, monitoring and auditing .............................................................................. 45
8.1 Environmental inspections ....................................................................................... 45
8.2 Environmental monitoring ........................................................................................ 45
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8.3 Auditing .................................................................................................................... 47
8.4 Compliance tracking program .................................................................................. 49
8.5 Reporting ................................................................................................................. 50
8.6 Non-conformity, corrective and preventative actions ............................................... 52
9 Review and improvement ............................................................................................... 52
10 Documentation ................................................................................................................ 53
10.1 Environmental records ............................................................................................. 53
10.2 Document control .................................................................................................... 53
Tables Table 1-1 CoA requirements for the CEMP ............................................................................. 2
Table 3-1 Licences, Permits and approvals ........................................................................... 18
Table 3-2 Environmental objectives and targets .................................................................... 21
Table 4-1 Environmental management sub plans and strategies .......................................... 26
Table 8-1 Summary of environmental monitoring required by project approval .................... 45
Table 8-2 Audit requirements ................................................................................................. 48
Table 8-3 Compliance Reporting ........................................................................................... 50
Table 8-4 Reporting Requirements ........................................................................................ 51
Appendices Appendix A1 Compliance Tracking Register – legal and contractual for construction
Appendix A2 Environmental aspects and impacts
Appendix A3 Georgiou Environmental policy and ISO 14001 certification
Appendix A4 Sensitive area plans
Appendix A5 RMS incident classification and reporting procedure
Appendix A6 Georgiou nonconformity and corrective and preventative action procedure
Appendix A7 Georgiou auditing, review and inspection standard
Appendix A8 CEMP consultation with relevant Agencies
Appendix B1 Construction traffic management sub plan
Appendix B2 Construction flora and fauna management sub plan
Appendix B3 Construction noise and vibration management sub plan
Appendix B4 Construction soil and water quality management sub plan
Appendix B5 Construction heritage management sub plan
Appendix B6 Construction air quality management sub plan
Appendix B7 Construction waste management sub plan
Appendix B8 Construction contaminated land management plan
Appendix B9 Coal tar management plan
Appendix B10 Construction Acid Sulfate Materials Management Plan
Appendix B11 Vegetation management plan
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Appendix B12 Pollution Incident Response Management Plan
Glossary / Abbreviations ASS Acid sulfate soils
CEMP Construction environmental management plan
Compliance audit Verification of how implementation is proceeding with respect to a construction environmental management plan (CEMP) (which incorporates the relevant approval conditions).
CoA Conditions of approval
Director-General Director-General of the NSW Department of Planning and Infrastructure (or delegate)
DOI (NRAR) Department of Industry (Natural Resources Access Water, NRAR) (formerly NSW Office of Water (NOW))
DP&E Department of Planning and Environment
DP&I Department of Planning and Infrastructure
EA Environmental Assessment
Ecological sustainable development
Using, conserving and enhancing the community’s resources so that the ecological processes on which life depends are maintained and the total quality of life now and in the future, can be increased (Council of Australian Governments, 1992).
EIS Environmental Impact Statement
EPA NSW Environment Protection Authority
EMS Environmental management system
ESR Environmental Site Representative
ER Environmental Representative
Environmental aspect Defined by AS/NZS ISO 14001:2004 as an element of an organisation’s activities, products or services that can interact with the environment.
Environmental impact Defined by AS/NZS ISO 14001:2004 as any change to the environment, whether adverse or beneficial, wholly or partially resulting from an organisation’s environmental aspects.
Environmental incident An unexpected event that has, or has the potential to, cause harm to the environment and requires some action to minimise the impact or restore the environment.
Environmental objective Defined by AS/NZS ISO 14001:2004 as an overall environmental goal, consistent with the environmental policy, that an organisation sets itself to achieve.
Environmental policy Statement by an organisation of its intention and principles for environmental performance.
Environmental target Defined by AS/NZS ISO 14001:2004 as a detailed performance requirement, applicable to the organisation or parts thereof, that arises from the environmental objectives and that needs to be set
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and met in order to achieve those objectives.
Environmental Representative
A suitably qualified and experienced person independent of project design and construction personnel employed for the duration of construction, and approved by the Planning Secretary in accordance with condition D14. The principal point of advice in relation to all questions and complaints concerning environmental performance.
EP&A Act Environmental Planning and Assessment Act 1979
Minister, the Minister for Planning and Infrastructure
Non-compliance Failure to comply with the requirements of the Project approval or any applicable license, permit or legal requirements.
Non-conformance Failure to conform to the requirements of Project system documentation including this CEMP or supporting documentation.
NOW NSW Office of Water (now DOI – NRAR)
OEH NSW Office of Environment and Heritage
Planning Secretary Secretary of the NSW Department of Planning and Environment (or delegate)
Project, the The Windsor Bridge Replacement Project
Roads and Maritime NSW Roads and Maritime Service
SPIR Submissions/Preferred Infrastructure Report
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1 Introduction
1.1 Background Roads and Maritime Services (Roads and Maritime) and Georgiou Group (Georgiou) have partnered together to undertake construction activities for the new road bridge over the Hawkesbury River at Windsor (the Windsor Bridge Replacement Project), on behalf of the New South Wales (NSW) Government.
The Windsor Bridge Replacement Project (the Project) has been assessed as State Significant Infrastructure under the former Part 5.1 of the Environmental Planning and Assessment Act 1979 (EP&A Act).
An Environmental Impact Statement (EIS), Windsor Bridge Replacement Project Environmental Impact Statement, was prepared by Sinclair Knight Merz in November 2012 for Roads and Maritime. The EIS was on public exhibition until 17 December 2012.
A submissions / preferred infrastructure report (SPIR) was finalised in May 2013 which addressed stakeholder submissions received during the EIS exhibition period. Following this, in December 2013, the project was approved by the Minister for Planning and Infrastructure.
Construction of the project will be managed by Roads and Maritime through direct engagement of Georgiou.
1.2 Purpose of this CEMP This Construction Environmental Management Plan (CEMP) and sub plans have been prepared to comply with the Minister for Planning and Infrastructure’s Conditions of Approval (CoA) for the Windsor Bridge Replacement Project. A detailed description of the Project is provided in Section 2.
The CEMP has been prepared in accordance with Roads and Maritime QA Specification G36 and the Guideline for the Preparation of Environmental Management Plans (DIPNR, 2004). It is also consistent with AS/NZS ISO 14001. The Roads and Maritime QA Specification G36 requirements are summarised in the Compliance Tracking Register (Appendix A1).
The purpose of this CEMP is to provide a structured approach to the management of environmental issues during construction of the Project. Implementing this CEMP effectively will ensure that the Project team meets regulatory and policy requirements in a systematic manner and continually improves its performance. The CEMP ensures the requirements of Roads and Maritime and the Minister’s conditions of approval are met.
In particular, this CEMP:
Describes the Project in detail including activities to be undertaken and relative timing.
Provides specific mitigation measures and controls that can be applied on-site to avoid or minimise negative environmental impacts.
Provides specific mechanisms for compliance with applicable policies, approvals, licences, permits, consultation agreements and legislation.
Describes the environmental management related roles and responsibilities of personnel.
States objectives and targets for issues that are important to the environmental performance of the Project.
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Outlines a monitoring regime to check the adequacy of controls as they are implemented during construction.
This CEMP and sub-plans meet the requirements of CoA D4 and CoA D5. The requirements of these conditions and where they are met in this CEMP are shown in Table 1-1 below.
Table 1-1 CoA requirements for the CEMP
CoA no. Requirement Reference
D4 The Applicant shall prepare and (following approval) implement a Construction Environmental Management Plan for the project. The Plan shall outline the environmental management practices and procedures that are to be followed during construction, and shall be prepared in consultation with the relevant agencies and in accordance with the Guideline for the Preparation of Environmental Management Plans (Department of Infrastructure, Planning and Natural Resources, 2004). The Plan shall include, but not necessarily be limited to:
This Plan
D4 (a) A description of activities to be undertaken during construction of the project or stages of construction, as relevant;
Section 2
D4 (b) Statutory and other obligations that the Applicant is required to fulfil during construction including approvals, consultations and agreements required from agencies and key legislation and policies. Evidence of consultation with relevant agencies shall be included identifying how issues raised by these agencies have been addressed in the CEMP;
Section 3 and Appendix A1
D4 (c) A description of the roles and responsibilities for relevant employees involved in the construction of the project including relevant training and induction provisions for ensuring that employees, including contractors and sub-contractors are aware of their environmental and compliance obligations under these conditions of consent;
Section 4 and Section 5
D4 (d) Identification of ancillary facility site locations, including an assessment against the location criteria outlined in this consent;
Section 2.3
Ancillary Facility Assessment (separate document)
D4 (e) An environmental risk analysis to identify the key environmental performance issues associated with the construction phase and details of how environmental performance would be monitored and managed to meet acceptable outcomes including what actions will be taken to address identified potential adverse environmental impacts. In particular, the following environmental performance issues shall be addressed in the Plan:
i. measures to monitor and manage dust emissions including dust from stockpiles, blasting, traffic on unsealed public roads and materials tracking from construction sites onto public roads;
ii. measures to minimise hydrology impacts, including
Section 3.4, Appendix A2 & Appendix B1-B10
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CoA no. Requirement Reference
measures to stabilise bed and bank structures as required;
iii. measures to monitor and manage impacts associated with the construction and operation of ancillary facilities;
iv. measures for the handling, treatment and management of contaminated materials;
v. measures to monitor and manage waste generated during construction including but not necessarily limited to: general procedures for waste classification, handling, reuse, and disposal; use of secondary waste material in construction wherever feasible and reasonable; procedures for dealing with green waste including timber and mulch from clearing activities; and measures for reducing demand on water resources (including the potential for reuse of treated water from sediment control basins);
vi. measures to monitor and manage spoil, fill and materials stockpile sites including details of how spoil, fill or material would be handled, stockpiled, reused and disposed and a stockpile management protocol detailing locational criteria that would guide the placement of stockpiles and management measures that would be implemented to avoid/ minimise amenity impacts to surrounding residents and environmental risks (including to surrounding water courses). Stockpile sites that affect heritage, threatened species, populations or Endangered Ecological Communities require the approval of the Director-General, in consultation with the OEH;
vii. measures to monitor and manage hazard and risks including emergency management; and;
viii. the issues identified in condition D7.
D4 (f) Details of community involvement and complaints handling procedures during construction, consistent with the requirements of conditions D11 to D13;
Community Communication Strategy (separate plan)
D4 (g) Details of compliance and incident management consistent with the requirements of conditions D7 and D8 ; and
CEMP Section 7
D4 (h) Procedures for the periodic review and update of the CEMP and sub-plans required under this consent respectively, as necessary (including where minor changes can be approved by the Environmental Representative). The Plan shall be submitted for the approval of the Director-General no later than one month prior to the commencement of construction, or as otherwise agreed by the Director-General.
CEMP Section 9
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CoA no. Requirement Reference
Construction works shall not commence until written approval has been received from the Director-General.
D5 As part of the CEMP for the project, the Applicant shall prepare and implement the following sub plan(s):
D5 (a) A Construction Traffic Management Sub-plan, prepared in accordance with the Roads and Maritime Service's QA Specification G10 — Control of Traffic and Traffic Control at Work Sites Manual (2003) to manage disruptions to traffic movements as a result of construction traffic associated with the project. The sub-plan shall be developed in consultation with the relevant council and shall include, but not necessarily be limited to:
i. identification of construction traffic routes and quantification of construction traffic volumes (including heavy vehicle/ spoil haulage) on these routes;
ii. details of vehicle movements for construction sites and site compounds including parking, dedicated vehicle turning areas, and ingress and egress points;
iii. details of potential impacts to traffic on the existing road network, including, intersection, level of service and potential disruptions to pedestrians, public transport, parking, cyclists and property access;
iv. details of temporary and interim traffic arrangements to address potential impacts;
v. a response procedure for dealing with traffic incidents; and;
vi. a mechanism for the monitoring, review and amendment of this sub-plan.
Appendix B1
D5 (b) A Construction Flora and Fauna Management Sub-plan to detail how construction impacts on ecology will be minimised and managed. The sub-plan shall be developed in consultation with the OEH and DPI (Fishing and Aquaculture) and shall include, but not necessarily be limited to:
i. details of pre-construction surveys undertaken by a suitably qualified and experienced ecologist to verify the construction boundaries/ footprint of the project based on detailed design and to confirm the vegetation to be cleared as part of the project (including tree hollows, threatened flora and fauna species and riparian vegetation);
ii. updated sensitive area/ vegetation maps based on (i) above and previous survey work;
iii. details of general work practices and mitigation measures to be implemented during construction to minimise
Appendix B2
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CoA no. Requirement Reference
impacts on native fauna and native vegetation (particularly threatened species and EECs) not proposed to be cleared as part of the project, including, but not necessarily limited to: fencing of sensitive areas, a protocol for the removal and relocation of fauna during clearing, engagement of a suitably qualified and experienced ecologist to identify locations where they would be present to oversee clearing activities and facilitate fauna rescues and re-location, clearing timing with consideration to breeding periods, measures for maintaining existing habitat features (such as bush rock and tree branches etc.), seed harvesting and appropriate topsoil management, construction worker education, weed management (including controls to prevent the introduction or spread of Phytophthora cinnamomi), erosion and sediment control and progressive re-vegetation;
iv. specific procedures to deal with EEC/ threatened species anticipated to be encountered within the project corridor including re-location, translocation and/or management and protection measures;
v. a procedure for dealing with unexpected EEC/threatened species identified during construction including cessation of work and notification of the OEH, determination of appropriate mitigation measures in consultation with the OEH (including relevant re-location measures); and
vi. mechanism for the monitoring, review and amendment of this sub-plan.
D5 (c) A Construction Noise and Vibration Management Sub-plan to detail how construction noise and vibration impacts will be minimised and managed. The sub-plan shall be developed in consultation with the EPA and include, but not necessarily be limited to:
i. identification of nearest sensitive receptors and relevant construction noise and vibration goals applicable to the project;
ii. identification of key noise and/or vibration generating construction activities (based on representative construction scenarios, including at ancillary facilities) that have the potential to impact on surrounding sensitive receivers including expected noise/ vibration levels;
iii. identification of feasible and reasonable measures proposed to be implemented to minimise construction noise and vibration impacts (including construction traffic noise impacts);
iv. procedures for dealing with out-of-hours works in
Appendix B3
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CoA no. Requirement Reference
accordance with condition C14, including procedures for notifying the Director-General concerning complaints received in relation to the extended hours approved under condition C14;
v. procedures and mitigation measures to ensure relevant vibration and blasting criteria are achieved, including a suitable blast program, applicable buffer distances for vibration intensive works, use of low-vibration generating equipment/ vibration dampeners or alternative construction methodology, and pre- and post- construction dilapidation surveys of sensitive structures where blasting and/ or vibration is likely to result in damage to buildings and structures (including surveys being undertaken immediately following a monitored exceedance of the criteria);
vi. procedures for notifying sensitive receivers of construction activities that are likely to affect their noise and vibration amenity, as well as procedures for dealing with and responding to noise complaints; and
vii. a program for construction noise and vibration monitoring clearly indicating monitoring frequency, location, how the results of this monitoring would be recorded and, procedures to be followed where significant exceedances of relevant noise and vibration goals are detected.
D5 (d) A Construction Soil and Water Quality Management Sub-plan to manage surface and groundwater impacts during construction of the project. The sub-plan shall be developed in consultation with the OEH, EPA, DPI (Fishing and Aquaculture) and NOW and include, but not necessarily be limited to:
i. identification of potential sources of erosion and sedimentation, and water pollution (including those resulting from maintenance activities);
ii. details of how construction activities would be managed and mitigated to minimise erosion and sedimentation consistent with condition C23; and
iii. where construction activities have the potential to impact on waterways or wetlands (through direct disturbance such as construction of waterway crossings or works in close proximity to waterways or wetlands), site specific mitigation measures to be implemented to minimise water quality, riparian and stream hydrology impacts as far as practicable, including measures to stabilise bed and/ or bank structures where feasible and reasonable, and to rehabilitate affected riparian vegetation to existing or better condition. The timing of rehabilitation of the waterways shall be identified in the sub-plan; a
Appendix B4
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CoA no. Requirement Reference
contingency plan, consistent with the Acid Sulfate Soils Manual, to deal with the unexpected discovery of actual or potential acid sulfate soils, including procedures for the investigation, handling, treatment and management of such soils and water seepage.
iv. a contingency plan, consistent with the Acid Sulfate Soils Manual, to deal with the unexpected discovery of actual or potential acid sulfate soils, including procedures for the investigation, handling, treatment and management of such soils and water seepage;
v. a tannin leachate management protocol to manage the stockpiling of mulch and use of cleared vegetation and mulch filters for erosion and sediment control;
vi. construction water quality monitoring requirements consistent with condition C24; and
vii. a groundwater management strategy, including (but not necessarily limited to):
(i) description and identification of groundwater resources (including depths of the water table and water quality) potentially affected by the project based on groundwater modelling undertaken in accordance with this consent;
(ii) identification of surrounding licensed bores, dams or other water supplies and groundwater dependant ecosystems and potential groundwater risks associated with the construction of the project on these groundwater users and ecosystems;
(iii) measures to manage identified impacts on water table, flow regimes and quality and to groundwater users and ecosystems;
(iv) groundwater inflow control, handling, treatment and disposal methods; and
(v) a detailed monitoring plan to identify monitoring methods, locations, frequency, duration and analysis requirements.
D5 (e) A Construction Heritage Management Sub-plan to detail how construction impacts on Aboriginal and non-Aboriginal heritage will be avoided, minimised and managed. The sub-plan shall be prepared by an appropriately qualified heritage consultant(s) approved by the Director-General and the OEH (Aboriginal heritage) and be developed in consultation with registered Aboriginal stakeholders, and include, but not necessarily be limited to:
i. details of management measures and strategies for protection, excavation, salvage and archival recording, and/or conservation of heritage items and sites that will
Appendix B5
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CoA no. Requirement Reference
be directly or indirectly impacted during construction (including further archaeological investigations, salvage measures and/ or measures to protect unaffected sites during construction works in the vicinity);
ii. procedures for dealing with previously unidentified non-Aboriginal and Aboriginal objects (excluding human remains) including cessation of works in the vicinity, assessment of the significance of the item(s) and determination of appropriate mitigation measures including when works can re-commence by a suitably qualified and experienced archaeologist in consultation with the Department, OEH and registered Aboriginal stakeholders and assessment of the consistency of any new non-Aboriginal and Aboriginal heritage impacts against the approved impacts of the project, and notification to the Department, and the OEH for Aboriginal heritage (in accordance with Section 89A of the National Parks and Wildlife Act 1974) and the OEH for non-Aboriginal heritage (in accordance with Section 146 of the NSW Heritage Act 1977);
iii. procedures for dealing with human remains, including cessation of works in the vicinity and notification of the Department, NSW Police Force, OEH and registered Aboriginal stakeholders and not recommencing any works in the area unless authorised by the Department and/ or the NSW Police Force); and;
iv. induction processes (identification, protection) for construction personnel (including procedures for keeping records of inductions) and procedures for ongoing Aboriginal consultation and involvement.
C8 Unless otherwise approved by the Director-General, the location of Ancillary Facilities shall:
(a) be located more than 50 metres from a waterway;
(b) be located within or adjacent to land where the SSI is being carried out;
(c) have ready access to the road network or direct access to the construction corridor;
(d) be located to minimise the need for heavy vehicles to travel through residential areas;
(e) be sited on relatively level land;
(f) be separated from nearest residences by at least 200 metres (or at least 300 metres for a temporary batching plant);
(g) not require vegetation clearing beyond that already required by the SSI;
Section 3.7.2
Ancillary Facilities Assessment (separate document)
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CoA no. Requirement Reference
(h) not be located within the Thompson Square Conservation Area;
(i) not impact on Heritage items (including identified Aboriginal cultural value and archaeological sensitivity) beyond those already impacted by the SSI and not have any additional impacts to those heritage items impacted by the proposal;
(j) not unreasonably affect the land use of adjacent properties;
(k) be above the 20 ARI flood level unless a contingency plan to manage flooding is prepared and implemented; and
(I) provide sufficient area for the storage of raw materials to minimise, to the greatest extent practical, the number of deliveries required outside standard construction hours.
The location of the ancillary facilities shall be identified in the Construction Environment Management Plan.
C9 Ancillary sites that do not meet the criteria set out in this consent shall be approved by the Director-General prior to establishment. ln obtaining this approval, the Applicant shall assess the ancillary facility against the criteria set out in this consent to demonstrate how the potential environmental impacts can be mitigated and managed to acceptable standards. Such assessment(s) can be submitted separately or as part of the Construction Environmental Management Plan required under this consent. The assessment shall include, but not necessarily be limited to:
(a) a description of the Ancillary Facility, its components and the surrounding
environment;
(b) details on the activities to be carried out at the facility, including the hours of use and the storage of dangerous and hazardous goods;
(c) an assessment of the environmental impacts on the site and the surrounding environment, including, but not limited to noise, vibration, air quality, traffic access, flora and fauna, heritage and light spill;
(d) details on the mitigation, monitoring and management procedures specific to the Ancillary Facility that would be implemented to minimise the environmental impacts or, where this is not possible, feasible and reasonable measures to offset these impacts and an assessment of the adequacy of the mitigation or offsetting measures. This shall include consideration of restrictions on the hours of use or exclusion of certain activities;
(e) details on the timing for the completion of activities at the ancillary facility and how the site will be decommissioned (including any necessary rehabilitation); and
Ancillary Facilities Assessment (separate document)
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CoA no. Requirement Reference
(f) Demonstrated overall consistency with the approved project.
The Applicant shall demonstrate to the satisfaction of the Director-General that there will be no additional significant adverse impact from that Ancillary Facility's construction or operation.
C10 The Director-General's approval is not required for minor Ancillary Facilities (e.g. lunch sheds, office sheds, and portable toilet facilities, etc.) that do not comply with the criteria set out in condition C8 of this consent and which:
(a) are located within an active construction zone within the approved project footprint; and
(b) have been assessed by the Environmental Representative to have:
(i) no additional adverse impact on the Thompson Square Conservation Area;
(ii) minimal amenity impacts to surrounding residences, with consideration to matters such as noise and vibration impacts, traffic and access impacts, dust and odour impacts, and visual (including light spill) impacts, and
(iii) minimal environmental impact in respect to waste management, and no impacts on flora and fauna, soil and water, and heritage beyond those approved for the project; and
(c) have environmental and amenity impacts that can be managed through the implementation of environmental measures detailed in a CEMP for the project.
Section 3.7.2
This CEMP is the overarching document in the environmental management system for the Project that includes a number of management documents. These are described in Section 4.1. It is applicable to all staff and sub-contractors associated with the construction of the Project.
1.3 Consultation Extensive consultation for the project commenced during the environmental impact assessment of the concept design. The primary objective of consultation was to keep stakeholders well informed and involved during each stage of project development.
The development of this CEMP has been undertaken in consultation with the nominated Project Environmental Representative who is independent from the Project team. On-going consultation with the Department of Planning and Environment (DP&E) on the structure of this CEMP has been undertaken at monthly progress meetings with Roads and Maritime.
Further consultation with relevant stakeholders and government authorities has continued through the development of this CEMP and associated sub-plans. Those consulted include:
NSW Environment Protection Authority (EPA).
NSW Department of Primary Industries – Fisheries (DPI (Fisheries)).
NSW Office of Environment and Heritage (OEH).
NSW Department of Industry – Natural Resources Access Regulator (NRAR).
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Hawkesbury City Council.
Evidence of consultation with the relevant agencies is provided in Appendix A8, Consultation will continue throughout the Project with relevant stakeholders and Government authorities. The outcomes of this consultation will be documented where relevant in subsequent revisions of the CEMP and the management review.
1.4 Certification and approval This CEMP must be approved by the Roads and Maritime Project Manager and Roads and Maritime Environmental Manager prior to submission to DP&E. Submission to DP&E is required no later than one month prior to commencement of construction or as otherwise agreed, and must be approved by the Planning Secretary prior to the commencement of construction. The sub-plans prepared under CoA D5 require approval by the Planning Secretary prior to commencement of construction. Further explanation and details of these documents are provided in Section 4.
1.5 Distribution This CEMP is available to all personnel and sub-contractors via the Project document control management system. An electronic copy can be found on the Project website.
The document is uncontrolled when printed. One controlled hard copy of the CEMP and supporting documentation will be maintained by the Quality Manager at the Project office.
Registered copies will be distributed to:
Project Manager.
Environmental Representative.
Construction Manager.
Environmental Manager.
Communications Manager.
Roads and Maritime Representative.
Roads and Maritime Environmental Manager.
Roads and Maritime Heritage Manager.
1.6 Revision A document review process ensures that environmental documentation including this CEMP is updated as appropriate for the specific works that are occurring on-site. This includes the management review process described in Section 9.
Should the document review process identify any issues or items within the documents that are either redundant or in need of updating, it is the responsibility of the Environmental Manager or Environmental Officers to prepare the revised documents.
The revised document will then be issued to the Project Manager and the Environmental Representative for certification of the changes. The Environmental Representative can approve minor changes to the CEMP. Minor changes would typically include those that:
Are editorial in nature e.g. staff and agency/authority name changes.
Do not increase the magnitude of impacts on the environment when considered individually or cumulatively.
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Do not compromise the ability of the Project to meet approval or legislative requirements.
Where the Environmental Representative deems it necessary, the amended CEMP will be forwarded to the Planning Secretary for approval.
Revised versions of the CEMP will be made available through the processes described in Section 1.5.
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2 Project description
2.1 General features This project will involve:
Construction of a new bridge over the Hawkesbury River at Windsor, around 35 metres downstream of the existing Windsor Bridge.
Construction of new approach roads and intersections to connect the new bridge to existing road network.
Modifications to local roads and access arrangements, including changes to the Macquarie Park access and connection of The Terrace.
Construction of pedestrian and cycling facilities, including a shared pedestrian/cycle pathway for access to and across the new bridge.
Removal and backfilling of the existing bridge approach roads.
Demolition and removal of the existing road bridge, known as Windsor Bridge.
Urban design and landscaping works, including within the parkland area of Thompson Square and adjacent to the northern intersection of Wilberforce Road, Freemans Reach Road and the Macquarie Park access road.
Ancillary works such as site compound establishment, public utility adjustments, water management measures and scour protection works, as required.
The project site and construction features can be observed in Figure 2.1.
Since Project approval in 2013 Roads and Maritime have engaged AAJV to undertake the Aboriginal, historical and maritime pre-construction archaeological salvage excavations on the site. The archaeological testing program was undertaken between August and November 2016 with the following results:
The Aboriginal testing program excavated a total of 102.18 metres² and recovered a total of 1,434 Aboriginal stone artefacts, with an average artefact density of 0.81 lithics/metre2 on the northern bank and 18.26 lithics/metre² on the southern bank, with the highest concentrations of artefacts recovered from between 700 millimetres and 2.4 metres from the surface. Optically Stimulated Luminescence (OSL) dating of the sandbody suggested Aboriginal occupation of the study area over a period of at least 17,000 years.
The historical testing program confirmed the presence of relics of high significance dating from the early 19th century including a brick footing potentially associated with the entry gate and compound wall of the Government Domain, a brick and stone surface associated with the Government Stables and a brick box drain, along with over 3,000 artefacts. Historical archaeological features were identified at depths of between 200 millimetres and 2 metres from the surface.
The maritime testing program identified remains potentially associated with the early 19th century wharf and suggested that additional remains were likely to be preserved under ballast material which had been placed in order to serve as erosion protection.
During the course of salvage excavation in Area 1 conducted between October 2017 and March 2018, the remains of an early nineteenth-century drainage system servicing Thompson Square were exposed. The Thompson Square Brick Drain Heritage Mitigation and Options Report determined that this drain was the work of local men, John Howe and James Magrath, who were contracted by Governor Macquarie to construct the drain between 1814-1815. The alignment of the drain falls directly in the alignment of the proposed new bridge abutment, which would largely, if not completely, remove the drain. An alternate footing design for the bridge abutment has been developed which would allow the barrel
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drain, though not all of the surface box culverts, to be retained in situ beneath the new bridge abutment.
Figure 2-1 Location of Windsor Bridge Replacement Project
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2.2 Construction activities and sequence The following sequence of construction activities is anticipated:
Pre-construction - Salvage and interpret any impacted heritage sites, including historical archaeologically significant sites including sites within the Thompson Square Conservation Area and archaeological sites.
Site establishment – installing boundary fencing, construction facilities, environmental controls and carrying out pre-clearing vegetation fauna surveys.
Relocation or protection of services – relocating and protecting electricity, gas, water and telecommunications infrastructure affected by the Project.
Site preparation – clearing and grubbing, topsoil stripping and storage.
Earthworks – undertaking cut and fill works along the alignment to achieve desired levels, removal of unsuitable material, batter and embankment shaping.
Structures – building the new bridge and drainage.
Pavements – forming sub and base layers and construction final pavement finishes.
Road furniture – installing signage, line marking and safety barriers.
Demolition – demolition of the existing bridge.
Landscaping and restoration – reuse of topsoil, planting of native plants and seeding disturbed areas with native and cover crops species (note this will take place throughout construction as elements of the project are complete where ongoing disturbance is not anticipated).
Open to traffic – decommission construction facilities and commissioning new road and related infrastructure.
2.3 Compound and ancillary facilities A temporary compound and ancillary area will be required to support construction of the Project. The primary site compound will be established on the northern side of the river with a secondary minor construction facility on the southern side of the river. These sites will accommodate the majority of management, engineering, specialist and administrative personnel. Typically these facilities include:
Office accommodation;
Staff amenities;
Light vehicle parking;
A plant and equipment maintenance workshop;
Material and chemical storage;
Crib sheds and minimal office accommodation;
Temporary site fencing, signage and lighting;
Equipment storage;
Material storage;
Concrete casting areas;
Environmental controls, including but not limited to erosion and sediment controls and temporary diversion drains.
A separate Ancillary Facilities Assessment details the location, composition and purpose of main ancillary facility required for the Project. This includes an assessment against the
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location criteria as required by CoA C8. A separate approval will be obtained from the Planning Secretary of the DP&E for the Ancillary Facilities Assessment. Figure 2-2 below shows the proposed location for a main ancillary site and additional ancillary sites including a stockpile area and additional car park and minor stockpiling area to be approved by DP&E under a separate Ancillary Facilities Assessment. Figure 2-3 below shows potential locations for minor ancillary facilities on the south side of the river. Minor facilities can be assessed and approved by the ER in accordance with Assessment criteria for CoA C8 as provided in Section 3.7.2. Following approval of the main and minor ancillary facility sites, the CEMP will be updated where required to include any associated approval requirements.
Figure 2-2 Proposed Location of Main Ancillary Facility
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Figure 2-3 Potential Locations for minor ancillary facilities
2.4 Hours of Operation Condition of Approval C13 states that construction activities shall be undertaken during the following standard construction hours:
(a) 7:00am to 6:00pm Mondays to Fridays, inclusive; and
(b) 8:00am to 1:00pm Saturdays; and
(c) At no time on Sundays or public holidays.
Construction works outside of the standard construction hours identified in condition C14 may be undertaken in the following circumstances:
(a) Construction works that generate noise that is:
(i) no more than 5 dB(A) above rating background level at any residence in accordance with the Interim Construction Noise Guideline (Department of Environment and Climate Change, 2009); and
(ii) no more than the noise management levels specified in Table 3 of the Interim Construction Noise Guideline (Department of Environment and Climate Change, 2009) at other sensitive receivers; or
(b) For the delivery of materials required outside these hours by the NSW Police Force or other authorities for safety reasons.
(c) Where it is required in an emergency to avoid the loss of lives, property and/or to prevent environmental harm.
(d) Works as approved through the out-of-hours work protocol outlined in the CEMP.
Procedures for works outside the standard construction hours are addressed in the Construction Noise and Vibration Management Sub Plan (Appendix B3). The Sub Plan details the procedure for notifying Road and Maritime and all relevant Authorities in advance of any proposed extension to working hours.
Potential minor ancillary facility
Potential minor ancillary facility
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3 Planning
3.1 Project environmental obligations All construction personnel working on the Project have the following general obligations:
Minimise pollution of land, air and water.
Use pollution control equipment and keep it in proper working order.
Preserve the natural and cultural heritage environment.
Give notice to Roads and Maritime and relevant authorities of a non-Aboriginal or Aboriginal heritage discovery.
Minimise the occurrence of offensive noise.
Be a good neighbour to surrounding land users.
Keep the community informed of Project milestones, upcoming activities and duration of relevant aspects of the works.
Use equipment with noise control features where available and ensure that it is properly maintained.
Take all feasible and reasonable steps to ensure compliance with the requirements of this CEMP.
3.2 Legal and other requirements A register of legal and other requirements for the Project is contained in Appendix A1 and is maintained as a checklist. The Roads and Maritime G36, G38, G40 specification requirements are provided in this register as these are the contractual requirements that relate to environmental management for the project. The Roads and Maritime G36 specification is for general environmental management, the G38 specification is specific to soil and water and the G40 specification is specific to clearing and grubbing. This register will be reviewed at regular intervals e.g. during management reviews, and updated with any applicable changes. Any changes made to the legal requirements register will be communicated to the wider team where necessary through toolbox talks, specific training and other methods detailed in Section 5.
3.3 Approvals, permits and licensing Appendix A1 contains a register of all relevant environmental approvals, permits and licenses. The register will be maintained by the Environmental Manager and will be reviewed prior to the commencement of construction and/or stages of construction, and at regular intervals during construction and at least annually as part of the management review.
The Project has been approved under the under the former Part 5.1 of the EP&A Act (EP&A Act s.115ZG). In turn a number of approvals that generally apply under other NSW legislation are not required for this project. See table below for a list of relevant licences and approvals.
Table 3-1 Licences, Permits and approvals
Approval/Permit/License Responsibility Status
Project Approval under the Environment Planning and Assessment act 1979 (EP&A Act)
RMS Complete
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Approval/Permit/License Responsibility Status
Environmental protection licences (EPL) under the Protection of the Environment Operations Act 1997 for road construction
RMS/Georgiou Not required as there is no ‘scheduled activity’ occurring that is above the threshold which a licence is needed (Schedule 1, POEO Act)
Permits under sections 201, 205 and 219 of the Fisheries Management Act 1994.
RMS RMS is exempt as the Project has been approved under the under Part 5.1 of the EP&A Act
Approvals under Part 4 and excavation permits under section 139 of the Heritage Act 1977.
RMS RMS is exempt as the Project has been approved under the under Part 5.1 of the EP&A Act
Aboriginal heritage impact permits under section 90 of the National Parks and Wildlife Act 1974.
RMS RMS is exempt as the Project has been approved under the under Part 5.1 of the EP&A Act
Various approvals under the Water Management Act 2000, water use approvals under section 89, water management work approvals under section 90, and activity approvals (not aquifer interference approvals) under section 91.
Georgiou RMS is exempt as the Project has been approved under the under Part 5.1 of the EP&A Act
Aquifer interference approval under the Water Management Act 2000
Georgiou An access licence from the NSW Office of Water is not likely to be required as construction activities are not expected to result in the use of more than three mega litres (3000 L) of groundwater per year.
Road Occupancy Licences Georgiou ROL’s will be required at various stages of construction. Where traffic will be impacted on Roads and Maritime roads, the ROL’s submission will go through Roads and Maritime to TMC. If traffic is impacted on local council managed roads, Georgiou will gain approval accordingly through the Hawkesbury Shire Council representative.
In accordance with CoA D4, all necessary licences, permits and approvals that are required for the development of the Project will be obtained and maintained as required throughout the life of the Project. No condition of the Project Approval removes the obligation for Roads and Maritime or Georgiou to obtain, renew or comply with such necessary licences, permits or approvals except as provided under Section 5.23 of the EP&A Act.
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The Project Approval and environmental management measures (from the Submissions / Preferred Infrastructure Report) are contained in the Compliance Tracking Program and provide a reference to where each requirement is addressed by this CEMP or other Project documentation. A checklist of compliance with Roads and Maritime specification G36 is included in Appendix A1. The Compliance Tracking Register will be maintained by Georgiou and be a ‘live’ document.
3.4 Environmental aspects and impacts A risk management approach will be used to determine the severity and likelihood of an activity’s impact on the environment and to prioritise its significance. This process considers potential regulatory and legal risks as well as taking into consideration the concerns of community and other key stakeholders.
The objectives of risk assessment are to:
Identify activities, events or outcomes that have the potential to adversely affect the local environment and/or human health/property.
Qualitatively evaluate and categorise each risk item.
Assess whether risk issues can be managed by environmental protection measures.
Qualitatively evaluate residual risk with implementation of measures.
Identify plans and procedures required to detail specific controls and monitoring requirements to manage the risks.
Risk assessments for the Project are based on AS/NZS 4360:1999, the Australian standard for risk assessments.
Georgiou conducted a construction risk assessment workshop post contract award on the 31st May 2018 with relevant construction personnel including the Project Manager, Superintendent, Safety Manager, Project Engineer, Environmental Site Representative and Environmental Manger. This workshop identified all the environmental aspects and impacts associated with the proposed project activities. The results of the construction risk assessment workshop has been used to guide the development of plans and procedures to detail specific management strategies to eliminate or reduce the risk exposure.
The outcomes of this construction risk assessment workshop are detailed in the environmental aspects and impacts register (Appendix A2). Appendix A2 includes a list of activities associated with the Project, related aspects and corresponding risks. Mitigation measures in the aspects and impacts register have been translated into more specific environmental controls and monitoring measure in the relevant CEMP sub plans.
3.5 Environmental policy The environmental policy (Appendix A3) describes Georgiou’s commitment to continual improvement in environmental performance and compliance with applicable legal requirements.
The environmental policy is displayed on Georgiou’s website and at the site office, and communicated to staff and other interested parties via inductions and ongoing awareness programs.
3.6 Objectives and targets As a means of assessing environmental performance during construction of the Project, environmental objectives and targets have been established. These objectives and targets have been developed with consideration of key issues identified through the environmental assessment and risk assessment process. The objectives and targets are consistent with the
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Project environmental policy and will assist in monitoring whether the commitments of the policy are being met.
The targets are incorporated into relevant environmental management sub-plans.
The performance of the Project against the objectives and targets will be documented in the Project construction compliance reports and at least on an annual basis as part of the management review.
Environmental objectives and targets for the Project are provided in Table 3-2 below.
Table 3-2 Environmental objectives and targets
Objective Target Measurement tool
Construction of the project in accordance with environmental approvals.
Full compliance with statutory approvals.
Audits, construction compliance reporting, management view.
Compliance with all legal requirements.
No regulatory infringements (PINs or prosecutions).
No formal regulatory warning.
Audits, construction compliance reporting, management view.
Implement a rigorous and comprehensive EMS that meets the requirements of AS/NZS ISO 14001.
Address non-conformances and corrective actions within specific timeframes.
Audits, management reviews.
Engage with the effected and broader community, minimise complaints and respond to any complaints within a suitable timeframe.
Disseminate regular Project updates and other information through the Project website and other tools identified in the Community Communication Strategy.
Record and response to complaints within the timeframe specified in the Community Communication Strategy.
Review complaints register, construction compliance report, audits.
Continuously improve environmental performance.
Develop and maintain a program of ongoing environmental training.
Capture lessons learnt from environmental incidents to minimise repeat issues.
Encourage and reward innovation and effort throughout the works force.
Construction compliance report, management review.
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3.7 Project refinements
3.7.1 General changes
Refinements to the Project may result from changed circumstances throughout construction. Roads and Maritime is responsible for formally seeking approval from the Minister for any Project modifications as a consequence of compliance with conditions B1 to B7.
The Roads and Maritime Environmental Manager is responsible for the assessment of Project refinements and management of the consistency assessment process. The Environmental Manager is responsible for incorporating any new environmental impacts and/or new statutory approval requirements into the appropriate environmental management documentation.
Any design changes or changes in scope of works should be communicated to the Environmental Manager. The Environmental Manager or Environmental Site Representative will then undertake an additional environmental assessment and consistency review in consultation with the Roads and Maritime Environmental Manager to determine if a Project modification may be required.
Should the consistency review determine that a Project modification maybe required i.e. the impacts are of a nature and scale that it is not considered consistent with the Project approval, the Environmental Representative will be informed immediately and modification application under Section 5.25 of the EP&A Act 1979 prepared and submitted to the DP&E for determination.
The Roads and Maritime Project Director will approve all refinements that are deemed consistent with the Project approval.
3.7.2 Primary and minor ancillary facilities assessment criteria
Ancillary facilities are defined as a “temporary facility for construction, including for example an office and amenities compound, construction compound, batch plant (concrete or bitumen), materials storage compound, maintenance workshop, testing laboratory or material stockpile area”.
The location of the primary site compound and ancillary facilities are nominated, assessed and detailed in the Ancillary Facilities Assessment, which has been submitted separate to this CEMP. This AFA includes an assessment against the location criteria as required by CoA C8. Circumstance may arise during construction where additional, or changes to the location of, ancillary facilities are required.
Where this situation arises an assessment against the criteria detailed in CoA C8 will be undertaken. This criteria requires that ancillary facilities:
a) be located more than 50 metres from a waterway;
b) be located within or adjacent to land where the SSI is being carried out;
c) have ready access to the road network or direct access to the construction corridor;
d) be located to minimise the need for heavy vehicles to travel through residential receivers;
e) be sited on relatively level land;
f) be separated from the nearest residences by at least 200 metres (or at least 300 metres for a temporary batching plant);
g) not require native vegetation clearing beyond that already required by the SSI;
h) not be located in the Thompson Square Conservation Area;
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i) not impact on Heritage items (including identified Aboriginal cultural value and archaeological sensitivity) beyond those already impacted by the SSI and not have any additional impacts to those heritage items impacted by the proposal;
j) not unreasonably affect the land use of adjacent properties;
k) be above the 20 ARI flood level unless a contingency plan to manage flooding is prepared and implemented; and
l) provide sufficient area for the storage of raw materials to minimise, to the greatest extent practical, the number of deliveries required outside standard construction hours.
Ancillary sites that do not meet the criteria set out in this consent shall be approved by the Planning Secretary prior to establishment in accordance with the requirements in CoA C9. ln obtaining this approval, the Applicant shall assess the ancillary facility against the criteria set out in this consent to demonstrate how the potential environmental impacts can be mitigated and managed to acceptable standards.
The assessment shall include, but not necessarily be limited to:
a) a description of the Ancillary Facility, its components and the surrounding environment;
b) details on the activities to be carried out at the facility, including the hours of use and the storage of dangerous and hazardous goods;
c) an assessment of the environmental impacts on the site and the surrounding environment, including, but not limited to noise, vibration, air quality, traffic access, flora and fauna, heritage and light spill;
d) details on the mitigation, monitoring and management procedures specific to the Ancillary Facility that would be implemented to minimise the environmental impacts or, where this is not possible, feasible and reasonable measures to offset these impacts and an assessment of the adequacy of the mitigation or offsetting measures. This shall include consideration of restrictions on the hours of use or exclusion of certain activities;
e) details on the timing for the completion of activities at the ancillary facility and how the site will be decommissioned (including any necessary rehabilitation); and
f) demonstrated overall consistency with the approved project.
The Applicant shall demonstrate to the satisfaction of the Planning Secretary that there will be no additional significant adverse impact from that Ancillary Facility's construction or operation. In accordance with CoA C10, minor Ancillary Facilities (e.g. lunch sheds, office sheds, and portable toilet facilities, etc.) not in compliance with CoA C8 do not require approval from the Planning Secretary provided they:
a) are located within an active construction zone within the approved project footprint; and
b) have been assessed by the Environmental Representative to have:
i. no additional adverse impact on the Thompson Square Conservation Area;
ii. minimal amenity impacts to surrounding residences, with consideration to matters such as noise and vibration impacts, traffic and access impacts, dust and odour impacts, and visual (including light spill) impacts, and
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iii. minimal environmental impact in respect to waste management, and no impacts on flora and fauna, soil and water, and heritage beyond those approved for the project; and
c) Have environmental and amenity impacts that can be managed through the implementation of environmental measures detailed in a CEMP for the project.
For this project an Ancillary Facility Assessment has been submitted as a separate document to the CEMP.
3.7.3 Stockpile locality
During construction a number of temporary stockpiles will be required. Stockpile sites may be required to store material including, but not limited to:
Excavated material to be used in fill embankments and other design features;
ASS subject to treatment prior to reuse;
Excavated material unsuitable for reuse in the formation;
Excess concrete, pavement, rock, steel and other material stored for either future use in the Project or prior to removal from site;
Topsoil, mulch, excess timber for landscaping and revegetation works.
Where these facilities are proposed, the stockpile locating criteria contained in the Stockpile Management Protocol (Soil and Water Management Plan – Appendix B4) will be considered and stockpile sites located accordingly.
The protocol also includes standard mitigation measures that will be implemented to minimise or avoid impacts on the environment.
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4 Implementation and operation This CEMP is the overarching management plan for a suite of environmental management documents. It provides a structured and systematic approach to environmental management.
The primary purpose of the system of documentation is to:
Ensure compliance with all applicable environmental laws, obligations and approvals.
To minimise environmental impacts.
The structure of the environmental management system for the Project is shown in Figure 4-1.
Figure 4-1 Environmental management system structure
Minister’s Conditionsof Approval
Statement ofCommittments
EnvironmentalAssessmentDocuments
RelevantLegislation
Construction EnvironmentalManagement Plan
and Sub Plans
Environmental WorkMethod Statements
System proceduresand forms
Monitoring andinspection
Auditing andreporting
Managementreview
Co
mpl
ianc
e tr
acki
ng p
rog
ram
Corrective action
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4.1 Environmental management system documentation
4.1.1 Construction environmental management plan
This CEMP provides the system to manage and control the environmental aspects of the Project during pre-construction and construction. It identifies all the requirements applicable to manage the activities described in Section 2. It also provides the overall framework for the system and procedures to ensure environmental impacts are minimised and legislative and other requirements are fulfilled. The strategies defined in this CEMP have been developed with consideration of the Project approval requirements, environmental management measures presented in the Submissions / Preferred Infrastructure Report and approval documents. This CEMP establishes the system for implementation, monitoring and continuous improvement to minimise impacts from the Project on the environment.
This CEMP is consistent with:
Guideline for the preparation of Environmental Management Plans (DIPNR, 2004).
AS/NZS ISO14001: 2004, ‘Environmental Management Systems - requirements with guidance for use’.
Roads and Maritime QA Specification G36.
The CEMP and sub-plans required under CoA D4 and CoA D5 will be provided to the Planning Secretary for approval.
4.1.2 Environmental management sub plans and strategies
A number of environmental management sub-plans support the CEMP. These documents are prepared to identify requirements and processes applicable to specific impacts or aspects of the activities described in Section 2. They address requirements of the CoA, environmental management measures identified in the Submissions / Preferred Infrastructure Report and other approval documents.
Environmental strategies may also be developed as required throughout the Project. These will also guide environmental management of potential impacts on-site.
A list of construction sub-plans and strategies for the Project, and their approval requirements, are provided in Table 4-1.
Table 4-1 Environmental management sub plans and strategies
Document name Location Approval pathway
Ancillary Facilities Assessment Separate Document DP&E approval
Construction Traffic Management Sub-plan
Appendix B1 DP&E approval
Construction Flora and Fauna Management Sub-plan
Appendix B2 DP&E approval
Construction Noise and Vibration Management Sub-plan
Appendix B3 DP&E approval
Construction Soil and Water Quality Management Sub-plan
Appendix B4 DP&E approval
Construction Heritage Management Sub-plan
Appendix B5 DP&E approval
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Document name Location Approval pathway
Construction Air Quality Management Sub-plan
Appendix B6 RMS approval
Construction Waste Management Sub-plan
Appendix B7 RMS approval
Construction Contaminated Land Management Sub-plan
Appendix B8 RMS approval
Construction Coal Tar Management Plan Appendix B9 RMS approval
Construction Acid Sulfate Materials Management Plan
Appendix B10 RMS approval
Vegetation Management Plan Appendix B11 RMS approval
Pollution Incident Response Management Plan
Appendix B12 RMS approval
4.1.3 Environmental work method statements
Environmental work method statements (EWMS) are prepared to manage and control all activities that have the potential to negatively impact on the environment. EWMS will be prepared prior to the commencement relevant construction activities on site and will incorporate relevant mitigation measures and controls from management sub plans. They also identify key procedures to be used concurrently with the EWMS. EWMS are specifically designed to communicate requirements, actions, processes and controls to construction personnel using plans, diagrams and simply written instructions. For example, a EWMS would be developed for working near heritage buildings and structures to specify vibration management requirements to prevent any impacts.
EWMS will be prepared progressively in the lead up to and throughout construction in consultation with relevant members from the Project team, and approved by the Environmental Manager.
EWMS for activities likely to be considered high risk include:
Clearing and Grubbing.
Scour protection.
Work in Waterways - Bridge construction (includes; piling, and bridge construction).
Acid Sulfate Soils.
Work near heritage buildings and structures (Vibration management).
Excavation salvage of areas 2-5 and work potentially impacting Aboriginal heritage.
Handling of coal tar asphalt.
Removal of asbestos.
Demolition of existing bridge.
Work near the heritage brick barrel drain (Vibration management).
All construction personnel and sub-contractors undertaking a task governed by an EWMS must participate in training on the EWMS, and acknowledge that they have read and understood their obligations prior to commencing work.
EWMS are to be submitted to Roads and Maritime prior to commencing the works.
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Regular monitoring, inspections and auditing against compliance with the EWMS will be undertaken by Project management, quality, and environmental personnel to ensure that all controls are being followed and that any non-conformances are recorded and corrective actions implemented.
4.1.4 Progressive erosion and sediment control plans
Progressive Erosion and Sediment Control Plans (PESCPs) are planning documents that clearly show the site layout and the approximate location of erosion and sediment control structures onsite. They cover all construction stages from initial vegetation clearing through to rehabilitation when erosion and sediment control are no longer required and are removed. PESCP will be developed and implemented across the Project where there is a risk of erosion and sediment loss.
PESCPs may be produced in conjunction with Environmental Work Method Statement (EWMS) to provide more detailed site-specific environmental mitigation measures. PESCPs will be developed by environment staff in consultation with the superintendent, site engineers, foreman and other relevant site personnel, as required. They will be modified to reflect site condition at the time of construction. The Environmental Manager will approve PESCP in the first instance. Minor changes thereafter will be approved by environment staff in consultation with the Environmental Manager, as required.
PESCPs will be developed as part of the Soil and Water Quality Management Sub-plan (Appendix B4) for all work areas prior to commencing activities.
4.1.5 Sensitive area plans
The Project is located in environmental and socially sensitive areas/sites. To assist pre-construction planning and on-site construction management, these site constraints are consolidated on series of map-based sheets. Sensitive area maps include information pertaining, but not limited to:
Aboriginal and non-Aboriginal heritage sites, including items, places, objects and sites.
Noise sensitive receivers.
Vibration sensitive structures and zones within which vibration mitigation measures are necessary.
Waterways Areas of Acid Sulphate Soils (ASS) or Potential Acid Sulphate Soils (PASS).
Areas of vegetation to be retained (to be confirmed following the pre-clearing survey).
Monitoring locations for groundwater, surface water, heritage items and dust.
Site compounds and ancillary facilities.
The sensitive area plans are presented in Appendix A4. They are a working element of the CEMP and will be revised throughout construction to reflect true ground conditions and the most up-to-date information available on sensitive sites. Sensitive area plans will be used in conjunction with EWMS to help identify key risk areas and to promote ongoing communication to construction personnel during the Project.
4.1.6 Protection of Heritage Buildings and Structures
The Construction Noise and Vibration Management Plan and the Construction Heritage Management Plan include project specific vibration management measures to protect heritage items within the Thompson Square Conservation Area, together with standard buildings and heritage buildings outside of the Thompson Square Conservation Area. The
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Project specific vibration limits to protect against structural damage comply with the German Standard DIN 4150-3 Structural Vibration – effects of vibration on structures.
4.1.7 System procedures, forms and other documents
The Project environmental management system procedures, forms and other documents provide instructions and records related to both environmental and non-environmental activities throughout the Project.
Project specific procedures will be developed in accordance with the requirements for the Project. Where applicable, existing Georgiou procedures and work instructions will be applied or amended for use on the Project.
Relevant environmental procedures and standards are detailed in Appendix A5, A6, and A7.
4.2 Resources, roles, responsibilities and authority The key environmental management roles and responsibilities for the construction phase of the Project are described below. The structure of these roles is shown in Figure 4-2.
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Figure 4-2 Management Structure
RMS Project Manager
,
Project Manager
Project / Site EngineerEnvironmentalManager
Superintendent
Wider Project T eam
Foreman / LeadingHands
Environmental
Site Representative
ConstructionManager
RMS personnel
Contractor personnel
Environment team
RMS Environmental Representative
Environmental
Consultants
Community Liaison Representative
Independent Environmental Representative
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4.2.1 Independent Environmental Representative
The environmental responsibilities of the Environmental Representative are detailed in CoA D14 and include:
Be the principal point of advice in relation to the environmental performance of the project.
Monitor the implementation of environmental management plans and monitoring programs required under this consent and advise Roads and Maritime upon the achievement of these plans/ programs.
Have responsibility for considering and advising Roads and Maritime on matters specified in the conditions of approval, and other licences and approvals related to the environmental performance and impacts of the project.
Ensure that environmental auditing is undertaken in accordance with the Roads and Maritime Environmental Management System(s).
Be given the authority to approve/ reject minor amendments to the CEMP.
Be given the authority and independence to require reasonable steps be taken to avoid or minimise unintended or adverse environmental impacts, and failing the effectiveness of such steps, to direct that relevant actions be ceased immediately should an adverse impact on the environment be likely to occur.
Be consulted in responding to the community concerning the environmental performance of the Project where the resolution of points of conflict between Roads and Maritime and the community is required.
4.2.1 Roads and Maritime Environmental Representative
The environmental responsibilities of the Roads and Maritime Environmental Representative include (but are not limited to):
Review any environmental management plans and related documents prepared for the Project.
Review minor project refinements that are consistent with the Project environmental impact assessment and approval documentation and recommend they be approved to the Roads and Maritime Representative.
Monitor the environmental performance of the Project in relation to Roads and Maritime requirements.
4.2.2 Roads and Maritime Heritage Manager
The environmental responsibilities of the Roads and Maritime Heritage Manager include (but are not limited to):
Prepare the Construction Heritage Management Sub Plan for the project.
Monitor any ongoing heritage salvage works onsite in accordance with the Salvage Strategy and the Construction Heritage Management Sub Plan.
Advise on the detail design resolution of new works and undertake inspection as required during construction of new works.
Advise on design and installation of services (to minimise impacts on significant fabric and views).
Undertake on-site heritage inductions.
Provide advice to the contractor on program and resource requirements for salvage operations.
Provide input to the compliance reporting required under CoA D6.
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Provide a principal point of contract for OEH Heritage Branch and the DP&E on Heritage management and salvage operations on site.
Prepare a completion report for the DP&E for which describes the work, any impacts/damage and corrective works carried out and includes a revised Statement of Significance in accordance with NSW Heritage Council guidelines.
4.2.3 Roads and Maritime Project Manager
The environmental responsibilities of the Roads and Maritime Project Manager include (but are not limited to) the following:
Evaluate and advise on compliance with Roads and Maritime environmental requirements.
Review and approve any environmental management plans for the Project or related activities that are not required to be approved by the Planning Secretary of DP&E.
Responsible for the liaison with the Heritage Manager and the Independent Environmental Representative.
Responsible for the engagement of the archaeologists to supervise construction in the salvage areas.
4.2.4 Project Manager
The environmental responsibilities of the Project Manager include (but are not limited to) the following:
Ensure all works comply with relevant regulatory and Project requirements.
Ensure the requirements of this CEMP are fully implemented, and in particular, that environmental requirements are not secondary to other construction requirements.
Endorse and support the Project environmental policy attached at Appendix A3.
Liaise with Roads and Maritime, Environmental Representative and other government authorities as required.
Participate and provide guidance in the regular review of this CEMP and supporting documentation.
Provide adequate resources (personnel, financial and technological) to ensure effective development, implementation and maintenance of this CEMP.
Ensure that all personnel receive appropriate induction training, including details of the environmental and community requirements.
Ensure that complaints are investigated to ensure effective resolution.
Stop work immediately if an unacceptable impact on the environment is likely to occur.
4.2.5 Construction Manager
The environmental responsibilities of the Construction Manager include (but are not limited to) the following:
Plan construction works in a manner that avoids or minimises impact to environment.
Ensure the requirements of this CEMP are fully implemented.
Ensure construction personnel manage construction works in accordance with statutory and approval requirements.
Ensure environmental management procedures and protection measures are implemented.
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Ensure all Project personnel attend an induction prior to commencing works.
Liaise with Roads and Maritime, Environmental Representative and other government authorities as required.
Stop work immediately if an unacceptable impact on the environment is likely to occur.
4.2.6 Superintendent
The environmental responsibilities of the superintendent include (but are not limited to) the following:
Communicate with all personnel and sub-contractors regarding compliance with the CEMP and site-specific environmental issues.
Ensure all site workers attend an environmental induction prior to the commencement of works.
Co-ordinate the implementation of the CEMP.
Co-ordinate the implementation and maintenance of pollution control measures.
Identify resources required for implementation of the CEMP.
Report any activity that has resulted, or has the potential to result, in an environmental incident immediately to the Environmental Manager / Environmental Officers.
Co-ordinate action in emergency situations and allocate required resources.
Stop activities where there is an actual or immediate risk of harm to the environment and advise the Construction Manager and Environmental Manager.
4.2.7 Environmental Manager
The Environmental Manager will be based offsite with routine visits to the site for surveillance, auditing and inspections. The administration of the project’s environmental management function will be performed by the Environmental Manager with onsite support from the Environmental Site Representative who will be onsite on a full time basis. The environmental responsibilities of the Environmental Manager include, but are not limited to, the following:
Regular liaison with the ESR and project team to ensure that all required environmental safeguards are being implemented and maintained.
Regular liaison with Independent ER and ESR to determine if the implemented environmental measures (including monitoring and maintenance of sediment controls) are being met and if not, identifying the necessary improvement areas.
Ensuring all corrective and preventative actions identified during inspections and audits are effectively addressed by the project team.
Development and maintain the CEMP, sub plans, EWMS’s and procedures in accordance with ISO14001and the RMS specification.
Ensure management reviews of the CEMP are undertaken annually, documented and actions implemented.
Maintain a register of all environmental documents for the project.
Advise on environmental requirement of the RMS environmental specifications.
Risk based inspections and surveillance audits during stages of construction.
Obtain and update all environmental licences, approvals and permits as required.
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Lead liaison with the principal and all relevant authorities where required in relation to environmental matters.
Manage environmental document control, reporting, inductions and training.
Manage environmental reporting within the Project team and to the RMS and regulatory authorities and ensuring compliance with the Project CoAs.
Preparing reports on a monthly basis outlining the Project Works undertaken and the achievements that have been met, as well as identifying those areas where improvements were made.
Prepare environmental training and awareness materials for the project team.
Assist the Communications Manager to resolve environment-related complaints.
4.2.8 Environmental Site Representative
The Environmental Site Representative (ESR) will report to the offsite Environmental Manager. The ESR will be based full time onsite. The environmental responsibilities of the Environmental Site Representative include, but are not limited to, the following:
Assist in preparing the CEMP (including any future revisions) in accordance with all relevant requirements.
Develop PESCP in consultation with the superintendent, site engineers, foreman and other relevant site personnel, as required.
Undertake site inspections, carry out monitoring activities and complete site checklists.
Ensure monitoring records are appropriately maintained, reviewed and any non-compliance issues addressed.
Manage the day-to-day environmental elements of construction.
Record and provide written reports to the Environmental Manager of non-conformances or corrective actions with the CEMP. This may include the need to implement additional, or revise existing, mitigation measures.
Assist in identifying environmental risks.
Advise the Environmental Manager and Construction Manager of the need to stop work immediately if an unacceptable impact on the environment is likely to occur or to require other reasonable steps to be taken by the Construction Manager or site construction staff to avoid or minimise impacts.
Provide reports to the Environmental Manager on any major issues resulting from the Project.
Assist all site staff with issues concerning Project environmental matters.
Assist in developing training programs regarding environmental requirements and deliver where required, including delivery of the environmental component of toolbox talks.
Stop activities where there is an actual or immediate risk of harm to the environment and advise the Project Manager, Construction Manager, Superintendent and Environmental Manager.
4.2.9 Environmental Consultants
Georgiou will engage various environmental consultants at different stages of the Project, the responsibilities of these consultants include, but are not limited to the following:
Pre-clearing flora and fauna assessments.
Clearing of habitat trees.
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Asbestos assessment.
Soil testing and classification.
4.2.10 Community Liaison Representative
The environmental responsibilities of the Communications Liaison Representative include, but are not limited to, the following:
Ensure that all community consultation activities are carried out.
Report any environmental issues to the Environmental Manager raised by stakeholders or members of the community.
Communicate general Project progress, performance and issues to stakeholders including the community.
Maintain the 24 hour complaints hotline.
4.2.11 Project/Site Engineers
The environmental responsibilities of the site / Project engineers include (but are not limited to) the following:
Provide input into the preparation of environmental planning documents as required.
Ensure that instructions are issued and adequate information provided to employees that relate to environmental risks on-site.
Ensure that the works are carried out in accordance with the requirements of the CEMP and supporting documentation, including the implementation of all environmental controls.
Identify any environmental risks.
Identify resource needs for implementation of CEMP requirements and related documents.
Ensure that complaints are investigated to ensure effective resolution.
Take action in the event of an emergency and allocate the required resources to minimise the environmental impact.
Report any activity that has resulted, or has the potential to result, in an environmental incident immediately to the Superintendent and Environmental Manager.
4.2.12 Foreman
The environmental responsibilities of the foreman include (but are not limited to) the following:
Undertake any environmental duties as defined by the superintendent or Project/site engineer.
Control field works and implement/maintain effective environmental controls.
Where required, undertake environmental risk assessment of works prior to commencement.
Ensure site activities comply with EWMS and relevant records are kept.
Ensure all site workers are site inducted prior to commencement of works.
Attend to any spills or environmental incidents that may occur on-site.
Report any activity that has resulted, or has the potential to result, in an environmental incident immediately to the Superintendent.
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Stop activities where there is an actual or immediate risk of harm to the environment and advise the Project Manager, Construction Manager, Superintendent or Environmental Manager.
4.2.13 Wider Project Team (including sub-contractors)
Comply with the relevant requirements of the CEMP, or other environmental management guidance as instructed by a member of the Project’s management.
Participate in the mandatory Project/site induction program.
Report any environmental incidents to the foreman immediately or as soon as practicable if reasonable steps can be adopted to control the incident.
Undertake remedial action as required to ensure environmental controls are maintained in good working order.
Stop activities where there is an actual or immediate risk of harm to the environment and advise the Project Manager, Construction Manager, Superintendent or Environmental Manager.
4.3 Sub-contractor management Environmental requirements and responsibilities are to be specified to sub-contractors in the contract documentation. As part of the selection process, consideration will also to be given to their past environmental performance. The Environmental Manager, or delegate, will participate in the tender assessment and selection process where it is deemed necessary due to associated environmental risks. All sub-contractors will be required to complete a sub-contractor questionnaire or similar.
All sub-contractors are required to work in accordance with the approved CEMP.
All sub-contractors are required to attend Project and/or site inductions where the requirements and obligations of the CEMP are communicated. A record of all sub-contractors inducted will be maintained as part of the Project induction and training register.
A standard monitoring form will be developed that will be used to assess:
The sub-contractor’s general work practices.
The effectiveness of the sub-contractor’s environmental protection measures.
The sub-contractor’s compliance with the requirements of this CEMP.
The maintenance of environmental measures.
4.4 CEMP availability This CEMP will be made available for public inspection on request. Confidential information, which may include the location of threatened species, Aboriginal objects or places and personnel contact details, will be removed from all documents provided or made available to the public.
An electronic copy of the CEMP is provided on the Project website.
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5 Competence, training and awareness To ensure that this CEMP is effectively implemented, each level of management is responsible for ensuring that all personnel reporting to them are aware of the requirements of this CEMP. The Environmental Manager will coordinate the environmental training in conjunction with other training and development activities (e.g. safety).
5.1 Environmental induction All personnel (including sub-contractors) are required to attend a compulsory site induction that includes both a heritage and environmental component prior to commencement on-site. This is done to ensure all personnel involved in the Project are aware of the requirements of the CEMP and to ensure the implementation of environmental management measures.
Short-term visitors to site for purposes such as deliveries will be required to be accompanied by inducted personnel at all times.
The Environmental Manager (or delegate) will conduct the environmental component of the site inductions.
The environmental component will include, but not limited to, an overview of:
Legal requirements and obligations of all the staff that work on the project including due diligence and duty of care.
Relevant corporate policies and environmental management systems.
Identification of high risk issues and environmental safeguards e.g. vegetation clearing.
Relevant details of the CEMP including purpose and objectives.
Key environmental issues.
Conditions of environmental licences, permits and approvals.
Specific environmental management requirements and responsibilities.
Mitigation measures for the control of environmental issues.
Incident response and reporting requirements.
Information relating to the location of environmental constraints.
Precautionary measures in the event of flooding.
Procedures to follow in the event of discovering contaminated soils, unexpected heritage items, and ASS or PASS.
Information relating to the location of environmental constraints and procedures for working in environmentally sensitive areas.
Waste management measures.
Protection of biodiversity in the project area.
The heritage component of the induction will include, but not limited to, and over view of;
Known heritage sites within the Project.
Information on heritage values and items in the area and on environmental management measures to minimise potential heritage impacts. Relative heritage plans and other Project documentation (e.g. EWMS).
Unexpected finds procedure.
General procedures for working around heritage sites, items, buildings and structures.
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A record of all environment inductions will be maintained and kept on-site. The Environmental Manager may authorise amendments to the induction at any time. Possible reasons for changes to the induction may be Project modifications, legislative changes or amendments to this CEMP or related documentation.
The Environmental Representative will review and approve the induction program and monitor implementation.
5.2 Toolbox talks, training and awareness Toolbox talks will be one method of raising awareness and educating personnel on issues related to all aspects of construction including environmental issues. The toolbox talks are used to ensure environmental awareness continues throughout construction.
Toolbox talks will include details of EWMSs for relevant personnel. Toolbox talks will also be tailored to specific environmental issues relevant to upcoming works.
Relevant environmental issues may include (but are not limited to):
Erosion and sedimentation control.
Site preparation prior to significant rainfall and flooding events.
Community engagement principles.
Hours of work.
Emergency and spill response.
Aboriginal and non-Aboriginal heritage.
Threatened species, endangered ecological communities, clearing controls and vegetation protection.
Weed management.
Dust control.
Toolbox attendance is mandatory and attendees of toolbox talks are required to sign an attendance form and the records maintained.
Targeted environmental awareness training will be provided to individuals or groups of workers with a specific authority or responsibility for environmental management or those undertaking an activity with a high risk of environmental impact. Topics covered may include those detailed above, or others deemed necessary in the lead up to or during construction.
Another way to inform construction personnel will be through the development and distribution of awareness notes. These will typically take the form of a poster, booklet, or similar and will be distributed to engineers, leading hands, foreman and others with a responsibility for managing specific work locations or activities. This documentation will be use to inform the broader workforce through either daily pre-starts meeting (see section 5.3) or provision in worker crib sheds / break facilities.
The Environmental Representative will review and approve the training program and monitor implementation.
5.3 Daily Pre-Start Meetings The pre-start meeting is a tool for informing the workforce of the day’s activities, safe work practices, environmental protection practices, work area restrictions, activities that may affect the works, coordination issues with other trades, hazards and other information that may be relevant to the day’s work.
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The Foreman will conduct a daily pre-start meeting with the site workforce before the commencement of work each day (or shift) or where changes occur during a shift. Daily pre-start meetings are generally succinct in nature and take approximately 10-15 minutes.
The environmental component of pre-starts will be determined by relevant foreman and environmental personnel and will include any environmental issues that could potentially be impacted by, or impact on, the day’s activities. All attendees will be required to sign on to the pre-start and acknowledge their understanding of the issues explained.
Pre-start topics, dates delivered and a register of attendees will be recorded.
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6 Communication
6.1 Internal communication Clear lines of communication throughout all levels and functions (e.g. management, staff and sub-contracted service providers), is key to minimising environmental impacts and achieving continual improvements in environmental performance.
The environmental team will meet regularly to discuss any issues with environmental management on-site, any amendments to plans that might be required or any new / changes to construction activities.
Regular meetings may also be scheduled with the Environmental Representative and relevant Roads and Maritime environmental staff. The purpose of these meetings would be to communicate ongoing environmental performance and to identify any issues to be addressed.
In addition, environment team members will participate in toolbox talks on at least a weekly basis. This forum will provide an opportunity for the environment team members to communicate on environmental performance, to advise on any upcoming sensitive environmental matters for future work areas and to receive feedback from on-site personnel.
Further internal communications regarding environmental issues and aspects will be through awareness training as described in Section 5.2.
6.2 External and government authority consultation The Environmental Manager will be the main point of contact for external and government authorities. The Environmental Manager has the responsibility to report on the ongoing environmental performance of the Project to Roads and Maritime, the Environmental Representative and external agencies (e.g. EPA/OEH). The Environmental Manager will report regularly to Roads and Maritime on progress and any key environmental.
The Environmental Manager will ensure the contact details of two Georgiou Representatives, available to be contacted on a 24 hour basis; will be provided to the EPA Regional Manager. These Georgiou Representatives have the authority to take immediate action to shut down any activity or to affect any pollution control measure, as directed by an authorised officer of the EPA (see Contact details on page ii).
In the event of any visit to site by the EPA, the Roads and Maritime is to be immediately notified and a report prepared which notifies of the purpose and outcome of the EPA visit, and all actions taken by Georgiou in response to the EPA visit. The report is to be submitted to Roads and Maritime within one (1) working day of the EPA site visit. Refer to Section 8.3 for reporting requirements.
6.3 Stakeholder and community communication
6.3.1 Community communications strategy
A Community Communications Strategy has been developed by Roads and Maritime to provide an approach to stakeholder and community communications in accordance with the requirements of CoA D13. This strategy has been submitted to the DP&E for approval under CoA D13 as a separate document to the CEMP.
The strategy identifies opportunities for providing information and consultation with the community and stakeholders during the construction phase of the Project. The strategy defines:
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The engagement groups.
The key messages of the Project.
The range of tools that will be used to interact with community and stakeholders.
Communication tools defined in the strategy include:
Targeted community open days.
Advertisements.
Displays.
Door-knock.
Letterbox drops.
Signage.
Website.
Focus meetings.
1800 numbers and email address.
6.3.2 Complaints and enquires procedure
A Complaints and Enquiries Procedure has been developed by Roads and Maritime, consistent with AS 4269: Complaints Handling, in accordance with the requirements of CoA D12. This procedure has been submitted to the DP&E for approval under CoA D12 as a separate document to the CEMP.
The procedure identifies that all community enquiries and complaints related to the construction activities will be referred to the 24-hour community information line (1800 983 657). A postal address (Windsor Bridge Replacement Project, PO Box 973, Parramatta NSW 2124) and email address ([email protected]) has been provided for receipt of complaints and enquiries. The telephone number, the postal address and the email address was published in newspapers circulating in the local area prior to the commencement of construction and is provided on the Project website.
Information on all complaints and enquires received, including the means by which they were addressed and whether resolution was reached and whether mediation was required or used, will be included in a complaints and enquires register. The information contained within the register will be made available to the Planning Secretary on request.
Attempts will be made to resolve all complaints and enquires in accordance with the community engagement strategy. An initial response to complaints and enquires will be provided within 24 hours of a complaint or enquiry being received. A further detailed response, including steps taken to resolve the issue(s) that lead to the complaint, will be provided within 10 days. All complaints should be closed off in the stakeholder database. At all times the stakeholder will be kept informed of when they will receive a response.
The Environmental Manager will apply an adaptive approach to ensure that corrective actions are applied in consultation with the appropriate construction staff to allow modifications and improvements in the management of any environmental issues resulting in community complaints.
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7 Incidents and emergencies In the event of an environmental incident, RMS’s Environmental Incident Classification and Reporting Procedure (Appendix A5) will be followed for the notification, classification, and investigation and reporting requirements for the incident.
For incident response to pollution incidents (including spills) the Pollution Incident Response Plan (Appendix B12) is to be followed.
The RMS Environmental Incident Classification and Reporting Procedure (Appendix A5) provides references to:
Types of incidents and required responses.
Criteria for classifying of environmental incidents.
Processes for systematically responding to and managing emergency situations.
Processes, and legal requirements (e.g. Acts, Regulations), for reporting and notification of an environmental incident.
The Pollution Incident Response Plan (Appendix B12) provides detail for:
Potential pollution scenarios for the site.
Risk assessment for potential pollution events on the site.
Notification requirements and initial response.
Emergency contacts.
Spill response procedure.
During the personnel training and induction program, Georgiou emphasises to all personnel working on the site that all events must be immediately reported, documented and investigated accordingly. All incident investigations shall include the following basic elements:
Identify the cause of the incident.
Identify the necessary corrective action(s).
Identify personnel responsible for carrying out corrective action(s).
Implement or modifying controls necessary to avoid repetition.
Record any changes in written procedures required.
7.1 Notification The following notifications will be undertaken in accordance with CoAs D7 and D8:
The Planning Secretary (DP&E) and other relevant government agencies will be notified of any incident with actual or potential significant off-site environmental impacts on people or the biophysical environment as soon as practicable and within 24 hours of the incident occurrence. The following steps would be undertaken:
o Following the occurrence of an incident, Roads and Maritime (in consultation with contractor and the ER where necessary) will determine if the incident is considered significant. This will include incidents which cause or threaten to cause material harm to the environment; and/or breaches or exceedances of the limits or performance measures/criteria in this consent. If the incident is considered significant the Planning Secretary (DP&E) will be notified within 24 hours.
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A full report detailing the incident will be given to the Planning Secretary (DP&E) within seven days of the date on which the incident occurred. The investigation report shall meet the requirements of the DP&E or relevant government agency to address the cause or impact of any incident, as it relates to the project approval.
Where an incident involves a heritage item site the Planning Secretary (DP&E) and relevant regulatory authority will be informed. In the case of an Aboriginal heritage item, Roads and Maritime will liaise with OEH and relevant Registered Aboriginal Parties and their input sought in closing out the incident. In the event of European heritage, the relevant regulatory authority to be informed is the OEH, Heritage Branch.
Typically, environmental incidents will be notified verbally immediately and in writing within one (1) hour of any incident occurring to the Roads and Maritime Representative and Independent Environmental Representative (ER).
Incident reports will be provided to Roads and Maritime Representative and Independent Environmental Representative (ER) within 48 hours of the incident occurring, including lessons learnt from each environmental incident and proposed measures to prevent the occurrence of a similar incident. See Figure 7-1 for the incident management flow chart, this flow chart is also within the PIRMP (Appendix B12). All efforts will be undertaken immediately to avoid and reduce impacts of incidents and suitable controls put in place. Incidents will be closed out as quickly as possible, taking all required action to resolve each environmental incident.
In addition to the above notification process, the EPA will be immediately notified of any pollution incidents on or around the site via the EPA Environment Line (telephone 131 555) in accordance with Part 5.7 of the Protection of the Environment Operations Act 1997 (NSW) (POEO Act). The circumstances where this will take place include:
If actual or potential harm to the health or safety of human beings or ecosystems has or is likely to occur and is not trivial.
If actual or potential loss or property damage (including clean-up costs) associated with an environmental incident exceeds $10,000.
Roads and Maritime Environment Branch and Project team will maintain all records relating to environmental incidents.
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Figure 7-1 Incident Management Flow Chart
Actions Responsibilities
Step 1 Assess incident Person causing / finding the incident
Step 2 Stop works in the immediate area Person causing / finding the incident
Step 3 Contain incident if safe to do so Person causing / finding the incident
Step 5 Supervisor to notify ESR and Project Manager immediately
Supervisor / Superintendent
Step 4 Notify supervisor, or Superintendent immediately Person causing / finding the incident
Step 6 Implement additional containment measures Supervisor / Superintendent
Step 7 ESR to attend incident Environmental Site Representative
(ESR)
Step 8 Determine if immediate reporting to the DP&E, EPA and other regulatory bodies is required.
Note: to be immediately notified in the event of actual or potential harm to the environment or health of site
Step 9 Immediate verbal Notification to RMS Representative and Independent Environmental
Representative (ER). Follow up with written notification within 1 hour.
Environmental Site Representative (ESR)
Step 10 Clean up / rectify incident as appropriate Supervisor / Superintendent
Environmental Site Representative (ESR)
Step 11 Submit incident report to RMS Representative, Independent Environmental Representative (ER) within 48
hours of the incident occurring. The DP&E and other relevant regulatory authorities are to receive the report
within 7 days.
Supervisor / Superintendent
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8 Inspections, monitoring and auditing
8.1 Environmental inspections
8.1.1 Weekly and post rainfall site inspections
The Environmental Site Representative will undertake weekly and post rainfall inspections of the work sites to evaluate the effectiveness of environmental controls. The Environmental Site Representative will record inspection findings on an inspection checklist form.
If any maintenance and/or deficiencies in environmental controls or in the standard of environmental performance are observed, they will be recorded on the checklist form. Records will also include details of any maintenance required, the nature of the deficiency, any actions required and an implementation priority.
Refer to Appendix A8 for Georgiou’s auditing, review and inspection standard.
8.1.2 Environmental Representative and Roads and Maritime inspections
The Independent Environmental Representative and Roads and Maritime staff will undertake regular inspections of works sites, and in particular critical activities throughout construction of the Project. Inspections by the Environmental Representative and Roads and Maritime Project staff would typically occur on a weekly or fortnightly basis depending on the complexity and anticipated risks associated with the stage of construction.
A member of the Project environment team will participate in all Environmental Representative and client inspections, and records maintained. Deficiencies and required actions will be analysed and prioritised at the completion of the inspection and timeframes for implementation of corrective actions agreed.
8.1.3 Pre-work inspections
Prior to the commencement of works on each shift, an inspection will be carried out and will include a check of relevant environmental controls and resources required to ensure effective operation and maintenance. Works are not to commence unless inspections are found to be satisfactory.
The foreman will undertake the inspections.
8.2 Environmental monitoring Monitoring will be undertaken to validate the impacts predicted for the Project, to measure the effectiveness of environmental controls and implementation of this CEMP, and to address approval requirements. The monitoring requirements for required aspects during construction are included in the relevant environmental management sub-plans and summarised in Table 8-1.
Table 8-1 Summary of environmental monitoring required by project approval
CoA Description Relevant Sub-Plan Reporting Requirements
C9 (d) Details on the mitigation, monitoring and management procedures specific to the Ancillary Facility that would be implemented to minimise the environmental impacts
Ancillary Facility Assessment
Refer to separate plan
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CoA Description Relevant Sub-Plan Reporting Requirements
C19 The project shall be constructed with the aim of achieving compliance with the vibration limits set out in the German Standard DIN for structural damage and the limits in the Environmental Noise Management Assessment Vibration: A Technical Guideline (DEC, 2006) for human exposure.
Construction Noise and Vibration Management Sub-plan (Appendix B3)
Construction Heritage Management Sub-plan (Appendix B5)
Results of vibration monitoring in monthly report to Roads and Maritime.
C24
Prepare and implement a Water Quality Management Program to monitor and minimise the impacts of the project on surface and groundwater quality and resources and wetlands, during construction and operation of the SSI
Construction Soil and Water Quality Management Sub-plan (Appendix B4) Water Quality Management Program (Appendix B4)
Reporting of the monitoring results to the DP&E, OEH, EPA and DOI – Water.
C37 A minimum two year monitoring and maintenance period is required for the riparian zone commencing after final planting, or until such time as a minimum 80 per cent survival rate of each species planted and a maximum 5 per cent weed cover for the treated riparian corridor is achieved. The monitoring program is to include weed control monitoring.
Vegetation Management Plan (CEMP Appendix B11)
Refer to the Vegetation Management Plan
D4 (e)(i) Monitoring of dust emissions Construction Air Quality Management Sub-plan (Appendix B6)
Refer to Sub-plan
D4 (e)(iii) Construction and operation of ancillary facilities
Ancillary Facility Assessment
Refer to separate plan
D4 (e)(v) Monitoring of construction waste Construction Waste Management Sub-plan (Appendix B7)
Refer to Sub-plan
D4 (e)(vi) Monitoring the impacts of spoil, fill and materials stockpile sites
Construction Soil and Water Quality Management Sub-plan (Appendix B4)
Refer to Sub-plan
D4 (e)(vii) Monitoring of construction hazard and risks
Roads and Maritime Environmental Incident Classification and Reporting (Appendix A5)
Refer to Appendix A5
D5 (a)(vi) Monitoring of the Construction Traffic Management Sub-plan
Construction Traffic Management Sub-plan (Appendix B1)
Refer to Sub-plan
D5 (b)(vi) Monitoring of the Construction Flora and Fauna Management Sub-plan
Construction Flora and Fauna Management Sub-plan (Appendix B2)
Refer to Sub-plan
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CoA Description Relevant Sub-Plan Reporting Requirements
D5 (c)(vii) A program for construction noise and vibration monitoring clearly indicating monitoring frequency, location, how the results of this monitoring would be recorded and, procedures to be followed where significant exceedances of relevant noise and vibration goals are detected.
Construction Noise and Vibration Management Sub-plan (Appendix B3)
Results of noise and vibration monitoring in monthly report to Roads and Maritime.
D5 (d)(vii)(v)
D5 (d)(vi)
A detailed monitoring plan to identify monitoring methods, locations, frequency, duration and analysis requirements to manage surface and groundwater impacts during construction of the project
Construction water quality monitoring requirements consistent with condition C24 (below)
Construction Soil and Water Quality Management Sub-plan (Appendix B4) Water Quality Management Program (Appendix B4)
Reporting of the monitoring results to the DP&E, OEH, EPA and DOI – Water .
The Environmental Representative and Roads and Maritime Representative will be advised of any non-conformances from monitoring and details reported in the monthly report.
Where a non-conformance is detected or monitoring results are outside of the expected range and are directly attributable to the Project (i.e. are influenced by factors under the direct control of the Project e.g. noise from construction equipment), the process described in Section 8.6 will be implemented. Steps in the process will typically include:
An analysis of the results by the Environmental Manager in more detail with a view of determining possible causes for the non-conformance.
A site inspection by the Environmental Manager or delegate.
Advising relevant personnel of the problem.
Identifying and agreeing on actions to resolve or mitigate the non-conformance.
Implementing actions to rectify or mitigate the non-conformance.
A non-conformance Environmental Incident Report and/or Environmental Improvement Notice may be issued by the Environmental Manager in response to the non-conformance problem if it is found to be construction related.
The timing for any improvement will be agreed between the relevant Engineer/Superintendent and Environmental Manager based on the level of risk (e.g. a significant risk will require immediate action).
All environmental monitoring equipment shall be maintained and calibrated according to manufacturer’s specifications and appropriate records kept.
8.3 Auditing Table 8-2 presents auditing requirements that are applicable to the Project.
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8.3.1 Contractor audits
Internal auditing will be undertaken during the construction program generally on a six monthly basis throughout the Project. The purpose of auditing is to verify compliance with:
This CEMP and associated sub-plans.
Approval requirements (CoAs, environmental management measures).
Any relevant legal and other requirements (e.g. licenses, permits, regulations, Roads and Maritime contract documentation).
An audit checklist will be developed and amended as necessary to reflect changes to this CEMP, subsequent approvals and changes to Acts, regulations or guidelines.
8.3.2 Independent external audits
External auditing will be undertaken by an independent environment auditor in accordance with ISO 19011:2003 - Guidelines for Quality and/ or Environmental Management Systems Auditing.
Table 8-2 Audit requirements
No. Audit Requirement Timing Responsibility Recipient
1 Internal audit Verify compliance with approval and legal requirements, Roads and Maritime specifications and construction documentation
The first audit within three months of the commencement of construction and then at six monthly intervals thereafter. The final submitted within five working days of contract completion date.
Georgiou Project manager, Roads and Maritime
2 External independent audit
Verify compliance with approval and legal requirements, Roads and Maritime specifications, construction documentation and any other commitments.
Six monthly Roads and Maritime
Georgiou,
Roads and Maritime
Independent Environmental Representative
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8.4 Compliance tracking program A Compliance Tracking Program has been developed for the Project by Roads and Maritime. This program has been submitted to the DP&E for approval under CoA D6 as a separate document to the CEMP. The requirements of the Compliance Tracking Program, as prescribed in CoA D6, include:
a) Provisions for the notification of the Planning Secretary of the commencement of works prior to the commencement of construction and prior to the commencement of operation of the project (including prior to each stage, where works are being staged).
b) Provisions for periodic reporting of compliance status against the requirements of this consent, including the Statement of Commitments, to the Planning Secretary including at least one month prior to the commencement of construction and operation of the project and at other intervals during the construction and operation, as identified in the Program.
c) A program for independent environmental auditing in accordance with ISO 19011:2003 - Guidelines for Quality and/ or Environmental Management Systems Auditing.
d) Mechanisms for reporting and recording incidents and actions taken in response to those incidents.
e) Provisions for reporting environmental incidents to the Planning Secretary during construction and operation.
f) Procedures for rectifying any non-compliance identified during environmental auditing, review of compliance or incident management.
The Compliance Tracking Program describes how the requirements of CoA D6 will be met and sets out a program and frequency for compliance reporting and independent auditing. The compliance reporting required under the Compliance Tracking Program will record how the CoA and environmental management measures have been addressed. A summary of the required compliance reporting, as required by CoA D6, is provided in Table 8-3.
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Table 8-3 Compliance Reporting
No. Report Requirement Timing Responsibility Recipient
1 Compliance tracking program
CoA D6
Describes how the requirements of CoA D6 will be tracked and met, along with the requirements of G36, and sets out a program and frequency for compliance reporting and independent auditing.
Relates to both the construction and operational phases of the project.
Prior to construction Roads and Maritime to develop and submit for approval prior to the commencement of construction.
Georgiou to provide Roads and Maritime with regular information updates regarding the requirements of CoA D6, in order to track compliance.
DP&E and ER
2 Compliance Reporting CoA D6 (b)
Report on compliance and performance against approval requirements. The compliance reporting required under the Compliance Tracking Program will record how the CoA and environmental management measures have been addressed.
Prior to construction, six months following commencement of construction and then at six monthly intervals thereafter.
The compliance report must include the results of environmental monitoring carried of the matters listed in Table 8.1.
Prior to commencement of operation.
Georgiou to provide Roads and Maritime with regular information updates regarding the requirements of CoA D6, in order to track compliance.
DP&E and ER
8.5 Reporting Prior to, during and following construction, various reports will be prepared to fulfil internal Roads and Maritime and Georgiou reporting needs, and requirements under the Project approval. Table 8-4 sets out the reporting requirement applicable to the Project, timing of the reporting, who is responsible for managing preparation of the reports and the intended recipient(s).
Additional reporting may be necessary as the works progress. In such a circumstance, Table 8-4 will be amended to reflect these changes.
Windsor Bridge Replacement
Construction Environmental Management Plan 51
Table 8-4 Reporting Requirements
No. Report Requirement Timing Responsibility Recipient
1 Monthly environmental report
For incorporation in Project Monthly Reports including environmental statistics (i.e. incidents, regulatory action, complaints on environmental issues), regulatory and authority considerations, monitoring program performance and key environmental issues.
Monthly Environmental Manager,
Environmental Site Representative
Roads and Maritime
2 ER monthly report
Report of site environmental performance following routine inspections.
Monthly Environmental Representative
Roads and Maritime /DP&E
3 Environmental risk assessment
Conducted for each construction phase, Project changes and significant issues.
Prior to construction during development of CEMP and as required thereafter.
Environmental Manager,
Environmental Site Representative
Construction Manager
Roads and Maritime
4 Monitoring results
Report on monitoring data recorded and potential exceedances against criteria.
As required Environmental Manager,
Environmental Site Representative
Roads and Maritime
5 Roads and Maritime environmental inspection reports
Response to matter raised in Roads and Maritime site inspections.
As required. Typically every two weeks for Roads and Maritime inspection reports.
Environmental Manager,
Environmental Site Representative
Roads and Maritime
Windsor Bridge Replacement
Construction Environmental Management Plan 52
8.6 Non-conformity, corrective and preventative actions Any member of the Project team may raise a non-conformance or improvement opportunity. The Quality Management Plan describes the process for managing non-conforming work practises and initiating corrective/preventative actions or system improvements.
The Environmental Representative, Roads and Maritime Representative or public authority may also raise a non-conformance or improvement opportunity using the same process.
A non-conformance is the failure or refusal to comply with the requirements of this CEMP and Georgiou’s Nonconformity and Corrective and Preventive Action Procedure (Appendix A6).
For each non-conformance identified a corrective/preventative action (or actions) must be implemented. In addition any environmental management improvement opportunities can be initiated as a result of incidents or emergencies, monitoring and measurement, audit findings or other reviews. Improvement opportunities may also result in the implementation of corrective/preventative actions.
Corrective/preventative actions and improvement opportunities will be entered into Georgiou’s quality system database (QHEST) and include detail of the issue, action required and timing and responsibilities. The record will be updated with date of close out and any necessary notes. The database will be reviewed regularly to ensure actions are closed out as required.
Non-conforming activities may be stopped, if necessary, by the Environmental Site Representative, Environmental Manager or Project / Site Engineer following consultation with the Construction Manager or delegate. The works will not commence until a corrective / preventative action has been closed out. In such circumstances a non-conformance report must be prepared in accordance with the Quality Plan.
9 Review and improvement As a minimum the CEMP will be reviewed annually by the ESR. At any other time the ESR may propose that the CEMP requires updating. If the revision of the CEMP results in minor changes to the document, the amended CEMP will be sent to Roads and Maritime and the ER for approval in accordance with the process detailed in Section 1.6. If the revision results in major changes to the CEMP then this will be submitted to the Planning Secretary for approval.
All staff will be educated in the relevant CEMP amendments through the induction process and toolbox talks.
Additionally, management reviews will be undertaken as part of the continual improvement process. A review is initiated by the Environmental Manager and includes relevant Project team members and Roads and Maritime.
Management reviews will occur as a minimum quarterly with Roads and Maritime invited to participate. The management reviews must comprise as a minimum the following:
Identification of areas of opportunity for improved environmental performance.
Analysis of the causes of nonconformities and deficiencies, including those identified in environment inspections and audits.
Verification of the effectiveness of corrective and preventative actions.
Highlighting any changes in procedures resulting from process improvement.
Windsor Bridge Replacement
Construction Environmental Management Plan 53
The outcomes of the management reviews could include amendments to this CEMP and related documentation, revision to the Project’s environmental management system, risk assessment review, re-evaluation of the Project objectives and targets as well as feeding into other Project documents.
10 Documentation
10.1 Environmental records Georgiou’s Health, Safety and Environment Policies, Standards, Procedures, Safe Work Instructions, References, Guidelines, Forms, Templates are all accessible via the Company’s Intranet - GENIE. GENIE will maintain the current and only authorised versions for use. Environment management documentation that has been specifically developed for the site will be controlled on site and recorded in the sites document management system.
The Environmental Manager is responsible for maintaining all environmental management documents as current at the point of use. Types of records include:
All monitoring, inspection and compliance reports/records.
Correspondence with public authorities.
Induction and training records.
Reports on environmental incidents, other environmental non-conformances, complaints and follow-up action.
Community engagement information.
Minutes of CEMP and construction environmental management system review meetings and evidence of any action taken.
All identified records listed in G36 annexure C (C2).
All environmental management documents are subject to ongoing review and continual improvement. This includes times of change to scheduled activities or to legislative or licensing requirements.
Only the Environmental Manager or Site Environmental Representative, has the authority to change any of the environmental management documentation.
10.2 Document control Georgiou or Roads and Maritime where relevant, will coordinate the preparation, review and distribution, as appropriate, of the environmental documents listed above. During the Project, the environmental documents will be stored at the main site compound.
Georgiou will implement a document control procedure to control the flow of documents within and between Roads and Maritime, stakeholders and subcontractors.
The procedure will also ensure that documentation is:
Developed, reviewed and approved prior to issue.
Issued for use.
Controlled and stored for the legally required timeframe.
Removed from use when superseded or obsolete.
Archived.
Windsor Bridge Replacement
Construction Environmental Management Plan 54
Each document will have a table detailing a distribution list of the controlled copies and current revision details, presented on the title page.
Act Aspect Requirement Part 5.2 exempt Phase
Environmental Planning and
Assessment Act, 1979
planning approval Comply with the terms Minister for Planning’s approval for the project. Obtain the Minister’s approval for any project modifications that
are not consistent with the planning approval.
n/a all phases
Environment Protection and
Biodiversity Conservation Act 1999
(EPBC Act)
planning approval proposed ‘actions’ that have the potential to significantly impact on matters of national environmental significance, the environment of
Commonwealth land or that are being carried out by a Commonwealth agency must be referred to the Commonwealth Government.
n/a planning
Fisheries Management Act 1994 Water Permits under sections 201, 205 and 219 of the Fisheries Management Act
1994 for;
- Provide the Minister for Primary Industries 28 days notice of planned dredging or reclamation work.
- Do not harm any mangroves, seagrasses or other marine vegetation on public water land protected by the regulations without a permit.
- Do not block fish passage without a permit
yes works in water
Water Management Act 2000 Water water use approvals under section 89, water management work approvals under section
90, and activity approvals (other than aquifer interference approvals) under section 91. This includes;
- Do not take water from a water source (a lake, river or estuary or place where water occurs naturally on or below the surface of the
ground, and includes coastal waters) without an access licence.
- Do not construct/use a water supply work, drainage work or flood work without the appropriate approval
-Do not deposit material, excavate, or remove material within a watercourse bank, shore or bed, or on land 40 metres inland, or
interfere with the likely flow of water to such a body, without a controlled activity approval.
yes construction
Protection of the Environment
Operations Act 1997
water S120. Do not cause water pollution (other than to a sewer), except in accordance with the conditions of an Environment Protection
Licence.
no construction
National Parks and
Wildlife Act 1974.
Aboriginal Heritage Aboriginal heritage impact permits under section 90 of the National Parks and
Wildlife Act 1974;
- Do not harm or desecrate an Aboriginal object or Aboriginal place without consent.
yes construction
Aboriginal and Torres Strait Islander
Heritage Protection Act 1984
(Commonwealth)
Aboriginal Heritage S20. Report any discovery of Aboriginal remains to the Federal Minister for the Environment and Heritage.
S22. Comply with the provisions of any declaration in relation to a significant Aboriginal area or object.
no construction
Heritage Act 1977 Non - Aboriginal
Heritage
Approvals under Part 4 and excavation permits under section 139 of the Heritage Act 1977. Section 139;
- Do not disturb or excavate land with knowledge or reasonable cause to suspect that the disturbance or excavation will or is likely to
result in a relic being discovered, exposed, moved, damaged or destroyed; or
- Do not disturb or excavate land on where a relic has been discovered or exposed.
Section 57 of the Heritage Act 1977 - Effect of interim heritage orders and listing on State Heritage Register;
- When an interim heritage order or listing on the State Heritage Register applies to a place, building, work, relic, moveable object,
precinct, or land, a person must not do any of the following things except in pursuance of an approval granted by the approval body
under Subdivision 1 of Division 3
yes construction
Native Vegetation Act 2003 flora Authorisations to clear native vegetation or State protected land. yes all phases
Biodiversity Conservation Act 2016 fauna S2.1. Do not harm any animal that is; of a threatened species, that is part of a threatened ecological community or is a protected animal,
unless authorised under other legislation (e.g. planning approval).
S2.4 Do not damage habitat of a threatened species or ecological community unless authorised under other legislation (e.g. planning
approval).
no all phases
Biodiversity Conservation Act 2016 flora S2.3 Do not damage declared areas of outstanding biodiversity value unless authorised under other legislation (e.g. planning approval).
S2.2 Do not pick a plant that is; of a threatened species, that is part of a threatened ecological community or is a protected plant, unless
authorised under other legislation (e.g. planning approval).
no all phases
Contaminated Land Management Act
1997
contaminated land S60. Notify the EPA if;
• Contaminants exceed thresholds contained in guidelines or the regulations where contamination has entered or will foreseeably enter
neighbouring land, the atmosphere, groundwater or surface water.
• Contaminants in soil are equal to or exceed guideline levels with respect to the current or approved use of the land.
• Contamination meets other criteria that may be prescribed by the regulations.
no all phases
Crown Lands Act 1989 land acquisition applies to the acquisition of land reserved under this Act. no pre construciton
This table should be reviewed regularly to reflect current legislation and the legislative requirements specific to the project
Relevent Legislation - Compliance Tracking Matrix
Protection of the Environment
Operations Act 1997
waste Do not risk harming the environment by wilfully or negligently:
S115. disposing of waste unlawfully.
S116. causing any substance to leak, spill or otherwise escape (whether or not from a container); or
S117.emitting an ozone depleting substance
no construction
Protection of the Environment
Operations Act 1997
equipment S 167. Properly and efficiently maintain and operate any installed pollution control equipment (including monitoring devices). no construction
Pesticides Act 1999 chemical use S12. Use pesticides in an environmentally sensitive manner.
S13. Do not use an unregistered pesticide without a permit.
S14. Read the label or permit for the pesticide.
S15. Use registered pesticides in accordance with instructions on the label.
S17. Do not use any restricted pesticide unless authorised by a certificate of competency or a pesticide control order under the Act.
no construction
Environmentally Hazardous Chemicals
Act, 1985
chemical use S28. Obtain a licence to undertake prescribed activities involving environmentally hazardous chemicals or declared chemical wastes. no construction
Dangerous Goods (Road and Rail
Transport) Act 2008
hazardous goods S9. Ensure that dangerous goods are transported in a safe manner. no construction
Protection of the Environment
Operations Act 1997
noise S139. Do not operate plant if it emits noise caused by poor maintenance or operation.
S140. Do not cause noise by failing to properly and efficiently deal with materials.
no construction
Protection of the Environment
Operations Act 1997
pollution S148. Notify the EPA immediately of pollution incidents where material harm to the environment is caused or threatened. no construction
Protection of the Environment
Operations Act 1997
waste S143. Only transport waste to a facility that can lawfully accept the waste.
S115. Only transport waste to a facility that can lawfully accept the waste.
no construction
Protection of the Environment
Operations (Waste) Regulation 2005
waste Cl 49. Comply with general requirements for the transport of waste. For example, any vehicle used by the person to transport waste must
be kept in a clean condition and be maintained so as to prevent spillage of waste. For some wastes only licensed transporters can be
used.
no construction
Reference Sub Ref. Comment/Obligation Responsibility Phase Compliance Status Comment/Evidence
The Applicant shall carry out the SSI generally in accordance with the:
a) State Significant lnfrastructure Application SSI-4951; RMS, Georgiou all phases
b) Windsor Bridge Replacement Project Environmental Impact Statement Volumes 1, 2, 3 and 4
prepared by Sinclair Knight Merz for Roads and Maritime Services, dated November 2012;
RMS, Georgiou all phases
c) Windsor Bridge Replacement Project Submissions Report incorporating Preferred
lnfrastructure Report, dated April 2013 prepared by Sinclair Knight Merz for Roads and
Maritime Services, including the revised Statement of Commitments contained therein;
RMS, Georgiou all phases
d) Any plans and/or documentation submitted to satisfy the Pre-Construction Conditions of this
consent as approved in writing by the Director-General; and
RMS, Georgiou all phases
e) The conditions of this consent. RMS, Georgiou all phases
A2 lf there is any inconsistency between the plans and documentation referred to in condition
A1, the most recent document shall prevail to the extent of the inconsistency. However,
conditions of this consent prevail to the extent of any inconsistency.
all phases
The Applicant shall comply with any reasonable requirement(s) of the Director-General
arising from the Department's assessment of:
all phases
a) any reports, plans or correspondence that are submitted in accordance with this
consent; and
RMS, Georgiou all phases
b) the implementation of any actions or measures contained within these
documents.
RMS, Georgiou all phases
A4 This consent shall lapse 5 years after the date on which it is granted, unless the works
the subject of this SSI consent are physically commenced on or before that date.
RMS all phases
The Applicant may elect to construct and/or operate the SSI in stages. Where staging is
proposed, the Applicant shall submit a Staging Report to the Director-General prior to the
commencement of the first proposed stage. The Staging Report shall provide details of:
RMS, Georgiou pre construction
a) how the SSI would be staged, including general details of work activities associated with each
stage and the general timing of when each stage would commence; and
RMS, Georgiou pre construction
b) details of the relevant conditions of consent, which would apply to each stage and how these
shall be complied with across and between the stages of the SSl.
RMS, Georgiou pre construction
Where staging of the SSI is proposed, these conditions of consent are only required to be
complied with at the relevant time and to the extent that they are relevant to the specific
stage(s).
The Applicant shall ensure that an updated Staging Report (or advice that no changes to
staging are proposed) is submitted to the Director-General prior to the commencement of
each stage, identifying any changes to the proposed staging or applicable conditions.
RMS, Georgiou pre construction
A6 The Applicant shall ensure that all plans, sub-plans and other management documents
required by the conditions of this consent and relevant to each stage (as identified in the
Staging Report) are submitted to the Director-General no later than one month prior to the
commencement of the relevant stages, unless otherwise agreed by the Director-General.
RMS, Georgiou pre construction
With the approval of the Director-General, the Applicant may:
a) submit any strategy, plan or program required by this consent on a progressive basis; and/or RMS pre construction
b) combine any strategy, plan or program required by this consent. RMS pre construction
A7
Conditions of Approval - Compliance Tracking Matrix PART A - ADMINISTATIVE CONTROLS
A3
A1
A5
A8 ln the event of a dispute between the Applicant and a public authority, in relation to an
applicable requirement in this consent or relevant matter relating to the activity, either
party may refer the matter to the Director-General for resolution. The Director-General's
determination of any such dispute shall be final and binding on the parties.
RMS, Georgiou pre construction
Reference Sub Ref. Comment/Obligation Responsibility Phase Compliance Status Comment/Evidence
Conditions 81 to 88 have been imposed in accordance with the following
objectives:
(a) To minimise impacts on heritage sites, including sites within the Thompson
Square
Conservation Area and archaeological sites in, and in the vicinity of, the site;
(b) To salvage and interpret any impacted heritage sites, including historical
archaeologically significant sites within, and in the vicinity of, the site;
(c) To conduct archival recording and further research of the Thompson Square
Conservation Area;
(d) To enhance and conserve the Thompson Square Conservation Area, the
heritage
items identified in Table 1 of Appendix 1, with the exception of ltem 3 (the
Thompson
Square lower parkland area) and ltem 20 (Windsor Bridge) and any archaeological
sites within, and in the vicinity of, the site, while providing for the construction of
a
The Applicant shall submit a Strategic Conservation Management Plan (GMP) to
the Director-General for the project area on the southern side of the Hawkesbury
River as shown in Appendix 2 Strategic Conservation Management Plan study area.
The CMP shall be prepared by appropriately qualified and/or experienced heritage
consultants. The nominated heritage consultant(s) is to have appropriate
experience
and skills including land and maritime archaeology, landscape, engineering and
built
heritage expertise and documented experience in the preparation and
inplementation
of CMPs.
The Applicant shall not carry out any pre-construction or construction activities on
the southern side of the Hawkesbury River for the SSI before the CMP has been
approved by the Director-General. The CMP is to provide for the heritage
conservation of the Thompson Square Conservation Area. The CMP shall be
prepared in consultation with the Heritage Branch, OEH and in accordance with
the relevant guidelines of the NSW Heritage Council and include, but not be
limited to:
RMS Pre- Construction
Conditions of Approval - Compliance Tracking Matrix PART B - PRE-CONSTRUCTION CONDITIONS
B1
CULTURAL HERITAGE
a) identification of the heritage value of the Thompson Square Conservation Area,
including statements of significance for the Thompson Square Conservation
Area and any individual listings within the conservation area of any local, state or
national heritage items;
Pre- Construction
b) the development of heritage design principles for the project to retain the
heritage significance of the Thompson Square Conservation Area and any
individually listed item within the conservation area or in proximity to the site,
with the exception of ltem 3 (the Thompson Square lower parkland area) and
Item 20 (Windsor Bridge) in Table 1 of Appendix 1;
Pre- Construction
c) specific mitigation measures for the Thompson Square Conservation Area and
individually listed items to minimise impact and to ensure that final measures
selected are appropriate and the least intrusive option; and
Pre- Construction
d) changes to the detailed design of the SSI to mitigate heritage impacts. Pre- Construction
The Applicant shall prepare and submit a detailed Interpretation Plan prior to the
commencement of pre-construction and construction activities for the Thompson
Square Conservation Area including individually listed sites, non-Aboriginal
archaeology and Aboriginal archaeology for the approval of the Director-General.
The
detailed lnterpretation Plan must be prepared in consultation with the OEH and
include specific media design, content, location and materials, prepared in
accordance with the Guidelines of the NSW Heritage Council.
RMS Pre- Construction
Prior to the commencement of pre-construction works on the southern side of the
Hawkesbury River, the Applicant shall complete a detailed Archival Recording of
all
historic heritage sites within the Strategic Conservation Management Plan study
area in accordance with the Guidelines issued by the NSW Heritage Council and to
the satisfaction of the Director-General and in consultation with the NSW Heritage
Council. The recording shall include, but not be limited to:
RMS Pre- Construction
a) detailed survey and analysis of Thompson Square Conservation Area, Windsor
Bridge and the immediate surrounds using 3D laser scanning; and
RMS post salvage works
b) photographic and archival recording of all affected heritage sites, as identified in
the specialist reports prepared as part of the Environmental lmpact Statement
for the project. Recording is to be completed.
RMS post salvage works
Copies of these recordings should be made available to the Director-General, the
NSW Heritage Council, the Local Studies Library and the Local Historical Society in
Windsor.
RMS post salvage works
B2
ARCHAEOLOGY
The Applicant shall undertake an Archaeological lnvestigation Program comprising
Aboriginal and non-Aboriginal Heritage in the project area on the southern side of
the Hawkesbury River, prior to the commencement of preconstruction and
construction activities in the southern area. The program shall be conducted to
the satisfaction of the Director-General and in accordance with:
RMS Pre-Construction
a) the Heritage Council's Archaeologr'cal Assessmenfs Guideline (f 996) using a
methodology prepared, in consultation with the NSW Heritage Council for non-
Aboriginal heritage; and
RMS Pre-Construction
b) prepared in consultation with the OEH (Aboriginal heritage) and the Aboriginal
stakeholders.
RMS Pre-Construction
The Archaeological lnvestigation Program is to be undertaken by an archaeological
heritage consultant approved by the Director-General in consultation with the
NSW
Heritage Council and by the OEH (Aboriginal heritage) and by an Excavation
Director
who shall demonstrate an ability to comply with the Heritage Council's Criteria for
the Assessment of Excavation Directors (July 2011) and in particular must be able
to demonstrate compliance with Criterion A.4 that: 'work under any approvals
previously granted by the Heritage Council has been completed in accordance
with the conditions of that consent and the final report has been submitted to the
NSW
Heritage Council.
The Archaeological lnvestigation Program shall include archaeological testing and
RMS Pre-Construction
The results of the Archaeological lnvestigation Program are to be detailed in a
Historic Archaeological Report and a Detailed Salvage Strategy comprising the non-
Aboriginal and Aboriginal heritage findings. These are to be prepared in
consultation with the OEH (Heritage Branch and Aboriginal heritage) and to the
satisfaction of the Director-General, and shall include, but not necessarily be
limited to:
Pre-Construction
a) detailed recommendations for further archaeological work; RMS Pre-Construction
b) consideration of measures to avoid or minimise disturbance to archaeology sites,
where archaeology of historical and Aboriginal heritage archaeological significance
are found to be present;
RMS Pre-Construction
B3
c) where impacts cannot be avoided by construction of the SSl, recommend actions
to salvage and interpret salvaged sites, conduct further research and archival
recording of the historic heritage and Aboriginal heritage value of each site, and
to enhance and preserve the archaeology of historical non-Aboriginal and
Aboriginal heritage significance;
RMS Pre-Construction
d) consideration of providing visual evidence of heritage sites within the final
landscape design of the SSI to preserve and acknowledge the heritage value of the
Thompson Square Conservation Area and the site;
RMS Pre-Construction
e) management and mitigation measures to minimise impacts due to preconstruction
and construction activities; and
RMS Pre-Construction
f) preparation of a Hawkesbury Region Sand Bodies Study to the satisfaction of the
Director-General and undertaken by suitably qualified and experienced
persons whose appointment has been approved by the Director-General, in the
event that any Pleistocene and/or early Holocene is encountered during the
works referred to in condition 83. This study is required to be prepared in
consultation with the Department, the OEH and Aboriginal stakeholders and is
required to:
RMS Pre-Construction
(i) be undertaken in accordance with a research design and action plan
approved by the Director-General prior to the study commencing;
RMS Pre-Construction
(ii) be directed towards locating and evaluating sand bodies likely to contain
evidence of early Aboriginal habitation in the Hawkesbury River area, in the
project location in areas disturbed by construction of the project, including the
existing Windsor Bridge and new bridge locations;
RMS Pre-Construction
(iii) findings are to be made publicly available; and RMS Pre-Construction
(iv) make recommendations concerning the preservation and future management
of any finds.
RMS Pre-Construction
ln the event that any Pleistocene and/or early Holocene is encountered, the
recommendations of the Hawkesbury Region Sand Bodies Study are to be fully
complied with.
RMS Pre-Construction
The Applicant shall undertake an Archaeological lnvestigation Program comprising
Aboriginal Heritage in the northern side of the Hawkesbury River project area,
prior to the commencement of pre-construction and construction activities in the
northern area. The program shall be conducted to the satisfaction of the Director-
General and prepared in consultation with the OEH (Aboriginal heritage) and the
Aboriginal stakeholders.
RMS Pre-Construction
The results of the Archaeological lnvestigation Program conducted in the project
area on the northern side of the Hawkesbury River are to be detailed in a Historic
Archaeological Report and a Detailed Salvage Strategy comprising the Aboriginal
heritage findings in northern side of the Hawkesbury River. These are to be
prepared in consultation with the OEH (Aboriginal heritage) and to the satisfaction
of the Director-General, and shall include but not necessarily be limited to:
RMS Pre-Construction
a) detailed recommendations for further Aboriginal archaeological work; RMS Pre-Construction
B4
b) consideration of measures to avoid or minimise disturbance to Aboriginal sites,
where archaeology of Aboriginal heritage archaeological significance are found
to be present;
RMS Pre-Construction
c) where impacts cannot be avoided by construction of the SSl, recommend actions
to salvage and interpret salvaged sites, conduct further research and archival
recording of the Aboriginal heritage value of each site, and to enhance and
preserve the Aboriginal heritage significance;
RMS Pre-Construction
d) consideration of providing visual evidence of heritage sites within the final
landscape design of the SSI to preserve and acknowledge the Aboriginal heritage
value of the northern project area;
RMS Pre-Construction
e) management and mitigation measures to minimise impacts due to preconstruction
and construction activities; and
RMS Pre-Construction
f) preparation of a Hawkesbury Region Sand Bodies Study as detailed in Condition
B3(f)
RMS Pre-Construction
B5 The Applicant shall not commence construction of the project on or within those
areas likely to alter flood conditions until such time as works identified in the
Hydrological Mitigation Report, required under condition C27, have been
completed, unless otherwise agreed by the Director-General
RMS Pre-Construction
B6 Terracing is not approved as part of landscaping for the SSI RMS Pre-Construction
B7 The Applicant shall prepare an Urban Design and Landscape Plan prior to the
commencement of pre-construction and construction activities in the southern
side of the Hawkesbury River to guide the landscaping for the project. The Plan
shall be prepared in consultation with the OEH, and Hawkesbury Council and shall
present an
integrated urban design for the project that is sympathetic to the heritage values
and significance of the Thompson Square Conservation Area and shall be prepared
in
accordance with the requirements of condition C47.
RMS Pre-Construction
The project is to be revised to incorporate the following amendments. The new
design of the SSI shall be provided to the Director-General for approval prior to
the
commencement of pre-construction and construction activities in the southern
side of the Hawkesbury River:
RMS Pre-Construction
a) the raising of the southern approach road by approximately 1 metre is not
approved. The heighUclearance of the southern approach road shall be designed
ensure consistency with the EIS;
RMS Pre-Construction
b) public access to the existing wharf is to be maintained and alternative coach
access, arrangements for pedestrians/cyclists and consultation undertaken are to
be detailed;
RMS, Georgiou construction
REVISED DESIGN
B8
HYDROLOGY
URBAN DESIGN AND LANDSCAPE PLAN
c) access to numbers 4 and 6 Bridge Street is to be maintained at all times.
Alternative access arrangements to those proposed shall beinvestigated to the
satisfaction of the Director-General;
RMS, Georgiou construction
d) the northern roundabout shall be designed to ensure consistency with the
Austroads Guide to Road Design: Part 48, particularly in relation to geometry and
lane designations.
RMS Pre-Construction
ln the event that further design amendments are required as a consequence of
compliance with conditions 81 to 87, any such revised designs must be approved
by
the Director-General.
RMS Pre-Construction,
Construction
Reference Sub Ref. Comment/Obligation Responsibility Phase Compliance Status Comment/Evidence
C1 During all stages of the project, the Applicant must comply with all programs and reports
prepared by the Applicant in accordance with conditions 81 to 88 of this consent.
RMS, Georgiou construction
C2 ln the event that any Pleistocene and/or early Holocene is encountered during any
construction activities, condition B3(f) applies as if the relevant construction works were
works carried out under condition B3.
RMS, Georgiou construction
C3 This consent does not allow the Applicant to disturb any human remains found on the site
without further approval from the Director-General, and/or the NSW Police Force
RMS, Georgiou construction
Prior to the commencement of pre-construction works the Applicant shall nominate, for the
approval of the Director-General, a specialist Heritage Manager and Heritage Consultant team
for the construction works. The consultant(s) shall have appropriate qualifications and
experience commensurate with the scope of the works, which shall include land and maritime
archaeology, landscape, engineering and built heritage expertise and have demonstrated
experience in the implementation of CMPs. During pre-construction and construction works,
the specialist Heritage Manager and heritage consultant team shall:
RMS pre - construction
a) advise on the detail design resolution of new works, inspect new works, advise on design and
installation of services (to minimise impacts on significant fabric and views) and undertake on-
site Heritage inductions;
RMS pre - construction
b) provide input to the compliance reporting required under condition D6; and RMS pre - construction
c) prepare a report (illustrated by works photographs) to be submitted to the Director-General
for approval within 6 months of the completion of the works which describes the work, any
impacts/damage and corrective works carried out and includes a revised Statement of
Significance in accordance with NSW Heritage Council guidelines.
RMS pre - construction
Within 12 months of completing the work required under conditions B3 and B4, the Applicant
shall, in consultation with the NSW Heritage Council, the OEH (Aboriginal heritage) and to the
satisfaction of the Director-General, prepare and submit a further report containing:
RMS pre - construction
a) an executive summary of the archaeological programme; RMS pre - construction
b) the findings of the excavations, including detailed artefact analysis for non-Aboriginal and
Aboriginal heritage;
RMS pre - construction
c) the identification of a final repository for finds of non-Aboriginal heritage
significance;
RMS pre - construction
d) artefact analysis and Aboriginal Site lmpacts Recording Forms (ASIR), and the identification of
final storage location for all Aboriginal objects recovered (testing and salvage), prepared in
consultation with the Aboriginal stakeholders, the OEH (Aboriginal heritage) and to the
satisfaction of the Director-General.
RMS pre - construction
e) detailed information on the excavation including the aim, the context for the excavation,
procedures, treatment of artefacts (cleaning, conserving, sorting, cataloguing, labelling, scale
photographs and/or drawings, location of repository) and analysis of the information
retrieved;
RMS pre - construction
f) nominated repository for the items, which has agreed to take the items; RMS pre - construction
g) conclusions from the archaeological programme. This information must include a reassessment
of the site's heritage significance comprising non-Aboriginal and Aboriginal heritage,
statement(s) on how archaeological investigations at this site have contributed to the
community's understanding of the Site and other Comparative Site Types and
recommendations for the future management of the site/s;
RMS pre - construction
Conditions of Approval - Compliance Tracking Matrix
PART C - ENVIRONMENTAL PERFORMANCE
C5
C4
HERITAGE IMPACTS
h) details of how this information about the excavations have been publicly disseminated (for
example, include copies of press releases, public brochures and information signs produced to
explain the archaeological significance of the sites).
RMS pre - construction
C6 The Applicant shall carry out all reasonable and feasible measures to minimise dust generated
by the SSl, including wind-blown and traffic-generated dust.
Georgiou construction
During construction, the Applicant shall ensure that:
a) all vehicles on site do not exceed a speed limit of 30 kilometres per hour; Georgiou construction
b) all loaded vehicles entering or leaving the site have their loads covered; and Georgiou construction
c) all loaded vehicles leaving the site are cleaned of dirt, sand and other materials before they
leave the site, to avoid tracking these materials on public roads.
Georgiou construction
Unless otherwise approved by the Director-General, the location of Ancillary Facilities shall: RMS, Georgiou pre - construction
a) be located more than 50 metres from a waterway; RMS, Georgiou pre - construction
b) be located within or adjacent to land where the SSI is being carried out; RMS, Georgiou pre - construction
c) have ready access to the road network or direct access to the construction
corridor;
RMS, Georgiou pre - construction
d) be located to minimise the need for heavy vehicles to travel through residential areas; RMS, Georgiou pre - construction
e) be sited on relatively level land; RMS, Georgiou pre - construction
f) be separated from nearest residences by at least 200 metres (or at least 300
metres for a temporary batching plant);
RMS, Georgiou pre - construction
g) not require vegetation clearing beyond that already required by the SSI; RMS, Georgiou pre - construction
h) not be located within the Thompson Square Conservation Area; RMS, Georgiou pre - construction
i) not impact on Heritage items (including identified Aboriginal cultural value and archaeological
sensitivity) beyond those already impacted by the SSI and not have any additional impacts to
those heritage items impacted by the proposal;
RMS, Georgiou pre - construction
j) not unreasonably affect the land use of adjacent properties; RMS, Georgiou pre - construction
k) be above the 20 ARI flood level unless a contingency plan to manage flooding is prepared and
implemented; and
RMS, Georgiou pre - construction
l) provide sufficient area for the storage of raw materials to minimise, to the greatest extent
practical, the number of deliveries required outside standard construction hours.
RMS, Georgiou pre - construction
The location of the ancillary facilities shall be identified in the Construction Environment
Management Plan.
RMS, Georgiou pre - construction
Ancillary sites that do not meet the criteria set out in this consent shall be approved by the
Director-General prior to establishment. ln obtaining this approval, the Applicant shall assess
the ancillary facility against the criteria set out in this consent to demonstrate how the
potential environmental impacts can be mitigated and managed to acceptable standards. Such
assessment(s) can be submitted separately or as part of the Construction Environmental
Management Plan required under this consent. The assessment shall include, but not
necessarily be limited to:
RMS, Georgiou pre - construction
a) a description of the Ancillary Facility, its components and the surrounding environment; Georgiou pre - construction
b) details on the activities to be carried out at the facility, including the hours of use and the
storage of dangerous and hazardous goods;
Georgiou pre - construction
c) an assessment of the environmental impacts on the site and the surrounding environment,
including, but not limited to noise, vibration, air quality, traffic access, flora and fauna,
heritage and light spill;
Georgiou pre - construction
C7
C9
C8
AIR QUALITY
ANCILLARY FACILITIES
d) details on the mitigation, monitoring and management procedures specific to the Ancillary
Facility that would be implemented to minimise the environmental impacts or, where this is
not possible, feasible and reasonable measures to offset these impacts and an assessment of
the adequacy of the mitigation or offsetting measures. This shall include consideration of
restrictions on the hours
of use or exclusion of certain activities;
Georgiou pre - construction
e) details on the timing for the completion of activities at the ancillary facility and how the site
will be decommissioned (including any necessary rehabilitation); and
Georgiou pre - construction
f) demonstrated overall consistency with the approved project. Georgiou pre - construction
The Applicant shall demonstrate to the satisfaction of the Director-General that there will be
no additional significant adverse impact from that Ancillary Facility's construction or
Georgiou pre - construction
The Director-General's approval is not required for minor Ancillary Facilities (e.g. lunch sheds,
office sheds, and portable toilet facilities, etc.) that do not comply with the criteria set out in
condition C8 of this consent and which:
Georgiou pre - construction
a) are located within an active construction zone within the approved project footprint; and Georgiou pre - construction
b) have been assessed by the Environmental Representative to have: Georgiou pre - construction
(i) no additional adverse impact on the Thompson Square Conservation Area;
(ii) minimal amenity impacts to surrounding residences, with consideration to
matters such as noise and vibration impacts, traffic and access impacts,
dust and odour impacts, and visual (including light spill) impacts, and
(iii) minimal environmental impact in respect to waste management, and no
impacts on flora and fauna, soil and water, and heritage beyond those
approved for the project; and
Georgiou pre - construction
c) have environmental and amenity impacts that can be managed through the implementation of
environmental measures detailed in a CEMP for the project.
Georgiou pre - construction
C11 All Ancillary Facilities shall be rehabilitated to at least their pre-construction condition, unless
othenruise agreed by the Director-General.
Georgiou pre - construction
Dangerous goods, as defined by the Australian Dangerous Goods Code, shall be stored and
handled strictly in accordance with:
Georgiou construction
a) all relevant Australian Standards; Georgiou construction
b) for liquids, a minimum bund volume requirement of 11Oo/o of the volume of the largest single
stored volume within the bund; and
Georgiou construction
c) the Environment Protection Manual for Authorised Officers: Bunding and Spill Management,
Technical Bulletin (Environment Protection Authority, 1997).
Georgiou construction
ln the event of an inconsistency between the requirements listed from (a) to (c) above, the
most stringent requirement shall prevail to the extent of the inconsistency.
Georgiou construction
C13 Construction activities associated with the SSI shall be undertaken during the following
standard construction hours:
Georgiou construction
a) 7:00am to 6:00pm Mondays to Fridays, inclusive; and Georgiou construction
b) 8:00am to 1:00pm Saturdays; and Georgiou construction
c) at no time on Sundays or public holidays. Georgiou construction
a) construction works that generate noise that is: Georgiou construction
no more than 5 dB 40 above rating background level at any residence in accordance with the
lnterim Construction Noise Guidelin e (Department of Environment and Climate Change,
2009); and
Georgiou construction
i) no more than 5 dB(40 above rating background level at any residence in accordance with the
lnterim Construction Noise Guideline (Department of Environment and Climate Change,
2009); and
Georgiou construction
ii) no more than the noise management levels specified in Table 3 of the lnterim Construction
Noise Guideline (Department of Environment and Climate Change, 2009) at other sensitive
receivers; or
Georgiou construction
C10
HAZARDS AND RISK
C12
NOISE AND VIBRATION
C14
b) for the delivery of materials required outside these hours by the NSW Police Force or other
authorities for safety reasons; or
Georgiou construction
c) where it is required in an emergency to avoid the loss of lives, property and/or to prevent
environmental harm; or
Georgiou construction
d) works as approved through the out-of-hours work protocol outlined in the CEMP. Georgiou construction
Activities resulting in impulsive or tonal noise emission (such as rock breaking, rock
hammering, pile driving) shall only be undertaken:
Georgiou construction
a) between the hours of 8:00 am to 5:00 pm Monday to Friday; Georgiou construction
b) between the hours of 8:00 am to 1:00 pm Saturday; and Georgiou construction
c) in continuous blocks not exceeding three hours each with a minimum respite from those
activities and works of not less than one hour between each block.
Georgiou construction
For the purposes of this condition 'continuous' includes any period during which there is less
than a one hour respite between ceasing and recommencing any of the work the subject of
this condition.
Georgiou construction
C16 Wherever feasible and reasonable, piling activities shall be undertaken using quieter
alternative methods than impact or percussion piling, such as bored piles or vibrated piles.
Georgiou construction
C17 Where feasible and reasonable, operational noise mitigation measures shall be implemented
at the start of construction (or at other times during construction) to minimise construction
noise mpacts.
Georgiou construction
C18 All feasible and reasonable noise mitigation measures shall be implemented and any activities
that could exceed the construction noise management levels shall be identified and managed
in accordance with the CEMP.
Note: The lnterim Construction Norse Guideline identifies 'particularly annoying'
activities that require the addition of 1dB(A) to the predicted level before comparing to the
construction NML
Georgiou construction
The SSI shall be constructed with the aim of achieving the following construction vibration
goals:
Georgiou construction
a) for structural damage, the vibration limits set out in the German Standard DIN 4150-3:
Structural Vibration - effects of vibration on structures; and
Georgiou construction
b) for damage to other buildings and/or structures, the vibration limits set out in the British
Standard BS 7385-1:1990 - Evaluation and measurement for vibration in buildings. Guide for
measurement of vibration and evaluation of their effects on buildings; and
Georgiou construction
c) for human exposure, the acceptable vibration values set out in the Environmental Noise
managemenf Assessrng Vibration: A Technical Guideline (Department of Environment and
Conservation, 2006).
Georgiou construction
Unless othenruise agreed by the Director-General, within 6 months of commencing
construction, the Applicant shall, in consultation with the EPA, prepare and submit for the
approval of the Director-General, a review of the operational noise mitigation measures
proposed to be implemented for the project. The review shall:
RMS construction
a) confirm the operational noise predictions of the project based on detailed design. This
operational noise assessment shall be based on an appropriately calibrated noise model (which
has incorporated additional noise monitoring, where necessary for calibration purposes);
RMS construction
b) review the suitability of the operational noise mitigation measures identified in the documents
listed under condition M to achieve the criteria outlined in condition C14 based on the
operational noise performance of the project predicted under (a) above; and
RMS construction
c) where necessary, investigate additional feasible and reasonable noise mitigation measures to
achieve the criteria outlined in the Road Norse Policy (DECCW, 2011).
RMS construction
C15
C19
C20
C21 During construction, affected educational institutions shall be consulted and reasonable steps
taken to ensure that noise generating construction works in the vicinity of affected buildings
are not timetabled during examination periods where practicable, unless other reasonable
arrangements to the affected institutions are made at no cost to the affected institution.
RMS construction
C22 The SSI shall be operated with the objective of not exceeding the road noise criteria outlined
in the NSW Road Noise Policy (DECCW, 2011).
RMS construction
C23 Soil and water management measures consistent with Managing Urban Stormwater - Soils and
Construction Vol I (Landcom, 2004) shall be employed during the construction of the SSI to
minimise soil erosion and the discharge of sediment and other pollutants to land and/or
waters.
Georgiou construction
The Applicant shall prepare and implement a Water Quality Management Program
to monitor and minimise the impacts of the project on surface and groundwater quality
and resources and wetlands, during construction and operation of the SSl. The
Program shall be developed in consultation with the OEH, EPA, DPI (Fishing and
Aquaculture) and NOW and shall include but not necessarily be limited to:
RMS pre - construction
a) identification of surface and groundwater quality monitoring locations (including
watercourses and waterbodies) which are representative of the potential extent
of impacts from the project;
RMS pre - construction
b) the results of the groundwater modelling undertaken under this consent; RMS pre - construction
c) identification of works and activities during construction and operation of the
project, including emergencies and spill events, that have the potential to impact
on surface water quality of potentially affected watenruays;
Georgiou pre - construction
d) development and presentation of parameters and standards against which any
changes to water quality will be assessed, having regard to the Australian and
New Zealand Guidelines for Fresh and Marine Water Quality 2000 (Australian
and New Zealand Environment Conservation Council, 2000);
RMS pre - construction
e) representative background monitoring of surface and groundwater quality
parameters for a minimum of six months (considering seasonality) prior to the
commencement of construction, to establish baseline water conditions, unless
otherwise agreed by the Director-General;
RMS pre - construction
f) a minimum monitoring period of three years following the completion of
construction or until the affected waterways and/ or groundwater resources are
certified by an independent expert as being rehabilitated to an acceptable
condition. The monitoring shall also confirm the establishment of operational
water control measures (such as sedimentation basins and vegetation swales);
RMS operation
g) contingency and ameliorative measures in the event that adverse impacts to
water quality are identified; and
Georgiou construction
h) reporting of the monitoring results to the Department, OEH, EPA and NOW. RMS construction
The Program shall be submitted to the Director-General for approval 6 months prior to
the commencement of construction of the project, or as otherwise agreed by the
Director-General. A copy of the Program shall be submitted to the OEH, EPA, DPI
(Fishing and Aquaculture) and NOW prior to its implementation.
RMS pre - construction
SOIL AND WATER QUALITY
C24
C25 Prior to the commencement of site preparation and excavation activities, or as
othenuise agreed by the Director-General, in areas identified as having a moderate to
high risk of contamination, a site audit shall be carried out by a site auditor. A site
audit report is to be prepared by the site auditor detailing the outcomes of Phase 2
contamination investigations within these areas. The site audit report shall detail,
where relevant, whether the land is suitable (for the intended land use) or can be made
suitable through remediation.
A site audit statement(s) must be prepared verifying that the site has been remediated to a
standard consistent with the intended land use. The site audit statement(s) shall be submitted
to the Director-General prior to operation of the SSl, unless otherwise agreed by the Director-
General.
Note: Terms used in this condition have the same meaning as in the Contaminated
Land Management Act 1997.
RMS construction
C26 The Applicant shall ensure, where feasible and reasonable, that the project is
designed to not exceed the afflux and other flooding criteria within the vicinity of the
project as identified or predicted in the documents listed under condition 42.
C27 The Applicant shall develop a Hydrological Mitigation Report for properties in the
Hawkesbury River floodplain areas where flood impacts are predicted to increase as a
result of the project. The Report shall be based on detailed floor level survey and
associated assessment of potentially flood affected properties in those areas. The
Report shall:
RMS pre - construction
a) identify properties in those areas likely to have an increased flooding impact and
detail the predicted increased flooding impact;
RMS pre - construction
b) identify mitigation measures to be implemented where increased flooding is
predicted to adversely affect access, property or infrastructure;
RMS pre - construction
c) identify measures to be implemented to minimise scour and dissipate energy at
locations where flood velocities are predicted to increase as a result of the
project and cause localised soil erosion and/or pasture damage;
RMS pre - construction
d) be developed in consultation with the relevant Council, NSW State Emergency
Service and directly-affected property owners; and
RMS pre - construction
e) identify operational and maintenance responsibilities for items (a) to (c) inclusive. RMS pre - construction
C28 Based on the mitigation measures identified in this consent, the Applicant shall
prepare a final schedule of feasible and reasonable flood mitigation measures
proposed at each directly-affected property in consultation with the property owner.
The schedule shall be provided to the relevant property owner(s) prior to the
implementation/ construction of the mitigation works, unless othenruise agreed by the
Director-General. A copy of each schedule of flood mitigation measures shall be
provided to the Department and the relevant Council prior to the implementation/
construction of the mitigation measures on the property.
RMS pre - construction
C29 ln the event that the Applicant and the relevant property owner cannot agree on
feasible and reasonable flood mitigation measures to be applied to a property within
one month of the first consultation on the measures (as required by this consent), the
Applicant shall employ a suitably qualified and experienced independent hydrological
engineer, who has been approved by the Director-General, to resolve this dispute prior
to the commencement of construction in the floodplain areas affected by increased afflux
from the project. The independent hydrological engineer shall advise and assist
affected property owners in negotiating feasible and reasonable mitigation measures.
RMS pre - construction
HYDROLOGY AND FLOODING
C30 The Applicant shall provide assistance to the relevant council and/ or NSW State
Emergency Service, to assist in the preparation of any new or necessary update(s) to
the relevant plans and documents in relation to flooding, to reflect changes in flooding
levels, flows and characteristics as a result of the project.
RMS pre - construction
C31 lf a flood event occurs during construction the works on-site shall be suspended if
instructed by either the Applicant or emergency services. The Applicant shall keep
Hawkesbury City Council informed of the status of the works during a flood event and
before recommencing activity after the peak of a flood event.
RMS pre - construction
C32 A flood warning sign of durable material shall be permanently fixed in a prominent
location within the vicinity of the SSl. The sign shall advise members of the public that
the area may be subject to inundation during times of flood. The design and location of
this sign shall be determined in consultation with Hawkesbury City Council, the OEH
and submitted for the approval of the Director-General prior to operation.
RMS pre - construction
C33 The outlet structure for the water quality basin must be consistent with the Controlled
Activities on Waþrtront Land: Guidelines for Outlet Sfrucfures on Waterfront Land
(NSW Office of Water, July 2012).
RMS pre - construction
C34 A riparian corridor consisting of vegetation from the relevant local native vegetation
communities shall be established along the Hawkesbury River bank areas disturbed by
the project with the exception of those areas required for scour protection for the safety of
the bridge. The riparian corridor is to be consistent with the Controlled Activities on
Waterfront Land: Guidelines for Riparian Corridors on Waterfront Land (NSW Office of Water,
July 2012).
RMS pre - construction
C35 A Vegetation Management Plan (VMP) is to be prepared consistent with the
Controlled Activities on Watertront Land: Guidelines for Vegetation Management Plan
on Wateffront Land (NSW Office of Water, July 2012) that demonstrates the protection of
remnant native riparian vegetation and the rehabilitation of the riparian corridor. The VMP
must be complied with.
RMS pre - construction
C36 Seed sources used for the rehabilitation of the riparian corridor are to be from local
native botanical provenance where possible.
RMS pre - construction
C37 A minimum two year monitoring and maintenance period is required for the riparian
zone commencing after final planting, or until such time as a minimum 80 per cent
survival rate of each species planted and a maximum 5 per cent weed cover for the
treated riparian corridor is achieved. The monitoring program is to include weed control
RMS operation
C38 The Applicant shall maximise the reuse and/or recycling of waste materials generated
on site as far as practicable, to minimise the need for treatment or disposal of those
materials off site.
Georgiou construction
C39 All waste materials removed from the site shall only be directed to a waste
management facility or premises lawfully permitted to accept the materials.
Georgiou construction
C40 All liquid andior non-liquid waste generated on the site shall be assessed and
classified in accordance with Waste Classification Guidelines (Department of
Environment, Climate Change and Water, 2009), or any superseding document.
Georgiou construction
WASTE MANAGEMENT
UTILITIES AND SERVICES
BIODIVERSITY
C41 Utilities, services and other infrastructure potentially affected by construction and
operation of the SSI shall be identified prior to construction to determine requirements for
access to, diversion, protection, and support. Consultation with the relevant owner
and/or provider of services that are likely to be affected by the SSI shall be undertaken to
make suitable arrangements for access to, diversion, protection, and/or support of the
affected infrastructure as required. The cost of any such arrangements shall be borne by the
Applicant, or carried out in accordance with existing agreements.
RMS/Georgiou pre - construction
C42 The cost of repairing any damage to existing utilities or services shall by borne by the
Applicant.
RMS/Georgiou pre - construction
C43 The existing 50mm rising sewer main that is attached to the existing Windsor Bridge
that services Hawkesbury City Council's toilet block in Macquarie Park is to be
relocated prior to the commencement of works at the existing Windsor Bridge.
RMS/Georgiou pre - construction
C44 The SSI shall be designed with the objective of minimising adverse changes to existing
access and services for other transport modes and, where feasible, and reasonable
facilitate an improved level of access and service to other transport modes compared
to the existing situation.
RMS pre - construction
C45 Access to private property shall be maintained during construction unless othenryise
agreed with the property owner in advance. A landowner's access that is physically
affected by the SSI shall be reinstated to at least meet the relevant Australian
standard, in consultation with the property owner.
Georgiou construction
C46 Any proposed closure of the right turn movement from Bridge Street southbound into
George Street shall be sequenced to occur outside business hours (9:00am to 5:00pm
Monday to Friday). Hawkesbury City Council shall be provided with a minimum one
month notice of any planned closure in writing.
Georgiou construction
The Urban Design and Landscape Plan referred to in condition 87 must be prepared
and implemented and the works approved by that Plan must be completed within 12
months of the commissioning of the project. The Plan shall be prepared in consultation
with the OEH, and Hawkesbury Council and shall be consistent with the CMP referred
to in condition 81 and include, but not necessarily be limited to:
RMS pre - construction
a) the proposed landscaping of Thompson Square Conservation Area, as shown
on the map in Appendix 2 Strategic Conservation Management Plan study area;
RMS pre - construction
b) use of the heritage design principles developed under the CMP, and take into
account appropriate landscaping in the vicinity of heritage items to minimise
heritage impacts;
RMS pre - construction
c) a description of locations along the project corridor directly or indirectly impacted
by the construction of the project (e.9. temporary ancillary facilities, access
tracks, etc.) and details of the strategies to progressively rehabilitate regenerate
and/or revegetate the locations with the objective of promoting biodiversity
outcomes and visual integration. Details of species to be replantedi revegetated
shall be provided, including their appropriateness to the area and considering
existing vegetation and habitat for threatened species;
RMS pre - construction
d) location of existing vegetation and proposed landscaping (including use of
indigenous and endemic species where possible) and design features;
RMS pre - construction
e) graphics such as sections, perspective views and sketches for key elements of
the project (including, but not limited to built elements such as retaining walls,
cuttings, abutments and street furniture);
RMS pre - construction
f) final design details of the proposed external materials and finishes, including
schedules and a sample board of materials and colours; including justification for
sustainability of materials including design and installation techniques as well as
long term maintenance and their suitability in terms of:
RMS pre - construction
(i) function (ability to withstand heavy vehicle usage and public setting); RMS pre - construction
TRANSPORT AND ACCESS
URBAN DESIGN AND LANDSCAPING
C47
(ii) architectural period/style (respecting the simple Colonial Georgian style); RMS pre - construction
(iii) landscape suitability (i.e. suited to both usage and context); and RMS pre - construction
(iv) heritage context. RMS pre - construction
g) location and design treatments for any associated footpaths and cyclist elements, and other
features such as seating, lighting (in accordance with AS 4282-1997 Control of the Obtrusive
Effect of Outdoor Lighting), fencing, and signs;
RMS pre - construction
h) take into account appropriate roadside plantings and landscaping in the vicinity of heritage
items and ensure no additional heritage impacts;
RMS pre - construction
i) detailed design drawings of the proposed works including, but not limited to, road pavements,
pedestrian pavements, kerb treatments, abutments, garden beds;
RMS pre - construction
j) strategies for progressive landscaping of other environmental controls such as
erosion and sedimentation controls, drainage and noise mitigation;
RMS pre - construction
k) the lighting, street furniture and other fixtures shall be consistent with Grime
Prevention Through Environmental Design Principles (CPTED) where possible;
RMS pre - construction
l) the installation of services to support events such as lighting, electricity, water,
sewer, vehicle access and communications technology should be considered and be inherent
in the design. Refer to Council's Sustainable events Policy (on Council's web site:
<http://council.hawkesbury.nsw.gov.au/masterviewui/modules/documentmaster/getdocume
nt.aspx?docsetid=3701656>
RMS pre - construction
m) monitoring and maintenance procedures for the vegetated built elements,
rehabilitated vegetation and landscaping (including weed control) including
performance indicators, responsibilities, timing and duration and contingencies
where rehabilitation of vegetation and landscaping measures fail; and
RMS pre - construction
n) evidence of consultation with the NSW Heritage Council, Hawkesbury City Council and
community on the proposed strategy prior to its finalisation.
RMS pre - construction
C48 External Lighting shall comply with A54282:1997 Control of the Obtrusive Effects of
Outdoor Lighting. Upon installation of External Lighting, but before it is finally
commissioned, the Applicant shall submit to the Certifying Authority, in consultation
with the relevant Council, evidence from an independent qualified practitioner
demonstrating compliance in accordance with this condition.
RMS pre - construction
Reference Sub Ref. Comment/Obligation Responsibility Phase Compliance Status Comment/Evidence
The Applicant shall engage a suitably qualified person to prepare a pre-
construction dilapidation report prior to the commencement of construction
and a post-construction dilapidation report at the completion of construction
works. These reports are to ascertain the:
Georgiou Pre-Construction
a) structural condition of local roads likely to be used by the project's construction
traffic identified in the Traffic Management Sub-plan required under condition
D5(a).
Georgiou Pre-Construction
b) structural condition of footpaths, buildings and other utilities in the vicinity of
the
SSI;
Georgiou Pre-Construction
whether the construction works resulted in any structural damage to roads,
buildings and other utilities in the vicinity of the SSl. ln ascertaining whether
adverse structural damage has occurred to adjoining buildings, infrastructure
and
roads, the post-construction dilapidation report must:
Georgiou Pre-Construction
¡) compare the post-construction with the pre-construction dilapidation report;
and
Georgiou Pre-Construction,
Construction
ii) have written confirmation from the relevant authority that there is no
adverse structural damage to their infrastructure and roads.
Georgiou Pre-Construction,
Construction ,
Completion
D2 The Applicant shall undertake road pavement deflection testing of the
construction truck routes at 20 metre intervals along all wheel paths prior to
commencement of construction. At completion of construction, the Applicant
shall undertake road pavement deflection testing of the truck routes. lf the
deflection tests show an increase in deflection, the Applicant shall undertake
pavement rehabilitation of the affected road pavements to achieve the
pavement deflection that existing prior to the commencement of works.
Georgiou Pre-Construction
D3 The Applicant shall bear the cost of all repair works to Hawkesbury City
Council's
property damaged during the course of construction of the SSl.
RMS, Georgiou Construction If proven to be related to
construction undertaken
by Georgiou, Georgiou
will bear the cost. If
related to design RMS
will bear the cost
Conditions of Approval - Compliance Tracking Matrix PART D - ENVIRONMENTAL MANAGEMENT, REPORTING AND AUDITING
D1
c)
ENVIRONMENTAL MANAGEMENT
CONSTRUCTION ENVIRONMENTAL MANGEMENT PLAN
The Applicant shall prepare and (following approval) implement a Construction
Environmental Management Plan for the project. The Plan shall outline the
environmental management practices and procedures that are to be followed
during construction, and shall be prepared in consultation with the relevant
agencies and in accordance with the Guideline for the Preparation of
Environmental Management Plans (Department of lnfrastructure, Planning and
Natural Resources, 2004). The Plan shall include, but not necessarily be limited
to:
RMS, Georgiou Pre-construction RMS has developed draft
CEMP plans, Georgiou has
completed these plans
for submission pre
construction
a) a description of activities to be undertaken during construction of the project
or
stages of construction, as relevant;
Georgiou Pre-construction
b) statutory and other obligations that the Applicant is required to fulfil during
construction including approvals, consultations and agreements required from
Georgiou Pre-construction
c) a description of the roles and responsibilities for relevant employees involved in
the construction of the project including relevant training and induction
provisions
for ensuring that employees, including contractors and sub-contractors are
aware of their environmental and compliance obligations under these
conditions of consent;
Georgiou Pre-construction
d) identification of ancillary facility site locations, including an assessment against
the location criteria outlined in this consent;
Georgiou Pre-construction
an environmental risk analysis to identify the key environmental performance
issues associated with the construction phase and details of how environmental
performance would be monitored and managed to meet acceptable outcomes
including what actions will be taken to address identified potential adverse
environmental impacts. ln particular, the following environmental performance
issues shall be addressed in the Plan:
Georgiou Pre-construction
(i) measures to monitor and manage dust emissions including dust from
stockpiles, blasting, traffic on unsealed public roads and materials tracking
from construction sites onto public roads;
Georgiou Pre-construction
(ii) measures to minimise hydrology impacts, including measures to stabilise
bed and bank structures as required,
Georgiou Pre-construction
(iii) measures to monitor and manage impacts associated with the construction
and operation of ancillary facilities,
Georgiou Pre-construction
(iv) measures for the handling, treatment and management of contaminated
materials,
Georgiou Pre-construction
D4
e)
(v) measures to monitor and manage waste generated during construction
including but not necessarily limited to: general procedures for waste
classification, handling, reuse, and disposal; use of secondary waste material in
construction wherever feasible and reasonable; procedures for dealing with
green waste including timber and mulch from clearing activities; and measures
for reducing demand on water resources (including the potential for reuse of
treated water from sediment control basins);
Georgiou Pre-construction
(vi) measures to monitor and manage spoil, fill and materials stockpile sites
including details of how spoil, fill or material would be handled, stockpiled,
reused and disposed and a stockpile management protocol detailing locational
criteria that would guide the placement of stockpiles and management
measures that would be implemented to avoid/ minimise amenity impacts to
surrounding residents and environmental risks (including to surrounding water
courses). Stockpile sites that affect heritage, threatened species, populations
or Endangered Ecological Communities require the approval of the Director-
General, in consultation with the OEH;
Georgiou Pre-construction
(vii) measures to monitor and manage hazard and risks including emergency
management; and
Georgiou Pre-construction
(viii) the issues identified in condition D7; Georgiou Pre-construction
f) details of community involvement and complaints handling procedures during
construction, consistent with the requirements of conditions D1 1 to D13;
Georgiou Pre-construction
g) details of compliance and incident management consistent with the
requirements
of conditions D7 and D8 ; and
Georgiou Pre-construction
h) procedures for the periodic review and update of the CEMP and sub-plans
required under this consent respectively, as necessary (including where minor
changes can be approved by the Environmental Representative).
Georgiou Pre-construction
The Plan shall be submitted for the approval of the Director-General no later
than one month prior to the commencement of construction, or within such
period otherwise agreed by the Director-General. Construction works shall not
commence until written approval has been received from the Director-General.
Georgiou, RMS Pre-construction Georgiou will develop
plans to submit to RMS
for submission
As part of the CEMP for the project, the Applicant shall prepare and implement
the
following sub plan(s):
Georgiou Pre-construction
a Construction Traffic Management Sub-plan, prepared in accordance with
the Roads and Maritime Service's QA Specification Gl0 - Control of Traffic and
Traffic Control at Work Sites Manual (2003) to manage disruptions to traffic
movements as a result of construction traffic associated with the project. The
sub-plan shall be developed in consultation with the relevant council and shall
include, but not necessarily be limited to:
Georgiou Pre-construction CEMP Appendix B1 -
Construction Traffic
Management Sub-Plan
D5
a)
(i) identification of construction traffic routes and quantification of
construction
traffic volumes (including heavy vehicle/ spoil haulage) on these routes;
Georgiou Pre-construction
(ii) details of vehicle movements for construction sites and site compounds
including parking, dedicated vehicle turning areas, and ingress and egress
Points;
Georgiou Pre-construction
(iii) details of potential impacts to traffic on the existing road network,
including,
intersection level of service and potential disruptions to pedestrians, public
transport, parking, cyclists and property access;
Georgiou Pre-construction
(iv) details of temporary and interim traffic arrangements to address potential
impacts;
Georgiou Pre-construction
(v) a response procedure for dealing with traffic incidents; and Georgiou Pre-construction
(vi) mechanism for the monitoring, review and amendment of this sub-plan. Georgiou Pre-construction
a Construction Flora and Fauna Management Sub-plan to detail how
construction impacts on ecology will be minimised and managed. The sub-plan
shall be developed in consultation with the OEH and DPI (Fishing and
Aquaculture) and shall include, but not necessarily be limited to:
Georgiou Pre-construction CEMP
(¡) details of pre-construction surveys undertaken by a suitably qualified and
experienced ecologist to verify the construction boundaries/ footprint of the
project based on detailed design and to confirm the vegetation to be cleared as
part of the project (including tree hollows, threatened flora and fauna species
and riparian vegetation);
Georgiou Pre-construction
(ii) updated sensitive areal vegetation maps based on (i) above and previous
survey work;
Georgiou Pre-construction
(iii) details of general work practices and mitigation measures to be
implemented during construction to minimise impacts on native fauna and
native vegetation (particularly threatened species and EECs) not proposed to be
cleared as part of the project, including, but not necessarily limited to:
fencing of sensitive areas, a protocol for the removal and relocation of fauna
during clearing, engagement of a suitably qualified and experienced ecologist
to identify locations where they would be present to oversee clearing activities
and facilitate fauna rescues and re-location, clearing timing with consideration
to breeding periods, measures for maintaining existing habitat features (such as
bush rock and tree branches etc), seed harvesting and appropriate topsoil
management, construction worker education, weed management (including
controls to prevent the introduction or spread of Phytophthora cinnamomi),
erosion and sediment control and progressive re-vegetation;
Georgiou Pre-construction
(iv) specific procedures to deal with EEC/ threatened species anticipated to be
encountered within the project corridor including re-location, translocation
and/or management and protection measures;
Georgiou Pre-construction
b)
(v) a procedure for dealing with unexpected EEC/threatened species identified
during construction including cessation of work and notification of the OEH,
determination of appropriate mitigation measures in consultation with the OEH
(including relevant re-location measures); and
Georgiou Pre-construction
(vi) mechanism for the monitoring, review and amendment of this sub-plan; Georgiou Pre-construction
a Construction Noise and Vibration Management Sub-plan to detail how
construction noise and vibration impacts will be minimised and managed. The
sub-plan shall be developed in consultation with the EPA and include, but not
necessarily be limited to:
Georgiou Pre-construction
(i) identification of nearest sensitive receptors and relevant construction noise
and vibration goals applicable to the project;
Georgiou Pre-construction
(ii) identification of key noise and/or vibration generating construction
activities
(based on representative construction scenarios, including at ancillary facilities)
that have the potential to impact on surrounding sensitive receivers including
Georgiou Pre-construction
(iii) identification of feasible and reasonable measures proposed to be
implemented to minimise construction noise and vibration impacts (including
construction traffic noise impacts)
Georgiou Pre-construction
(iv) procedures for dealing with out-of-hours works in accordance with
condition C14, including procedures for notifying the Director-General
concerning complaints received in relation to the extended hours approved
under condition C14;
Georgiou Pre-construction
(v) procedures and mitigation measures to ensure relevant vibration and
blasting criteria are achieved, including a suitable blast program, applicable
buffer distances for vibration intensive works, use of low-vibration generating
equipmenU vibration dampeners or alternative construction methodology, and
pre- and post- construction dilapidation surveys of sensitive structures where
Georgiou Pre-construction
(vi) procedures for notifying sensitive receivers of construction activities that
are likely to affect their noise and vibration amenity, as well as procedures
for dealing with and responding to noise complaints; and
Georgiou Pre-construction
(vii) a program for construction noise and vibration monitoring clearly indicating
monitoring frequency, location, how the results of this monitoring would be
recorded and, procedures to be followed where significant exceedences of
relevant noise and vibration goals are detected;
Georgiou Pre-construction
a Construction Soil and Water Quality Management Sub-plan to manage surface
and groundwater impacts during construction of the project. The subplan shall
be developed in consultation with the OEH, EPA, DPI (Fishing and Aquaculture)
and NOW and include, but not necessarily be limited to:
Georgiou Pre-construction
(i) identification of potential sources of erosion and sedimentation, and water
pollution (including those resulting from maintenance activities);
Georgiou Pre-construction
(ii) details of how construction activities would be managed and mitigated to
minimise erosion and sedimentation consistent with condition C23;
Georgiou Pre-construction
c)
d)
(iii) where construction activities have the potential to impact on waterways or
wetlands (through direct disturbance such as construction of waterway crossings
or works in close proximity to waterways or wetlands), site specific mitigation
easures to be implemented to minimise water quality, riparian and stream
hydrology impacts as far as practicable, including measures to stabilise bed
and/ or bank structures where feasible and reasonable, and to rehabilitate
affected riparian vegetation to existing or better condition. The timing of
rehabilitation of the watenruays shall be identified in the sub-plan;
Georgiou Pre-construction
(iv) a contingency plan, consistent with the Acid Sulfate Soís Manual, to deal
with the unexpected discovery of actual or potential acid sulfate soils, including
procedures for the investigation, handling, treatment and management of such
soils and water seepage;
Georgiou Pre-construction
(v) a tannin leachate management protocol to manage the stockpiling of mulch
and use of cleared vegetation and mulch filters for erosion and sediment
control;
Georgiou Pre-construction
(vi) construction water quality monitoring requirements consistent with
condition C24; and
Georgiou Pre-construction
(vii) a groundwater management strategy, including (but not necessarily limited
to):
i. description and identification of groundwater resources (including depths of
the water table and water quality) potentially affected by the project based on
groundwater modelling undertaken in accordance with this consent;
ii. identification of surrounding licensed bores, dams or other water supplies
and groundwater dependant ecosystems and potential groundwater risks
associated with the construction of the project on these groundwater users and
ecosystems;
iii. measures to manage identified impacts on water table, flow regimes and
quality and to groundwater users and ecosystems;
iv. groundwater inflow control, handling, treatment and disposal
methods; and
v. a detailed monitoring plan to identify monitoring methods, locations,
frequency, duration and analysis requirements; and
Georgiou Pre-construction
a Construction Heritage Management Sub-plan to detail how construction
impacts on Aboriginal and non-Aboriginal heritage will be avoided, minimised
and managed. The sub-plan shall be prepared by an appropriately qualified
heritage consultant(s) approved by the Director-General and the OEH
(Aboriginal heritage) and be developed in consultation with registered
Aboriginal stakeholders, and include, but not necessarily be limited to:
Georgiou Pre-construction
(i) details of management measures and strategies for protection, excavation,
salvage and archival recording, and/or conservation of heritage items and sites
that will be directly or indirectly impacted during construction (including
further archaeological investigations, salvage measures and/ or measures to
protect unaffected sites during construction works in the vicinity);
Georgiou Pre-construction
e)
(ii) procedures for dealing with previously unidentified non-Aboriginal and
Aboriginal objects (excluding human remains) including cessation of works in
the vicinity, assessment of the significance of the item(s) and determination of
appropriate mitigation measures including when works can re-commence by a
suitably qualified and experienced archaeologist in consultation with the
Department, OEH and registered Aboriginal stakeholders and assessment of the
consistency of any new non-Aboriginal and Aboriginal heritage impacts against
the approved impacts of the project, and notification to the Department, and
the OEH for Aboriginal heritage (in accordance with section 89A of the National
Parks and Wildlife Act 1974) and the OEH for non-Aboriginal heritage (in
accordance with
Section 146 of the NSW Heritage Acl1977);
Georgiou Pre-construction
(iii) procedures for dealing with human remains, including cessation of
works in the vicinity and notification of the Department, NSW Police Force, OEH
and registered Aboriginal stakeholders and not recommencing any works in the
area unless authorised by the Department and/ or the NSW Police Force); and
Georgiou Pre-construction
(iv) induction processes (identification, protection) for construction
personnel (including procedures for keeping records of inductions)
and procedures for ongoing Aboriginal consultation and involvement.
Georgiou Pre-construction
The Applicant shall develop and implement a Compliance Tracking Program to
track compliance with the requirements of this consent. The Program shall be
submitted to the Director-General for approval prior to the commencement of
construction and relate to both the construction and operational phases of the
project, and include, but not necessarily be limited to:
RMS pre - construction This tracking matrix &
compliance tracking
register - appendix A1
CEMP
a) provisions for the notification of the Director-General of the commencement of
works prior to the commencement of construction and prior to the
commencement of operation of the project (including prior to each stage,
where works are being staged);
RMS pre - construction
b) provisions for periodic reporting of compliance status against the requirements
of
this consent, including the Statement of Commitments, to the Director-General
RMS pre - construction
c) a program for independent environmental auditing in accordance with ISO
19011:2003 - Guidelines for Quality and/ or Environmental Management
Systems Auditing;
RMS pre - construction
d) mechanisms for reporting and recording incidents and actions taken in response
to those incidents;
RMS pre - construction
e) provisions for reporting environmental incidents to the Director-General during
construction and operation; and
RMS pre - construction
f) procedures for rectifying any non-compliance identified during environmental
auditing, review of compliance or incident management.
RMS pre - construction
D6
REPORTING
D7 The Applicant shall notify the Director-General and other relevant government
agencies of any incident with actual or potential significant off-site
environmental
impacts on people or the biophysical environment as soon as practicable and
within 24 hours after the occurrence of the incident. The Applicant shall
provide full written details of the incident to the Director-General within seven
days of the date on which the incident occurred.
RMS pre - construction
D8 The Applicant shall meet the requirements of the Director-General or relevant
government agency (as determined by the Director-General) to address the
cause or impact of any incident, as it relates to this consent, reported in
accordance with this consent, within such period as the Director-General may
require.
RMS pre - construction
Within 12 months of the commencement of operation of the project, or as
otherwise agreed by the Director-General, the Applicant shall undertake
operational noise monitoring to compare actual noise performance of the
project against noise performance predicted in the review of noise mitigation
measures required by this consent, and prepare an Operational Noise Report to
document this monitoring. The Report shall include, but not necessarily be
limited to:
RMS post - construction
a) noise monitoring to assess compliance with the operational noise levels
predicted in the review of operational noise mitigation measures required under
consent and documents specified under condition A2 of this consent;
RMS post - construction
b) a review of the operational noise levels in terms of criteria and noise goals
established in the NSWRoad Norse Policy (EPA, 2011);
RMS post - construction
c) methodology, location and frequency of noise monitoring undertaken, including
monitoring sites at which project noise levels are ascertained, with specific
reference to locations indicative of impacts on sensitive receivers;
RMS post - construction
d) details of any complaints and enquiries received in relation to operational noise
generated by the project between the date of commencement of operation and
the date the report was prepared;
RMS post - construction
e) any required recalibrations of the noise model taking into consideration factors
such as actual traffic numbers and proportions;
RMS post - construction
f) an assessment of the performance and effectiveness of applied noise mitigation
measures together with a review and, if necessary, reassessment of all feasible
and reasonable mitigation measures; and
RMS post - construction
Operational Noise
D9
AUDITING
g) identification of additional feasible and reasonable measures to those identified
in the review of noise mitigation measures required by this consent that would
be
implemented with the objective of meeting the criteria outlined in the NSW
Road
Noise Policy (EPA, 2011), when these measures would be implemented and
how their effectiveness would be measured and reported to the Director-
RMS post - construction
The Applicant shall provide the Director-General and the EPA with a copy of the
Operational Noise Report within 60 days of completing the operational noise
monitoring referred to in (a) above or as othenvise agreed by the Director-
General.
RMS post - construction
Prior to the commencement of construction, the Applicant shall establish and
maintain a new website, or dedicated pages within an existing website, for the
provision of electronic information associated with the project. The Applicant
shall, subject to confidentiality, publish and maintain up-to-date information
RMS pre - construction
a) information on the current implementation status of the project; RMS pre - construction
b) a copy of the documents referred to under condition A2 of this consent, and any
documentation supporting modifications to this consent that may be granted
from
time to time;
RMS pre - construction
c) a copy of this consent and any future modification to this consent; RMS pre - construction
d) a copy of each relevant environmental approval, licence or permit required and
obtained in relation to the project;
RMS pre - construction
e) a copy of each current strategy, plan, program or other document required
under
this consent; and
RMS pre - construction
f) the outcomes of compliance tracking in accordance with the requirements of
condition D6.
RMS pre - construction
Prior to the commencement of construction, the Applicant shall ensure that the
following are available for community complaints and enquiries during the
construction period:
a) a 24 hour telephone number on which complaints and enquiries about
construction and operation activities may be registered;
RMS / Georgiou pre - construction
b) a postal address to which written complaints and enquiries may be sent; and RMS / Georgiou pre - construction
c) an email address to which electronic complaints and enquiries may be
transmitted.
RMS / Georgiou pre - construction
The telephone number, the postal address and the email address shall be
published in a newspaper circulating in the local area prior to the
commencement of construction and prior to the commencement of project
operation. The above details shall also be provided on the website (or
dedicated pages) required by this consent.
RMS / Georgiou pre - construction
COMMUNITY INFORMATION AND INVOLVEMENT
Provision of Electronic Information
Complaints and Enquiries Procedure
D10
D11
D12 The Applicant shall prepare and implement a Construction Complaints
Management System consistent with AS 4269 Complaints Handling prior to the
commencement of construction activities and must maintain the System for the
duration of construction activities.
lnformation on all complaints received, including the means by which they were
addressed and whether resolution was reached and whether mediation was
required or used, shall be maintained by the Applicant and included in a
Complaints Register. The information contained within the System shall be
made available to the Director- General on request.
RMS / Georgiou pre - construction
The Applicant shall prepare and implement a Community Gommunication
Strategy
for the project. This Strategy shall be designed to provide mechanisms to
facilitate communication between the Applicant, the Contractor, the
Environmental Representative, the relevant council and the local community
(broader and local stakeholders) on the construction and environmental
management of the project. The Strategy shall include, but not necessarily be
limited to:
RMS / Georgiou pre - construction
a) identification of stakeholders to be consulted as part of the Strategy, including
affected and adjoining landowners;
RMS / Georgiou pre - construction
b) procedures and mechanisms for the regular distribution of information to
stakeholders on the progress of the project and matters associated with
environmental management;
RMS / Georgiou pre - construction
c) procedures and mechanisms through which stakeholders can discuss or provide
feedback to the Applicant and/ or Environmental Representative in relation to
the
environmental management and delivery of the project;
RMS / Georgiou pre - construction
d) procedures and mechanisms through which the Applicant can respond to
enquires or feedback from stakeholders in relation to the environmental
management and delivery of the project; and
RMS / Georgiou pre - construction
e) procedures and mechanisms that would be implemented to resolve
issues/disputes that may arise between parties on the matters relating to
environmental management and the delivery of the project. This may include
the use of an
appropriately qualified and experienced independent mediator.
RMS / Georgiou pre - construction
f) consultation to be undertaken for the bridge naming process. RMS / Georgiou pre - construction
Key issues that should be addressed in the Community Communication Strategy
should include (but not necessarily be limited to):
RMS / Georgiou pre - construction
(i) traffic management (including property access, pedestrian access); RMS / Georgiou pre - construction
(ii) heritage matters RMS / Georgiou pre - construction
(iii) landscaping/urbn design matters RMS / Georgiou pre - construction
D13
Community Involvement
(iv) construction activities; and RMS / Georgiou pre - construction
(v) noise and vibration mitigation and management RMS / Georgiou pre - construction
The Applicant shall maintain and implement the Strategy throughout
construction of the project. The Strategy shall be approved by the Director-
General prior to the
commencement of construction.
RMS / Georgiou pre - construction
D14 Prior to the commencement of construction, or as otherwise agreed by the
Director- General, the Applicant shall nominate for the approval of the Director-
General a suitably qualified and experienced Environment Representative(s)
that is independent of the design and construction personnel. The Applicant
shall employ the Environmental Representative(s) for the duration of
construction, or as otherwise agreed by the Director-General. The Environment
Representative(s) shall:
RMS pre - construction
a) be the principal point of advice in relation to the environmental performance of
the SSI
RMS Construction
b) monitor the implementation of environmental management plans and
monitoring
programs required under this consent and advise the Applicant upon the
achievement of these plans/ programs;
RMS Construction
c) have responsibility for considering and advising the Applicant on matters
specified in the conditions of this consent, and other licences and approvals
related to the environmental performance and impacts of the SSI;
RMS Construction
d) ensure that environmental auditing is undertaken in accordance with the
Applicant's Environmental Management System(s);
RMS Construction
e) be given the authority to approve/ reject minor amendments to the CEMP.
What
constitutes a "minor" amendment shall be clearly explained in the CEMP
required under this consent;
RMS Construction
f) be given the authority and independence to require reasonable steps be taken
to
avoid or minimise unintended or adverse environmental impacts, and failing the
effectiveness of such steps, to direct that relevant actions be ceased
immediately
RMS Construction
g) be consulted in responding to the community concerning the environmental
performance of the SSI where the resolution of points of conflict between the
Applicant and the community is required.
RMS Construction
D15 Prior to the commencement of operation, the Applicant shall incorporate the
project into its existing environmental management systems.
RMS operation
ENVIRONMENTAL REPRESENTATIVE
OPERATIONAL ENVIRONMENT MANAGEMENT SYSTEM
Heading Section (G36) Statement Compliance in
CEMP
Section Notes Review
required?
Review due
date
Review
due date
Review
due date
Review
due date
Review
due date
Review
due date
Review
due date
Compliant(
Yes/No)
Notes
General Scope 1.1 When carrying out the Work Under the Contract, apply:
(a) your corporate Contractor’s Environmental Management System (CEMS) (refer to Clause 2);
(b) your project specific Contractor’s Environmental Management Plan (CEMP) (refer to Clause
3); which must be developed in accordance with this Specification, and guided by ISO 14001
Section
1.2
N/A
General Requirements 2 Develop, implement and maintain for the duration of the Contract, a Contractor’s
Environmental
Management System (CEMS) that meets the requirements of the NSW Government
Environmental
Management System Guidelines.
Section
1.2
Georgiou EMS is
certified ISO 14001
N/A
Contractors CEMP-
Preperation and Submission
of CEMP
3.1 Prepare a Contractor’s Environmental Management Plan (CEMP) for the Work Under the
Contract.
The CEMP must be prepared in accordance with NSW Department of Infrastructure, Planning
and
Natural Resources (DIPNR) publication “Guideline for the Preparation of Environmental
Management Plans”. Your CEMP must be consistent with, and incorporate, all relevant elements
Section
1.2
developed and
approved
Quarterly
(G36 Cl 3.12)
Contractors CEMP-
Preperation and Submission
of CEMP
3.1 include all relevant management measures, as a minimum, in the Water Quality Management
Program submitted to the Director-General by the Principal;
Appendix
A 11
developed and
approved
Quarterly
(G36 Cl 3.12)
Contractors CEMP-
Preperation and Submission
of CEMP
Annexure A2 include all relevant management measures, as a minimum, in the Vegetation Management
Plan submitted to the Director-General by the Principal (refer to Annexure G36/J);
developed and
approved
Quarterly
(G36 Cl 3.12)
Contractors CEMP-
Preperation and Submission
of CEMP
Annexure A2 include all relevant management measures, as a minimum, in the Project Specific Template
CEMP, including Sub-plans (refer to Annexure G36/K);
developed and
approved
Quarterly
(G36 Cl 3.12)
Contractors CEMP-
Preperation and Submission
of CEMP
Annexure A2 include a Waterway Management Plan. developed and
approved
Quarterly or
is procedures
are not
effective
Contractors CEMP-
Preperation and Submission
of CEMP
Annexure A2 Include any Sub-Plans specified in Annexure G36/A2 that are required to address specific issues. developed and
approved
Quarterly
(G36 Cl 3.12)
Contractors CEMP-
Preperation and Submission
of CEMP
Annexure A2 Traffic Management Sub-plan Combined within
FFMP
Quarterly
(G36 Cl 3.12)
Contractors CEMP-
Preperation and Submission
of CEMP
Annexure A2 Soil and water management sub-plans Combined within
FFMP
Quarterly
(G36 Cl 3.12)
Contractors CEMP-
Preperation and Submission
of CEMP
Annexure A2 Contaminated Land Management Sub-Plan Combined sub-plan
with non-Aboriginal
heriatge plan
Quarterly
(G36 Cl 3.12)
Contractors CEMP-
Preperation and Submission
of CEMP
3.1 Air Quality Management Sub-Plan developed and
approved
Quarterly
(G36 Cl 3.12)
Contractors CEMP-
Preperation and Submission
of CEMP
3.1 Nosie and Vibration Management Sub-plan
Contractors CEMP-
Preperation and Submission
of CEMP
3.1 Flora and Fauna Management Sub-plan
Contractors CEMP-
Preperation and Submission
of CEMP
3.1 Heritage Management Sub-plan
CEMP Preperation Auditing
Windsor Bridge Replacement - Compliance Tracking Matrix
G36 - Environmental Protection
Contractors CEMP-
Preperation and Submission
of CEMP
3.1 Waste Management Sub-plan
Contractors CEMP-
Preperation and Submission
of CEMP
3.1 Pollution Incident Response Management Plan
Contractors CEMP-
Preperation and Submission
of CEMP
3.1 The CEMP must also include the following elements:
(a) a description of activities to be undertaken during construction or stages of construction, as
relevant;
Contractors CEMP-
Preperation and Submission
of CEMP
3.1 (b) statutory and other obligations that you are required to fulfil during construction including
approvals, consultations and agreements required from agencies and key legislation and
policies. Evidence of consultation with relevant agencies shall be included identifying how
issues raised by these agencies have been addressed in the CEMP;
Contractors CEMP-
Preperation and Submission
of CEMP
3.1 c) a description of the roles and responsibilities for relevant employees involved in the
construction including relevant training and induction provisions for ensuring that
employees, including contractors and sub-contractors are aware of their environmental and
compliance obligations;
Contractors CEMP-
Preperation and Submission
of CEMP
3.1 d) identification of ancillary facility site locations, including an assessment against the
following location criteria:
Contractors CEMP-
Preperation and Submission
of CEMP
3.1 (i) be located more than 50 metres from a waterway;
(ii) be located within or adjacent to land where the SSI is being carried out;
(iii) have ready access to the road network or direct access to the construction corridor;
(iv) be located to minimise the need for heavy vehicles to travel through residential areas;
(v) be sited on relatively level land;
(vi) be separated from nearest residences by at least 200 metres (or at least 300 metres for
a temporary batching plant);
(vii) not require vegetation clearing beyond that already required by the SSI;
(viii) not be located within the Thompson Square Conservation Area;
(ix) not impact on Heritage items (including identified Aboriginal cultural value and
archaeological sensitivity) beyond those already impacted by the SSI and not have any
additional impacts to those heritage items impacted by the proposal;
(x) not unreasonably affect the land use of adjacent properties;
(xi) be above the 20 ARI flood level unless a contingency plan to manage flooding is
prepared and implemented; and
(xii) provide sufficient area for the storage of raw materials to minimise, to the greatest
extent practical, the number of deliveries required outside standard construction
hours.
Contractors CEMP-
Preperation and Submission
of CEMP
3.1 Where this criterion is unable to be met for any proposed ancillary facility, an assessment
demonstrating how the potential environmental impacts can be mitigated and managed to
acceptable standards will be undertaken. This assessment shall include:
Contractors CEMP-
Preperation and Submission
of CEMP
3.1 (i) a description of the Ancillary Facility, its components and the surrounding
environment;
(ii) details on the activities to be carried out at the facility, including the hours of use and
the storage of dangerous and hazardous goods;
(iii) an assessment of the environmental impacts on the site and the surrounding
environment, including, but not limited to noise, vibration, air quality, traffic access,
flora and fauna, heritage and light spill;
(iv) details on the mitigation, monitoring and management procedures specific to the
Ancillary Facility that would be implemented to minimise the environmental impacts
or, where this is not possible, feasible and reasonable measures to offset these impacts
and an assessment of the adequacy of the mitigation or offsetting measures. This shall
include consideration of restrictions on the hours of use or exclusion of certain
activities;
(v) details on the timing for the completion of activities at the ancillary facility and how
the site will be decommissioned (including any necessary rehabilitation); and
(vi) demonstrated overall consistency with the approved project.
Contractors CEMP-
Preperation and Submission
of CEMP
3.1 The Principal will provide any necessary consistency assessment for the site it is to lease on the
northern side of the river as detailed RMS G1 clause 4, paragraph 2. This consistency assessment
may be used by the Contractor in preparing an Ancillary Facilities Assessment.
Contractors CEMP-
Preperation and Submission
of CEMP
3.1 (e) an environmental risk analysis to identify the key environmental performance issues
associated with the construction phase and details of how environmental performance would
be monitored and managed to meet acceptable outcomes including what actions must be
taken to address identified potential adverse environmental impacts. In particular, the
following environmental performance issues shall be addressed in the CEMP:
Contractors CEMP-
Preperation and Submission
of CEMP
3.1 (i) measures to monitor and manage dust emissions including dust from stockpiles, traffic
on unsealed public roads and materials tracking from construction sites onto public
roads;
Contractors CEMP-
Preperation and Submission
of CEMP
3.1 (ii) measures to minimise hydrology impacts, including measures to stabilise bed and bank
structures as required;
Contractors CEMP-
Preperation and Submission
of CEMP
3.1 (iii) measures to monitor and manage impacts associated with the construction and
operation of ancillary facilities;
Contractors CEMP-
Preperation and Submission
of CEMP
3.1 (iv) measures for the handling, treatment and management of contaminated materials;
Contractors CEMP-
Preperation and Submission
of CEMP
3.1 (v) measures to monitor and manage waste generated during construction including but
not necessarily limited to: general procedures for waste classification, handling, reuse,
and disposal; use of secondary waste material in construction wherever feasible and
reasonable; procedures for dealing with green waste including timber and mulch from
clearing activities; and measures for reducing demand on water resources (including
the potential for reuse of treated water from sediment control basins);
Contractors CEMP-
Preperation and Submission
of CEMP
3.1 (vi) measures to monitor and manage spoil, fill and materials stockpile sites including
details of how spoil, fill or material would be handled, stockpiled, reused and disposed
and a stockpile management protocol detailing locational criteria that would guide the
placement of stockpiles and management measures that would be implemented to
avoid/ minimise amenity impacts to surrounding residents and environmental risks
(including to surrounding water courses). Stockpile sites that affect heritage,
threatened species, populations or Endangered Ecological Communities require the
approval of the Director-General, in consultation with the OEH;
Contractors CEMP-
Preperation and Submission
of CEMP
3.1 (vii) measures to monitor and manage hazard and risks including emergency management;
and
Contractors CEMP-
Preperation and Submission
of CEMP
3.1 (viii) measures to notify the Director-General and other relevant government agencies of
any incident with actual or potential significant off-site environmental impacts on
people or the biophysical environment as soon as practicable and within 24 hours after
the occurrence of the incident. You shall provide full written details of the incident to
the Director-General within seven days of the date on which the incident occurred.
Where an incident also requires reporting to the NSW Heritage Council, the OEH
and/or EPA the incident report prepared for the purposes of notifying the NSW
Heritage Council, the OEH and/or EPA would meet this requirement.
Contractors CEMP-
Preperation and Submission
of CEMP
3.1 (f) details of community involvement and complaints handling procedures during construction
that are, as a minimum, consistent with the Community and Stakeholder Engagement Plan
prepared by the Principal;
Contractors CEMP-
Preperation and Submission
of CEMP
3.1 (g) details of compliance and incident management to meet the requirements of the Director-
General or relevant government agency (as determined by the Director-General) to address
the cause or impact of any incident within such period as the Director-General may require;
and
Contractors CEMP-
Preperation and Submission
of CEMP
3.1 (h) procedures for the periodic review and update of the CEMP and sub-plans as necessary
(including where minor changes can be approved by the Principal’s Environmental
Representative).
CEMS Documents to be
Provided with the CEMP
3.1 Provide the following documents together with the CEMP:
CEMS Documents to be
Provided with the CEMP
3.1 (a) Incident Reporting and Investigation procedure;
CEMS Documents to be
Provided with the CEMP
3.1 (b) Nonconformity and Corrective and Preventive Action procedure;
CEMS Documents to be
Provided with the CEMP
3.1 (c) Complaints Handling procedure;
CEMS Documents to be
Provided with the CEMP
3.1 (d) Environmental Monitoring and Site Inspections procedure;
CEMS Documents to be
Provided with the CEMP
3.1 (e) EWMS for Clearing and Grubbing, Work in Environmentally Sensitive Areas, Work in
River, Work in Acid Sulfate Soils, Work involving Coal Tar Asphalt, Work involving
Removal of Asbestos and Demolition of Existing Bridge.
HOLD POINT Commencement of Work not previously addressed by CEMS and CEMP documents and authorised
by earlier Hold Point release.
At least 10 30 working days prior to the proposed commencement of the stage of Work Under
the Contract nominated in the submission by you, submit the CEMP and associated Sub-Plans
and/or EWMS, as well as the CEMS documents listed in Clause 3.1.
Planning-Environmental
Risk Assessment Workshop
3.2.1 Nominated in Annexure G36/A and prior to commencement of any work on Site, carry out an
environmental risk assessment workshop to identify all the environmental constraints
associated with the Work Under the Contract and address the environmental risks associated
with the constraints and activities you propose to undertake.
CRAW workshop has
been conducted
addressing Env risks
6 monthly or
in the event
of an
incident
Planning-Environmental
Risk Assessment Workshop
3.2.1 Use the environmental risk assessment workshop to develop risk mitigation and management
strategies to eliminate or reduce the risk exposure. These risk mitigation strategies must be
consistent with the environmental safeguards and management measures listed in the
Environment Assessment documents listed in Annexure G36/A3 and with the RMS Biodiversity
Guidelines. Incorporate these risk mitigation strategies into your CEMP.
CRAW workshop has
been conducted
addressing Env risks
N/A
Planning-Environmental
Risk Assessment Workshop
3.2.1 Use the workshop to raise general awareness of good environmental management practices
among your staff and subcontractors working on the Site and to develop ideas and actions to
improve environmental practices and to develop an audit and inspection program for the works.
CRAW workshop has
been conducted
addressing Env risks
N/A
Planning-Environmental
Risk Assessment Workshop
3.2.1 Participants must include your site management staff, your Environmental Site Representative
(refer Clause 3.3) and any other personnel including subcontractors who will be performing the
Work Under the Contract. Provide the Principal at least ten (10) days prior to the workshop
with an agenda and any supporting information to allow for representatives of the Principal to
also attend the workshop.
CRAW workshop has
been conducted
addressing Env risks
N/A
Planning-Environmental
Risk Assessment Workshop
3.2.1 Review the environmental risk assessment regularly to ensure it remains relevant for the
duration of the Work Under the Contract.
CRAW workshop has
been conducted
addressing Env risks
6 monthly or
in the event
of an
MUST COMPLETE Environmental Risk Assessment Workshop - 10 days prior to workshop
Planning-Regulatory
Requirements and
Compliance
3.2.2 The CEMP must identify your obligations under environmental legislation that are relevant to
the Work Under the Contract, including those listed in Annexure G36/M.
N/A
Planning-Regulatory
Requirements and
Compliance
3.2.2 Ascertain from the appropriate authorities what other approvals, licences and permits are
required for the Work Under the Contract.
N/A
Planning-Regulatory
Requirements and
Compliance
3.2.2 Obtain each necessary approval, licence and permit not obtained by the Principal prior to the
commencement of any work which relates to that approval, licence, notification or permit.
Include copies of such approvals, licences and permits in the CEMP.
No other
permits/approvals
required
N/A
Planning-Regulatory
Requirements and
Compliance
3.2.2 Include in your CEMS a compliance tracking program and keep the program up to date. Appendix
A 1
This spreadsheet N/A
HOLD POINT Commencement of any work requiring approval, licence and/or permit from an appropriate
authority. At least 5 days prior to commencement of works
Environmental Objectives
and Targets
3.2.3 Include in the CEMP environmental objectives and targets for the Work Under the Contract
which must be consistent with RMS Environment Policy Statement.
Section
1.2
covered in CEMP N/A
Environmental Objectives
and Targets
3.2.3 The environmental objectives and targets must be measurable where practicable, are realistic
and relevant to the Work Under the Contract, and include a commitment to continuous
improvement of your CEMS.
Section
1.2
have been
considered with
CEMP development
N/A
Environmental Objectives
and Targets
3.2.3 When establishing environmental objectives and targets, take into account the following: Section
5.4
Future activity N/A
Environmental Objectives
and Targets
3.2.3 (a) the environmental outcomes for the project as described in the Environment Assessment
documents listed in Annexure G36/A3;
Section
3.2 &
Appendix
C18
N/A
Environmental Objectives
and Targets
3.2.3 (b) the results of the environmental risk assessment workshop;
Environmental Objectives
and Targets
3.2.3 (c) any applicable legal and other requirements;
Environmental Objectives
and Targets
3.2.3 (d) any technological, operational or other constraints or limitations.
Environmental Work
Method Statements
3.2.4 In addition to those specified elsewhere in Specifications RMS G36, G38 and/or G40, prepare
EWMS and implement them as part of the Work Under the Contract for the following activities:
Scour protection on both sides of the river.
Environmental Work
Method Statements
3.2.4 The EWMS must include at least the following elements:
(a) Description of the work activity, including any plant and equipment to be used;
(b) Outline of the sequence of tasks for the activity, including interfaces with other
construction
activities;
(c) Identification of any environmental and/or socially sensitive areas, sites or places;
(d) Identification of potential environmental risks/impacts due to the work activity;
(e) Mitigation measures to reduce the identified environmental risk, including assigned
responsibilities to site management personnel;
(f) Process for assessing the performance of the implemented mitigation measures.
Environmental Work
Method Statements
3.2.4 Develop the EWMS in consultation with the relevant site management personnel to ensure that
all
issues are addressed, methods and activities are practical and all personnel are aware of their
commitments and responsibilities. Review the EWMS periodically to ensure its effectiveness and
proper implementation and incorporate any improvements or changes identified into
subsequent
Planning-Resources,
Responsibilities and
Authority
3.3 The CEMP must indicate the names, responsibilities and authority of your site management
personnel who have primary responsibility for developing, implementing and maintaining the
CEMS and the CEMP for the Work Under the Contract, and rectifying any environmental
nonconformities identified by you or the Principal.
Yes Section
4.2
the CEMP covers this N/A
Planning-Resources,
Responsibilities and
Authority
3.3 Nominate in the CEMP a full-time Environmental Site Representative (ESR) who will be the
authorised contact person for communications with the Principal, the Principal’s Environmental
Representative, the Principal’s Heritage Manager and the EPA on all environmental matters.
The ESR must have tertiary qualification in Environmental Science, Environmental Engineering
or
equivalent, and a minimum of 5 years experience in environmental management on road
construction
or other equivalent works. The ESR must also have a minimum of two (2) years experience in
environmental management of construction works assessed under Part 5.1 of the Environmental
Planning and Assessment Act.
Yes Before
intro of
CEMP
the CEMP covers this N/A
Planning-Resources,
Responsibilities and
Authority
3.3 Where your designated Environmental Management Representative, with the qualifications and
experience specified in Clause 10.8 of RMS G1, will be based mainly off-site, detail in the CEMP
the
relationship between the Environmental Management Representative and the ESR.Planning-Resources,
Responsibilities and
Authority
3.3 The ESR’s responsibilities and authority include the following:
(a) advising on environmental matters specified in this Specification;
(b) liaison with the Principal the Principal’s Environmental Representative, the Principal’s
Heritage Manager and with all relevant authorities on environmental matters;
(c) maintaining a register of all environmental management documents for the Contract;
(d) ensuring that the CEMP is established, implemented and maintained in compliance with this
Specification, including all Sub-Plans, procedures and supplementary EWMS, and upgrades to
these documents (as needed) to remain current with the progress of the Works;
(e) overall responsibility for the establishment, management, monitoring and maintenance of
erosion and sediment controls within the Site;
(f) carrying out regular inspections and auditing of the works to ensure that environmental
safeguards are being followed;
(g) identifying where the implemented environmental measures are not meeting the targets
set, and identifying areas where improvement can be achieved;
(h) preparing monthly reports outlining the works that have been undertaken and the
achievements that have been met, as well as identifying those areas where improvements were
made;
(i) facilitating environmental induction and toolbox talks for all site personnel;
(j) specific authority to stop work on any activity where the ESR deems it necessary to prevent
environmental nonconformities;
(k) notification to the relevant parties of any environmental incidents.
Planning-Resources,
Responsibilities and
Authority
3.3 The CEMP must include details of the role, qualifications and responsibilities of the ESR and any
critical site activities that require the presence of the ESR.
Planning-Selection and
Management of
Subcontractors
3.4 Include a requirement to comply with the CEMP in all contractual arrangements with your
subcontractors.
N/A
Planning-Selection and
Management of
Subcontractors
3.4 For subcontracted work, include in the CEMP the procedures that you will implement for
ensuring subcontractor compliance, including details of:
(a) the duties of each subcontractor for planning, implementing and monitoring environmental
protection measures and for keeping environmental records;
(b) the duties you will retain for environmental protection of subcontracted work;
(c) how environmental protection measures on subcontracted work interact with adjacent work
areas, as applicable; and
(d) your surveillance program to monitor the effectiveness of each subcontractor’s
environmental protection measures together with the relevant project documentation.
N/A
Planning-Competence,
Training and Awareness
3.5 Provide to all your staff including plant operators, truck drivers and subcontractor personnel
working on the Site with environmental training to achieve a level of competence and
awareness appropriate to their assigned activities before they commence their assigned
activities. Do not permit anyone who has not undergone the appropriate environmental
training to work on the Site.
Yes Section
4.3 and 5
6 monthly
(G36, Cl3.5)
Planning-Competence,
Training and Awareness
3.5 The CEMP must include a site-specific environmental induction and training plan that describes
the minimum level of training, experience and/or qualifications required for staff and
subcontractors working on the Site, the names of the persons to be trained, the proposed
frequency of training and the procedures for training.
Yes Section 5 6 monthly
(G36, Cl3.5)
Planning-Competence,
Training and Awareness
3.5 Environmental induction training must cover all elements of the CEMP and must include, as a
minimum, the following:
(a) purpose and objectives of the CEMP;
(b) requirements of due diligence and duty of care;
(c) conditions of environmental licences, permits and approvals;
(d) potential environmental emergencies on Site and the emergency response procedures;
(e) reporting and notification requirements for pollution and other environmental incidents;
(f) high-risk activities and associated environmental safeguards, e.g. earthworks, vegetation
clearing, night works, operation and maintenance of concrete washouts, and washing,
refuelling
and maintenance of plant and equipment;
(g) working in or near environmentally sensitive areas including heritage which must contain
information on heritage values and items in the area and on environmental management
measures to minimise potential heritage impacts;
(h) protecting the biodiversity of the area;
(i) waste management measures.
Yes Section
5.2
6 monthly
(G36, Cl3.5)
Planning-Competence,
Training and Awareness
3.5 Establish and maintain a register of environmental training carried out, including dates, names
of persons trained and trainer details.
Yes N/A
Planning-Working Hours 3.6 In the context of this clause, normal working hours are from Monday to Friday between 7.00 am
to 6.00 pm and Saturday between 8.00 am to 1.00 pm inclusive, but excluding public holidays.
Yes Appendix
A11
N/A
Planning-Working Hours 3.6 The CEMP must include a procedure for notifying the Principal, all relevant Authorities and the
community, in advance of any proposal to work outside of these working hours. Such changes
in working hours must comply with all licences, permits, approvals, consents, notification,
statutory requirements, etc and have been appropriately justified and assessed.
Yes Appendix
A12
N/A
Planning-Working Hours 3.6 Any approval by the Principal to work outside the normal working hours detailed above is
conditional on you liaising with the community (refer to Clause 3.7), and complying with the
requirements of Clause 4.6.
Yes Appendix
A13
N/A
Planning-Working Hours 3.6 Work outside of normal working hours is permitted without prior approval by the Principal in
the following circumstances:
(a) delivery of materials outside of normal working hours, where delivery at such times is
required by the Police or other authorities for reasons of safety or otherwise and does not
impact traffic on the M1 Pacific Motorway;
(b) work during an emergency, where such work is necessary to avoid the loss of lives, property
and/or prevent environmental harm.
Yes Appendix
A14
N/A
Planning-Working Hours 3.6 Construction works outside of the normal working hours may be undertaken in the following
circumstances:
(a) construction works that generate noise that is:
(i) no more than 5 dB(A) above rating background level at any residence in accordance
with the Interim Construction Noise Guideline; and
(ii) no more than the noise management levels specified in Table 3 of the Interim Construction
Noise Guideline at other sensitive receivers; or
(b) works as approved through the out-of-hours work protocol outlined in the CEMP.
Planning-Working Hours 3.6 Activities resulting in impulsive or tonal noise emission (such as rock breaking, rock hammering,
pile driving) shall only be undertaken:
(a) between the hours of 8:00 am to 5:00 pm Monday to Friday;
(b) between the hours of 8:00 am to 1:00 pm Saturday; and
(c) in continuous blocks not exceeding three hours each with a minimum respite from those
activities and works of not less than one hour between each block.
Planning-Working Hours 3.6 For the purposes of this requirement 'continuous' includes any period during which there is less
than a one hour respite between ceasing and recommencing any of the work the subject of this
requirement.
Planning-Communication 3.7 Describe in the CEMP the processes for external and internal communication in relation to the
environmental aspects of the Work Under the Contract.
Make all staff and subcontractors working on the Site aware of these external and internal
communications procedures and are properly trained in their application.
N/A
Planning-Communication 3.7 The CEMP must be, as a minimum, consistent with the Community and Stakeholder Engagement
Plan prepared by the Principal.
N/A
Planning-Communication:
Liason with EPA
3.7.1 The CEMP must identify at least two persons (together with their contact telephone numbers)
who will be available to be contacted by the EPA on a 24 hour basis and who have authority to
take immediate action to shut down any activity, or to effect any pollution control measure, as
directed by an authorised officer of the EPA.
Before
intro to
CEMP
N/A
Planning-Communication:
Liason with EPA
3.7.1 Immediately notify the Principal of any visit to the Site by the EPA. Prepare a report for each
occasion when the Site is visited by the EPA, notifying the Principal of the purpose and
outcome of
the EPA visit, and of all actions taken by you in response to the EPA visit. Submit this report to
the Principal within one working day of the EPA site visit.
Yes Section
6.2
N/A
Planning-Communication:
Liason with EPA
3.7.1 Report any pollution of the waterway to the EPA and the Principal immediately in accordance
with the notification requirements of the Protection of the Environment Operations Act 1997
(POEO Act).
Yes Appendix
A2
6 monthly
Planning-Communication:
Liason with EPA
3.7.1 Develop your Construction Noise and Vibration Sub-plan and Construction Soil and Water Quality
Management Sub-plan in consultation with the EPA.
Planning-Communication:
Community Liason and/or
Notification
3.7.2 Prepare a Community Communication Strategy to include all relevant measures, as a minimum,
in
the Community and Stakeholder Engagement Plan prepared by the Principal (refer to Annexure
G36/A3). The Strategy shall be designed to provide mechanisms to facilitate communication
between the Principal, the Contractor, the Principal’s Environmental Representative,
Hawkesbury City Council and the local community (broader and local stakeholders) on the
construction and environmental management of the Works. The Strategy shall include, but not
necessarily be limited
to:
Planning-Communication:
Community Liason and/or
Notification
3.7.2 (a) identification of stakeholders to be consulted as part of the Strategy, including affected and
adjoining landowners;
Planning-Communication:
Community Liason and/or
Notification
3.7.2 (b) procedures and mechanisms for the regular distribution of information to stakeholders on
the progress of the Works and matters associated with environmental management;
Planning-Communication:
Community Liason and/or
Notification
3.7.2 (c) procedures and mechanisms through which stakeholders can discuss or provide feedback to
the Contractor and/ or Principal’s Environmental Representative in relation to the
environmental management and delivery of the Works;
Planning-Communication:
Community Liason and/or
Notification
3.7.2 (d) procedures and mechanisms through which the Contractor can respond to enquiries or
feedback from stakeholders in relation to the environmental management and delivery of the
Works; and
Planning-Communication:
Community Liason and/or
Notification
3.7.2 (e) procedures and mechanisms that to resolve issues/ disputes that may arise between parties
on the matters relating to environmental management and the delivery of the Works. This may
include the use of an appropriately qualified and experienced independent mediator.
Planning-Communication:
Community Liason and/or
Notification
3.7.2 Key issues that must be addressed in the Community Communication Strategy include (but not
necessarily be limited to):
(i) traffic management (including property access, pedestrian access);
(ii) heritage matters;
(iii) landscaping/urban design matters;
(iv) construction activities; and
(v) noise and vibration mitigation and management.
Planning-Communication:
Community Liason and/or
Notification
3.7.2 The Strategy shall be approved by the Director General prior to the commencement of
construction.
You shall maintain and implement the Strategy throughout duration of the Works.
Planning-Communication:
New or Changed
Construction Activities
3.7.2.1 Notify local residents and local businesses about any new or changed construction activities
which will affect access to their properties or otherwise disrupt the residents’ use of their
premises, at least 5 working days before commencing work affecting residents or businesses.
N/A
Planning-Communication:
New or Changed
Construction Activities
3.7.2.1 Consult with operators of the Hawkesbury Paddle Wheeler prior to construction to identify
and implement appropriate measures to manage the temporary access changes to Windsor
wharf for passengers, people with disabilities, service vehicles and emergency services.
N/A
Planning-Communication:
New or Changed
Construction Activities
3.7.2.1 Such notification must state the nature of the work, why it is necessary, the expected
duration,
details of any changes to the traffic arrangements or property access and the name and contact
telephone number of your representative who can respond to any resident concerns.
N/A
Planning-Communication:
New or Changed
Construction Activities
3.7.2.1 Address any concerns raised by residents in accordance with the complaints procedure as
required under Clause 3.7.3, or in accordance with any licence or approval held by you.
N/A
Planning-Communication:
Extended Working Hours -
No Environment Protection
Licence
3.7.2.2 Following approval from the Principal on each instance to extend working hours, inform
affected residents by letter of the location, nature, scope and duration of the proposed work
outside normal working hours, not less than 5 working days and not more than 10 working
days, before commencing such work.
Will have at the end
of this month (April)
as works only began
27th of March
N/A
Planning-Communication:
Extended Working Hours -
No Environment Protection
Licence
3.7.2.2 Include the name and contact telephone number of your representative for residents can
to contact over any concerns about extended working hours and any other information
required by any licence or approval held by you.
N/A
Planning-Communication:
Extended Working Hours -
No Environment Protection
Licence
3.7.2.2 Refer to RMS publication "Construction Noise and Vibration Guideline” when preparing the
letter and notifying the affected residents.
N/A
Planning-Communication:
Complaints Management
3.7.3 Within one working day of receiving a complaint about any environmental issue, including any
pollution incidents, arising from the Work Under the Contract, submit a written report to the
Principal detailing the complaint and the action taken to remedy the problem. A final report
together with your proposed measures to prevent the recurrence of such incidents must be
submitted to the Principal within 5 working days.
N/A
Planning-Communication:
Complaints Management
3.7.3 Keep a register of all complaints, which must include the following details:
(a) date and time of complaint;
(b) method by which the complaint was made (telephone, letter, meeting, etc);
(c) name, address, contact telephone number of complainant (if no such details were provided,
a
note to that effect);
(d) nature of complaint;
(e) action taken in response including follow up contact with the complainant.;
(f) any monitoring to confirm that the complaint has been satisfactorily resolved;
(g) if no action was taken, the reasons why no action was taken by you.
N/A
Planning-Communication:
Complaints Management
3.7.3 The management of complaints must be consistent with AS 4269. The complaints system must
be
prepared and implemented prior to the commencement of construction and must be
maintained for the duration of construction activities.
N/A
Planning-Communication:
Complaints Management
3.7.3 The information in the register must be made available to the Director-General on request. 6 monthly
Planning- Emergency
Planning
3.8 The CEMP must include details of:
(a) your key emergency response personnel, their respective responsibilities and contact details
including all-hours contact telephone numbers;
(b) emergency services (e.g. ambulance, fire brigade, spill clean-up services);
(c) your communication strategy, both internal and external (refer to Clause 3.7), during
emergencies;
(d) any identified potential environmental emergencies that may occur on Site, and the
response
procedures for these emergencies;
(e) frequency of tests of the emergency response procedures.
Contacts
in CEMP
N/A
Planning- Emergency
Planning
3.8 Induct all staff and subcontractors working on the Site about the potential environmental
emergencies, and provide training in implementing the relevant environmental safeguards and
risk mitigation measures.
Appendix
A3
6 monthly
Planning- Contractors
Monitoring, Inspection and
Auditing
3.9 Include in the CEMP procedure(s) to monitor and measure, on a regular basis, your
environmental management performance and to evaluate compliance with this Specification.
This includes any monitoring required outside of normal work hours and days. The procedures
must contain the scope, methodology and responsibilities for its implementation.
6 monthly
Planning- Contractors
Monitoring, Inspection and
Auditing
3.9 Undertake regular site environmental inspections to assess the adequacy and effectiveness of
your environmental controls. The site environmental inspections must cover the following:
(a) high risk activities and processes;
(b) work in environmentally sensitive areas;
(c) site preparedness for adverse weather conditions, including adequacy of environmental
controls
and availability of emergency equipment.
Yes 6 monthly
Planning- Contractors
Monitoring, Inspection and
Auditing
3.9 Undertake vibration testing on high risk plant to determine site specific buffer distances and
implement management measures to control construction noise and vibration.
Yes 6 monthly
Planning- Contractors
Monitoring, Inspection and
Auditing
3.9 Include in the CEMP a risk-based auditing program to verify that the Work Under the Contract
meets the requirements of this Specification. The program must specify the type of audits to
be conducted, their scope and their frequency.
Yes 6 monthly
Planning- Contractors
Monitoring, Inspection and
Auditing
3.9 Conduct all your internal and external environmental audits for the Work Under the Contract in
accordance with AS/NZS ISO 19011.
Yes Amend after
audit if
required
Planning-Environmental
Nonconformities
3.10 If you fail to meet your environmental obligations under the Contract, including:
(a) failure by you or your subcontractors to conform to any requirements of this Specification,
your CEMS and CEMP; or
(b) failure by you to act promptly when you, the Principal, or any statutory authority having
jurisdiction over the Work Under the Contract, observe that the implemented environmental
controls are not effective; or
(c) failure by you to provide safeguards against a Category 1 incident as detailed in the RMS
“Environmental Incident Classification and Reporting Procedure”,
a Hold Point may apply.
Yes 6 monthly
HOLD POINT Any activity that causes or has the potential to cause harm to the
environment due to your failure to meet your environmental obligations
under the Contract.
Verification that the failure has been rectified, and details of the measures
implemented to prevent recurrence.
Planning-Records of
Environmental Activities
3.11 Maintain, as part of the project records in accordance with RMS Q Annexure Q/E, legible
environmental records of all environmental activities associated with Work Under the Contract
to
demonstrate compliance with the CEMS and CEMP. The records must include:
(a) site environmental inspection reports;
(b) environmental monitoring data and reports;
(c) internal and external audit reports;
(d) reports of environmental incidents, environmental complaints, associated actions taken,
and
follow-up actions;
(e) minutes of management review meetings;
Yes 6 monthly
Planning-Records of
Environmental Activities
3.11 You must hold these records for at least five years after the Actual Completion Date, and must
make these records available to the Principal and authorised EPA officers upon request.
Yes Future N/A
Planning-Management
Review
3.12 Develop a documented process to periodically review the effectiveness and proper
implementation of the CEMP. The management review process must identify opportunities for
continual improvement of your environmental management processes and practices, and ensure
that the CEMS and CEMP remain relevant to the Work Under the Contract.
Yes N/A
Planning-Management
Review
3.12 The management reviews must be undertaken at least quarterly and must include the
Principal’s
participation. The management reviews must comprise as a minimum the following:
(a) identification of areas of opportunity for improved environmental performance;
(b) analysis of the causes of nonconformities and deficiencies, including those identified in
environment inspections and audits;
(c) verification of the effectiveness of corrective and preventative actions;
(d) highlighting any changes in procedures resulting from process improvement.
Yes Section 9 Review listed as
annually or as a
result of changes
N/A
Operational Control-Soil
and Water Management
4.1 Comply with the requirements of Specification RMS G38 for soil and water management. Appendix
A1
6 monthly
Operational Control- Areas
of known contamination
4.2. The archaeological investigation over the period August to December 2016 identified asbestos
contamination in the archaeological test pits NA2 and SA37 at the locations shown in Annexure
G36/I. The test pits were abandoned without any remedial work to remove the asbestos
contaminated material.
Appendix
A10
6 monthly
Operational Control-
Contaminated Land
Management Plan
4.2.2 Include in your CEMP a Contaminated Land Management Sub-Plan, which must comply with the
Contaminated Land Management Act 1997 (NSW), RMS publication “Contaminated Land
Management Guideline”, RMS “Environmental Incident Classification and Reporting Procedure”,
and EPA guidelines on contaminated land management.
Operational Control-
Contaminated Land
Management Plan
4.2.2 The Contaminated Land Management Sub-Plan must provide for dealing with:
(a) areas of known contamination (if applicable);
(b) unexpected contamination finds;
(c) any land contamination caused by you.
Operational Control-
Unexpected Contamination
Find
4.2.3 Prior to commencement of excavation undertake a Site audit to identify potential areas of
contamination and prepare a report on the findings for submission to the Principal.
Yes Appendix
A10
6 monthly
Operational Control-
Unexpected Contamination
Find
4.2.3 Visually monitor material during excavations to identify potential contaminated material or
soils.
Yes Appendix
A10
N/A
Operational Control-
Unexpected Contamination
Find
4.2.3 Implement procedures to ensure that contaminated material is identified and removed to avoid
mixing with non-contaminated material.
Yes Appendix
A10
N/A
Operational Control-
Unexpected Contamination
Find
4.2.3 If asbestos is discovered, undertake the work in accordance with How to Manage and Control
Asbestos in the Workplace and How to Safely Remove Asbestos. Carry out air monitoring if a
risk
assessment, as described by How to Manage Work Health and Safety Risks, indicates the need
for
one.
Yes Appendix
A10
N/A
Operational Control-
Unexpected Contamination
Find
4.2.3 Promptly notify the Principal of any suspected or potential contamination exposed during
construction activities, and cease all work activities within the vicinity of actual or suspected
contaminated land.
Operational Control-
Remediation Action Plan
4.2.4 If a Remedial Action Plan is not provided by the Principal, prepare a Remediation Action Plan
for remediating the known areas of contamination or an unexpected contamination find, and
areas of potential contamination in their immediate vicinity.
Yes Appendix
A10
N/A
Operational Control-
Remediation Action Plan
4.2.4 The Remediation Action Plan must be prepared in accordance with EPA guidelines on
contaminated land management, and must include the following:
(a) testing requirements for any contaminated material prior to its disposal off site;
Yes Appendix
A10
N/A
Operational Control-
Remediation Action Plan
4.2.4 (b) validation plan, which must include the area in the immediate vicinity of (both below and
adjacent to) the known contamination;
Yes Appendix
A10
N/A
Operational Control-
Remediation Action Plan
4.2.4 (c) implications of the validation results on the waste classification for material that may be
excavated in the vicinity of the known contamination.
Yes Appendix
A10
N/A
HOLD POINT Where the Remedial Action Sub-Plan is to be prepared by the Contractor for activities within
the vicinity of the actual or suspected contaminated land. Submission at least 5 working days
prior. The Principal will consider the submitted documents prior to
authorising the release of the Hold Point. The Principal may request additional information in
respect of the submitted
Operational Control-
Surface Runoff
4.2.5 Plan and execute the Work Under the Contract so as to minimise the possibility of pollution of
the
Site and adjoining areas by chemicals, dangerous goods and other potential contaminants.
Comply with the requirements in the following:
relevant legislation and Australian Standards;
EPA “Bunding and Spill Management Guidelines” contained within EPA “Environmental
Protection Manual for Authorised Officers”;
RMS “Code of Practice for Water Management”.
Yes
Operational Control-Spill
Prevention and Response
4.3 Store chemicals, fuel and lubricants in suitably located and bunded areas to minimise the
impact of
any spillage or contamination on the Site and adjoining areas. Do not locate these storage areas
within 50 m of any aquatic habitat, flood prone areas, or on slopes steeper than 1:10.Operational Control-Spill
Prevention and Response
4.3 Provide a minimum bund volume of 110% of the volume of the largest single stored volume of
liquids within the bund.
Operational Control-Spill
Prevention and Response
4.3 Do not refuel or maintain plant and equipment, mix cutting oil with bitumen, or carry out any
other activity which may result in spillage of a chemical, fuel or lubricant at any location which
drains directly to waters or environmentally sensitive areas, without the appropriate temporary
bunding being provided. Do not leave refuelling operations unattended.
Operational Control-Spill
Prevention and Response
4.3 As part of the CEMP, prepare a procedure(s) for the following activities, as a minimum, to
minimise
the possibility of pollution of the Site:
(a) refuelling or maintenance and cleaning of plant and equipment including concrete agitators,
bitumen spray bars and asphalt pavers;
(b) on-site batching of concrete and asphalt;
(c) mixing of bitumen with cutting oil and additives;
(d) application of liquid membranes, including paint and thermoplastic, resin, emulsion, precoat
agent and curing compound;
(e) bulk fuel or chemical deliveries;
(f) removal and disposal of excess chemicals and water used for washing down of equipment;
(g) pumping out of oil and grease collection pits;
(h) decanting operations such as for fuel, chemicals and bitumen.Operational Control-Spill
Prevention and Response
4.3 Include in the procedure(s) the following, as a minimum:
(i) details of the management of the bunded areas including monitoring of the bunded areas,
drainage requirements and measures to ensure that bund capacities are maintained;
(ii) details of the management associated with the removal and transportation of chemical
drums
from bunded areas;
(iii) routine maintenance requirements of machinery, pumps and other equipment to prevent
and/or minimise leaks;
(iv) installation of controls for the capture and filtering of all chemicals that may runoff in
storm
events, for example wax and hydrocarbon curing compounds, bitumen tack coat and saw
cutting material.
Operational Control-Spill
Prevention and Response
4.3 Keep adequate quantities of suitable material to counteract spillage readily available. Clean up
all
chemical spills immediately. If spills result in an environmental incident, report the incident in
accordance with Clause 4.14.
Operational Control-Spill
Prevention and Response
4.3 Prepare and implement a Spill Response Procedure as part of the CEMP to minimise the impact
of
spills including details on the requirements for managing, cleaning up and reporting.
Operational Control-Air
Quality
4.4.1 Prepare and implement an Air Quality Management Sub-Plan as part of the CEMP, or include
mitigation strategies within the CEMP, to minimise the impact of dust, offensive odour, and
other air pollutants on the surrounding environment, including adjacent properties and
sensitive places.
Operational Control-Air
Quality
4.4.1 Comply with the requirements of the POEO Act and any conditions of licences, notifications,
approvals or permits in relation to maximum air pollutant levels (refer to Clause 3.2.2).
Operational Control-Air
Quality
4.4.1 Plan and carry out all your construction activities to avoid where practicable, or minimise, the
generation of dust and vehicle emissions. Include in the mitigation strategies the procedures
for effective dust control, including dust monitoring and reporting procedures.
Operational Control-Air
Quality
4.4.1 Plan and carry out all your construction activities to avoid where practicable, or minimise, the
generation of dust and vehicle emissions. Include in the Air Quality Management Sub-Plan or
mitigation strategies the procedures for effective dust control, including dust monitoring and
reporting procedures.
Operational Control-Air
Quality
4.4.1 Mitigation measures that must be contained in the Air Quality Management Sub-Plan include:
(a) Covering of all materials transported to and from the construction site;
(b) Covering of or spraying water on stockpiles of soil or other erodible materials, particularly
during dry or windy conditions;
(c) Suppressing dust on unsealed surfaces, temporary roadways, and other exposed areas using
water trucks, hand held hoses, temporary vegetation or other appropriate practices;
(d) Imposing a work vehicle speed limit of 30 kilometres per hour on unsealed surfaces;
(e) Locating stockpiles as far away from residences as practically possible;
(f) Minimising the extent of disturbed areas as far as practicable;
(g) Rehabilitating disturbed areas as quickly as possible;
(h) Modifying or stopping dust generating activities during very windy conditions;
(i) Operating and maintaining vehicles and equipment in accordance with manufacturer’s
specifications;
(j) Visual monitoring of air quality to verify the effectiveness of controls and enable early
intervention;
(k) Installing wheel wash facilities to reduce tracking of mud and soil off-site;
(l) Identify and implement control measures for hazardous chemicals and materials in the
existing bridge (refer to RMS B341); and
(m) A procedure to receive, respond and monitor complaints about air quality and other
environmental issues.
Operational Control-Air
Quality
4.4.1 Where air quality monitoring is required, it must comply with the EPA publication “Approved
Methods for Sampling and Analysis of Air Pollutants in NSW”. Monitoring data must include
reporting of insoluble solids in accordance with the EPA publication “Approved Methods for the
Modelling and Assessment of Air Pollutants in NSW”.
Operational Control-Air
Emissions Performance
Requirements of Mobile
Non-road Diesel Plant and
Equipment
4.4.2 Report on the conformity, or otherwise, of mobile non-road diesel plant and equipment used
for the Work Under the Contract with the relevant United States Environmental Protection
Agency, European Union (EU) standards or approved equivalent emission standards.
Once a year, submit to the Principal such reports at the following dates:
(a) before 31 July, for the reporting period ending 30 June for the previous 12 months;
(b) at Actual Completion Date, for the final reporting period.
Prepare the report in accordance with the GREP “Clean Air data management tool”. The types
of diesel plant and equipment that are to be included, or excluded, from the report are given
in this document, which is available at:
http://www.rms.nsw.gov.au/documents/about/environment/grep-clean-air-data-management-
tool.xlsm.
Operational Control-Fire
Safety
4.5 Comply with the requirements of the Rural Fires Act 1997 (NSW), and the Local Government Act
1993 (NSW) and be guided by the NSW Rural Fire Service publication “Equipment & Machinery
Use
in Bushfire Prone Areas”, which is available at:
http://www.smartersafety.com.au/media/0240_SafetyAlert-
Equipment_and_machinery_use_in_bushfire_prone_areas.pdf.
Operational Control-Fire
Safety
4.5 Provide fire fighting equipment as required for the safety of persons and property.
Operational Control-Fire
Safety
4.5 All items of plant used during proclaimed high fire danger periods that could discharge sparks
must be fitted with spark arresters. Do not undertake cutting, welding, grinding or other
activities likely to generate fires in the open on days when a total fire ban is proclaimed.
Operational Control-Fire
Safety
4.5 Where burning off has been assessed, approved and planned, obtain a fire permit from the
relevant Statutory Authorities and comply with the requirements of the Statutory Regulations
and be guided by the EPA guideline “Regulation of Open Burning in NSW”.
Operational Control-Fire
Safety
4.5 On receipt of a fire permit, notify the Principal and occupiers of adjoining properties of the
proposed burning off operation at least 24 hours before carrying out the burning off. Control
the burning off operation so that:
(a) vegetation outside the limits of clearing is not damaged;
(b) fences, buildings or other property are not damaged;
(c) smoke does not cause a traffic hazard, or nuisance nor contravene air quality requirements.
Operational Control-Noise
Control
4.6 Construction work that generates noise shall be undertaken in accordance with Clause 3.6.
Operational Control-Noise
Control
4.6 Prepare and implement a Noise and Vibration Management Sub-Plan as part of teh CEMP, to
minimise the impact of noise from your operations on adjacent properties. The Noise and
Vibration Management Sub-Plan or mitigation strategies must include proposed environmental
control measures for all significant noise generating activities. It must include, but not be
limited to, the following:
Operational Control-Noise
Control
4.6 Mitigation measures that must be contained in the Noise Management Sub-Plan include:
(a) Undertaking detailed noise impact assessments of all construction works and works outside
standard construction hours once detailed construction planning is complete. Use these
detailed noise impact assessments to identify affected sensitive receivers and develop detailed
mitigation measures;
Operational Control-Noise
Control
4.6 (b) Notifying the nearest noise sensitive receivers of future works and expected levels of noise
well in advance of the works occurring;
Operational Control-Noise
Control
4.6 (c) Developing construction programming to minimise noise impacts - this may include time and
duration restrictions and respite periods, and must be developed after consultation with
affected receivers;
Operational Control-Noise
Control
4.6 (d) Where possible, planning works outside of standard construction hours so that noisier works
are carried out in the earlier part of the evening or night time;
Operational Control-Noise
Control
4.6 (e) Negotiating agreements with affected sensitive receivers where noisy works are required
outside of standard construction hours;
Operational Control-Noise
Control
4.6 (f) Where possible, avoiding the use of noisy plant simultaneously and/or close together;
Operational Control-Noise
Control
4.6 (g) Orienting equipment and excavation work sites away from sensitive receivers where possible
to reduce noise emissions;
Operational Control-Noise
Control
4.6 (h) Maintaining equipment in efficient working order;
Operational Control-Noise
Control
4.6 (i) Using quieter construction methods where feasible and reasonable;
Operational Control-Noise
Control
4.6 (j) Where acceptable from a work health and safety perspective, using quieter alternatives to
reversing alarms (such as spotters, closed circuit television monitors and ‘smart’ reversing
alarms) particularly during out of hours activities;
Operational Control-Noise
Control
4.6 (k) Investigating all noise complaints and appropriate mitigation measures implemented where
practicable to minimise further impacts.
Operational Control-Noise
Control
4.6 (l) Truck movements will be restricted to identified haulage routes and the routes outlined in
the
Construction Traffic Management Plan in accordance with RMS G10; and
Operational Control-Noise
Control
4.6 (m) Undertaking noise monitoring to assess compliance with noise management levels and
assess
the effectiveness of noise mitigation. Consider the use of temporary noise shielding at
locations along Bridge Street where substantial exceedances of noise criteria are predicted.
In addition, where work is undertaken in close proximity to Thompson Square or along
Freemans Reach Road, consider temporary noise barriers.Operational Control-Noise
Control
4.6 Refer to the requirements of the EPA publication and RMS publication Construction Noise and
Vibration Guideline” when considering the environmental control measures and practices to be
included in the Noise Management Plan.
Operational Control-Noise
Control
4.6 Where works are proposed to be undertaken outside of normal working hours, comply with the
requirements of Clause 3.6
Operational Control-Noise
Control
4.6 All construction plant and equipment used on Site must be, in addition to other requirements:
(a) fitted with properly maintained high efficiency noise suppression devices in accordance with
the manufacturer’s specifications;
(b) regularly inspected and maintained in an efficient condition;
(c) operated in a proper and efficient manner.
(d) removal from site of any equipment that is causing noise not typical for that equipment and
that cannot be controlled by correct operation, maintenance or use of noise suppression
devices.
Operational Control-Ground
Vibration
4.7 Implement all measures to prevent damage to adjacent public utilities, structures and buildings
resulting from construction vibration.
Comply with the requirements of Specification RMS R44 for vibration, unless overridden by
other more stringent requirements set out in this Specification.
Operational Control-Ground
Vibration
4.7 Comply with the requirements of the ANZECC publication “Technical Basis for Guidelines to
Minimise Annoyance Due to Blasting Overpressure and Ground Vibration - September 1990”.
Where the amenity guidelines are likely to be exceeded, manage the impacts in consultation
with, and in accordance with, the requirements stipulated by EPA.
Operational Control-Ground
Vibration
4.7 To avoid structural damage, carry out construction activities in accordance with the
requirements of BS 7385 and the vibration limits set out in the German Standard DIN 4150-3.
Operational Control-Ground
Vibration
4.7 Prior to commencement of construction, undertake a building and structural condition
inspection
and prepare a Pre-construction Building and Structural Condition Inspection Report for every
property or structure, including the heritage retaining wall at 4 Bridge Street, located within
the
distance from the construction activity specified in Annexure G36/E.
The Principal will engage a heritage building consultant to be present during the inspection ofWITNESS POINT Insopection of a heritage property
At least ten (10) working days prior, submit your schedule for the inspection of the heritage
property, with details of:
(i) Date and time of each inspection;
(ii) Expected duration of each inspection.
Operational Control-Ground
Vibration
4.7 The Building Condition Inspection Reports and Structural Condition Inspection Report must
contain photographs of the inspected properties and include details of the inspectors’
qualification and expertise, together with a list of any identified defects, where relevant. The
reports must be submitted to the owner of each property and to the Principal before the
commencement of any activities as outlined in the Hold Point below.
Operational Control-Ground
Vibration
4.7 Immediately following completion of construction, undertake a building and structural
condition
inspection and prepare a Post-construction Building and Structural Condition Inspection Report
for every property or structure, including the heritage retaining wall at 4 Bridge Street, located
within the distance from the construction activity specified in Annexure G36/E.
Operational Control-Ground
Vibration
4.7 Prepare, as part of the CEMP, a Vibration and Airblast Management Sub-Plan as part of the
CEMP, or include mitigation strategies within the CEMP, that describes the environmental
controls to be
implemented during construction to minimise the impact of vibration and airblast on adjacent
properties and residents.
The Vibration and Airblast Management Sub-Plan or mitigation strategies must detail how
construction vibration and airblast will be managed for various plant items working adjacent to
buildings. Keep records as evidence of compliance with these construction vibration and
airblast
Operational Control-Ground
Vibration
4.7 Mitigation measures that must be contained in the Vibration Management Sub-Plan include:
(a) No impact piling works will be undertaken within 20 metres of any heritage structure, unless
additional assessment and monitoring confirm that vibration levels will be below the
specified criteria;
(b) Rock breaking/hammering will not be undertaken within 7 metres of any heritage item or
building unless additional assessment and monitoring confirm that vibration levels will be
below the specified criteria;
(c) Rock breaking/hammering will not be undertaken within 5 metres of any non-heritage
building unless additional assessment and monitoring confirm that vibration levels will be
below the specified criteria;
(d) Where rock breaking/hammering is planned within 10 metres of any occupied dwelling, the
occupants will be notified of the works and the duration of the activity will be restricted,
unless otherwise agreed with affected residents;
(e) Where heavy plant is used within 7 metres of a heritage structure, attended vibration
monitoring will be undertaken to assess compliance with the specified vibration criteria; and
(f) Where an exceedance of project specific vibration criteria for structural damage is recorded
during monitoring, work will cease immediately and alternative construction methods will be
used.
Operational Control-Ground
Vibration
4.7 The archaeological salvage work on the southern side of the Hawkesbury River has identified a
heritage brick barrel drain that will be under the Western Retaining Wall and Abutment A of the
replacement bridge. Comply with the vibration requirements specified in Clause 15.4.1 of RMS
G1
for pile excavation for the Western Retaining Wall and Abutment A.HOLD POINT At least 10 working days prior, submit to the Principal a copy of the Building Condition
Inspection Reports, Structural Condition Inspection Report and the Vibration Management Sub-
Plan or the combined Noise and Vibration Management Sub-Plan
Operational Control-Ground
Vibration
4.7 Heritage items at risk of vibration impacts must be inspected and monitored periodically during
construction to identify any construction-related impacts. If impacts are detected, work in the
area
must cease and appropriate management measures implemented.Operational Control-
Biodiversity
4.8 The Flora and Fauna Management Sub-Plan or mitigation strategies must include, as a minimum,
the following:
(a) Provisions for compliance with statutory requirements applicable to flora, fauna and fish
management, in National Parks and Wildlife Act 1974 (NSW), Biodiversity Conservation Act 2016
(NSW), Environmental Planning and Assessment Act 1979 (NSW), Environment Protection
and Biodiversity Conservation Act 1999 (Cth) and Fisheries Management Act 1994 (NSW).
Operational Control-
Biodiversity
4.8 (b) Fauna and flora management strategies for pre-construction, construction and post-
construction activities including environmental control measures for pre-clearing process.
Operational Control-
Biodiversity
4.8 (c) Fauna rescue and release procedure. Handling of injured fauna must be carried out by
licensed
fauna handler such as fauna ecologist or wildlife carer. If native fauna are captured during
vegetation clearing, they must be released into a suitable nearby location that has been
identified as such by an ecologist. Keep records of fauna captured and relocated. Report any
injury or death of threatened species to the Principal. The fauna rescue and release procedure
must include management measures for aquatic fauna and fish.
Operational Control-
Biodiversity
4.8 (d) Procedure for controlling the introduction and spreading of weeds and pathogens caused by
the Work Under the Contract, including hygiene protocols and the arrangements for monitoring.
Operational Control-
Biodiversity
4.8 Where possible the ecologist will clearly mark vegetation clearing boundaries and tree
protection zones prior to the start of clearing operations on site in accordance with RMS
“Biodiversity Guidelines Guide 2: Exclusion Zones”, including a map representing areas that
need to be protected , such as retained and/or adjacent Lower Hunter Spotted Gum -Ironbark
Forest in the Sydney Basin Bioregion EEC, Callistemon linearifolius (Netted Bottle Brush) and
hollow-bearing trees (including exclusion zone fencing requirements) to prevent access beyond
the Vegetation Clearing Limit as defined in RMS G40, Clause 2.2);
Operational Control-
Biodiversity
4.8 (e) Proposed strategies for re-use of coarse woody debris and bushrock.
Operational Control-
Biodiversity
4.8 (f) Procedure for dealing with unexpected threatened species finds that may be discovered by
you when undertaking Physical Work on Site. The procedure must include, as a minimum, the
following:
(i) stop work arrangements in the immediate area of the threatened species;
(ii) notification and communication protocol;
(iii) consultation with the specialists to assess the significance of the find;
(iv) a list of approvals, licences or permits that may need to be obtained before the works can
recommence.
Operational Control-
Biodiversity
4.8 Prepare and include an EWMS, for clearing and grubbing that meets the requirements of
Specification RMS G40 and RMS publication “RMS Biodiversity Guidelines: Protecting and
Managing
Biodiversity on RMS Projects”, in the Flora and Fauna Management Sub-Plan or CEMP.
Operational Control-
Biodiversity
4.8 The Flora and Fauna Management Sub-plan must detail how construction impacts on ecology
will
be minimised and managed. The Sub-plan shall be developed in consultation with the OEH and
Department of Primary Industries (Fishing and Aquaculture) and shall include, but not
necessarily
be limited to:
(i) pre-construction surveys undertaken by a suitably qualified and experienced ecologist to
verify the construction boundaries/ footprint of the project based on detailed design and to
confirm the vegetation to be cleared (including tree hollows, threatened flora and fauna
species and riparian vegetation);
Operational Control-
Biodiversity
4.8 (ii) a pre-demolition survey of the existing bridge structure by a suitably qualified and
experienced ecologist to confirm the bridge is not providing habitat for microchiropteran
bats or other roosting bats. If the results of the bat survey and roost assessment indicate that
the existing bridge is occupied by microbats, prepare a Bat Management Plan to mitigate the
potential impacts on bats. The Plan shall include details of an appropriate work schedule,
any further close inspections that may be required and exclusion and relocation of fauna
away from the construction site.
Operational Control-
Biodiversity
4.8 (iii) updated sensitive area vegetation maps based on (i) above and previous survey work;
Operational Control-
Biodiversity
4.8 (iv) details of general work practices and mitigation measures to be implemented during
construction to minimise impacts on native fauna and native vegetation (particularly
threatened species and EECs) not to be cleared, including, but not necessarily limited to:
fencing of sensitive areas, a protocol for the removal and relocation of fauna during
clearing, engagement of a suitably qualified and experienced ecologist to identify locations
where they would be present to oversee clearing activities and facilitate fauna rescues and
relocation, clearing timing with consideration to breeding periods, measures for maintaining
existing habitat features (such as bush rock, tree branches, tree hollows etc), seed harvesting
and appropriate topsoil management, construction worker education, weed management
(including controls to prevent the introduction or spread of Phytophthora cinnamomi),
erosion and sediment control and progressive re-vegetation;
Operational Control-
Biodiversity
4.8 (v) WIRES must be made aware of construction and consulted if any injured fauna are
encountered or if any fauna are injured as a result of the works;
Operational Control-
Biodiversity
4.8 (vi) an ecologist or WIRES representative must be present during the clearing of suspected
vegetation that may support a habitat for fauna to manage and/or relocate any fauna
present;
Operational Control-
Biodiversity
4.8 (vii) specific procedures to deal with EEC/ threatened species anticipated to be encountered
within the Site including re-location, translocation and/or management and protection
measures;
Operational Control-
Biodiversity
4.8 (viii) a procedure for dealing with unexpected EEC/threatened species identified during
construction including cessation of work and notification of the OEH, determination of
appropriate mitigation measures in consultation with the OEH (including relevant relocation
measures);
Operational Control-
Biodiversity
4.8 (ix) clear delineation of working areas to minimise in-stream and riparian disturbance;
Operational Control-
Biodiversity
4.8 (x) avoiding removal of in-stream woody snags (>3 m in length and >300 mm diameter) where
practicable. Any woody snags that require removal shall be relocated to a similar area;
Operational Control-
Biodiversity
4.8 (xi) managing and mitigating in-stream disturbance from dredging to minimise impacts.
Appropriate measures will include measures to limit the risk of sediment plumes and
increased turbidity; and
Operational Control-
Biodiversity
4.8 Preserve existing trees, plants, and other vegetation that are to remain within or adjacent to
the Site and use every precaution necessary to prevent damage or injury thereto. Identify and
protect areas of vegetation to be retained showing them as exclusion zones in accordance with
the RMS Biodiversity Guidelines.
Operational Control-
Aboriginal Heritage
4.9 Prepare an Aboriginal Heritage Management Sub-Plan as part of the CEMP or include mitigation
strategies within the CEMP to manage any areas of the Site where known Aboriginal objects,
places and/or culturally sensitive areas have been identified on Site.
Operational Control-
Aboriginal Heritage
4.9 The Aboriginal Heritage Management Sub-Plan or mitigation strategies must also include a
procedure for the management of unexpected potential Aboriginal objects discovered by you
during construction. The management of unexpected potential Aboriginal objects must be in
accordance with the RMS publication “Unexpected Heritage Items”.
Operational Control-
Aboriginal Heritage
4.9 The Aboriginal Heritage Management Sub-Plan must be prepared in accordance with the
protocols
outlined in the Detailed Salvage Strategy and the Hawkesbury Region Sand Bodies Study.
Operational Control-
Aboriginal Heritage
4.9 Archaeological salvage is required within the Site on the southern side of the Hawkesbury River
as
specified in Clause 15 of RMS G1.
Operational Control-
Aboriginal Heritage
4.9 The Aboriginal Heritage Management Sub-plan must detail how construction impacts on
Aboriginal heritage will be avoided, minimised and managed. The Sub-plan shall be prepared by
a
suitably qualified heritage consultant(s) approved by the Director-General and the OEH
(Aboriginal Heritage) and be developed in consultation with registered Aboriginal stakeholders,
the Principal’s Environmental Representative and the Principal’s Heritage Manager and include,
but not necessarily be limited to:
Operational Control-
Aboriginal Heritage
4.9 (i) details of management measures and strategies for protection, excavation, salvage and
archival recording, and/or conservation of heritage items and sites that will be directly or
indirectly impacted during construction (including further archaeological investigations,
salvage measures and/ or measures to protect unaffected sites during construction works in
the vicinity);
Operational Control-
Aboriginal Heritage
4.9 (ii) procedures for dealing with previously unidentified Aboriginal objects (excluding human
remains) including cessation of works in the vicinity, assessment of the significance of the
item(s) and determination of appropriate mitigation measures including when works can
recommence by a suitably qualified and experienced archaeologist in consultation with the
DPI, OEH and registered Aboriginal stakeholders and assessment of the consistency of any new
Aboriginal heritage impacts against the approved impacts, and notification to the DPI,
and the OEH for Aboriginal heritage (in accordance with section 89A of the National Parks
and Wildlife Act 1974;
Operational Control-
Aboriginal Heritage
4.9 (iii) procedures for dealing with human remains, including cessation of works in the vicinity and
notification of the DPI, NSW Police Force, OEH and registered Aboriginal stakeholders and
not recommencing any works in the area unless authorised by the DPI and/ or the NSW
Police Force;
Operational Control-
Aboriginal Heritage
4.9 (iv) induction processes (identification, protection) for construction personnel (including
procedures for keeping records of inductions) and procedures for ongoing Aboriginal
consultation and involvement; and
Operational Control-
Aboriginal Heritage
4.9 (v) incorporate recommendations from the Hawkesbury Sand Body Regional Study.
Operational Control-
Aboriginal Heritage
4.9 The procedure for unexpected finds must include the following steps:
Operational Control-
Aboriginal Heritage
4.9 (a) cease work in the immediate area of the identified non aboriginal Cultural Heritage, do not
disturb the objects and erect a temporary exclusion fence with a buffer zone of at least 10
metres around the known edge of the find site;
Operational Control-
Aboriginal Heritage
4.9 (b) notify the Principal immediately;
Operational Control-
Aboriginal Heritage
4.9 (c) provide access to the Site to any heritage specialist required to assess the finds;
Operational Control-
Aboriginal Heritage
4.9 (d) provide temporary exclusion (pedestrian) fencing;
Operational Control-
Aboriginal Heritage
4.9 (e) implement additional safeguards as required.
Operational Control-
Aboriginal Heritage
4.9 Provide for all personnel working on the Site training on their responsibilities under the
Heritage Act 1977 (NSW). Make the personnel aware of all non-Aboriginal heritage sites/areas,
including cultural plantings, and areas of archaeological potential, which are identified in the
Environment Assessment documents listed in Annexure G36/A3.
Operational Control-Non-
Aboriginal Heritage
4.10 Prepare a Non-Aboriginal Heritage Management Plan as part of the CEMP or include mitigation
strategies within the CEMP to manage any areas of the Site where any known heritage items/s
and/or archaeological sites have been identified.
Operational Control-Non-
Aboriginal Heritage
4.10 The Non-Aboriginal Heritage Management Sub-Plan or mitigation strategies must also include a
procedure for the management of unexpected potential archaeological relics discovered by you
during construction. The management of unexpected potential archaeological relics must be in
accordance with the RMS publication “Unexpected Heritage Items”. The procedure for
unexpected finds must include the steps (a) to (e) listed in Clause 4.9.
Operational Control-Non-
Aboriginal Heritage
4.10 The Non-Aboriginal Heritage Management Sub-Plan must be prepared in accordance with the
protocols outlined in the Detailed Salvage Strategy and Heritage Mitigation and Options Report.
Operational Control-Non-
Aboriginal Heritage
4.10 Archaeological salvage is required within the Site on the southern side of the Hawkesbury River
as
specified in Clause 15 of RMS G1.
Operational Control-Non-
Aboriginal Heritage
4.10 The Non-Aboriginal Heritage Management Sub-plan must detail how construction impacts on
non-Aboriginal heritage will be avoided, minimised and managed. The Sub-plan shall be
prepared
by a suitably qualified heritage consultant(s) approved by the Director-General and include, but
not necessarily be limited to:
Operational Control-Non-
Aboriginal Heritage
4.10 (i) details of management measures and strategies for protection, excavation, salvage and
archival recording, and/or conservation of heritage items and sites that will be directly or
indirectly impacted during construction (including further archaeological investigations,
salvage measures and/ or measures to protect unaffected sites during construction works in
the vicinity);
Operational Control-Non-
Aboriginal Heritage
4.10 (ii) procedures for dealing with previously unidentified non-Aboriginal objects (excluding
human remains) including cessation of works in the vicinity, assessment of the significance
of the item(s) and determination of appropriate mitigation measures including when works
can re-commence by a suitably qualified and experienced archaeologist in consultation with
the DPI, and assessment of the consistency of any new non-Aboriginal heritage impacts
against the approved impacts, and notification to the DPI and the OEH for non-Aboriginal
heritage (in accordance with Section 146 of the NSW Heritage Act 1977);
Operational Control-Non-
Aboriginal Heritage
4.10 (iii) procedures for dealing with human remains, including cessation of works in the vicinity and
notification of the DPI and NSW Police Force, and not recommencing any works in the area
unless authorised by the DPI and/ or the NSW Police Force; and
Operational Control-Non-
Aboriginal Heritage
4.10 (iv) induction processes (identification, protection) for construction personnel (including
procedures for keeping records of inductions).
Operational Control-Non-
Aboriginal Heritage
4.10 Provide for all personnel working on the Site training on their responsibilities under the
Heritage Act 1977 (NSW). Make the personnel aware of all non-Aboriginal heritage sites/areas,
including cultural plantings, and areas of archaeological potential, which are identified in the
Environment Assessment documents listed in Annexure G36/A3.
Operational Control-Waste
Management and Resource
Recovery: Waste
Management Strategies
4.11.1 Prepare a Waste Management Sub-Plan as part of the CEMP, or include mitigation strategies
within the CEMP, to manage and minimise the generation of waste and encourage reuse of
materials. Be guided by the following publications when preparing the Waste Management Sub-
Plan or mitigation
strategies:
NSW Government Resource Efficiency Policy (GREP);
EPA “Waste Classification Guidelines”;
RMS Waste Fact Sheets.
Operational Control-Waste
Management and Resource
Recovery: Waste
Management Strategies
4.11.1 The Waste Management Sub-Plan or mitigation strategies must:
(a) identify the waste streams that will be generated during the Contract;
Operational Control-Waste
Management and Resource
Recovery: Waste
Management Strategies
4.11.1 (b) provide details, for each of the identified waste streams, of the following:
(i) the waste classification (refer to EPA’s “Waste Classification Guidelines” and RMS Waste
Fact Sheets);
(ii) how and where the waste is to be reused, recycled, stockpiled or disposed of;
(iii) the receptacles that will be used for storing identified waste materials prior to reuse,
recycling, stockpiling or disposal;
(iv) how, and by whom, will the waste be transported between generation, storage and point
of reuse, recycling, stockpiling or disposal;
(v) sampling and testing requirements (refer to RMS Waste Fact Sheet “Waste Sampling”);
(vi) licensing requirements under the POEO Act and/or relevant NSW Resource Recovery Orders
and Exemptions;
(vii) procedures for verifying licenses and permits for handling, transportation and disposal of
waste;
Operational Control-Waste
Management and Resource
Recovery: Waste
Management Strategies
4.11.1 (c) provide controls for minimising consumption of fuel, oil and other consumables, on-site
electricity and water required for construction;
Operational Control-Waste
Management and Resource
Recovery: Waste
Management Strategies
4.11.1 (d) include methods for monitoring the implementation of the Waste Management Sub-Plan or
mitigation strategies;
Operational Control-Waste
Management and Resource
Recovery: Waste
Management Strategies
4.11.1 (e) identify the need or otherwise for “s.143 Notices” (see Clause 4.11.4) or any other
additional approval, licence and/or permit from an appropriate authority or the Principal;
Operational Control-Waste
Management and Resource
Recovery: Waste
Management Strategies
4.11.1 (f) comply with the requirements of the POEO Act for any non-licensed as well as licensed
waste activities that involve the storage, transport, treatment and/or disposal of waste;
Operational Control-Waste
Management and Resource
Recovery: Waste
Management Strategies
4.11.2 Maintain a Waste Management Register until the Actual Completion Date, to record the type,
amount and location of waste reused, recycled, stockpiled and disposed of. The Waste
Management Register must include the following details:
(a) type of waste and its classification (according to the POEO Act and Waste Classification
Guidelines);
(b) quantities of waste, measured in tonnes;
Operational Control-Waste
Management and Resource
Recovery: Waste
Management Strategies
4.11.1
Operational Control-Waste
Management and Resource
Recovery: Waste
Management Strategies
4.11.1
Operational Control-Waste
Management and Resource
Recovery: Waste
Management Strategies
4.11.1 Provide separate bins in your site compounds to promote recycling of materials such as paper,
cardboard, glass, plastics and metals. Provide appropriate containers in a locked storage area to
store waste oils, liquids, fuels and chemicals. Erect signs in your site compounds to encourage
site personnel to minimise waste creation and dispose of waste correctly.
Operational Control-Waste
Management and Resource
Recovery: Waste
Management Strategies
4.11.1 Recycle, reuse and dispose all surplus materials (including surplus concrete, excavated material
and pavement materials plus milled asphalt) in accordance with statutory requirements. Ensure
that all subcontracts contain this requirement. Maintain records to demonstrate that all surplus
materials are recycled, reused or disposed of in accordance with statutory requirements.
Operational Control-Waste
Management and Resource
Recovery: Waste
Management Strategies
4.11.1 Recycle, reuse and dispose all surplus materials (including surplus concrete, excavated
earthworks and pavement materials plus milled asphalt) in accordance with statutory
requirements. Ensure that all subcontracts contain this requirement. Maintain records to
demonstrate that all surplus materials are recycled, reused or disposed of in accordance with
statutory requirements.
Operational Control-Waste
Management and Resource
Recovery: Waste
Management Strategies
4.11.1 Reuse excavated material on-site for fill or other RMS projects where feasible.
Operational Control-Waste
Management and Resource
Recovery: Waste
Management Strategies
4.11.1 Reuse water captured in sediment basins for dust suppression, watering of landscaped areas,
and any other suitable construction activity where feasible.
Operational Control-Waste
Management and Resource
Recovery: Waste
Management Strategies
4.11.1 Reuse or recycle roadside materials including guideposts and signs where feasible.
Operational Control-Waste
Management and Resource
Recovery: Waste
Management Register
4.11.2 Maintain a Waste Management Register until the Actual Completion Date, to record the type,
amount and location of waste reused, recycled, stockpiled and disposed of. The Waste
Management Register must include the following details:
(a) type of waste and its classification (according to the POEO Act and Waste Classification
Guidelines);
(b) quantities of waste, measured in tonnes;
(c) how and where the waste was reused, recycled, stockpiled or disposed of;
(d) date when the waste was reused, recycled, stockpiled or disposed of; and
(e) name and waste transport licence (if applicable) of the transporter used.
Operational Control-Waste
Management and Resource
Recovery: Waste
Avoidance and Resource
Recovery
4.11.3 Once a year, submit to the Principal a Waste Avoidance and Resource Recovery Report
containing
information relating to wastes generated or recycled in accordance with Annexure G36/F, at
the
following dates:
(a) within one month from 1 July of the current calendar year, for the previous 12 months of
the
contract period, or part thereof if the contract commenced after 1 July of the previous
calendarOperational Control-Waste
Management and Resource
Recovery: Offsite waste
Disposal
4.11.4 Prior to transporting wastes generated by or for RMS to a place that is not owned by RMS and is
not a licensed waste facility (the “Waste Site”), submit to the Principal a completed and signed
notice under section 143(3A) of the POEO Act (“s.143 Notice”). This includes waste transported
for reuse, recycling, disposal or stockpiling.
Waste in this context includes spoil, Virgin Excavated Natural Material (“VENM”), Excavated
Natural Material (“ENM”), crushed rock, reclaimed asphalt pavement, mulched vegetation,
waste concrete, etc.
Operational Control-Waste
Management and Resource
Recovery: Offsite waste
Disposal
4.11.4 Provide an accurate description of the waste on the “s.143 Notice”, include evidence that the
Waste Site has the appropriate planning consent and confirm the waste delivery arrangements
with the landholder prior to transporting materials to the Waste Site.
HOLD POINT Process Held: Transport of waste to a place that is not owned by RMS and is not a licensed
waste facility.
Submission Details: Completed and signed original copy of “s.143 Notice” received from the
landholder receiving the waste with evidence that the Waste Site has the appropriate planning
consent.
Operational Control-Use of
Pesticides
4.12 Use of pesticides must be in accordance with the Pesticides Act 1999, other relevant
legislation, label directions and any relevant industry codes of practice.
Operational Control-Use of
Pesticides
4.12 Complete a Records Sheet within 24 hours of applying the pesticide and submit a copy to the
Principal. For guidance when preparing pesticide application records, you may use the “Sample
Pesticides Application Records Sheet” shown in Annexure G36/G.
Note - You are exempt from completing the Records Sheet, when both of the following are
satisfied:
(a) The pesticide is only applied by hand or by using hand-held equipment;
(b) If applied outdoors on any single occasion, in quantities of no more than 5 litres/5 kilograms
of concentrated product or 20 litres/20 kilograms of the ready-to-use product; or if applied
indoors, in quantities of no more than 1 litre/1 kilogram of concentrated product or 5 litres/5
kilograms of the ready-to-use product.
Operational Control-Use of
Pesticides
4.12 All personnel managing and using pesticides must receive appropriate training prior to
commencing work. Only pesticides registered for use near water may be used near water.
Operational Control-Use of
Pesticides
4.12 Public notification of pesticide use must be in accordance with Annexure G36/H. Implement
the following measures whenever pesticides are to be used adjacent to, or across the road
from, a “sensitive place” (refer to Clause 1.3 for definition):
Use of mechanical means of pest control (such as mowing or slashing) where feasible; or
Use of hand-held application of pesticides where mechanical means of pest control are not
feasible.
Avoid applying pesticides:
(i) on hot days when plants are stressed;
(ii) after the seed has set;
(iii) within 24 hours of rain or when rain is imminent;
(iv) when winds will cause drift of pesticides into non-target areas.
Operational Control-
Working in Environmentally
Sensitive Areas
4.13 The Principal has identified the following environmentally sensitive areas:
Hawkesbury Sand Body on the southern side of the Hawkesbury River (refer to RMS G1);
Aboriginal archaeological sites W-NP 45-5-3580, W-SP 45-5-3581, W1 45-5-3582, W2 45-5-
3583, W3 45-5-3584 and W4 45-5-3585 (refer to RMS G1);
Existing Windsor Bridge;
Thompson Square Precinct (SHR item 001264 00126);
Macquarie Arms Hotel (SHR item 00041);
House and Outbuilding at 5 Thompson Square (SHR item 00005);
House at 4 Bridge Street (SHR item 00126);
House at 6 Bridge Street (SHR item 00126);
House and Outbuildings at 10 Bridge Street (SHR item 00126);
Former School of Arts building (SHR item 00126);
Shops at 62-68 George Street (SHR item 00126);
Doctors House (SHR item 00126);
Green Hills wharf site (c 1795, by the southern abutment of the existing bridge);
Government House wharf site (c 1800);
Old wharf site (the Government Wharf site c. 1815);
Punt landing site; and
Potential acid sulfate soils (refer to RMS G1);
Hawkesbury Museum and Tourist Information Centre SHR item 00126);
Cottage at 20 Bridge Street (LEPI147);
Cottage at 17 Bridge Street (SHR item 00126);
Shops at 70-72 George Street (SHR item 00126);
AC Stern building at 74 George Street (SHR item 00126);
Shops at 80-82 George Street (SHR item 00126);
Shops at 82-88 or 84-88 George Street (SHR item 00126);
Shops at 92 George Street (Hawkesbury LEP Part of I00126);
Operational Control-
Working in Environmentally
Sensitive Areas
4.13 “Bridgeview” at 27 Wilberforce Road (I274);
Government Cottage at 41 George Street (SHR item 01843); and
Brick barrel drain in Thompson Square.
Operational Control-
Working in Environmentally
Sensitive Areas
4.13 Clearly show all identified environmentally sensitive areas and sensitive places on Sensitive
Area Maps, submitted as part of the CEMP. Review and update regularly the Sensitive Area
Maps to include environmentally sensitive areas identified during the Work Under the Contract.
Make the Sensitive Area Maps available to all personnel working on the Site.
Operational Control-
Working in Environmentally
Sensitive Areas
4.13 Prepare and include in the CEMP an EWMS for working in or near the environmentally sensitive
areas. Include in the EWMS environmental protection measures that are effective for
minimising the risk of impacting the environmentally sensitive areas. Review these measures
regularly to ensure that they are effective.
Operational Control-
Working in Environmentally
Sensitive Areas
4.13 At least five (5) days prior to commencing Physical Work on Site in or near an environmentally
sensitive area, prepare an EWMS which includes the details of the environmental protection
measures to be implemented at that location. Clearly delineate the environmentally sensitive
area and signpost the locations and boundaries.
Operational Control-
Working in Environmentally
Sensitive Areas
4.13 As part of the environmental induction (refer Clause 3.5) to your staff and subcontractors
working on the Site, provide an understanding of the risks associated with working in or near
environmentally sensitive areas, and training on implementing the relevant environmental
protection measures.
Operational Control-
Working in Environmentally
Sensitive Areas
4.13 Clearly delineate and signpost the locations and boundaries of all environmentally sensitive
areas on Site.
HOLD POINT Process Held: Working in or near environmentally sensitive areas.
Submission: At least five (5) working days prior, provide to the Principal a copy of the EWMS for
working in or near the environmentally sensitive areas and written notice that the
environmentally sensitive areas are clearly delineated with locations and boundaries
signposted.
Operational Control-
Environmental Incident
Notification and Reporting
4.14 Prepare and include in the CEMP an environmental incident reporting and investigation
procedure, including a Pollution Incident Response procedure
Operational Control-
Environmental Incident
Notification and Reporting
4.14 Manage and report environmental incidents, including “pollution incidents”, in accordance with
the RMS “Environmental Incident Classification and Reporting Procedure” and RMS
“Environmental Incident Report”.
Operational Control-
Environmental Incident
Notification and Reporting
4.14 Notify the Principal verbally immediately and in writing within 24 hours, of any pollution
incidents which have been reported to the EPA under Part 5.7 of the POEO Act.
Operational Control-
Environmental Incident
Notification and Reporting
4.14 Report all other environmental incidents to the Principal verbally immediately and in writing
within
24 hours of the incident coming to your attention. Notify the Principal when any environmental
incidents have been reported to the relevant authorities as required under the relevant NSW
environmental legislation.
Operational Control-
Environmental Incident
Notification and Reporting
4.14 The Principal may request additional information in relation to any environmental incident.
You must provide the Principal with all information requested within the agreed timeframe but
no later than 3 working days.
Site Facilities-General 4.15.1 Locate and manage your site facilities (refer to Specification RMS G2) to minimise impacts on
the environment and the community.
Site Facilities-Pre-
construction Land
Condition Assesment
4.15.2 Prior to taking possession of any area of land nominated by the Principal as available for use by
you for locating your site facilities, including areas for construction materials storage and
stockpiling, arrange for a pre-construction land condition assessment of each area you intend to
occupy.
Site Facilities-Pre-
construction Land
Condition Assesment
4.15.2 Submit to the Principal a report of the pre-construction land condition assessment for each
area of land, prior to the Principal granting approval for you to take possession of the area(s).
The report must be in the format detailed in the draft RMS publication “Management of Wastes
on Roads and Maritime Services Land”. (A copy of this procedure is available at:
http://www.rms.nsw.gov.au/documents/about/environment/environment-waste-on-rms-land-
procedure.pdf)
HOLD POINT Process Held: Taking possession of any land nominated or authorised by the Principal for use for
the Contractor’s site facilities.
Submission: Pre-construction land condition assessment report for each area which you intend
to use for the Contractor’s site facilities, and evidence of any necessary statutory and
environmental approvals.
Site Facilities-Post-
construction Land
Condition Assesment
4.15.3 When the areas of Principal’s land used for the Contractor’s site facilities are no longer
required, and after restoration of the areas in accordance with Clause 4.16, arrange for a post-
construction land condition assessment for each area that has been used.
Site Facilities-Post-
construction Land
Condition Assesment
4.15.3 Submit to the Principal a report of the post-construction land condition assessment for each
area of land used, prior to the Principal accepting those areas of land. The report must be in
the format detailed in the draft RMS publication “Management of Wastes on Roads and
Maritime Services Land”.
Site Facilities-Post-
construction Land
Condition Assesment
4.15.3 Where the post-construction land condition assessment report identifies unauthorised wastes
attributable to your activities left behind on the areas of land, carry out any further work
required in accordance with the recommendations of the report and Clause 4.16.
Site Facilities-Restoration
of Site
4.16 Prior to Completion, restore at your own cost any areas disturbed by you (such as areas for site
compounds, material storage, access and haul roads and the provision of the Principal’s project
accommodation) to a condition similar to that existing before disturbance, unless otherwise
authorised by the Principal.
Site Facilities-Restoration
of Site
4.15.4 Restoration includes spill clean up and soil remediation where applicable, topsoiling of the
area, weed control and seeding, planting, watering and maintenance. Refer to Specification
RMS R178 and RMS R179 as applicable.
Principal's Surveilance and
Audits
5 The Principal may conduct regular surveillance and inspections of the Site at any time. The
Principal may authorise environmental specialists, including the Principal’s Environmental
Representative and the Principal’s Heritage Manager, as agents of the Principal to enter the
Site for the purposes of surveillance or inspection and to attend site meetings to discuss
environmental aspects of the Work Under the Contract.
Principal's Surveilance and
Audits
5 The Principal has engaged an Environmental Representative and will engage a Heritage
Manager.
The Principal’s Environmental Representative will:
(a) be the principal point of advice in relation to the environmental performance of the Works;
Principal's Surveilance and
Audits
5 (b) monitor the implementation of environmental management plans and monitoring programs
required and advise the Principal upon the achievement of these plans/ programs;
Principal's Surveilance and
Audits
5 (c) have responsibility for considering and advising the Principal on environmental matters and
other licences and approvals related to the environmental performance and impacts of the
Works;
Principal's Surveilance and
Audits
5 (d) ensure that environmental auditing is undertaken in accordance with the Contractor’s
Environmental Management System;
Principal's Surveilance and
Audits
5 (e) be given the authority to approve/ reject minor amendments to the CEMP. What constitutes
a
"minor" amendment shall be clearly explained in the CEMP;
Principal's Surveilance and
Audits
5 (f) be given the authority and independence to require reasonable steps be taken to avoid or
minimise unintended or adverse environmental impacts, and failing the effectiveness of such
steps, to direct that relevant actions be ceased immediately should an adverse impact on the
environment be likely to occur; and
Principal's Surveilance and
Audits
5 (g) be consulted in responding to the community concerning the environmental performance of
the Works where the resolution of points of conflict between the Principal and the
community is required.
Principal's Surveilance and
Audits
5 The Principal’s Heritage Manager will:
(a) inspect new works, advise on design and installation of utilities, as defined in AS 5488, (to
minimise impacts on significant fabric and views) and undertake on-site heritage inductions;
Principal's Surveilance and
Audits
5 (b) provide input to compliance reporting; and
Principal's Surveilance and
Audits
5 (c) prepare a report (illustrated by works’ photographs) to be submitted to the Secretary of the
Department of Planning and Environment for approval within 6 months of Completion
which describes the work, any impacts/damage and corrective works carried out and includes
a revised Statement of Significance in accordance with NSW Heritage Council guidelines.
Principal's Surveilance and
Audits
5 If surveillance, inspection or audit indicates that the environmental controls are not in place or
are not properly maintained as required by the CEMP, the Principal may conduct a CEMP
compliance audit at 24 hours’ notice to you; otherwise the Principal will give you at least five
(5) days’ notice that a CEMP compliance audit is to be conducted and will advise you on the
scope of this audit.
Principal's Surveilance and
Audits
5 Provide necessary resources, including site personnel and facilities at the Site to accommodate
the audit team nominated by the Principal. The cost of providing such resources will be borne
by you.
Principal's Surveilance and
Audits
5 Respond to the issues raised during these inspections in writing within seven (7) working days
and address the issues within agreed timeframes. Follow RMS “Guidance Note: Environmental
Inspection Report” when preparing and closing out environmental inspection actions.
Principal's Surveilance and
Audits
5 At least ten (10) working days prior to Completion, the Principal may carry out an audit to
verify that all environmental obligations listed in this Specification have been met by you.
Respond to any issues raised during this audit in writing within seven working days and address
the issues within agreed timeframes in accordance with Clauses 3.9 and 3.10.
Demand on Resources 6 Implement measures to minimise demand on resources during the Work Under the Contract,
including but not limited to:
Demand on Resources 6 (a) Construction material selection must include recycled material and local materials where
possible including:
(i) Concrete with a greater proportion of flyash;
(ii) Recycled steel as opposed to virgin steel; and
(iii) Sourcing local materials.
Demand on Resources 7 (b) Selecting fuel efficient plant and equipment where practicable;
Demand on Resources 8 (c) Using biofuels where practicable; and
Demand on Resources 9 (d) Where practicable, reusing waste materials on site such as general fill, rock, aggregate and
mulch from cleared vegetation.
Section (G36) Hold Point Completed? Notes
3.1 Process Held: Commencement of Work not previously addressed by CEMS and CEMP documents and authorised by earlier Hold Point
release.
Submission Details: At least thirty (30) working days prior to the proposed commencement of the stage of Work Under the Contract
nominated in the submission by you, submit the CEMP and associated Sub-Plans and/or EWMS, as well as the CEMS documents listed in
Clause 3.1.
Release of Hold Point: The Principal will consider the documents prior to authorising the release of the Hold Point. The Principal may
request additional information for inclusion in the CEMP before authorising the release of the Hold Point.3.2.2 Process Held: Commencement of any activity requiring an approval, licence and/or permit from an appropriate authority.
Submission Details: At least five (5) working days prior to the activity, provide to the Principal evidence of receipt of the approval,
licence and/or permit from the relevant authority.
Release of Hold Point: The Principal will consider the submitted documents prior to authorising the release of the Hold Point.
3.2.4 Process Held: Commencement of work activities not previously addressed by Environmental Work Method Statement documents and
authorised by earlier Hold Point release.
Submission Details: At least ten (10) working days prior to the proposed commencement of each applicable work activity, submit the
Environmental Work Method Statement documents, addressing the issues listed in Clause 3.2.4 for the nominated work activity.
Release of Hold Point: The Principal will consider the documents prior to authorising the release of the Hold Point for the nominated
work. The Principal may release work covered by the Environmental Work Method Statement progressively, consistent with your
program for the Work Under the Contract. The Principal may request additional information for inclusion in the Environmental Work
Method Statement before release of Hold Point.3.7.2 Process Held: The release of any and all information documentation/advertisements outside Roads and Maritime Services with the
exception of responses managed under clause 3.7.3.
Submission Details: Draft of the proposed content and format of information documentation/advertisements, the reason it is required
and the timing and extent of distribution.
Release of Hold Point: The Principal will review the contents and advise any required changes before authorising the release of the Hold
Point. Allow three (3) weeks for the Principal’s review.3.10 Process Held: Any activity that causes or has the potential to cause harm to the environment due to your failure to meet your
environmental obligations under the Contract.
Submission Details: Verification that the failure has been rectified, and details of the measures implemented to prevent recurrence.
Release of Hold Point: The Principal will consider the submitted documents and may inspect the relevant work prior to authorising the
release of the Hold Point. The Principal may request additional information in respect of the submitted documents.4.2 Process Held: Activities within the vicinity of actual or suspected contaminated land.
Submission Details: At least five (5) working days prior, submit your Remediation Action Sub-Plan to be prepared by you, and relevant
procedures.
Release of Hold Point: The Principal will consider the submitted documents prior to authorising the release of the Hold Point. The
Principal may request additional information in respect of the submitted documents.
Windsor Bridge Replacement G36 Hold Points
4.7 Process Held: Commencement of blasting, pile driving, excavation by hammering or ripping, dynamic compaction, demolition
operations, or any other activity which may cause damage through vibration or airblast.
Submission Details: As part of the CEMP At least ten (10) working days prior, submit to the Principal a copy of the Building Condition
Inspection Reports and the Construction Noise and Vibration and Airblast Management Sub-Plan or the combined Noise and Vibration
Management Sub-Plan (where blasting is not required).
Release of Hold Point: The Principal will consider the submitted documents prior to authorising the release of the Hold Point. The
Principal may request additional information in respect of the proposal and/or submitted documents.4.11 Process Held: Transport of waste to a place that is not owned by RMS and is not a licensed waste facility.
Submission Details: Completed and signed original copy of “s.143 Notice” received from the landholder receiving the waste with
evidence that the Waste Site has the appropriate planning consent.
Release of Hold Point: The Principal will consider the submitted documents prior to authorising the release of the Hold Point. The
Principal may request additional information in respect of the submitted documents.4.13 Process Held: Working in or near environmentally sensitive areas.
Submission: At least five (5) working days prior, provide to the Principal a copy of the EWMS for working in or near the environmentally
sensitive areas and written notice that the environmentally sensitive areas are clearly delineated with locations and boundaries
signposted.
Release of Hold Point: The Principal will consider the submitted documents prior to authorising the release of the Hold Point.4.15.2 Process Held: Taking possession of any land nominated or authorised by the Principal for use for the Contractor’s site facilities.
Submission: Pre-construction land condition assessment report for each area which you intend to use for the Contractor’s site facilities,
and evidence of any necessary statutory and environmental approvals.
Release of Hold Point: The Principal will consider the submitted report, and may inspect the site or request additional information in
respect of the submitted report, prior to authorising the release of the Hold Point.
Yes
Heading Section (G38) Statement Compliance in CEMP Section Notes Review
required?
Review due
date
Review due
date
Review due
date
Review due
date
Review
due date
Review
due date
Review
due date
Compliant
(Yes/No)
Notes
Management Plans -
Soil and Water
Management Plan
2.1 Prepare a Soil and Water Management Plan (SWMP) for the Work Under the Contract.
The SWMP will form part of the Contractor’s Environmental Management Plan (CEMP)
specified in RMS G36, and incorporates the Erosion and Sediment Control Plan (ESCP)
(refer Clause 2.2).
The SWMP must be prepared by a person with demonstrated skills and experience in
preparing the SWMP in accordance with the guidelines in the publication “Managing
Urban Stormwater: Soils and Construction Volumes 1 and 2d” (the BLUE BOOK)..
Management Plans -
Soil and Water
Management Plan: Plan
Requirements
2.1.2 The Soil and Water Management Plan (SWMP) must identify all risks relating to soil
erosion, and pollution caused by sediments and other materials, and describes how
these risks will be addressed during construction.
Management Plans -
Soil and Water
Management Plan: Plan
Requirements
2.1.2 The SWMP must be developed in consultation with the OEH, EPA, DPI (Fishing and
Aquaculture) and NOW.
Management Plans -
Soil and Water
Management Plan: Plan
Requirements
2.1.2 The SWMP must include all relevant management measures, as a minimum, in the Water
Quality Management Program and Project Specific Template CEMP submitted to the
Director-General by the Principal (refer to Annexure G36/A3).
Management Plans -
Soil and Water
Management Plan: Plan
Requirements
2.1.2 The SWMP must include details of the following, where relevant:
(a) Purpose and objectives of SWMP.
Management Plans -
Soil and Water
Management Plan: Plan
Requirements
2.1.2 (b) Approvals, licence requirements and relevant legislation.
Management Plans -
Soil and Water
Management Plan: Plan
Requirements
2.1.2 (c) Site investigation and assessment of the following:
(i) soil properties (including dispersion properties and presence of acid sulphate soils);
(ii) rainfall records and design parameters;
(iii) waterways and other water related sensitive environments;
(iv) groundwater;
(v) possibilities of, and limitations on, water extraction.
Management Plans -
Soil and Water
Management Plan: Plan
Requirements
2.1.2 (d) Environmental control measures, including:
(i) responsibility for its implementation, including the names and contact details of the
person(s) responsible;
(ii) resources required for its construction, monitoring, maintenance and removal;
(iii) implementation schedule for the measures, related to construction activities;
(iv) monitoring and maintenance of the environmental controls;
(v) minimising the area of disturbance in riparian zones by clearly marking out work
zones in riparian areas and protection of areas with fencing or similar material;
(vi) implementation of adequate sediment and erosion control in works near riparian Management Plans -
Soil and Water
Management Plan: Plan
Requirements
2.1.2 (e) Other associated plans, Environmental Work Method Statements (EWMS) and
procedures.
Management Plans -
Soil and Water
Management Plan: Plan
Requirements
2.1.2 (f) Construction sediment retention basins, including details of the following:
(i) design of the construction sediment retention basins, including any temporary
modifications to the operational basins, providing details of the approach, standards,
criteria and references used in the design of the basins;
(ii) management of the basins;
(iii) procedures for testing, treatment and discharge of water from the basins;
(iv) procedures for the periodic removal and disposal of the sediment collected within
the basins.
Management Plans -
Soil and Water
Management Plan: Plan
Requirements
2.1.2 (g) Training, including:
(i) site induction;
(ii) environmental training;
(iii) toolbox training.
Windsor Bridge Replacement - Compliance Tracking Matrix
G 38 - Soil and Water Compliance
Management Plans -
Soil and Water
Management Plan: Plan
Requirements
2.1.2 (h) Inspection and auditing.
In addressing items (g) and (h) above, refer to RMS G36.
Management Plans -
Soil and Water
Management Plan: Plan
Requirements
2.1.2 Mitigation measures that must be contained in the SWMP include:
(i) identification of potential sources of erosion and sedimentation and water pollution;
Management Plans -
Soil and Water
Management Plan: Plan
2.1.2 (j) management and mitigation measures details to minimise erosion and sedimentation;
Management Plans -
Soil and Water
Management Plan: Plan
Requirements
2.1.2 (k) where construction activities have the potential to impact on waterways or wetlands
(through direct disturbance such as construction of waterway crossings or works in close
proximity to waterways or wetlands), implementation of site specific mitigation
measures to minimise water quality, riparian and stream hydrology impacts as far as
practicable, including measures to stabilise bed and/ or bank structures where feasible
and reasonable, and to rehabilitate affected riparian vegetation to existing or better
condition. The timing of rehabilitation of the waterways shall be identified in the
SWMP;
Management Plans -
Soil and Water
Management Plan: Plan
Requirements
2.1.2 (l) a contingency plan, consistent with the Guidelines for the Management of Acid
Sulfate Materials, to deal with the unexpected discovery of actual or potential acid
sulfate soils, including procedures for the investigation, handling, treatment and
management of such soils and water seepage;
Management Plans -
Soil and Water
Management Plan: Plan
Requirements
2.1.2 (m) a tannin leachate management protocol to manage the stockpiling of mulch and use
of cleared vegetation and mulch filters for erosion and sediment control;
Management Plans -
Soil and Water
Management Plan: Plan
Requirements
2.1.2 (n) construction water quality monitoring requirements as outlined in the WQMP
prepared by the Principal; and
Management Plans -
Soil and Water
Management Plan: Plan
Requirements
2.1.2 (o) a groundwater management strategy, including (but not necessarily limited to):
(i) description and identification of groundwater resources (including depths of the
water table and water quality) potentially affected by the Works on groundwater;
(ii) identification of surrounding licensed bores, dams or other water supplies and
groundwater dependant ecosystems and potential groundwater risks associated with the
Works on these groundwater users and ecosystems;
(iii) measures to manage identified impacts on water table, flow regimes and quality
and to groundwater users and ecosystems;
(iv) groundwater inflow control, handling, treatment and disposal methods; and
(v) a detailed monitoring plan to identify monitoring methods, locations, frequency,
duration and analysis requirements.
Management Plans -
Soil and Water
Management Plan: Plan
Requirements
2.1.2 The SWMP must include the identification of works and activities, including emergencies
and spill events, that have the potential to impact on surface water quality of affected
waterways and implementation and monitoring of control measures.
Management Plans -
Soil and Water
Management Plan: Plan
Requirements
2.1.2 The groundwater management strategy included in the SWMP must include installation
of piezometers and monitoring of groundwater, generally in the locations shown in the
Water Quality Management Program, to identify any impacts during construction.
Management Plans -
Erorsion and Sediment
Control Plan
2.2 Prepare and implement an Erosion and Sediment Control Plan (ESCP) for the Work Under
the Contract which is consistent with your construction staging proposals accepted by
the Principal in accordance with RMS G1, Clause 19. The ESCP will form part of the
CEMP, and where a SWMP is also required, the ESCP will be incorporated in the SWMP
and must address the requirements detailed in the example Erosion and Sedimentation
Control Drawings.
The ESCP must be prepared by a person with demonstrated skills and experience in
preparing the ESCP in accordance with the BLUE BOOK guidelines.
Management Plans -
Erorsion and Sediment
Control Plan
2.2.1 Review the effectiveness of the ESCP at least monthly and within 24 hours after each
rainfall event exceeding 10mm and update the ESCP to address any identified
deficiencies in the adequacy of the existing control measures. Keep the ESCP updated
to reflect any changes in the existing controls.
Management Plans -
Erorsion and Sediment
Control Plan: Plan
Requirements
2.2.2 The ESCP must identify all erosion and sediment control risks and describe how these
will be addressed during construction.
yes
Management Plans -
Erorsion and Sediment
Control Plan: Plan
Requirements
2.2.2 The ESCP must include details of the following where relevant:
(a) erosion and sediment control measures required:
(i) before clearing and grubbing of the Site;
(ii) before removal of topsoil and commencement of earthworks within the catchment
area;
(b) how upstream water will be managed so it is not polluted by the construction
activities;
(c) method of tree removal in intermittent watercourses, leaving grasses and small
understorey species undisturbed wherever possible;
(d) scour protection measures for haul roads and access tracks when these are an
erosion hazard due to either their steepness, soil erodibility or potential for
concentrating runoff flow;
(e) measures for stabilising temporary drains;
(f) measures to minimise erosion during construction of embankments;
(g) measures to minimise erosion and control sedimentation from stockpiles;
(h) methods of constructing batters to assist the retention of topsoil on the batter
slopes;
(i) measures to temporarily trap sediment in median areas at regular intervals;
(j) controls in runoff flow paths to reduce flow velocities and minimise the potential for
erosion;
(k) measures for controlling waste water discharge on or around the Site from
dewatering (refer to Clause 3.5), surface washing, grit blasting, saw cutting, drilling,
washing vehicles and plant and any other activities which add pollutants to water;
(l) measures to be put in place during an extended shut-down of the Site or when
rainfall above a certain trigger level is predicted;
yes
Management Plans -
Erorsion and Sediment
Control Plan: Plan
Requirements
2.2.3 (m) maintenance of erosion and sediment control structures including measures to
restore their capacity;
(n) inspection and auditing program for all erosion and sediment controls to ensure that
no disturbed area is left without adequate erosion and sediment controls;
(o) implementation of appropriate measures to contain any turbid water by applying
best management practices such as silt curtains or similar.
Management Plans -
Erorsion and Sediment
Control Plan: Plan
Preparation
2.2.2 Progressively, before work begins on any section of the Site, prepare a drawing for that
section showing all controls required to avoid erosion and sedimentation of the Site,
surrounding areas, watercourses, drainage systems, water bodies and wetlands.
Update each drawing regularly as the site conditions changes during the progress of
Work Under the Contract. Include as part of the ESCP a procedure for updating the
drawings, and keep a register of all such drawings with the dates of submission,
approval, and commencement of work on that section.
Management Plans -
Erorsion and Sediment
Control Plan: Plan
Preparation
2.2.2 Include on the drawings locations of all ancillary activities and/or areas that may
impact on water quality, such as:
(a) access and haulage tracks;
(b) borrow pits;
(c) stockpile and storage areas;
(d) temporary work areas;
(d) materials processing areas;
(e) compound areas;
(f) concrete and asphalt batching areas.
Management Plans -
Water Quality
Monitoring
2.3 Prepare a Water Quality Monitoring Program (WQMP), as a supplement to the ESCP, in
accordance with the RMS Guideline for Construction Water Quality Monitoring and EPA
publication “Approved Methods for the Sampling and Analysis of Water Pollutants in
NSW.”.
yes
Management Plans -
Water Quality
Monitoring
2.3 Include the following in the WQMP:
(a) objectives of the monitoring (including EPA licence requirements);
(b) map showing the water sampling locations;
(c) sampling protocol, including sample collection, chain of custody information and
sample preservation;
(d) parameters to be monitored;
(e) method for interpretation of field results and identifying exceedance of water
quality criteria;
(f) accountabilities, responsibilities and training required the meet the monitoring
objectives;
(g) method of comparison of results between sampling locations (e.g. upstream and
downstream) and any water quality criteria and/or targets;
(h) reporting and recording of the monitoring results;
(i) responsibility for planning, implementing, checking and reviewing each element of
the monitoring;
(j) methodology for using monitoring results to assess and manage identified problems;
(k) reporting requirements in the case the monitoring results exceed the set criteria;
(l) method of monitoring water quality in the river to assess the effectiveness of water
quality mitigation measures.
yes
Management Plans -
Water Quality
Monitoring
2.3 Laboratories used in the monitoring program must be accredited by the National
Association of Testing Authorities (NATA).
Management Plans -
Water Quality
Monitoring
2.3 Georgiou is responsible for field and laboratory monitoring during the Contract period.
The Principal is responsible for the water quality monitoring prior to the Date of
Contract and after the Actual Completion Date.
Management Plans -
Design Guide
2.4 In preparing the SWMP and/or ESCP, be guided by the BLUE BOOK.
Comply with the following requirements:
(i) estimate peak flows and other parameters needed to design drains and drainage
structures using the methods described in Australian Rainfall and Runoff;
(ii) use the Average Recurrence Interval (ARI) shown in Annexure G38/E for the design
of erosion and sediment control measures, unless site conditions or risks to life,
property or the environment suggest that other values are applicable;
(iii) superimpose the drawings accompanying the plans on A3 sized drainage drawings of
the Works.
Management Plans -
Management Review
2.5 Develop a documented process to periodically review the effectiveness and proper
implementation of the SWMP and ESCP. The management review process must identify
opportunities for continual improvement of your environmental management processes
and practices, and ensure that the SWMP and ESCP remain current and relevant to the
Work Under the Contract.
Soil and Water
Management Measures -
Erosion and Sediments
Constrol
3.1.1 In addition to the erosion and sediment control measures stated in Clause 2.2,
implement the following:
(i) placing the locations of site compounds, access tracks, stockpile sites and temporary
work areas to minimise erosion;
(ii) staging of work and programming of construction activities to minimise the duration
and extent of soil that is left exposed. This includes minimising the time between
clearing and initial earthworks and commencement of subsequent works in intermittent
and permanent watercourses;
(iii) temporary modification of operational basins during the construction period for
additional capture of stormwater runoff;
(iv) installing and lining catch drains and diversion banks in accordance with the
requirements of Specification RMS R11 before earthworks commence;
(v) installing scour protection at the base of permanent and temporary drainage outlets;
(vi) constructing drains to direct runoff from disturbed areas to sediment basins or to
areas with adequate sediment trapping/filtering devices and away from watercourses;
(vii) filtering of sediment prior to water entering any pit and management of
stormwater discharge through any pit;
(viii) staged re-vegetation of the Site as work proceeds, progressively undertaking
topsoiling and vegetation work as specified in RMS R178.
yes
HOLD POINT Commencement of work requiring the installation of erosion control and sediment
capture measures not previously addressed by ESCP and authorised by earlier Hold Point
release.
Drawings prepared progressively for sections of the Site where work is to commence.
The drawing(s) must be submitted at least ten working days before disturbance of the
surface of the section of the Site.
WITNESS POINT Disturbance of the existing surface on a section of the Site, other than for the
installation of erosion and sediment capture measures.
Written advice that the measures described in the ESCP and included on the drawing
submitted progressively for that section of the Site have been implemented or the date
by which implementation will be completed. The advice must be forwarded at least five
working days before the works are to commence.
Soil and Water
Management Measures -
Erosion and Sediments
Constrol: Register
3.1.2 Maintain a register of inspection and maintenance of erosion control and sediment
capture measures, dates of discharge, water treatment (flocculation) performed,
discharge water quality as defined in Clause 2.3, volumes of sediment removed from
each device and daily rainfall.
yes
Stockpile Management 3.2 Establish erosion control and sediment capture measures, and maintain them regularly,
to divert offsite stormwater, manage onsite stormwater runoff and stabilise stockpiles
in accordance with RMS Technical Guideline EMS-TG-010: Stockpile Site Management
and the BLUE BOOK guidelines.
yes
Stockpile Management 3.2 Install erosion control and sediment capture measures prior to stockpiling material. yes
Stockpile Management 3.2 Comply with the following:
(a) Locate stockpiles outside of the tree protection zone of trees or native vegetation
identified for retention. Delineate the tree protection zone in accordance with AS 4970.
(b) Locate stockpiles at least 5 m from likely areas of concentrated water flows and at
least 10 m from waterways that are classified as Class 1 and Class 2 from the DPI
Fisheries guideline “Why do Fish Need to Cross the Road? Fish Passage Requirements for
Waterway Crossings”.
(c) Keep stockpile heights to no greater than 2 m, unless otherwise approved by the
Principal, and slopes to no steeper than 2:1.
(d) Cover, or otherwise protect from erosion, stockpiles that will be in place for more
than 20 days as well as any stockpiles that are susceptible to wind or water erosion,
within 10 days of forming each stockpile.
(e) Keep topsoil that is not contaminated by noxious weeds in stockpiles for later
spreading on fill batters and other areas. Other material may also be stockpiled but
kept separated from the topsoil stockpiles.
(f) Implement measures to prevent the growth of weeds in topsoil stockpiles.
(g) Comply with your Flood Management Plan to minimise the effects of flood events in
accordance with RMS G1.
yes
Tanin Management 3.3 Prepare a procedure to manage the use and stockpiling of mulch on Site and to reduce
the risk of tannin leachate from mulch flowing into waterways, and include this within
the SWMP or ESCP. Prepare the procedure in accordance with RMS Environmental
Direction 25: Management of Tannins from Vegetation Mulch.
yes
Water Extraction 3.4 Where relevant, describe in the SWMP or ESCP the proposed water source(s) intended
for use for construction activities. Obtain all necessary approvals and licences from the
New South Wales Office of Water,Newcastle City Council, and/or any other persons or
authorities having responsibility for the chosen source(s) before commencing extraction.
If the proposed source is other than a town water supply or natural water source,
include procedures for regular testing to ensure that the water is suitable for the
purpose and is not hazardous to health and the environment.
yes
Soil and Water
Management Measures -
Construction Site
Dewatering
3.5.1 Conduct any dewatering activities in a manner that does not cause erosion and/or
pollute the environment.
yes
Soil and Water
Management Measures -
Construction Site
Dewatering: Procedure
3.5.2 Prepare a procedure for all identified dewatering activities as part of the SWMP or
ESCP. Further guidance for the preparation of a dewatering procedure is provided in
RMS Technical Guideline EMS-TG-011: Environmental Management of Construction Site
Dewatering.
yes
Soil and Water
Management Measures -
Construction Site
Dewatering:
Implementation
3.5.4 Prior to the commencement of dewatering, inspect the entire system, including intakes
and outlets, pumping and discharge locations.
Wherever possible, supervise any dewatering activities directly. If you choose not to
directly supervise dewatering, carry out a risk assessment and implement mitigation
measures to eliminate the risks of pollution and to prevent the occurrence of the
following:
(i) intake suction placed within the deposited sediments resulting in discharge of
sediment laden waters;
(ii) erosion at discharge locations and downstream areas;
(iii) inadvertent or intentional controlled discharge of untreated waters.
yes
Soil and Water
Management Measures -
Construction Site
Dewatering: Records
3.5.5 Keep records of the following:
(i) dewatering procedure;
(ii) date and time for each discharge at each location;
(iii) water quality test results for each discharge;
(iv) personnel approving the dewatering activities;
(v) evidence of discharge monitoring, or risk assessment and mitigation measures used
to eliminate the risks of pollution or erosion;
(vi) any other EPA licence requirements where issued.
yes
Soil and Water
Management Measures -
Working in Waterways:
EWMS
3.6.1 Where work is required within waterways, prepare an Environmental Work Method
Statement (EWMS) for the work(s). Refer to RMS G36 for guidance on preparing an
EWMS.
yes
Soil and Water
Management Measures -
Working in Waterways:
EWMS
3.6.1 The EWMS for work in waterways must detail the control measures to avoid or minimise
erosion and any adverse impact on water quality and riparian fauna and flora, and must
include the following:
(a) plan the Work Under the Contract to avoid, where practicable, any activities in
aquatic habitats and riparian zones;
(b) properly protect and signpost as environmentally sensitive areas, all waterways
areas in or adjacent to the Site which are excluded from the work areas. Refer to RMS
G36 for the requirements for working in environmentally sensitive areas;
(c) minimise riparian vegetation removal where practicable, and restrict access to the
waterways to the minimum amount of bank length required for the activity;
(d) retain stumps in riparian zones and aquatic habitats, where practicable, to reduce
the potential for bank erosion;
(e) carry out any refuelling of plant and equipment, chemical storage and decanting at
least 50 m away from aquatic habitats unless otherwise approved by the Principal;
(f) operate your boats or other watercraft in a manner that prevent boat wash which
could cause erosion of the banks, and propeller damage to seagrass beds.
Soil and Water
Management Measures -
Working in Waterways:
Temporary Waterway
Crossings
3.6.2 Provide temporary waterway crossings if required to maintain the flow in the waterway.
To minimise impacts on the waterways, take into consideration aspects described in
3.6.2
yes
Sediment Basins:
Operational Basins
3.7.1 During construction of the Work Under the Contract the Biofiltration Basin may be used
as a temporary sediment basin. The floor level of the temporary sediment basin shall be
no lower than RL 7.21. The penstock in the Basin Collection Pit must be locked in the
closed position at all times during construction. When the basin is no longer required as
a temporary sediment basin convert it to a Biofiltration Basin in accordance with Clause
3.8 and the Drawings.
Sediment Basins:
Operational Basins
3.7.1 Construct operational basins in accordance with the Drawings or as directed by the
Principal.
Sediment Basins:
Operational Basins
3.7.1 Clean out all operational basins and drainage structures before Actual Completion.
Sediment Basins:
Construction Sediment
Retention Basins
3.7.2 Design the construction sediment retention basins in accordance with the BLUE BOOK
guidelines.
Sediment Basins:
Construction Sediment
Retention Basins
3.7.2 Construct the basins in accordance with the requirements of Clause 3.7.1 for
operational basins, unless alternative designs using alternative materials and
construction methods are proposed.
yes
Sediment Basins:
Construction Sediment
Retention Basins
3.7.2 If you propose to use operational basins for sedimentation control during the duration of
the Contract, the environmental requirements specified for any discharge must be
complied with.
Sediment Basins: Inlets,
Outlets and Spillways
3.7.3 Construct inlets, outlets and spillways as soon as possible using rock filled woven
galvanised steel mattresses laid on a needle punched, mechanically bonded, non-woven
geotextile filter fabric. The rock filled mattresses must comply with Specification RMS
R55 and the geotextile must comply with the requirements of Specification RMS R63 for
Application Category G4, unless shown otherwise on the Drawings.
Sediment Basins:
Flocculation
3.7.4 Where flocculation is necessary to settle suspended sediments in the basins, apply
calcium sulphate (gypsum) as the flocculating agent to settle the sediments within 24
hours of the conclusion of each rain event causing runoff.
Sediment Basins:
Flocculation
3.7.4 Before discharging water from a basin, test the water to ensure that it meets the
following criteria:
• total suspended solids 50 mg/L
• pH 6.5 – 8.5, and
• oil and grease no visible trace
Sediment Basins:
Flocculation
3.7.4 If a statistical correlation is developed between turbidity (NTU) and Total Suspended
Solids (TSS) through the construction phase for discharge water, turbidity measurements
may be used to allow discharge from sediment basins before laboratory data is
available.
Sediment Basins:
Flocculation
3.7.4 Provide a copy of the statistical correlation assessment methodology and results to the
Principal before using turbidity in place of TSS for approval.
Sediment Basins:
Flocculation
3.7.4 Following approval from the Principal, include in the dewatering procedure a method of
ongoing verification of the relationship between turbidity measurements and TSS that
includes notification to the Principal of any amendments made to the statistical
correlation as a result of the ongoing verification before using the revised statistical
correlation.
Sediment Basins:
Maintenance of
Sediment Basins
3.7.5 Clean out sediment basins, at minimum, whenever the accumulated sediment exceeds
60% of the sediment storage zone.
Remove accumulated sediment from sediment basins and traps in such a manner as not
to damage the structures. Dispose of the sediment removed in such locations that the
sediment will not be conveyed back into the construction areas, into watercourses or
off site.
Provide and maintain suitable access to sediment basins and sediment traps to allow
cleaning out in all weather conditions.
Removal of Basins 3.7.6 Remove all construction sediment retention basins and sediment traps before
Completion, but not before all upstream areas have been vegetated or otherwise
stabilised in accordance with BLUE BOOK. Update your ESCP progressively as these
structures are decommissioned and removed.Restore the ground disturbed by the
construction of the sediment basins/traps to a similar condition to that previously
existing. Include the following in the restoration work:
(a) removal of all redundant mattresses from the inlets and spillway(s) and their
subsequent burial into the basin area or their use as scour protection or their removal
from Site;
(b) spreading and compaction of the embankment material into the basin area;
(c) removal of access roads.
yes
Sediment Bains:
Biofiltration Basin
3.8 A biofiltration system shall be constructed as shown on the Drawings when the basin
ceases to be used for temporary use during construction.
A geosynthetic clay liner (GCL) shall be installed on the basin floor and embankments as
shown on the Drawings. The surface beneath the GCL shall be inspected prior to the
insulation of the GCL.
The GCL shall be “Bentofix NSP 4300” supplied by Global Synthetics or approved
equivalent and installed strictly in accordance with the manufacturer’s written
instructions.
HOLD POINT Placing GCL
(a) Notification of completion of excavation to base of biofiltration layer; and
(b) CBR and PI test results.
WITNESS POINT Placing GCL . Notify the Principle at least 5 days prior to placing
Sediment Bains:
Biofiltration Basin
3.8 The GCL shall be inspected prior to filling placed on top of it for defects including holes,
tears, blisters and contamination prior to covering with sand bedding. Promptly notify
the Principal of any defects, the proposed disposition and the manufacturer’s written
approval of the proposed disposition.
Piezometer 3.9 Install piezometers and monitor groundwater quality and levels, generally in the
locations shown in the Water Quality Management Program, to identify any impacts
during construction at the following locations:
Northern River Bank Approximately 25 m deep Two separate screens one for the
Alluvial (6 - 12 m) and one for the Permian bedrock layer (19 - 25 m).
Southern River Bank 13 m deep One screen for the Alluvial layer (4 - 10 m).
Piezometer 2.9 Groundwater quality and levels monitoring must comprise:
One groundwater sampling and automatic groundwater level measurement event per
month at 3 groundwater piezometers from the date of Site access until Completion
when there is no rainfall.
Two groundwater sampling and automatic groundwater level measurements (one dry
and one wet) per month at 3 groundwater piezometers from the date of Site access
until Completion during periods when rainfall results in any discharge from the Site or
when discharge from a point source such as a sediment basin occurs.
Piezometer 3.9 Monitor the groundwater in accordance with the Water Quality Management Program
to:
Identify if water quality impacts are occurring as the result of the construction.
Demonstrate compliance with legal and other monitoring requirements.
Assess and manage potential impacts on the receiving waters.
Section (G36) Hold Point/Winess Point Completed?
3.1 Process Held: Commencement of work requiring the installation of erosion control and sediment
capture measures not previously addressed by ESCP and authorised by earlier Hold Point release.
Submission Details: Drawings prepared progressively for sections of the Site where work is to
commence. The drawing(s) must be submitted at least ten working days before disturbance of the
surface of the section of the Site.
Release of Hold Point: The Principal will consider the submitted drawing(s) prior to authorising the
release of the Hold Point.
3.1 Process Witnessed: Disturbance of the existing surface on a section of the Site, other than for the
installation of erosion and sediment capture measures.
Submission Details: Written advice that the measures described in the ESCP and included on the
drawing submitted progressively for that section of the Site including water quality structures
together with associated temporary or permanent connecting stormwater drainage lines and/or
catch drains have been implemented or the date by which implementation will be completed. The
advice must be forwarded at least five working days before the works are to commence.3.8 HOLD POINT
Process Held: Placing GCL.
Submission Details: (a) Notification of completion of excavation to base of biofiltration layer; and
(b) CBR and PI test results.
Release of Hold Point: The Principal will consider the submitted documents may inspect the base of
biofiltration layer and may direct further action prior to authorising the release of the Hold Point
3.8 WITNESS POINT
Process Witnessed: Placing GCL
Submission Details: Notify the Principal at least five (5) working days prior to placing the GCL.3.8 WITNESS POINT
Process Witnessed: Supply and placement of biofiltration media
Submission Details: Test results and material samples. The test results and samples must be
forwarded at least five working days prior to supply of the media.
Windsor Bridge Replacement G 38 Hold/Witness Points
Heading Section
(G36)
Statement Compli
ance in
CEMP
Section Notes Review
Required?
Review
Date
Complete?
(Yes/No)
Notes
Clearing: Area to be
cleared for the
formation
2.1 Unless shown otherwise on the Drawings, the area to be cleared for the formation is that which will
be occupied by the completed formation plus a clearance of 4 m beyond tops of cuts and toes of
embankments where the natural fall of the ground is towards the roadway and 2 m beyond the tops
of cuts and toes of embankments where the natural fall of the ground either slopes away from the
roadway or is level.
Also clear areas that will be occupied by ancillary earth features shown on the Drawings, including
sediment basins and traps, open drains and diversion banks.
Clearing: Area to be
cleared outside the
formation
2.2 Any area outside the area to be cleared for the formation as defined in Clause 2.1 and which the
Principal has approved as a site for the Contractor’s facilities, the Principal’s accommodation,
stockpiles, borrow pits or any other purpose connected with the contract must be cleared to the
extent required for the approved purpose. The area cleared must be the minimum consistent with
the intended use.
Clearing: Area to be
cleared outside the
formation
2.2 All trees, stumps and logs of the sizes listed below which are outside the area to be cleared for the
formation as defined in Clause 2.1 but which are within the hazard line shown on the Drawings must
be removed with a minimum of disturbance to adjacent trees and other vegetation. The sizes of the
trees, stumps and logs that must be removed are shown in Table G40.1.
Clearing: Area to be
cleared outside the
formation
2.2 All minor built structures within the road reserve must be removed unless otherwise shown on the
drawings or marked to be preserved.
Clearing: Area to be
cleared for bridges
2.3 At bridges, all trees and stumps and all built structures must be removed within the area specified in
Annexure G40/A except:
(a) where shown otherwise on the Drawings; or
(b) marked to be preserved; or
(c) within 5 m of the bank of any stream or other waterway.
Clearing: Clearing 2.4 Before clearing commences, identify the limits of clearing by clearly visible markers placed at 25 m
intervals on each side of the road formation and bridges as shown on the Drawings. Also provide a
report which:
(a) includes a statement from an Ecologist that identifies the species and location of any weeds
growing anywhere in the road reserve over the length to be cleared and grubbed;
(b) identifies all locations of threatened flora species and trees which have been marked or
otherwise identified for preservation; and
(c) lists any trees outside the limits of clearing which are unsound and likely to fall upon the roadway
or onto private property.
Clearing: Clearing 2.4 Plan and carry out all operations to ensure that there is no damage to any trees outside the limits of
clearing specified.
Trees nominated in (c) above must be marked and identified in the clearing and grubbing plan in a
manner which allows them to be identified as one of the listed trees and whether pruning or removal
is recommended. Areas of weed infestation identified in the ecologist report (Clause 2.4 (a) must be
marked).
Clearing: Clearing 2.4 Before commencing clearing and grubbing all soil erosion and sedimentation controls required for this
phase of construction must be installed in accordance with RMS G38. All staff must be made aware of
the Noxious Weeds present on-site and requirements related to the listing under the Noxious Weeds
Act 1993.
Windsor Bridge Replacement - Compliance Tracking Matrix
G 38 - Soil and Water
Clearing: Clearing 2.4 Weeds must be removed and disposed of in accordance with the requirements of the local Council.
Removal of weeds growing in the area to be cleared and grubbed must be carried out at your cost.
Removal and disposal of weeds growing in the road reserve outside the area to be cleared and
grubbed may be directed by the Principal as a Variation to the Contract unless the Principal elects to
have this work carried out by others.
Clearing: Clearing 2.4 Take protective measures during the operations of clearing and road construction to avoid damaging
or destroying threatened flora species and trees which have been marked or otherwise identified for
preservation. These measures must include but not be limited to:
(i) fencing around trees clear of the canopy line;
(ii) ensuring no materials are stockpiled and no vehicles are parked under the canopy;
(iii) avoiding excavation or the placing of fill near any tree without advice from an ecologist; and
(iv) routing haul roads and access tracks clear of the canopy.
Clearing: Clearing 2.4 If any tree, which must be preserved, is found to be within the area to be covered by embankment,
protective measures for the tree and safety barriers of a type not specifically shown on the Drawings
will be directed as a Variation to the Contract.
Clearing: Clearing 2.4 Those trees remaining within the road reserve, but outside the limits of clearing, which the Principal
has agreed are unsound and likely to fall upon the roadway or onto private property must be cleared
or pruned in accordance with AS 4373.
Clearing: Clearing 2.4 Any branch, which overhangs the road formation, must be cut back flush with the tree trunk in
accordance with AS 4373.
Clearing: Clearing 2.4 Every precaution must be taken to prevent timber from falling on private property and dispose of any
timber so fallen or produce the written consent of the owner to its remaining there
Clearing: Clearing 2.4 Existing trees, grasses and other ground cover must be retained within 15 m of rivers, creeks and
watercourses and in all drainage lines until immediately before construction commences in the area.
An access track may be constructed across these areas on an alignment that will minimise erosion.
Notwithstanding the retention of the ground cover, soil erosion and sedimentation controls for the
area must be installed in accordance with RMS G38. All trees in these areas must be felled manually,
leaving grasses and small understorey species wherever possible.
Clearing: Clearing 2.4 Damage of any kind, including damage to fencing or trees or other vegetation outside the limits of
clearing, which occurs during clearing operations, must be made good by you.
Clearing: Clearing 2.4 Holes left following the removal of trees and stumps must be backfilled and vegetated as described
in clause 3.
HOLD POINT Clearing any area of work.
Clearing and Grubbing Plan (Annexure G40/D) and report on the presence of weeds and unsound
trees together with written notice that limits of clearing and areas of weed infestation identified in
the ecologist report (Clause 2.4 (a) are marked), at least seven days before starting any clearing.
Clearing: Clearing of
Built Structures
2.5 Built structures other than marked or otherwise identified for preservation must be completely
removed, including footings. Built structures which are only discovered during clearing and grubbing
are to be retained until the Principal authorises their removal. Holes must be backfilled and
vegetated as described in clause 3.
Grubbing 3 All trees and stumps, on or within the limits of clearing defined in Clauses 2.1, 2.2 and 2.3, and
which are unable to be felled and removed by the clearing methods used by you, must be removed
by grubbing.
Grubbing 3 Grubbing operations must be carried out both to a depth of 0.5 m below the natural surface and 1.5
m below the top of the Selected Material Zone.
Grubbing 3 Holes remaining after trees and stumps have been grubbed must be backfilled promptly with sound
material to prevent the infiltration and ponding of water. The backfilling material must be
compacted to at least the relative compaction of the material existing in the adjacent ground.
Backfill material and compaction must comply with the requirements of RMS R44 when it forms part
of an engineered embankment or foundation. In the area defined in Clause 2.2, the final 50 mm of
backfilling must be topsoil and the area must be vegetated within 7 days of removal of stump.
Topsoil and vegetation must comply with Specification RMS R178.
Production and
stockpiling of mulch:
Mulch
4.1 Native trees removed during clearing and grubbing may be used in conjunction with soil erosion and
sediment control measures. All other native trees removed must be converted to mulch and
stockpiled for use during landscape planting under the Contract. This requirement is subject to the
following constraints:
(a) Where the native vegetation on Site is insufficient to provide the quantities of mulch needed
during landscape planting, all native trees removed during clearing and grubbing must be mulched
and stockpiled. Under no circumstances must the extent of clearing and grubbing be extended or
weeds or exotic species used to make up any shortfall of mulch;
(b) Where the quantity of mulch produced exceeds the quantity required under the Contract, the
excess mulch will become your property and must be removed from the Site.
Production and
stockpiling of mulch:
Mulch
4.1 All stockpiles must be on the site of the Works as described elsewhere in the documents. If you
intend to use any stockpile site not shown on the Drawings, submit your application to the Principal
at least ten working days before stockpiling is due to commence. State in your application the
maximum dimensions of the proposed stockpile.
Production and
stockpiling of mulch:
Mulch stockpiles
4.2 Stockpile sites must be located away from drainage lines and watercourses and must be arranged to
minimise damage to natural vegetation and trees. The stockpile sites must be positioned so that the
stockpiled material may be transported away at any time. Any clearing and grubbing required for
these sites must be carried out in accordance with this Specification. Temporary erosion and
sediment control measures must be taken in accordance with RMS G38.
Production and
stockpiling of mulch:
Mulch stockpiles
4.2 Restoration of stockpile sites following completion of the work must be carried out in accordance
with RMS R178.
Production and
stockpiling of mulch:
Mulch stockpiles
4.2 Stockpiles must be monitored and turned over as required to avoid spontaneous combustion.
Production and
stockpiling of mulch:
Mulch stockpiles
4.2 Mulch in excess of the quantity required for landscape planting must not be stockpiled on site.
Disposal of Materials 5 Unless otherwise specified, all materials cleared, pruned and grubbed, demolished, removed in
accordance with this Specification shall become your property and must be removed from the site for
recycling or disposal. Disposal must be in accordance with your Waste Management Plan.
Disposal of Materials 5 All sandstone kerbs, gutters and, paving to be removed must be handled carefully to avoid damage
and delivered to the Hawkesbury City Council depot for Council’s use on future projects.
Disposal of Materials 5 Disposal of timber and other combustible materials by burning must comply with the requirements of
Specification RMS G36.
Disused footpath,
median, driveway
and kerb and gutter
6 Saw-cut the limit of concrete footpath, median, driveway and kerb and gutter to provide a clean,
straight edge on the concrete to remain.
Disused footpath,
median, driveway
and kerb and gutter
6 Remove the disused concrete and all materials removed, except sandstone components, shall
become your property and must be disposed of off-site in accordance with the requirements of the
Contract.
Existing pavement to
be removed
7 Comply with your Coal Tar Asphalt Management Plan.
Existing pavement to
be removed
7 Saw-cut the limit of existing pavement to be removed to provide a clean, straight edge on the
pavement to remain.
Existing pavement to
be removed
7 Remove the existing asphalt material. The material removed shall become your property and must be
disposed of off-site in accordance with the Waste Management Plan.
Existing pavement to
be removed
7 Rip the underlying pavement material to a depth of 300mm.
Disused pipes,
conduits, pits and
headwalls
8 Treat all disused underground pipes, conduits, pits and headwalls in accordance with the following
requirements:
(a) Under road pavement, within 1.5 m (vertical) of the pavement design surface plus 1.0 m either
side of the pavement – Excavate and remove the pipe, conduit, pit and headwall, including wingwalls
and apron slab, completely.
(b) All other areas – Isolate and block the pipe, conduit or pit.
Disused pipes,
conduits, pits and
headwalls
8 The removal and disposal of disused asbestos pipes and conduits must be carried out by a licensed
asbestos removalist holding a current licence issued by WorkCover NSW. Prepare Work Method
Statements for the removal and disposal of abandoned and disused asbestos pipes and conduits.
HOLD POINT Commencement of removal and disposal of disused asbestos pipes and conduits.
Work Method Statement documents for the removal and disposal of disused asbestos pipes and
conduits.
Disused pipes,
conduits, pits and
headwalls
8 Dispose of the asbestos material at sites legally authorised to accept the contaminated material.
Disused pipes,
conduits, pits and
headwalls
8 Backfilling of the excavation shall be in accordance with RMS R11.
Disused pipes,
conduits, pits and
headwalls
8 Where disused pipes or conduits are to be left in place under road embankments, the Principal may
direct that these be filled using cement stabilised sand in a ratio of 10 parts sand to 1 part cement
pumped into the pipe or conduit.
Disused pipes,
conduits, pits and
headwalls
8 All materials removed shall become your property and must be disposed of off-site in accordance
with the requirements of the Contract.
Section (G38) Hold Point & Witness Point Completed?
2.4 Process Held. Clearing any area of work.
Submission Details. Clearing and Grubbing Plan (Annexure G40/D) and report on the presence
of weeds and unsound trees together with written notice that limits of
clearing and areas of weed infestation identified in the ecologist report
(Clause 2.4 (a) are marked), at least seven days before starting any clearing.
Release of Hold Point. The Principal will consider the submitted documents, inspect and mark trees
or built structures for preservation, prior to authorising the release of the
Hold Point.
8 Process Held: Commencement of removal and disposal of disused asbestos pipes and conduits.
Submission Details: Work Method Statement documents for the removal and disposal of disused
asbestos pipes and conduits.
Release of Hold Point: The Principal will consider the documents prior to authorising the release of
the Hold Point for the nominated work.
G36 Hold Points
Windsor Bridge Replacement
Title:
Project:
Heading Activity Hazard Aspect Unwanted EventUncontrolled Risk
ScoreMandatory Controls Project Specific Controls Legal and other References
Controlled Risk
Score
Pre-mobilisation Environmental
Approvals
Environmental approvals not in
place to commence work
Non compliance with DoPE
conditions of approval reulting
fine / prosecution from DoPE
Extreme
Develop and get CEMP approved by DoPE
develop and get EWMSs approved by RMS
develop and get ESCPs approved by RMS
get any construction permits required, eg water access licences etc
Internal compliance tracking register
weekly env inspections
engage project environmental representative
engage required environmental consultants, eg soil conservationist
Site staff are fully aware of the implications if work is conducted
onsite without the appropriate controls / approvals in place
This includes the site specific inductions.
POEO Act
EP&A Act
RMS G36, G38, G40
Project Determination CoAsModerate
Procurement & use of Hazardous Substances or Dangerous Substances
Hazardous Substances - Transportation of
hazardous
substances
'- Hazardous substances '- Spillage and release of
dangerous goods and hazardous
substances from transportation
and storage.
- Fire/explosion
- Injury to person and plant
transporting dangerous goods or
hazardous substances.
- Contamination of land or
nearby wat
High
- Licenced contractor to be employed to transport all dangerous good
substances unless an exemption covers the transport, eg small
quantities, single consignments of small receptacles and certain
quantities carried as tools of trade
other requirements;
- Adequate storage and restraining devices while in transit
(appropriate containers) as per the Australian Dangerous Goods
Code
- All Transportation quantities to be below State regulatory
requirements for transportation
- MSDS to accompany chemicals transported
- Spill kits/neutralising agents to be on truck
- Adequate relevant signage and placarding for container/truck
- Segregation from other dangerous goods as per the MSDS and
dangerous goods segregation table
- Transportation of goods to be done in accordance to ADG Code.
- Emergency Response Management Plan developed and in the
event of a hazardous substances release identified controls
implemented
- Emergency Response Team Leader elected for project
- Emergency Response Team Leader trained in emergency
procedure for hazardous substance release events
- Truck contains UHF radio
- Assessment shall be undertaken of any dangerous and hazardous
substances to be transported to determine if license is required from
Department of Consumer and Employment Protection.
- First aid kit on truck
- Environmental Management Plan
POEO Act
Dangerous Goods (Road and Rail Transport) Act 2008
Workcover NSW
Project Determination CoAs
Moderate
Hazardous Substances '- Plant & Equipment
usage
'- Incorrect storage and handling of
hazardous and dangerous goods
'- Spills and leaks.
- Contamination of land or
nearby waters.
- Storage lockers/tanks which
are inadequate to prevent fire/
explosion, intoxication or leaks.
- Detrimental impacts to personal
health
High
- Provide MSDS and emergency contact numbers
- JHA/SWMS to include recommendations including PPE
requirements for handling and storage
- When storing hazardous substances ensure:
- Adequate ventilation
- Relevant fire extinguishers are available
- Adequate signage and barricades if required
- All fuels stored away from ignition sources
- Segregation as per the dangerous goods segregation table
- Have the correct bunding installed. The capacity of the spillage
containment should be at least 110% of the volume of the largest
package with an extra 25% of the storage capacity up to 10,000 L
- When storage tanks are installed ensure that fuel storage and
refuelling areas will be designed with;
- Bollards installed around fuel storage facilities.
- Spill kits/neutralising agents to be on truck
- Adequate relevant signage and placarding for container/truck /
- Secondary containment around containers (lined refuelling area) or
double skinned
- Bulk chemical storage to be stored in bunded areas
- Compound located away from sensitive receptors
- Hazardous Chemical Procedure
- Staff trained in the management of chemicals kept on site
- Store in low volumes
- Environmental Management Plan - Hazardous Chemicals
Management Environmental Sub Plan
- EWMS - Spill prevention and response
Moderate
Hazardous Substances '- Dangerous Goods
/ hazardous
substances storage
'- Failure in the fuel depot from
plant and equipment collision.
'- Contamination of Environment
- Fire/explosion
High
- Bollards installed around fuel storage facilities.
- Spill kits/neutralising agents made available
- Adequate relevant signage and placarding for container/truck
- Preventative maintenance program
- Secondary containment around containers or double skinned
- Drive-over bund / lining for refuelling area
-Toolbox talks - Emergency Response Hydrocarbon spill
- QHEST -Georgiou internal reporting system
- Compound located away from sensitive receptors
- Hazardous Chemicals Procedure
- Pollution Incident Reponse Management Plan and Emergency
Response Management Plan developed and in the event of a
hazardous substances release identified controls implemented
- Emergency Response Team Leader trained in emergency
procedure for hazardous substance release events
- Construction Environmental Management Plan
- EWMS Spill prevention and response
POEO Act 1997
Project Determination CoAs
Moderate
Aspects and Impacts Register Windsor Bridge Replacement
1 of 8
Title:
Project:
Heading Activity Hazard Aspect Unwanted EventUncontrolled Risk
ScoreMandatory Controls Project Specific Controls Legal and other References
Controlled Risk
Score
Aspects and Impacts Register Windsor Bridge Replacement
General - apply to all activities
General - General Works '- Storm water runoff sedimentation of waterways /
Stormwater drains
Extreme
soil and water management sub plan to be developed
progressive ESCPs developed
ESCPs to be developed
dewatering permit to be developed
clean water diversions to be installed
sediment controls to be installed
POEO Act
RMS G36,38, G40
EIS
Blue Book (Landcom 2004)
Project Determination CoAsModerate
General - General Works - Working near non - aboriginal
heritage sites
- Damage/ disturbance to
heritage sites
- Non-compliance with CoA
- Reputation
Extreme
- If non-aboriginal artefacts are unexpectedly located immediately
notify the RMS Heritage Manager
- All work to cease if any suspected non-aboriginal artefacts are
located
- Site induction to cover unexpected finds procedure as well as all
known heritage items
- Environmental Management Plan - Cultural Heritage Management
Environmental Sub Plan
-conduct all required salvage works in accordance with the RMS
developed Archaeological lnvestigation Program and in consultation
with the RMS Heritage Manager
NPWS Act
POEO Act
G36
Archaeological lnvestigation Program
RMS unexpected heritage finds procedure
Project Determination CoAs
Moderate
General - General Works - Working near aboriginal heritage
sites
- Damage/ disturbance to
Indigenous & heritage sites
- Non-compliance with CoA
- Reputation
Extreme
- If Indigenous artefacts are unexpectedly located immediately notify
the RMS Heritage Manager who will engage traditional owners
- All work to cease if any suspected bones or artefacts are located
- Site induction to cover unexpected finds procedure as well as all
known heritage items
- Environmental Management Plan - Cultural Heritage Management
Environmental Sub Plan
-conduct all required salvage works in accordance with the RMS
developed detailed salvage strategy and in consultation with the RMS
Heritage Manager
NPWS Act
POEO Act
G36
Detailed Salvage Strategy
RMS unexpected heritage finds procedure
Project Determination CoAsModerate
General - General Works '- Dust generation
- Disturbance to Residential/
Commercial
- Dust Generation associated
with subgrade stabilisation (road
works)
High
'- Water exposed areas when visible dust is observed
- Where required, maintain communication with surrounding residents
and business owners
- Visual Dust monitoring
- Adhere to sign posted speed limits
- Air Quality & Dust Management Procedure
- Dust Monitors to be set up onsite
- Air Quality & Dust Management Environmental Sub Plan
- Conduct regular weather checks
- Environmental Management Plan Air Quality & Dust Management
Environmental Sub Plan
POEO Act
RMS G36,38, G40
EIS
Project Determination CoAsModerate
General - General Works '- Noise and vibration - Noise and vibration disruption
to the community and/or legal
non-compliance.
High
work within allocated hours
- Comply with ICNG guidelines relating to working periods, noise and
vibration.
- liaise with stakeholders
- Any complaints registered and monitored through QHEST
- Use quietest equipment where practically possible.
- Noise & Vibration Management Plan
community liason plan
- Noise and vibration monitoring as set out in the N & V management
plan
- Dilapidation study
- Fit and maintain appropriate mufflers on plant
- Environmental Management Plan - Noise & Vibration Management
Environmental Sub Plan
Leadership walks & inspections to monitor standards
POEO Act
DEC interim construction noise guidelines
EPL
RMS G36
Assessing Vibration a technical guideline NSW EPA
EPA Interim Construction Noise Guidelines
Project Determination CoAs
Moderate
General '- Wash down /
washout of plant
water quality '- Contamination of water
High
- Exclusion zones to prevent washdown in sensitive areas
develop soil and water management plan
spill response procedure
washdown only to occur at designated area away from drainage lines
and stormwater pits
- Environmental Management Plan - soil and Water Mangement
Environmental Sub Plan
POEO Act
RMS G36,38, G40
EIS
Project Determination CoAs Moderate
General '-Dewatering water quality contamination of waterways
High
- Discharge water onto a stable surface
- Disperse water where possible to facilitate infiltration through
methods such as spraying
'- Identify regulatory requirements before discharging
- Assess water quality before discharging
- Treat water before discharging where it does not meet the water
quality objectives
- Reuse water on for dust suppression etc
- Environmental Management Plan - soil and Water Management
Environmental Sub Plan
'- use the dewatering permit in the SWMP
- test pH, Total Suspended Solids & Turbidity
Procedure & general knowledge that all water is measured &
determined suitable prior to discharge
POEO Act
RMS G36,38, G40
EIS
Blue Book (Landcom 2004)
Project Determination CoAs Moderate
2 of 8
Title:
Project:
Heading Activity Hazard Aspect Unwanted EventUncontrolled Risk
ScoreMandatory Controls Project Specific Controls Legal and other References
Controlled Risk
Score
Aspects and Impacts Register Windsor Bridge Replacement
Environmental Conditions Flooding Flooding of worksite resulting in
serious injury or damage to
property/ plant
High
Develop Flood Management Plan
Remove plant & equipment to higher areas during forecast 'extreme
rain events'
Workers to be withdrawn from flood prone areas.
Supervisor to monitor site conditions before personnel resume works
JHA prior to re-entry to flooded areas
Secure all loose items / plant & machinery
House Keeping - no fuels, oils or other chemicals to be stored in flood
prone areas
Weather monitoring
Detailed head counts to ensure all workers are accounted for
ERMP roles & training
Develop Flood Management Plan
Consideration of potential flood areas when identifying laydown areas,
plant & equipment areas etc.
Emergency Response Management Plan developed and covers flood
events
All controls identified in the Flood Warning and Evacuation Plan
Work Health & Safety Act 2011
Work Health & Safety Regulation 2011 (regulation 43)
Project Emeregency Response Plan
Safework Australia Fact Sheet - Emergency plans
Low
Waste Management
Waste Management - Storage of wastes '- Waste -littering and contamination of
Site
Moderate
'- Clear signage indicating type of waste receptacle
- Provide sufficient waste receptacles to meet demand and regular
pick ups
- All food waste receptacles to have lids
- Periodic inspection to monitor waste onsite
- Use of registered waste removal contractor to remove all waste
Contaminated waste to be transported by a licensed carrier to a
licensed disposal facility
Waste carrier licecne to be attained when disposing of contaminated
material
Waste receipts to be retained
- Site Induction
- Toolbox Topics
- Waste Management Procedure
- Appropriate segregation, storage and containment available for
waste
- Environmental Management Plan - Waste Management
Environmental Sub Plan
- 90% diversion from landfill target
POEO Act
EPA NSW waste classification guidelines
RMS G36
Project Determination CoAs
Low
Waste Management '- Office Administration '- Waste of resources
- Wasteful use of energy
- Excessive paper to be recycled
at a cost to Georgiou Moderate
'- Recycling of empty ink cartridges
- Turn-off lights at non-critical times
- Where possible print/copy on both sides of paper and purchase
printers with capability to print double sided
- Waste Management Procedure
-develop sustainability action plan
Paper recycling bins
- Print on lower quality/ no colour to minimise toner usage
- Use of low energy globes where practical
- Environmental Management Plan - Waste Management
Environmental Sub Plan
EPA NSW waste classification guidelines
energy efficiency opportunities
Low
Energy and Resource Use '- Office
Administration
- Natural Resources - Excess use of natural
resources (Fuel & electrial
consumption & waste generation
Moderate
'- Turn-off lightswhen not required
- Where possible please do not print
- If the event that this can t be avoided print/copy double sided
- Waste Management Procedure
- '-develop sustainability action plan
Paper recycling bins
- Print on lower quality/ no colour to minimise toner usage
- Use of low energy globes
- Environmental Management Plan - Waste Management
Environmental Sub Plan
NGERs Act
energy efficiency opportunities
Low
Refuelling of Plant & Equipment
Refuelling of Plant &
Equipment
'- Refuelling plant
and equipment
Hydrocarbons '- Contamination of soil /
groundwater
- Degradation to flora & Fauna
High
- Spill kit available with fuel source
- Refuelling devices automatic operating function disabled
- Fire suppression equipment
- Stop engine while refuelling
- no mobile phone use while refuelling
spill response procedure to be developed
- Operators trained in use of re-fuelling equipment and informed of
approved locations to refuel.
- Designated personnel nominated for refuelling
- Drip trays for field refuelling
- Environmental Management Plan - spill response procedure
POEO Act
RMS G36,38, G40
EIS
Project Determination CoAsLow
Repairs and Maintenance of Plant & Equipment
Repairs and Maintenance
of Plant & Equipment
'- Waste oils and
parts
Hydrocarbons, degreasers and
detergents contaminating
waterways and soil
'- Hazardous substances
contaminating the environment
High
- Waste oils to be collected and stored in approved facilities and
disposed of using an approved licenced contractor
- Grease cartridges, oil filters etc to be disposed of in Hydrocarbon
bins
- Waste Management Procedure
-servicing of plant to occur offsite unless breakdown servicing
-Waste Receptacles to be located centrally on site wherte practically
possible
- Environmental Management Plan - Waste Management
Environmental Sub Plan
No routine maintenance workswithin 25 metres of waterways & spill
kit available
POEO Act
RMS G36,38, G40
EIS
Project Determination CoAsModerate
3 of 8
Title:
Project:
Heading Activity Hazard Aspect Unwanted EventUncontrolled Risk
ScoreMandatory Controls Project Specific Controls Legal and other References
Controlled Risk
Score
Aspects and Impacts Register Windsor Bridge Replacement
Traffic Management
Traffic Management Moving plant,
equipment,
Mobile plant and worker interaction Collision of mobile plant & worker
leading to potentially fatal injury,
damage to plant
Extreme
Positive comms, (verbal or signal), must be made between mobile
plant, heavy vehicle operators and /or personnel on foot & comms
acknowledged before clearance to proceed is granted before
entering exclusion zone.
Personnel on foot accessing areas of mobile plant or vehicle
movements must carry 2-way radio at all times, turned on & tuned to
correct channel.
Set up exclusion zones, walkways & controls specified within current
or location Vehicle Movement Plan
Operator to have attachments grounded & machine isolated from
movement before pedestrian may approach
Wear high vis PPE
Site Traffic Rules
Reverse alarms fitted to mobile plant
- Check reversing path before engaging in reverse
- Visitors escorted around worksite
- Establish site exclusion zones
- Establish site separation distances between plant & people
- Communicate dangerous shadow information- no employee to enter
dangerous shadow area
JHA / SWMS, Task Hazard Review
Permenant site traffic signage deployed in acordance with authorised
Traffic Control Plan (TCP)
TCPs to be developed and reviewed by persons trained in Prepare
Work Zone Traffic Management Plan
Erect fencing around compound for security
Site Traffic Rules; Speed limits set - 20kmh in compound, 10 & 40
kmh (40kmh on haul roads when established - all vehicles restricted
to 10kmh max when passing people, plant or as directed).
Site speed limits posted.
Vehicle Movement Plan (VMP) developed and displayed /
communicated to personnel.
Site personnel to challenge unrecongnised, unauthorised persons
entering site / report any ocurrance.
Site plant / equipment Compliance Checklist.
Minimum standards for plant/vehicles on site - Amber light, reverse
alarm & 2-way radio
Vehicle/plant serviced and maintained to OEM recommendations
Work Health & Safety Act 2011
Work Health & Safety Regulation 2011
RMS Specification G10
RMS Standards Traffic Control at Worksites (TCWS)
NSW CoP: Managing the risks of plant in the workplace
NSW CoP: How to manage work health and safety
risks
PC WHS Deliverable 14
AS 1742
PC Deliverable 01, 02
Moderate
Traffic Management Moving plant,
equipment,
Operation of mobile plant near
property
Collision of mobile plant with
property leading to workers injury
and / or property damage
Extreme
In addition to above mandatory controls:
Penetrations between 20cm to 2m in diameter, they shall be covered
to prevent injury from falls to persons or from falling objects.
Covers are to be fixed in place to prevent unintentional dislodgment &
be clearly marked WARNING OPENING BELOW
Covers shall
JHA / SWMS, Task Hazard Review
Permenant site traffic signage deployed in acordance with authorised
Traffic Control Plan (TCP)
TCPs to be developed and reviewed by persons trained in Prepare
Work Zone Traffic Management Plan
Erect fencing around compound for security
Site Traffic Rules; Speed limits set - 20kmh in compound, 10 & 40
kmh (40kmh on haul roads when established - all vehicles restricted
to 10kmh max when passing people, plant or as directed).
Site speed limits posted.
Vehicle Movement Plan (VMP) developed and displayed /
communicated to personnel.
Site personnel to challenge unrecongnised, unauthorised persons
entering site / report any ocurrance.
Site plant / equipment Compliance Checklist.
Minimum standards for plant/vehicles on site - Amber light, reverse
alarm & 2-way radio
Vehicle/plant serviced and maintained to OEM recommendations
Work Health & Safety Act 2011
Work Health & Safety Regulation 2011
RMS Specification G10
RMS Standards Traffic Control at Worksites (TCWS)
NSW CoP: Managing the risks of plant in the workplace
NSW CoP: How to manage work health and safety
risks
PC WHS Deliverable 14
AS 1742
PC Deliverable 02
Moderate
Traffic Management Moving plant,
equipment,
Operation of mobile plant near
other vehicles
Collision of mobile plant & light
vehicles & other plant
Extreme
Positive contact, either verbal or visual, must first be made with heavy
vehicle operator & clearance to proceed granted before entering
exclusion zone.
- Speed limits to be established for site
- Wear high vis PPE
- Traffic Management Plan
- Site Traffic Rules
- Reverse alarms to mobile plant
- Check reversing path before engaging in reverse
- Visitors escorted around worksite
- Establish site exclusion zones
JHA / SWMS, Task Hazard Review
Permenant site traffic signage deployed in acordance with authorised
Traffic Control Plan (TCP)
TCPs to be developed and reviewed by persons trained in Prepare
Work Zone Traffic Management Plan
Erect fencing around compound for security
Site Traffic Rules; Speed limits set - 20kmh in compound, 10 & 40
kmh (40kmh on haul roads when established - all vehicles restricted
to 10kmh max when passing people, plant or as directed).
Site speed limits posted.
Vehicle Movement Plan (VMP) developed and displayed /
communicated to personnel.
Site personnel to challenge unrecongnised, unauthorised persons
entering site / report any ocurrance.
Site plant / equipment Compliance Checklist.
Minimum standards for plant/vehicles on site - Amber light, reverse
alarm & 2-way radio
Work Health & Safety Act 2011
Work Health & Safety Regulation 2011
RMS Specification G10
RMS Standards Traffic Control at Worksites (TCWS)
NSW CoP: Managing the risks of plant in the workplace
NSW CoP: How to manage work health and safety
risks
PC Deliverable 01
Moderate
4 of 8
Title:
Project:
Heading Activity Hazard Aspect Unwanted EventUncontrolled Risk
ScoreMandatory Controls Project Specific Controls Legal and other References
Controlled Risk
Score
Aspects and Impacts Register Windsor Bridge Replacement
Traffic Management Moving plant,
equipment,
Operation of mobile plant near
property, other plant or personnel
Collision of mobile plant with
property/ other plant/ personnel
leading to workers injury, plant
damage &/or property damage
Extreme
Positive contact, either verbal or visual, must first be made with heavy
vehicle operator & clearance to proceed granted before entering
exclusion zone.
Operator to have attachments grounded & machine turned off before
pedestrian may approach
- Wear high vis PPE
- Speed limits to be established for site
- Traffic Management Plan
- Site Traffic Rules
- Attachments to be lowered when parked
- Check reversing path before engaging in reversing
- Reverse alarms fitted to mobile plant
- Establish site separation distances between plant & people
- Communicate dangerous shadow information- no employee to enter
dangerous shadow area
Hiarachy of control to be used to develop VMP to remove peronnel
from work areas
JHA / SWMS, Task Hazard Review
Permenant site traffic signage deployed in acordance with authorised
Traffic Control Plan (TCP)
Erect fencing around compound for security
Site Traffic Rules; Speed limits set - 20kmh in compound, 10 & 40
kmh (40kmh on haul roads when established - all vehicles restricted
to 10kmh max when passing people, plant or as directed).
Site speed limits posted.
Vehicle Movement Plan (VMP) developed and displayed /
communicated to personnel.
Site personnel to challenge unrecongnised, unauthorised persons
entering site / report any ocurrance.
Site plant / equipment Compliance Checklist.
Minimum standards for plant/vehicles on site - Amber light, reverse
alarm & 2-way radio
Vehicle/plant serviced and maintained to OEM recommendations
Plant / Vehicle pre-mobilisation & pre-start checks complete.
Drivers & operators appropriately licenced for item.
Vehicles fit for purpose - on/off road
Monotoring of real-time taraffic movements
Work Health & Safety Act 2011
Work Health & Safety Regulation 2011
RMS Specification G10
RMS Standards Traffic Control at Worksites (TCWS)
NSW CoP: Managing the risks of plant in the workplace
NSW CoP: How to manage work health and safety
risks
PC WHS Deliverable 14
AS 1742
PC Deliverable 01, 02
Moderate
Traffic Management Mobile plant,
vehicles entering
and exiting site
Collisions, impacts with
members of public / other road
users
Extreme
Approved TCP & ROL delevloped by qualified & acredited consultant
TMP developed and approved/issued
Traffic controls implemented as per TCP
Traffic Controls monitored daily for compliance (as per RMS G10).
Experienced, qualified & competent traffic management personnel
resourced &deployed.
Independent Traffic Auditor to review TCP implementation.
Management of personnel - no personnel permitted to enter live
traffic zones without risk assessement, JHA, approval of the Project
Manager and/or the Traffic Control Site Manager
Works developed to effectively minimise road occupancy.
Work areas to be isolated from live traffic
Effective safeguards for traffic controllers
Positive comms for site developed and communicated
Vehicle/plant serviced and maintained to OEM recommendations
Plant / Vehicle pre-mobilisation & pre-start checks complete.
Drivers & operators appropriately licenced for item.
Vehicles fit for purpose - on/off road
Monotoring of real-time taraffic movements
Work Health & Safety Act 2011
Work Health & Safety Regulation 2011
RMS Specification G10
RMS Standards Traffic Control at Worksites (TCWS)
NSW CoP: Managing the risks of plant in the workplace
NSW CoP: How to manage work health and safety
risks
AS 1742
PC WHS Deliverable 01, 14
Moderate
Clearing and Grubbing
Clearing and Grubbing '- Land Clearing '- Clearing of native vegetation
outside of approved boundaries
- Permit conditions of compliance
associated with work on a project
'- Death/loss of protected flora /
fauna
- Breach of legislation
- Destruction of habitat
- Non-compliance to Client
requirements
Extreme
- Identify and mark areas of protected flora / fauna, with demarcation
of boundaries and illustrate on a map (which is consistant with the
clearing permit)
- Ensure during planning stage to consult with Client to identify and
isolate areas with protected flora / fauna
- Site clearing boundary pegged by qualified surveyor and approved
prior to works commencing
- No access beyond site boundary permitted - Erect signage as
appropriate
pre clearing ecological survey and report to be conducted
employ ecologist to conduct vegetation survey before works
Approval from the client to undertake clearing and a copy of the
clearing permit on file
- Use of signs and barriers to exclude access- erect signage to
indicate the area has protected flora
- Competent person to conduct walkthrough prior to clearing
commencing
ecologist to be present when clearing habitat trees
- boundary markers to be marked out using pegs by surveyor. Risk
critical reas to be determined by ESR and marked out using
numbered peg system
- Clearing and grubbing Plan
POEO Act
RMS G36,38, G40
EIS
Project Determination CoAs
Moderate
Clearing and Grubbing storage of mulch and
topsoil
Mulch and Topsoil management Mulch self combustion, tannins in
waterway.
Damage of topsoil to be used for
rehabilitation
High
- Dedicated topsoil stockpile location
- Stockpile location communicated to work crew
stabilise long term stockpiles as per RMS spec
Mulch stockpiles to be no higher than 3m to minimise heat build up
Mulch to be stored away from waterways and drainage lines
- Height restrictions
- Transfer of topsoil directly to area undergoing
- Rehabilitation preferentially over topsoil stockpiling
Mulch stockpiles to be no higher than 3m to minimise heat build up
bunding around mulch stockpile to contain leachate
- Environmental Management Plan - Flora and fauna management
plan
POEO Act
RMS G36,38, G40
EIS
Project Determination CoAs
Moderate
5 of 8
Title:
Project:
Heading Activity Hazard Aspect Unwanted EventUncontrolled Risk
ScoreMandatory Controls Project Specific Controls Legal and other References
Controlled Risk
Score
Aspects and Impacts Register Windsor Bridge Replacement
Excavations > 1.5 metres
Excavations > 1.5 metres - Excavations fauna entrapment '- Trapped fauna resulting in
injury or death to fauna
Moderate
'- Construct ramps on the sides of deep excavations and ramp exit
points per 30m of trench
- Contact local authorities / qualified competent fauna handler to
remove injured fauna
- Inspect trenches/ excavations for trapped fauna prior to starting
work
- Backfill as soon as practicable
- Project to report any injury caused to fauna to Georgiou
Environmental Coordinator
- Do not attempt to hurt any fauna unless directly threatening your
safety
- Flora & Fauna Protection Procedure
'- Erect barriers
- Environmental Management Plan - Flora & Fauna Management
Environmental Sub Plan
POEO Act
RMS G36,38, G40
EIS
Project Determination CoAs
Low
Excavations > 1.5 metres '-Dewatering water quality contamination of waterways
Extreme
- Follow EPL conditions for discharge limits and basin management
Discharge water onto a stable surface
'- Identify regulatory requirements before discharging
- Assess water quality before discharging
- Treat water before discharging where it does not meet the water
quality objectives
- Reuse water on site to irrigate, dust suppression etc
- Environmental Management Plan - soil and Water Management
Environmental Sub Plan
'- use a permit to discharge
- test pH, Total Suspended Solids & Turbidity and treat to meets EPL
discharge requirements
- Obtain approval for licensed discharge point
POEO Act
RMS G38, G40
Project Determination CoAs
Moderate
Excavations below natural
ground leval
- Exposure of actual acid sulfate
soi lor potential acid sulfate soil
- Groundwater / surface water
contamination
High
- Characterisation of ASS/PASS areas
- Develop Acid Sulfate Soil Management Plan
- Waste Management Procedure
Acid Sulphate Soil & Dewatering Management plan
EWMS for Acid sulfate soil management
- Environmental Management Plan - Waste Management
Environmental Sub Plan
POEO Act
RMS G36,38, G40
EIS
Project Determination CoAsModerate
Working with Concrete
Working with Concrete - Wash down /
washout of plant
water quality '- Contamination of water
Moderate
-lined concrete washout areas to be provided
Exclusion zones to prevent washdown in sensitive areas
develop soil and water management plan
develop spill response procedure
washdown only to occur at designated area away from drainage lines
and stormwater pits
- Environmental Management Plan - soil and Water Mangement
Environmental Sub Plan
POEO Act
RMS G36,38, G40
EIS
Project Determination CoAsLow
Road construction
Road construction earthworks '- Dust generation '- Degradation to fauna and flora
- Disturbance to Residential/
Commercial
- Dust Generation associated
with subgrade stabilisation (road
works)
High
'- Water exposed areas when visible dust is observed
- Where required, maintain communication with surrounding residents
and business owners
- Visual Dust monitoring
- Adhere to sign posted speed limits
- Air Quality & Dust Management Procedure
- Dust Monitors to be set up onsite
- Air Quality & Dust Management Environmental Sub Plan
- Install wind fences if appropriate
- Conduct regular weather checks
- Environmental Management Plan Air Quality & Dust Management
Environmental Sub Plan
POEO Act
RMS G36,38, G40
EIS
Project Determination CoAs
Moderate
Road construction earthworks '- Noise and vibration - Noise and vibration disruption
to the community and/or legal
non-compliance.
High
work within allocated hours
- Comply with ICNG requirements relating to working periods, noise
and vibration.
- liaise with stakeholders
- Any complaints registered and monitored through QHEST
- Use quietest equipment where practically possible.
- Noise & Vibration Management Plan
community liason plan
- Maintain communication with surrounding residents and business
owners. Advise local residents of commencement and duration of
works, and if any out of hours work will occur
- Noise and vibration monitoring as set out in the N & V management
plan
- Dilapidation study
- Fit and maintain appropriate mufflers on plant
- Environmental Management Plan - Noise & Vibration Management
Environmental Sub Plan
POEO Act
DEC interim construction noise guidelines
RMS G36
Assessing Vibration a technical guideline NSW EPA
Project Determination CoAs
Moderate
Road construction earthworks interaction with native fauna fauna injury or death from plant
strike
Moderate
- Site induction, regarding types of species present on site- Adhere to
speed limits - Flora & Fauna Protection Procedure
- Engage in animal handler to remove injured / trapped fauna -
Reduce speed limits in areas identified as high risk Areas of
significance Demarcated / Delineated with flagging / signage-
Environmental Management Plan - Flora & Fauna Management
Environmental Sub Plan
develop fauna rescue procedure
Environmental Protection & Biodiversity Conservation
Act 1999 (Commonwealth)
NPWS Act
NSW threatened species conservation act
G36
Project Determination CoAs
Low
6 of 8
Title:
Project:
Heading Activity Hazard Aspect Unwanted EventUncontrolled Risk
ScoreMandatory Controls Project Specific Controls Legal and other References
Controlled Risk
Score
Aspects and Impacts Register Windsor Bridge Replacement
Hot Works
Hot Works '- Hot works '- Heat/ generation of sparks - Damage to Flora, Fauna and
from fire
Moderate
- Designate an area for hot works free from flammable and
combustible items
Prior to any hot works outside of the workshop area, high risk task
permit to be completed and approved (please obtain fire exemption
from local authority)
- Fire extinguishers located nearby
- Emergency Response Management Plan developed and in the
event of a fire identified controls implemented
- Emergency Response Team Leader elected for project
- Emergency Response Team Leader trained in emergency
procedure for fire events
'- Water carts/water tanks on standby
- Create a buffer zone clear of debris
- Fire Warden Training
- Environmental Management Plan - Flora & Fauna Management
Environmental Sub Plan
POEO Act
NPWS Act
Low
Night works
Night works noise or light impacts to
community
complaint from the community
High
- Restrict night time work wherever practicable
develop a Noise and Vibration Management Plan that details an Out
of Hours works procedure
ensure conditions for OOHW are complied with
community liasion management plan to detail community notification
requirements
ensure DoPE conditions for OOHW are complied with.
Conduct quantative noise assessment modelling prior to OOHW
Noise monitoring to occur for OOHW
letter box drop to occur as per the community liaison plan
direct day makers away from residential receivers
Position temporary light requirements so as not to affect passing
motorists
POEO Act
RMS 36
Project Determination CoAs
ICNG EPAModerate
Piling Works
Piling Works Piling (all associated
activities)
erosion and sediment control Sedimentation of river
Extreme
Develop ESCP’s for each of the river construction sites and get client
approval before construction
-water quality monitoring required as per soil and water quality sub
plan
-Implement the ESCP control measures for the area throughout
construction. Provide appropriate erosion and sediment controls
downstream of the work site as per the ESCP for topsoil stripping
and earthworks.
-Maintain the ERSED controls regularly, including after rain to ensure
that they remain effective
- EWMS for bridgeworks
POEO Act
NSW Fisheries Act
Project Determination CoAs
EIS
Moderate
Piling Works piling driving Groundwater Groundwater contamination or
contamination of Surface waters
High
Develop EWMS and ESCP’s for each of the river construction sites
and get client approval before construction
include groundwater management in the EWMS
-use a sedimentation tank or containment basin to pump any GW
ingress from the pile hole. Transfer water to basin for treatment
-re use the water for dust suppresion or fill conditioning
water quality monitoring required as per soil and water quality sub
plan
- Implement the ESCP control measures for the area throughout
construction. Provide appropriate erosion and sediment controls
downstream of the work site as per the ESCP for topsoil stripping
and earthworks.
-EWMS for bridge works
POEO Act
NSW Fisheries Act
Project Determination CoAs
EIS
Moderate
Piling Works piling driving Noise and vibration during piling
works
Noise and vibrational disruption
to the community and/or legal
non-compliance.
High
Noise and Vibration management plan to be developed Noise monitoring on complaint
Provide notification of out of hours work
Dilapidation survey where required
Implementation of noise and vibration management plan
POEO Act
NSW ICNG
Assessing Vibration a technical guideline NSW EPA
implement requirements of the Noise and Vibration
Management PlanModerate
Piling Works pouring of concrete
into pile hole
concrete spills Concrete spills to river
Extreme
Develop soil and Water management plan
Develop waste management sub plan
Concrete wash out to be in a bunded area or appropriate wash out
bins out of river zone nominated with Superintendent
water quality monitoring required as per soil and water sub plan
Piling pads to fall away from river and to be bunded along the edges.
Pile casing to be left higher than hole to prevent ingress and egress
of water to and from the pile hole.
Over pour to be controlled using chutes and skip bins
Control pour rate of concrete
Pads to be bunded and built 400mm higher than finished pile level to
control overpour.
POEO Act
RMS 36
Moderate
7 of 8
Title:
Project:
Heading Activity Hazard Aspect Unwanted EventUncontrolled Risk
ScoreMandatory Controls Project Specific Controls Legal and other References
Controlled Risk
Score
Aspects and Impacts Register Windsor Bridge Replacement
Bridge Demolition
Bridge Demolition platform and column
demolition
water quality demolition waste entering the
waterway
Extreme
Develop soil and Water management plan
Develop waste management sub plan
methodology for demolition to include controls to prevent waste
entering the river
water quality monitoring required as per soil and water sub plan
develop EWMS specific to demo works
install silt curtains around the work area
Catch barges to be used to prevent debris entering waterway
POEO Act
NSW Fisheries Act
Project Determination CoAs
EIS Moderate
Bridge Demolition platform and column
demolition
Noise and vibration Noise and vibration disruption to
the community and/or legal non-
compliance.
High
Noise and Vibration management plan to be developed Noise monitoring on complaint
Provide notification of out of hours work
Dilapidation survey where required
Implementation of noise and vibration management plan
POEO Act
NSW ICNG
Assessing Vibration a technical guideline NSW EPA
implement requirements of the Noise and Vibration
Management PlanModerate
Asbestos Management
Asbestos Management Asbestos Exposure to asbestos or ACM
resulting in asbestosis,
respiratory harm & disease
High
Induction to include awareness of asbestos
Risk analysis to determine appropriate control measures including
PPE
Identify, install signage & quarantine affected area
Maintain asbestos register
High pressure water spray or compressed air prohibitted on asbestos
or ACM
Risk assess the use of power tools, brooms or another implement
that may cause the release of airborne asbestos
Control measures to be documented in asbestos removal control
plan
Where applicable, obtain a copy of the client's asbestos register prior
to demolition or refurbishment, provide a copy of the asbestos
register to the licensed remover
Licensed asbestos removalists to be engaged, obtain a copy of the
asbestos removal control plan from the remover
- Dust suppression
- Machine cabs to be self sealing
Occupational Hygenist to assess contamination, and monitor air
(where appropriate) & provide clearance certificates.
Only persons trained in the safe removal of asbestos are to carry out
the work.
Asbestos removalist supervisor to be present or readily available and
hold the applicable certification.
Safework NSW to be notified of licensed asbestos removal work.
Suitable PPE & respiratory protection applicable to the nature & risk
of the ACM
An asbestos management plan is developed, maintained & reviewed
at least every 5 yrs
Obtain a copy of the clearance certificate after asbestos removal
an asbestos control removal plan to be developed with a discovery.
Top soil investigation to determine other 'hot spots' within the limit of
works.
Exposed ACM's to be dampened & covered pending removal by
licenced specialist.
'Wet' method of removal to be used where practiable.
Specialist removal conractor to provide appropriate decontamination
facilities.
Waste Tranfer station records maintained
WHS Act 2011
WHS Regulations 2011
NSW CoP: How to safely remove Asbestos
NSW CoP: Work health & safety consultation,
cooperation & coordination
AS/NZS 1716:2009 Selection,use and mainatenance of
respiratory protective devices
Moderate
8 of 8
CoA D4 - CEMP developed in consultation with relevant agencies Sub plan
Agency Form Date Received
Review Comment RMS / Contractor response
CEMP EPA Email 4th May 2018 Email response from EPA to Roads and Maritime.
It is not EPA policy to review or endorse construction environment management plans or their sub-plans. The EPA encourages the development of such plans to ensure that proponents have determined how they will meet their statutory obligations and designated environmental objectives. The EPA’s role is to set environmental objectives/requirements for environmental management, rather than being directly involved in the development of strategies to achieve those objectives/requirements.
No action required
CEMP OEH (Aboriginal heritage)
Email 11th July 2018
Email from Greater Sydney Branch OEH indicated that they would not be providing comments on the plans and this should not be taken as OEH support for the plans as the plans may still need to be assessed by the relevant consent authority.
No action required
CEMP OEH ROG Greater Sydney Region Planning
Email 6th August 2018
Email from the Greater Sydney Branch in OEH confirming that they have decided not to provide comments on the plans. This should not be taken as OEH support for the plans, and the plans may still need to be assessed by the relevant consent authority.
No action required
CEMP OEH (Heritage Division, as a delegate of the Heritage Council
Email 3rd August 2018
Email response from OEH, Heritage Division to Roads and Maritime
Vibration management guidance for heritage structures is specified by CoA C19 with reference to compliance
Noise and Vibration Management Plan and Heritage Management Plan have been reviewed
Agency Form Date Received
Review Comment RMS / Contractor response
of NSW) with the German Standard DIN 4150-3 Structural Vibration – effects of vibration of structures. There is inconsistency between these plans for the management of this aspect of the project and this should be rectified prior to finalisation of the CEMP as well as the Heritage Management and Noise and Vibration Management sub plans.
and updated to ensure consistency across the all plans in accordance with CoA C19.
CEMP OEH (Heritage Division, as a delegate of the Heritage Council of NSW)
Email 3rd August 2018
Email response from OEH, Heritage Division to Roads and Maritime
Section 2 project description should identify the significant historical archaeological remains uncovered during historical salvage including the 1814 barrel and box drains.
Section 2 of the CEMP has been updated to include these significant historical archaeological remains uncovered during historical salvage.
Sensitive Area Plans
OEH (Heritage Division, as a delegate of the Heritage Council of NSW)
Email 3rd August 2018
Email response from OEH, Heritage Division to Roads and Maritime
Appendix A4 Sensitive Area Plans requires some information to show the location of noise and vibration monitoring receivers for heritage items. Greater clarity in this plan is also needed for managing historical archaeological sensitivity within different ‘archaeological zones’ during construction. This plan does not show or mention these archaeological zones, however this detail is critical to managing the project for no/go areas as works progress.
Appendix A4 Sensitive Area Plan has been updated to show vibration monitoring locations and archaeological zones.
CoA D5 (a) - Construction Traffic Management Sub-plan developed in consultation with the relevant council
Sub
plan
Agency Form Date Received
Review Comment RMS / Contractor response
Traffic Hawkesbury City Council
Email 6th July 2018
It is noted that parking for workers other than accessing shops will not be permitted in the Windsor town centres and surrounding roads. It would be appreciated that this is maintained as general on-street parking is in high demand.
Noted by Georgiou
Traffic Hawkesbury City Council
Email 6th July 2018
Stage 1 (p.13) refers to the removal and relocation of the 2 disabled parking spaces from the small car park to the existing eastern car park. Please advise if mobility access has been considered to and from the Wharf and the surrounding area.
Georgiou met with the proprietor of the Paddle Steamer, Mr Ian Burns. Mr Burns advised Georgiou that he would be able to provide notice for when he will have a passenger who requires mobility access. Georgiou will provide a means of getting the passengers down to the wharf. All other access to the wharf will be closed to the public as it will be a construction zone.
Traffic Hawkesbury City Council
Email 6th July 2018
Stage 2 (p15-16) refers to the eastern car park and the Windsor Wharf area being closed off to pedestrians and general access. The plan does not stipulate the time frame that the closure will be in place. It appears that there will be no public access to the Wharf during this period.
There will be no public access to the wharf during this period.
Traffic Hawkesbury City Council
Email 6th July 2018
Stage 2 (p15-16) refers to the Windsor Wharf area being closed and access for passengers wanting to
Mobility access is as per the detail above.
Sub
plan
Agency Form Date Received
Review Comment RMS / Contractor response
access the Wharf to the Paddle Steamer will be from the western side of The Terrace and by utilising the underpass for the Bridge. Please ensure that the condition of the underpass is assessed first as RMS may need to undertake any necessary upgrade of this area or ongoing works are required. Furthermore if this underpass is to be used will it satisfy Mobility access to the Wharf.
The walkway has been assessed as suitable. It is noted that it is currently in use.
Traffic Hawkesbury City Council
Email 6th July 2018
Section 5.1.7 (p25-26) refers to the Site compound and access to the Site which is located between the River and Wilberforce Road. The Ancillary Facility referred to in Appendix C should be referred to in this section explaining the movement of vehicles and in particular the movement of heavy vehicles for the Stock pile site. It appears from the Diagram in Appendix C that access at Wilberforce Road will be ingress only, with egress onto Freemans Reach Road. It is noted from the Pavement diagram that Freemans Reach Road will be upgraded as also indicated in the Minutes from the meeting held on 31 May 2018 Section 6. Until this section of Freemans Reach Road (to Ch 115) is reconstructed, please ensure that this section of road provides a satisfactory level of service for motorists and does not deteriorate due to the nature of vehicles utilising the Ancillary-Stock Pile site.. This section of road will be picked up as part of the dilapidation report and needs to be monitored by the Contractor/RMS.
Noted by Georgiou
CoA D5 (b) - Construction Flora and Fauna Management Sub-plan developed in consultation with the OEH and DPI (Fishing and Aquaculture)
Sub – plan
Agency Form Date Received
Review Comment RMS / Contractor response
Flora and Fauna
DPI Fisheries
Email 9th July 2018
Email response from DPI Fisheries to Roads and Maritime identified that DPI fisheries reviewed the Flora and Fauna Management Plan and had no objections to the plan or any amendments to request.
No action required
Flora and Fauna
OEH ROG Greater Sydney Region Planning
Email 6th August 2018
Email from the Greater Sydney Branch in OEH confirming that they have decided not to provide comments on the plans. This should not be taken as OEH support for the plans, and the plans may still need to be assessed by the relevant consent authority.
No action required
CoA D5 (c) - Construction Noise and Vibration Management Sub-plan developed in consultation with the EPA
Sub
plan
Agency Form Date Received
Review Comment RMS / Contractor response
Noise and Vibration
EPA Email 4th May 2018
Email response from EPA to Roads and Maritime.
It is not EPA policy to review or endorse construction environment management plans or their sub-plans. The EPA encourages the development of such plans to ensure that proponents have determined how they will meet their statutory obligations and designated environmental objectives. The EPA’s role is to set environmental objectives/requirements for environmental management, rather than being directly involved in the development of strategies to achieve those objectives/requirements.
No action required
Noise and Vibration
OEH Heritage Division as a delegate of the Heritage council of NSW
Email 3rd August Email response from OEH, Heritage Division to Roads and Maritime
Vibration management guidance for heritage structures is specified by CoA C19 with reference to compliance with the German Standard DIN 4150-3 Structural Vibration – effects of vibration of structures. There is inconsistency between these plans for the management of this aspect of the project and this should be rectified prior to finalisation of the CEMP as well as the Heritage Management and Noise and Vibration Management sub plans.
Noise and Vibration Management Plan and Heritage Management Plan have been reviewed and updated to ensure consistency across the all plans in accordance with CoA C19.
Noise and Vibration
OEH Heritage Division as a delegate of the
Email 3rd August Section 4 of the Subplan sets out the existing environment and buildings where noise and vibration receivers have been established. There appear to be 11 receivers on heritage listed buildings. These are mapped in Appendix 4. The Assessment of the type of noise and vibration scenarios anticipated by this
The sensitive area plans (Appendix A4 CEMP) have been updated to include potential vibration
Sub
plan
Agency Form Date Received
Review Comment RMS / Contractor response
Heritage council of NSW
project are discussed in Section 7 and the Construction Vibration assessment is included in Section 7.3. The sub plan requires some additional detail and clarifications around the management of exceedances in the structural vibration monitoring and detail should be included for all heritage items including the brick barrel drain.
monitoring locations.
Section 7.5 and 9.3.2 of the CNVMP has been updated to provide further detail on vibration monitoring and the management of exceedances.
CoA D5 (d) – Soil and Water Quality Management Sub-plan developed in consultation with the OEH, EPA, DPI (Fishing and Aquaculture) and NOW
Sub
plan
Agency Form Date Received
Review Comment RMS / Contractor response
Soil and Water
OEH ROG Greater Sydney Region Planning
Email 6th August 2018
Email from the Greater Sydney Branch in OEH confirming that they have decided not to provide comments on the plans. This should not be taken as OEH support for the plans, and the plans may still need to be assessed by the relevant consent authority.
No action required
Soil and Water
EPA Email 4th May 2018 Email response from EPA to Roads and Maritime.
It is not EPA policy to review or endorse construction environment management plans or their sub-plans. The EPA encourages the development of such plans to ensure that proponents have determined how they will meet their statutory obligations and designated environmental objectives. The EPA’s role is to set environmental objectives/requirements for environmental management, rather than being directly involved in the development of strategies to achieve those objectives/requirements.
No action required
Soil and Water
DPI
Fisheries
Email 9th July 2018 Email response from DPI Fisheries to Roads and Maritime identified that DPI fisheries reviewed the Soil and Water Quality Management Plan and had no objections to the plan or any amendments to request.
No action required
Soil and Water
Natural Resources Access Regulator (NRAR) –
Email 27th July 2018 Letter response to Roads and Maritime from the Manager, Water Regulation Branch (East), Natural Resources Access Regulator to advise that the Construction Environmental Management Plan and specifically Appendix B4 Soil and Water Management Sub-Plan documents adequately satisfy the
No action required
Sub
plan
Agency Form Date Received
Review Comment RMS / Contractor response
previously NOW NRAR requirements.
CoA D5 (e) – Construction Heritage Management Sub-plan developed in consultation with registered Aboriginal stakeholders
Sub
plan
Agency Form Date Received
Review Comment RMS / Contractor response
Heritage OEH (Aboriginal heritage)
Email 11th July 2018
Email from the Greater Sydney Branch in OEH indicated that they would not be providing comments on the plans and this should not be taken as OEH support for the plans as the plans may still need to be assessed by the relevant consent authority.
No action
Heritage OEH Heritage Division as a delegate of the Heritage council of NSW
Email 3rd August Email from the OEH Heritage Division:
CEMP Heritage Management Subplan: This Subplan is designed to provide guidance to manage heritage for the project during construction. However, as currently drafted, it is unclear from the onset that the subplan includes management of built heritage items listed on the State Heritage Register within Thompson Square Conservation Area. Notably the built environment (SHR Thompson Square conservation Area) is not discussed until section This needs resolution. Overall there needs to be greater links to relevant heritage management documents supporting this project, including the Strategic Conservation Management Plan (SCMP). This subplan also needs to include a plan which shows all heritage items relevant to the project boundary, not just archaeologically significant areas and zones.
Management measures for built heritage are detailed at length in Table 6-2, for all heritage items identified in the MCoAs, which links directly to the SCMP.
Specific construction measures, such as noise and vibration monitoring and mitigation are contained in the specific sub-plans.
Paragraph mentioning the Conservation Area and built heritage added to Section 1.
Relevant plans of heritage items from the SCMP have been inserted in Section 1
Sub
plan
Agency Form Date Received
Review Comment RMS / Contractor response
Heritage OEH Heritage Division as a delegate of the Heritage council of NSW
Email 3rd August Section 6 - Built Heritage:
• Additional background text is needed in this section before Table 6-2.
• Table 7-1 (ID HH8) monitoring and inspection requirements need to be consistent with the
supporting Noise and Vibration management subplan.
Paragraph added before the table.
Note added under HH7
Heritage OEH Heritage Division as a delegate of the Heritage council of NSW
Email 3rd August Historical Archaeology:
• Section 5 requires further discussion of significance for remains identified during testing. It should also identify how the barrel drain will be managed other than through archival recording as stated in Section 6.4.2. No mention of its protection is made. This is inconsistent with the understood approach to manage the item.
• Section 6.4.2 There should be a section at the front of section 6.4.2 summarising the management approach to archaeology in addition to detail in Table 6-4.
• It is not clear that unexpected finds require notification under s146 of the Heritage Act 1977.
Section 6.5.4 added re barrel and box drains
Paragraph added.
While notification will occur as a matter of course in accordance with the Incident Management Procedure, it is arguable that the Detailed Salvage Strategy, Strategic Conservation Management Plan and other project documentation has given RMS “reasonable grounds” to believe the Heritage Council is aware of the location of and relics (Heritage Act section
Sub
plan
Agency Form Date Received
Review Comment RMS / Contractor response
146(a).
Heritage OEH Heritage Division as a delegate of the Heritage council of NSW
Email 3rd August Section 6 - Maritime Archaeology:
• Section 6.4.3: Further detail is required around management post initial salvage works including ongoing monitoring commitments which are not outlined in this subplan. These require inclusion as these will form part of the ongoing management of maritime heritage resources throughout the life of this project.
• It is unclear if Maritime expected finds (archaeological relics) are included in the current protocol. They must be included as for terrestrial finds
Section 6.5.3 (previously Section 6.4.3) has been updated to include ongoing monitoring commitments as outlined in the Maritime DSS. Mitigation measure MA4 has also been included in Table 7.1.
The RMS Standard Management Procedure – Unexpected Heritage Items (Appendix E) will be followed for any newly exposed maritime remains. This has been updated throughout the CHMP.
Heritage OEH Heritage Division as a delegate of the Heritage council of NSW
Email 3rd August Appendix A: Heritage Education and Training package. Detailed comments are provided in the Annexure around this. It is recommended these aspects are addressed in the revised subplan to provide greater clarity to this package.
Suggested comments have been addressed in the Heritage Education and Training package.
Heritage Registered Aboriginal stakeholders
Email 10th July Email from Justine Coplin (Darug Custodian Aboriginal Corporation) acknowledged that she had received and reviewed the plan and had had no review comments regarding the content of the
No action required
Sub
plan
Agency Form Date Received
Review Comment RMS / Contractor response
document
Heritage Registered Aboriginal stakeholders
Email 16th July Email from Barry Corr with review comments on the Heritage Management Sub Plan.
• Page 13, I am not mentioned in the list of RAPs.
• There are no page numbers in Appendix A AAJV Heritage Education and Training Package.
These comments have been addressed.
Heritage Registered Aboriginal stakeholders
Email 13th July Email from John Reilly (Darug Tribal Aboriginal Corp) acknowledged that he received the plan and had no review comments regarding the content of the document.
No action required
Heritage Registered Aboriginal stakeholders
Email 2nd July Email from Desmond Dyer (Darug Aboriginal Landcare) acknowledged that he received the plan and had no review comments regarding the content of the document.
No action required