Chapter 4 - Responses to the problem
4.1
Since the mid-1990s, there has been increasing
commitment from the South Australian authorities to counteract the pollution
problems in the Gulf. Many programs and works, involving all levels of
government, industry and the community, are being undertaken to address water
quality issues. Many of these programs utilise the latest in scientific
knowledge and innovation and others are as simple as increasing awareness in
the community.
4.2
Environment groups and some local councils who
made submissions to this inquiry questioned whether enough is being done to
turn the trend of increasing pollution of Gulf waters and damage to the
surrounding lands. Terrestrial discharge impacts on the ecological processes in
the Adelaide coastal waters are poorly understood. For example nutrients in
treated sewage effluent are implicated in the loss of seagrass off the
metropolitan coast, however, the assimilative capacity of the waters, the
impact of other toxicants, the legacy of past influences and other issues, are
poorly understood. Similarly even today, the relative environmental
significance of stormwater as compared to other discharges is not understood.[1]
Adelaide Coastal Waters Study
4.3
In recognition of this problem, the South
Australian Environment Protection Agency has decided to undertake a detailed,
integrated study of the Adelaide coastal waters to redress many of the
shortfalls in the current knowledge base and to assess the current status of,
and the impact of future changes in, nutrient levels.
What we are endeavouring to do is raise $4 million to conduct a
detailed investigation with a view to developing what we call a seagrass
adaptive management system, where we have a much better handle on the
mechanisms causing that decline and then, based on that, develop a monitoring
program and target what I would call environmental capital to make sure future
investment in improvements to the catchments, the sewerage plants and any other
activities causing decline are properly targeted.[2]
4.4
The CSIRO undertook a scoping study to develop a
program of work that would achieve an integrated understanding of the
ecological, physical, biological and chemical processes in the sediments, water
and biota of the coastal waters.[3]
This integrated study will deliver an assessment of the state of
the system now, a set of tools to support management, and a continuing program
of monitoring and adaptive management which would take account of, and
continually reduce, uncertainty.[4]
4.5
This set of management tools will be invaluable
in giving confidence to long-term sustainable management not only in the Gulf,
but possibly in other waterbodies as well. [5]
4.6
The CSIRO estimated that the study would cost
$3.5M over 3-4 years. $2.1M has been pledged thus far but applications for
Commonwealth Coasts and Clean Seas funding to make up the shortfall of $1.5M
were twice refused. The Coasts and Clean Seas Program - a part of the Natural
Heritage Trust (NHT) - generally limits grants to a maximum of between $80 000
- $250 000 over the life of the project depending on which of the 3 primary NHT
objectives the project contributes. Priority for funds is given to capital
works projects and on-ground activities.
4.7
In the Committee’s view, it is vitally important
for this type of study to be undertaken so that appropriate responses to the
problems identified can be put in place. Accordingly,
Recommendation 7
The Committee recommends that the Commonwealth provide additional
funding for the Adelaide Coastal Waters Study.
Marine and Estuarine Strategy
4.8
On a related front the Committee was told that
the South Australian Government released a marine and estuarine strategy,
published as “Our Seas & Coasts”, in September 1998. According to the
Environment Protection Agency the release demonstrates that a more strategic
approach to managing the coastal environment is being taken.[6] The strategy was prepared with
input from industry representatives, conservation groups, government agencies,
recreational users and the general public. It provides general strategies for
sustainable use, improved management and conservation of South Australia’s
marine and estuarine environment.
4.9
The Marine and Estuarine Strategy establishes a
framework for protecting marine habitats and their biodiversity. It embraces
five major commitments, each of which will require specific actions:
- clean, healthy seas - to address wastewater, stormwater, ballast
water and coastal processes
- sustainable use - to ensure that the principles of ecologically
sustainable development underpin all uses of the marine environment
- conserving biodiversity and heritage - to ensure protection of
the marine habitat and species therein
- working together - the community has a right to be involved in
decisions on use and resource allocation
- better understanding - acquiring the knowledge that will provide
the basis for conserving and managing the natural heritage and resource base.
4.10
The component of the strategy on which the
Environment Protection Agency has been concentrating is the pollution control
aspects.[7]
In addition, there is a complementary initiative that is being pursued through
the Coastal and Marine Planning Program, a part of the Coasts and Clean Seas
Program. The State Government has sought funding, in conjunction with the Local
Government Association, to carry out a planning strategy for Gulf St Vincent,
Spencer Gulf and the Kangaroo Island area.[8]
The Committee supports this approach:
Recommendation 8
The Committee recommends that the Commonwealth provide funding
through the Coastal and Marine Planning Program for the Environment Protection
Agency of South Australia to develop a planning strategy for Gulf St Vincent.
4.11
The Committee notes that some groups expressed
concern about the willingness of the Environment Protection Agency (EPA) to
take strong action on controversial environment issues. For example, Henley and
Grange Residents Association Inc, expressed concerns about the lack of will of
the agency to intervene on issues of environmental importance; the damaging
aspects of the South Australian Government Development Act which overrides the
Environment Protection Act, giving no third party rights of appeal or requiring
a proper EIS to be conducted; a failure by the EPA to consult effectively with
communities; and its failure to enforce the conditions of the Act on
environmental offenders.[9]
4.12
Mr Robert Thomas, the Executive Director of the
Environment Protection Agency admitted that the EPA needed to be strengthened
in certain areas and he has given the State Government an indication of what
sort of resources are required. He also made the point that in terms of
resources it is not just about numbers, it is about quality:
All EPAs are facing the same problem: increasingly our salaries
are just not competitive with the private sector and we are finding it
increasingly difficult to recruit environmental scientists and environmental
engineers, particularly in the brown side of the business, as I describe it –
the pollution management side. Those sorts of people are not being trained up
at a rapid rate and the experienced people are in high demand and are very hard
to recruit. We are very dependent on those sorts of people so it is really
about quality as much as quantity.[10]
4.13
The Committee was concerned to hear that there
appears to be a lack of trained professionals with appropriate qualifications
in the area of environmental protection. In the Committee’s view it is
important that governments play a role in encouraging more people to enter this
field with major implications for future development of resources in this
country.
Recommendation 9
The Committee recommends that both the Federal and State
Governments give consideration to sponsoring an increased number of
scholarships in the field of environmental science.
Call for action
4.14
A number of the submissions received by the
Committee expressed frustration that there have been too many inquiries into
the Gulf without any concrete results. They argue that the nature of the
problems facing the Gulf is clear.
... probably a thing that frustrates us is that as a result of
these inquiries you get policy changes. We need policy, you have to have
policy; I am not saying you do not but the actual on the ground changes, where
the lay person sees what is happening and what is not happening – they do get
frustrated.[11]
However, we also recognise that enough research has been done to
demonstrate the areas and causes of greatest negative impact. Further, enough
technical knowledge and proven examples exist to support the benefits of
dedicating considerable funds towards speeding up the processes to curb further
degradation.[12]
4.15
Notwithstanding these comments, there are gaps
in the knowledge base as to: the specific effects on certain ecosystems; the
integration of ecosystems; and fundamental baseline data. A precautionary
approach is needed when considering new developments and other projects that
are likely to have an impact on the Gulf.
4.16
Dr John Hails, a Foundation Director of the
Mawson Centre for Environmental Studies at the University of Adelaide,
submitted that data on coastal processes has been obtained from discrete
studies commissioned by Government and from Environmental Impact Studies
associated with proposed developmental projects. This data is collected at
infrequent intervals over extended periods and does not necessarily relate to
the most significant natural events that are required to verify laboratory
investigations and model studies. Knowledge is limited because of a lack of
interdisciplinary studies over the past two decades.[13]
4.17
Enough is known, however, to begin redressing
pollution issues in the Gulf. Remedial action should not be delayed until the
outcome of the Adelaide Coastal Waters Study is available some time in
2003/2004. Indeed, this does not seem to be the case and the Committee
recognises that many positive programs are being undertaken by both the South
Australian Government and local municipal councils in the Gulf region. However,
the Committee is of the view that the Environment Protection Agency could
achieve more positive results if it was given enhanced powers to act
independently of government in environmental matters.
Recommendation 10
The Committee recommends that the South Australian Government give
enhanced statutory powers and greater flexibility and independence to the South
Australian Environment Protection Agency to take action to protect the
environment more effectively.
Federal Programs
4.18
The Federal government also provides funds for
programs that can enhance environmental protection such as the Natural Heritage
Trust Oceans Policy and the Living Cities Program.
4.19
Around half of the Living Cities funding of
$50 million goes towards improving urban waterways and reducing coastal
pollution. $11 million is allocated to address the consequences of stormwater
runoff.
Introduced Marine Pests - Ballast Water
Strategy
In September 1999, the Federal Minister for
Agriculture, Fisheries and Forestry announced that Australia would unilaterally
implement new rules to make it compulsory for foreign ships to manage their
ballast water so that it will not introduce exotic pests in Australia’s marine
environment. These rules will come into force in mid-2001 and interim
arrangements have been established as a prelude to the enactment of
legislation.
State Legislation
4.20
The South Australian Government administers environment
protection legislation and exercises control through Catchment Water Management
Boards. South Australia has legislation in place to support the Marine and
Estuarine Strategy in the Gulf. Relevant legislation includes:
- Environment Protection Act 1993 (incorporating the
Environment Protection (Marine) Policy 1994)
- Harbours and Navigation Act 1993
- Fisheries Act 1982
- National Parks and Wildlife Act 1972
- Pollution of Waters by Oil and Noxious Substances Act 1987
- Petroleum Act 1940.
Environment Protection Act 1993
4.21
The Act came into operation on 1 May 1995 and is
the primary pollution control legislation in South Australia. The objectives of
the Act are to:
- promote defined principles of ecologically sustainable
development; and
- ensure that all reasonable and practical measures are taken to
protect, restore and enhance the quality of the environment having regard to
the principles of ecologically sustainable development.
4.22
The Act provides for standards of care that
apply to industry and the community by means of:
- the general environmental duty;
- offences under the Act; and
- Environment Protection Policies and regulations.
4.23
The general environmental duty places an
obligation on everyone not to harm the environment. It states:
A person must not undertake an activity that pollutes, or might
pollute, the environment unless the person takes all reasonable and practicable
measures to prevent or minimise any resulting environmental harm.
4.24
Failure to comply with this duty is not an
offence, however, the Environment Protection Authority may enforce the duty by
issuing an Environment Protection Order or a Clean-up Order, or seeking an
order from the Environment, Resources and Development Court.
4.25
Environment Protection Policies are subordinate
legislation under the Environment Protection Act and can be developed for any
purpose directed towards securing the objects of the Act. As a consequence of
the Environment Protection (Marine) Policy which was introduced in 1994,
dischargers are required to demonstrate by March 2001 that they are complying
with minimum standards. Environmental monitoring and Environment Improvement
Programs are required as a condition of all discharge licenses.
4.26
A review of the Environment Protection Act is
now in progress. The review will cover issues such as the powers and
responsibilities of the Environment Protection Authority, enforcement
provisions, site contamination matters, the policy making process, licensing
and the interrelationship with certain other legislation such as the Public and
Environmental Health Act. Consultation will be undertaken of all components of
the review through the release of a series of consultation documents that
include discussion papers and draft Bills.
4.27
The review of the Act is separate from the
inquiry being conducted by the Environment, Resources and Development Committee
of the State Parliament. However, recommendations arising from the findings of
the State parliamentary committee will be considered as a part of any proposed
amendments to the Act.
4.28
Dr John Hails made the comment that since the
late 1970s successive governments in South Australia have focussed on “public
image” decision-making rather than implementing, and auditing, long-range
interdisciplinary management plans for the Gulf. He submitted that there needs
to be a commitment by the present and future Governments to implement an
ongoing interdisciplinary management program rather than disparate studies from
time to time.[14]
4.29
Some South Australian environmental groups argue
that other states have updated their coastal management legislation and they
support the introduction of a new Coastal and Marine Planning Management Act to
replace the Coast Protection Act 1972.[15]
The Senate Committee sees merit in this and recommends that the South
Australian government consider this option.
Recommendation 11
The Committee recommends that the South Australian Government
consider an overhaul of the current coastal protection legislation with the
introduction of a new Coastal and Marine Planning Management Act.
Licences
4.30
Persons who are undertaking activities deemed to
be of major environmental significance are required to hold an environmental
authorisation in the form of a licence, an exemption or a works approval.
Conditions are attached to the authorisation and must be complied with.
Environment improvement programs
4.31
The Environment Protection Agency told the
Committee that Environment Improvement Programs are attached to licences for
significant industries that discharge into the Gulf, including BHP, various
electricity utilities and SA Water. The South Australian Government
submission states that hundreds of millions of dollars have been spent by
industry on these programs over the last five years.[16]
4.32
SA Water is required to undertake
Environment Improvement Programs for each wastewater treatment plant. Under
these programs the 4 metropolitan wastewater treatment plants at Bolivar, Port
Adelaide, Glenelg and Christies Beach are to be upgraded, primarily to remove
nitrogen from the discharges. The South Australian government has committed
$210 million to these upgrades.
4.33
The Environment Protection Agency informed the
Committee that its preference is for there to be no discharge to the marine
environment. This would be in accord with the Planning Strategy for
Metropolitan Adelaide. The Environment Protection Agency has encouraged
effluent reuse schemes to lower discharges and to decrease the pressures on
groundwater and on the Murray River.
4.34
In September 1997 Cabinet approved construction
of a $30 million Bolivar Dissolved Air Flotation/Filtration (DAFF) plant to
provide high quality treated wastewater from the Bolivar Waste Water Treatment
Plant for irrigation in the Virginia market gardening region. A smaller reuse
scheme has also been established in the Willunga Basin in the McLaren Vale
district. The winegrowers themselves funded a pipeline from the Christies Beach
Waste Water Treatment Plant to carry treated effluent for irrigation of vines.
4.35
The Environment Protection Agency anticipates
that once the Environment Improvement Programs are implemented there will be an
approximate 77% reduction in nitrogen discharged to Gulf St Vincent from
treated wastewater.[17]
The reuse of treated effluent is anticipated to be 22 000 megalitres per annum
from the Bolivar plant and 2000 megalitres per annum from the Christies Beach
plant. This compares with a total of about 80 000 megalitres of treated
effluent from the four major Adelaide plants disposed of to the Gulf in 1997.[18] These amounts of effluent
reuse could increase as on-farm irrigation systems and other supporting
infrastructure are put in place.[19]
Reuse schemes
4.36
Aside from the two schemes mentioned above,
there is an increasing emphasis on recycling sewage effluent, primarily for
watering ovals, parks, golf courses, nature strips and community open spaces.
This should have a positive impact on the Gulf, as there will be a lesser
amount of nutrient-rich effluent entering its waters.
4.37
It is hoped that the waste water treatment plant
upgrades and reuse schemes will limit the decline in water quality in Gulf St
Vincent and that seagrass beds will regenerate. The Environment Protection
Agency is unsure, however, whether the destruction is due solely to sewage
discharges. It believes that stormwater runoff also has a role to play in the
demise of seagrass.
4.38
Because the impact of nitrogen on the marine
environment is being targeted in the sewage plant upgrades, it is quite
possible that once this problem has been brought within acceptable levels, the
Environment Protection Agency will find that the other pollutants in waste
water become of issue.
4.39
It is a concern that SA Water dismisses
bio-available phosphorus as “not an issue for the marine environment” in
relation to the Heathfield Waste Water Treatment Plant.[20] Whilst phosphorus may not be
important in the marine environment, the Heathfield plant discharges into the
Sturt River which enters the Gulf via the Patawalonga. The Committee heard that
this plant produces very high levels of nutrients - far higher than the
metropolitan sewage plants.[21]
Catchment Water Management Boards
4.40
Following the repeal of the Catchment Water
Management Act 1995 (SA), it is under the Water Resources Act 1997
(SA) that Catchment Water Management Boards are now established to manage and
improve water quality. The Boards have the role of taking a lead position to
focus attention on an overall coordinated catchment plan to integrate existing
programs and to pinpoint any gaps. Prior to their establishment, no State or
Local Government agency could take a lead position. Catchment management had
been considered a Local Government responsibility, yet Councils lacked a
funding base or expertise, or there were problems that extended outside their
boundaries and agreement could not be reached with other Councils.[22]
4.41
The general functions of these Boards are:
- to prepare and implement a catchment water management plan in
accordance with the Water Resources Act 1997 (in many areas this also
includes preparation of water allocation plans for prescribed water resources);
- to provide advice to the Minister and the constituent councils
for the board’s area in relation to the management of the water resources in
accordance with the Water Resources Act 1997;
- to promote public awareness of the importance of the proper
management of the water resources in the board’s area and of the sustainable
use of those resources; and
- such other functions as assigned to the board by or under the
Water Resources Act or any other Act.[23]
4.42
There are four catchment boards that have
catchments that discharge to Gulf St Vincent. They are the Onkaparinga
Catchment Water Management Board, the Patawalonga, the Torrens, and the
Northern Adelaide and Barossa. Members of the Boards are skills- and
expertise-based rather than representatives or advocates of other bodies. They
are appointed by the Minister responsible for the catchment program.
4.43
The Boards are funded through levies on
ratepayers of approximately $15-$20 each per annum. They can attract additional
funding by developing partnerships with Commonwealth, State and local Governments,
as well as with the private sector. To be fully effective, the Boards must link
with Local Government and State Government agencies to broker in-kind
partnerships so that they can implement their catchment plans. These plans are
developed in conjunction with the local community. Similar relationships are
developed with Soil Conservation Boards and major Landcare groups to ensure
that the Boards’ work can complement (rather than replace) existing
initiatives.[24]
4.44
According to the Torrens and Patawalonga Catchment
Water Management Boards, opportunities to implement broad-scale innovative
water sensitive designs and appropriate waterway management strategies,
particularly in existing urban areas, are limited. The ability to ‘retrofit’
appropriate designs is related to planning approval legislation that, in turn,
is linked to the economic climate and local councils’ interest in enforcing
improvements. The role of the Boards, through their catchment plans, is to
ensure consistency across all Local Government areas in the catchments and
strengthen the connection with their own environmental plans.[25]
4.45
The Catchment Water Management Boards have
invested significant funds in installing gross pollutant traps, silt traps and
trash racks. These devices intercept gross pollutants and silt before they
enter the Gulf. Since 1996 more than 5000 tonnes of gross pollutant solids have
been prevented from reaching Gulf St Vincent.[26]
Torrens and Patawalonga Catchment
Water Management Boards
4.46
The Torrens and Patawalonga Catchment Water
Management Boards together cover catchments with a total area of about 800 km2
which accommodate a population of around 700 000 Adelaide metropolitan
and hills residents. The rural and urban runoff from these catchments has an
impact on the Port River and the waters of the Gulf, adjacent to the Adelaide
metropolitan area.
4.47
The Boards’ objectives include the removal of
solid and dissolved impurities from catchment water currently discharging to
the Gulf to improve both inland and marine aquatic environments and to allow
for reuse of stormwater where possible. The Boards are working towards these
objectives through the implementation of a range of initiatives including
construction of physical works, education programs and planning measures.
4.48
In the urban areas, wetlands and gross pollution
traps have been constructed whereas in the rural parts of the catchment,
fencing and revegetation of watercourses, in partnership with landholders, has
been the major focus of the Boards’ physical works programs.[27]
4.49
A joint initiative of the Torrens Water
Catchment Management Board and the Cities of Port Adelaide Enfield, Prospect,
and Charles Sturt, is the Northwest Region Pollution Prevention Project - or
more commonly - the “Street Smart - River Clean” project. This project is aimed
at improving the stormwater management practices of the approximately 9000
businesses and industries within the Port River and environs. It involves a
team of 6 project officers circulating among Port Adelaide businesses, talking
to them about stormwater issues and working with them to solve any stormwater
pollution problems or other environmental management problems that they may
have.[28]
Wetlands
4.50
Wetlands act as a self-sustaining natural
filtration and water treatment system. The reed beds, open water (shallow and
deeper), sedimentation ponds and gross pollutant traps are all part of a system
designed to maximise the removal of pollutants from stormwater by retaining
flows for as long as possible — desirably, a minimum of ten days. As flow rates
are reduced, sediments and pollutants settle out, organic matter is consumed by
aquatic organisms, and nutrients are taken up by aquatic plants. Outflows from
wetlands are usually of excellent quality, enabling reuse for aquifer recharge and
storage, irrigation or commercial uses.[29]
4.51
There can be some difficulty in accessing land
to construct wetlands that are large enough to deal with stormwater from an
entire catchment.
One of the problems [the Patawalonga Catchment Management Board
has] is to find suitable land space to be able to introduce the size of the
wetland required that would equate to the size of the Patawalonga Basin, which
has been basically the settlement area. There is not a huge amount of land
available unless the government, of course, is prepared to pay a lot of money
to get some of that land made available.[30]
4.52
There are other constraints on the construction
of wetlands apart from the availability of land. The Committee was told that
wetlands were required to improve stormwater flowing into the Patawalonga Lake
but adequate wetlands cannot be constructed at the end of the catchment because
of the airport bird strike issue.[31]
4.53
There is also the difficulty for the catchment
boards of being unable to control various land uses. An article in the December
1999 issue of “Patawalonga Water”, reports that the Adelaide City Council
effectively ruled out any hope of developing an urban wetland in the South Park
Lands in favour of sporting and recreational uses.[32]
Northern Adelaide and Barossa
Catchment Water Management Board
4.54
The Northern Adelaide and Barossa Catchment
Water Management Board has a total catchment area of approximately 2000 km2.
The catchment drains into the Gulf and the Barker Inlet. In partnership with
key stakeholders, the Board will implement a program of works and management
initiatives to ensure the sustainable use of water resources and the
preservation and enhancement of associated ecosystems. The Board has a direct
concern with the ecology of the Barker Inlet and invests significant funds on
environmental improvement programs within the catchment to minimise the impact
of development on the marine environment.[33]
Onkaparinga Catchment Water
Management Board
4.55
The Onkaparinga Catchment Water Management Board
is responsible for an area of approximately 920 km2 with a
population of over 174 000. The Board’s Catchment Water Management Plan is
being prepared. It, and a Water Allocation Plan for the McLaren Vale Prescribed
Wells Area, provide the basis for the operations of the Board for five years,
commencing July 2000.[34]
4.56
All of the catchment boards are introducing a
range of capital works programs to improve the quality of stormwater that flows
into the Gulf. The boards have developed wetlands which, depending on their
design, can absorb 50-80% of pollutants from stormwater runoff before it enters
the Gulf. The wetlands also reduce sediment loads. According to the South
Australian Government, the greatest contribution of the catchment boards is to
invest in capital works that can remove gross pollutants and sediments from
stormwater discharges to the Gulf.[35]
Criticisms of the catchment boards
4.57
The Committee heard that whilst witnesses
praised the work of the Catchment Water Management Boards, there was some
feeling that with the formation of the Boards, the South Australian Government
was distancing itself from responsibility for water quality and that there are
limits on actions which the Boards can take because they are answerable to the
State Minister for the Environment:
It appears to us that a great level of responsibility is now
being passed on to the catchment management board and handballed away from the
government and its various authorities to be put fairly and squarely on the
shoulders of the catchment management board to try to rectify some of the
problems. I think they should be concerned about that.[36]
4.58
There was also concern that the South Australian
Government lacks faith in total catchment management:
The South Australian government has made a major commitment to
total catchment management. It is evidenced by the number of catchment
management boards which have been set up in this State now, the latest being
one in the arid areas. The construction of the Barcoo Outlet will clearly
indicate to the levy paying community that total catchment management is not
the solution to the problems of water quality in receiving waters. In addition
to their catchment levy which they pay, they will as taxpayers now fund the $20 million
pipeline to divert all stormwater straight out to sea.[37]
4.59
In some instances, frustration was expressed
that although the local councils manage wetlands the catchment boards are not
accountable to them but to the State Government:
The establishment of the water catchment boards, whilst in
principle is something that the councils have no problem with – and, in fact, I
think would be generally supportive off – has also meant that the body now
tends to establish policies and strategies for the prevention of further
pollution of the waters is not accountable to the councils but, rather, to the
state government; that is the catchment boards themselves.[38]
4.60
Wakefield Regional Council praised the Water
Management Catchment Boards, yet made the comment that:
Unfortunately much of the work is long overdue and it will take
many decades to resolve problems. There must be continual and ongoing
commitment by Government to these programs ... so that long term solutions can be
developed without fear that a project may only be partly completed before
funding ends.[39]
Local Government
4.61
Local Councils have invested in a range of
measures aimed at improving the marine environment in their jurisdiction. The
Committee heard that there were many frustrations for Councils in not being
able to control activities that affected their council areas. Development
decisions too are made which have adverse impacts in areas of local council
control.
The reality is that our council can only do so much because we
are only in control of a portion of the area where discharge occurs and,
secondly, we are only in control of matters that local government has direct
control over. For example, the Bolivar treatment plant is a State government
responsibility and we have no control over that.[40]
4.62
Some of the activities undertaken by Councils
who made submissions to the inquiry and which are expected to improve the state
of the environment of Gulf St Vincent appear below. The Committee did not
receive evidence from all Councils whose areas have an impact on the Gulf.
City of Adelaide
4.63
Accepting that it has a role in the state of the
environment of Gulf St Vincent, the Council has endorsed the following actions:
- undertaking a feasibility study with catchment boards, SA Water
and other Councils into the reuse of waste water from the Glenelg Waste Water
Treatment Plant;
- investigating the effective use of sewage closer to source in the
City;
- investigating the recycling and reuse of Adelaide Aquatic Centre
water;
-
implementing a stormwater pollution prevention education program
with the catchment boards;
-
installing gross pollutant traps to prevent hard rubbish from
entering the waterways and ending up in the Gulf; and
- investigating stormwater retention options for domestic and
commercial buildings in the City.[41]
City of Onkaparinga
4.64
The Onkaparinga Council has made a commitment of
working to restore and enhance the environment in partnership with its
community as well as relevant government and non-government institutions. The
environmental strategies include:
- the development of a coastal management plan with a key focus on
the sustainable use and management of the coastal environment; and
- the implementation of partnership projects which improve the
quality of water entering Gulf St Vincent with a major focus on catchment
management initiatives, including those which may be located in areas beyond
the coast.[42]
4.65
Management approaches include:
- limited pedestrian access to beaches;
- fencing of sensitive dune areas together with vegetation;
- community information, education and involvement;
- examination of cliffs to ensure safety and identify future
measures;
- litter control;
- development and promotion of visitor/tourist features along the
coast consistent with education and care of the marine environment;
- stormwater management for sustainable use of stormwater and
protection of the marine environment; and
- water sensitive design in urban coastal environments.
City of Salisbury
4.66
The City of Salisbury has for many years been
active in the development of wetlands, riverine corridors and innovative
environmental strategies to address the decline of urban waterways and the
receiving waters of the Barker Inlet. Council has a general vision to work
towards the elimination of all polluted wastewater from entering the marine
environment.
4.67
In 1984, the City of Salisbury established the
St Kilda Mangrove Trail which is the longest such trail in the world. It, and
the attached Interpretive Centre, draw attention to the coastal ecology,
provide environmental education and attract over 20 000 visitors annually.
4.68
Wetlands are an integral component of stormwater
drainage systems in the City of Salisbury and are being developed as part of
the drainage infrastructure wherever opportunity permits. Nearly 30 wetlands
are operating constructively in the Salisbury area.[43] These wetlands range from
small, simple stormwater detention ponds, to a complex system extending over
114 hectares. Where practicable, wetlands are included and integrated into the
drainage of new subdivisions, providing landscape enhancement, water quality
improvement and a reduction in peak stormwater flows. [44]
4.69
The Council is also investigating aquifer
storage and recovery of wetland water. A feasibility trial, conducted at the Paddocks
Wetlands by Council and Mines and Energy, South Australia, demonstrated that
significant volumes of good quality water could be harvested and stored this
way. During the high rainfall period in winter, excess stormwater filtered and
cleaned by the wetlands, is pumped into the aquifer, 164 metres below the
ground. During the dry summer, the water is recovered, as needed, to irrigate
the sports fields and turf areas of the paddocks. This eliminates the demand on
mains water for irrigation.[45]
4.70
The Committee was told that the quality of the
aquifer storage and recharge water is exceeding the quality of mains water in
areas such as salinity. An average of approximately 80 megalitres of the water
per year is used for irrigation of recreational areas.[46]
Barker Inlet Summit
4.71
In March 1999, the Salisbury Council held a one
day “Barker Inlet Summit” which provided a vehicle for the presentation of
research results on the decline of key aspects of the ecosystem of the Inlet.
One of the outcomes of the Summit was the formation of the Barker Inlet Port Estuary
Committee (BIPEC).
4.72
The objectives of BIPEC are to:
- coordinate, oversee and provide the strategic development of a
regional management planning program; and
- facilitate a comprehensive review of the existing regulatory and
institutional framework relating to the Barker Inlet Port River Estuary in
order to determine its adequacy and suitability in addressing the multitude of
complex environmental, economic, recreational and land use problems.
4.73
BIPEC is presently seeking funding from the
relevant catchment boards to undertake the review of the current institutional
management frameworks for the area. When BIPEC achieves its objectives it
should have a positive impact on both the Barker Inlet area and the Gulf. BIPEC
hopes to come up with a model of legislative and management instruments that
can be applied not only to Barker Inlet but also to other areas such as Gulf St
Vincent.[47]
City of Port Adelaide Enfield
4.74
The City of Port Adelaide Enfield carries out
similar programs to Salisbury. It also employs three officers who are currently
engaged in an education program with industry. They focus on industrial
discharges and encourage industry to look at other ways of dealing with
industrial pollution. The City’s total program for Coastcare, Waterwatch and
education is in excess of $300 000 - $400 000 per annum.[48]
4.75
In the City of Port Adelaide Enfield most of the
stormwater channels have gross pollutant traps in one form or another and most
of the new urbanised areas have stormwater catchment detention areas which would
have gross pollutant traps as part of the process. Aquifer recharge as part of
the process to remove stormwater from going into the stormwater channels is
also being considered by the Council.
4.76
The evidence put to this inquiry suggests that
many efforts are now being made to address the problems of water quality, the
protection of the coastal environment and of the wildlife supported by Gulf St
Vincent. It will be some time before the results of those efforts can be
appreciated. However, the Committee is of the view that the outcome would be
more positive if there was greater coordination of the efforts being made by
various agencies. Accordingly,
Recommendation 12
The Committee recommends improved mechanisms for liaison between
State and local government agencies in relation to the management of Gulf
waters and the coastal environment of the Gulf.
Recommendation 13
The Committee recommends that representatives of the Catchment
Water Management Boards, local Councils and relevant State government agencies
meet at regular intervals to discuss and implement an integrated approach to
programs aimed at improving water quality and the general environment of the
Gulf.
Monitoring programs
4.77
The Environment Protection Agency undertakes
monitoring programs in the Gulf environment. These programs include:
- water quality monitoring along the metropolitan bathing waters
and the Port River estuary. Samples are collected monthly for key
characteristics including nutrients, heavy metals, chlorophyll, and indicators
of faecal contamination. Based on this data water quality of these areas has
been classified as moderate;
- a routine sediment monitoring program in the Port River estuary.
Samples are collected every six months and analysed for heavy metals,
pesticides and organochlorines. The results generally indicate low levels of
sediment contamination;
- hot spot monitoring to assess localised impacts. For example, the
detection of elevated levels of PCBs in dolphins in the Port River area
prompted a survey of local stormwater drains to determine if PCBs are entering
the waterways from that source;
- aerial photography is used to assess changes in seagrasses over
the last 50 years;
- satellite imagery has been used to assess changes to seagrasses;
and
- regular surveying of the temperate reef systems off the Adelaide
coast to assess their condition.[49]
4.78
Local councils too are engaged in extensive
water monitoring programs of their waterways and stormwater systems.
Audits
4.79
In 1999 the Environment Protection Agency
undertook an audit of industries, of slipways and other boat type activities in
the immediate vicinity of the Port River. The results of these findings were
not available to the Committee as they had not been released by the Minister. A
more complete audit of industries in the area is currently being done. [50]
4.80
The Committee recognises the need for ongoing
monitoring and evaluation of the programs aimed at improving water quality and
conserving the Gulf environment that are currently in place. Catchment Water
Management Boards for example are involved in a number of programs and it is
essential that these be properly monitored and evaluated so that those that are
achieving results can be duplicated elsewhere and the others improved.
Recommendation 14
The Committee recommends that the Federal and South Australian
governments provide increased funding for the monitoring and evaluation of
programs aimed at cleaning up the waters and environment of the Gulf.
Education and awareness raising programs
4.81
All levels of government are involved in
programs designed to raise awareness of the need to protect the coasts and
waterways of Australia. Waterwatch is a national community water quality
monitoring program. A range of physical, chemical and biological parameters are
monitored. The South Australian Office for Waterwatch is located in the
Environment Protection Agency. Funding support for Waterwatch comes from the
Natural Heritage Trust, the State Government, Catchment Water Management Boards
and Local Councils.[51]
4.82
A number of the agencies interested in the
protection of the Gulf environment are involved in programs designed to raise
the awareness of the community relating to threats to the Gulf, its wildlife
and its surroundings. In 1997 the Environment Protection Authority produced Protecting
Gulf St Vincent: A statement on its health and future which was targeted at
the general community to raise awareness about some of the problems facing the
Gulf and what is being done about these problems. A similar pamphlet - Cleaning
up the Port Waterways, A strategy to protect and restore the waters of the Port
River, West Lakes, North Arm and Barker Inlet - was released in relation to
the Port River and surrounds.
4.83
The City of Salisbury has initiated and promoted
the Yellow Fish Project whereby all the drains within the city will be marked
with a yellow fish to remind people that the water ultimately ends up in the
sea and will affect fish life. The Council too engages stormwater project
officers who primarily focus on industries. The aim is to ensure that the
polluted runoff from industries goes into wetlands rather than straight down
the drain.
4.84
The Patawalonga and Torrens Catchment Water
Management Boards conceived of the “WaterCare” program which is designed to
accelerate behavioural change. WaterCare is a generic education campaign that
will tell people about the state of the waterways and provide practical ways
for individuals and businesses to help clean and protect them.
4.85
“Our Patch” is a hands-on program which
encourages the community to be involved in activities to help clean up
waterways. People monitor the health of their local waterway, revegetate the
area with locally indigenous plants, remove weeds, pick up litter and generally
care for the area. The program provides workshops, free seminars and field days
as well as small grants and technical advice.
4.86
The Northern Adelaide and Barossa Catchment
Water Management Board has a “Yellow Fish Road program’ coordinated by
Waterwatch throughout the Northern Adelaide and Barossa Catchment Water
Management Board region. This program is a stormwater awareness program which
involves stencilling yellow fish on drains followed up by letter box drops, the
use of car bumper stickers and posters which explain the significance of the
yellow fish. Volunteers such as scouts, girl guides, schools and community
groups are encouraged to help prevent water pollution by joining the program
and becoming involved.[52]
4.87
Reef Watch is an environment-monitoring program
which is run by the community and coordinated by the Conservation Council of
South Australia Inc. Recreational divers gather data about the health of the
reefs they dive on. Diver involvement develops community awareness about the
state of reefs and triggers action for their protection. The majority of the
funding is provided by Coastcare with additional support from the Environment
Protection Agency of South Australia. The Committee was told:
In terms of Reef Watch itself, whilst it is a marvellous
educational tool getting recreational divers to think about what it is that they
are diving on and looking at and also a good tool for collecting data, it
should not be the only thing that an agency relies on, other than occasional
surveys by scientists. There really is a need for much more widespread and
detailed monitoring in the Gulf, particularly in an area of such high impact
which the State relies on so much economically.[53]
4.88
The Committee commends all the groups involved
in educating the community about the importance of the Gulf to South Australia
and the need to protect its waters and coastal areas. Some of this effort is
concentrated in schools. In the Committee’s view it is vitally important to
identify the older age groups that may be missing out on education programs
about the state of the Gulf and to target information at them.
Recommendation 15
The Committee recommends that all levels of government increase
the level of resources currently available for raising awareness of the
environmental threats to the Gulf and for community education programs about
possible solutions to some of the pollution and degradation problems.
Tourism potential of dolphins
4.89
Most people find dolphins highly “charismatic”
animals and they are the focus of tourism in many parts of the world. In almost
all cases the dolphins are either wild animals seen from a boat, or a small
group of trained dolphins which have been lured to a tourist destination for a
feeding demonstration. In both cases the dolphins’ natural behaviours are
impacted on by the tourism and there is the potential for this impact to be
detrimental to the well-being of the dolphins.
4.90
Adelaide’s Port River is home to a substantial
colony of resident dolphins as well as to frequent visiting animals. According
to Dr Mike Bossley from the Australian Dolphin Foundation, the relative narrowness
of the river provides an internationally unique opportunity for shore-based
tourists to view the animals in a totally non-intrusive manner.
4.91
Dr Bossley believes that there is a substantial
opportunity for a dolphin-based eco-tourism operation to be developed. Ideally
this would involve an interpretive centre on the river bank which could be
linked electronically to passive underwater microphones which could give the
location of any dolphins in the area. The centre could also have electronic
displays which can be updated from information obtained by observers out in the
field.
4.92
The “authenticity” of the experience would be
enhanced by the provision of background information on individual dolphins
which has been obtained from 13 years of monitoring of individual dolphins
in the area. This would mean that when dolphins swim past, the tourists would
see not just generic dolphins but would be able to identify individual animals
with a known life history.
4.93
The Committee supports this type of development
and believes it could generate useful tourist dollars for the area as well as
play a valuable educational role. It would very much depend however, upon the
success of the clean-up programs for the Port River and its environs in order
to ensure the continued existence of the resident dolphins and other visiting
animals in the area.
Senator Lyn Allison
Committee Chair
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