No |
ANAO Recommendation |
Responses to recommendations
and follow-up action |
1 |
Commonwealth Policy
That the CEPA* should, as a matter of priority, develop a proposal
for Ministerial consideration to clarify the Commonwealth's policy
position on Commonwealth contaminated sites.
|
CEPA - Agreed in principle but CEPA
will not be undertaking tasks associated with contaminated sites due
to changes to its priorities.
DoD* - Agreed.
DCA* - Agreed.
DAS* - Agreed.
DTRD* - Supported in principle. Noted the work of the NEPC*.
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2 |
Environment Management Systems
That land managing entities address pollution prevention, detection
and remediation in accordance with best industry practice. A well-developed
Environment Management System, such as that outlined in the summary
of current better land management practice, may assist entities
in this regard and provide a useful framework for the ANZECC/NHMRC
Guidelines detailed in the audit report.
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DoD - Agreed. Defence is going through
the tendering process to select a supplier to develop a corporate
EMS*. The supplier will also develop a corporate EMP* with accompanying
best practice guidelines. Defence Instruction on Environment and
Heritage Protection is under review and Instructions on Environmental
Management and Contamination Prevention and Management
are being developed.
DCA - Agreed. The NTA* is conducting an environmental survey
of all sites which will allow planning and development of an EMS.
Australia Post has an EMS in place. Telstra has substantially completed
implementing an EMS.
DAS - Agreed in principle. DPG* is assessing the level
of contamination of the sites over which it has control, and a database
structure on which to record the information collected against which
a continuous improvement process would be based.
CEPA - Agreed in principle. CEPA will not be undertaking
tasks associated with contaminated sites due to changes to its priorities.
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3 |
Department of Defence
That the DoD, as a matter of priority, develop and implement an
effective, departmental-wide, environment policy instruction as
part of the implementation of an EMS and systematic risk management,
as suggested in the better practice guide in Appendix 2 of the audit
report.
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DoD - Agreed. An Environment Policy
Statement has been drafted which will represent the cornerstone of
the corporate EMS. The draft policy statement and accompanying guiding
principles handbook is under review by the Defence Environment Forum
Working Group. |
4 |
That DoD:
(a) commit to the introduction of integrated EMPs by the end of
1997 for all sites with high-risk characteristics as identified
in the internal Management Audit Branch review. These EMPs should
be integrated into the Defence Management System and include quantitative
performance indicators, review, and reporting mechanisms;
(b) dispose of hazardous materials according to recognised best
practice. Defence should review its on-site disposal of hazardous
materials and introduce a program to identify and remediate high-risk
sites as soon as possible. Resource allocations should be linked
to identified risks such as the degree of risk to human health and
the potential for off-site movement of contaminants; and
(c) conduct a cost-effective training needs assessment across
the portfolio to facilitate the development of training modules
on environmental management procedures and objectives for relevant
personnel.
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DoD - Agreed.
(a) EMPs are being prepared by Programs within Defence for their
facilities, with priority being given to those sites most under
pressure. Draft Defence Instruction Environmental Management
is designed to ensure that EMPs are prepared according to standard
formats, and that performance indicators and reporting mechanisms
are included.
(b) It is DoD policy to comply with the intent of relevant State
and Territory legislation with regards to hazardous waste disposal.
Defence Instructions are in place to address hazardous waste disposal.
(c) Efforts have been made to raise awareness through OH&S
training and awareness programs. All three Services use in-house
and industry programs to ensure personnel handling hazardous materials
are appropriately trained in safety, handling and emergency response
techniques.
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5 |
That the DoD nominate a Senior Executive
Service officer with a sound appreciation of environmental management
practices to:
(a) chair the Defence Environment Forum;
(b) have prime responsibility for portfolio-wide environmental
coordination and policy as the major component of his/her duties;
and
(c) have responsibility for focusing strategic, portfolio-wide
environmental actions and reporting so as to raise the status and
priority of environmental matters such as pollution prevention,
detection and remediation as appropriate.
|
DoD - Agreed. The First Assistant
Secretary Facilities and Property has oversight of environmental issues
within the Defence portfolio. The Defence Environment Forum consisting
of senior representatives from the eight programs within Defence has
been established. The Forum is supported by the Defence Environmental
Working Group. The objective of the Forum is to provide a channel
of communication, coordination and endorsement of the environmental
effort across the Defence organisation. |
6 |
That the DoD:
(a) develop and maintain a management information system that
will allow it to record and use site contamination information to
improve environmental and financial performance.
(b) in consultation with other Commonwealth Contaminated Sites
Steering Group members, progressively introduce benchmarking of
environmental performance to enable the Department to keep pace
with developments in best practice both across the Commonwealth
and in relation to private industry best practice; and
(c) introduce regular, independent environmental audits of high
risk sites, such as those conducted by the Management Audit Branch,
every two to three years.
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DoD - Agreed with 6(a) and agreed
in principle with 6(b) and 6(c).
(a) the development of an environmental management information
system has been under development for some time. Currently, Air
Force facilities are recorded on a CAD* system. Most Army and Navy
facility managers also use Computer Aided Drawing systems for planning
and management of their facilities and bases. UXO contamination
records are maintained on a database linked to a Geographic Information
System.
(b) Defence believes it has been at the forefront of developing
policy and best practice on contaminated sites. Contamination assessments
and remediation actions have been undertaken in close association
with State environmental protection authorities.
|
7 |
That the Department of Defence:
(a) review the priority given to addressing UXO contamination
of non-Commonwealth land;
(b) develop strategic and operational plans for dealing with UXO
issues that set site assessment priorities based on appropriate
criteria, allocate sufficient resources and include timetables for
completion; and
(c) develop and finalise administrative procedures with State
jurisdictions for site assessments and agreed hazard reduction operations.
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DoD - Agreed in principle.
(a) The Commonwealth is not considered to be liable for continuing
effects of UXO contamination on land where the Commonwealth has
never had, or has disposed of, a legal interest. The Commonwealth
may, however, determine that the level of UXO contamination is to
be reduced.
(b) Defence proposes to develop a coordinated national approach
to the management of information which will assist in the assessment
process used to ascertain the nature and extent of UXO contamination
and the options for remediation works.
(c) Consultative arrangements are in place with a number of States
on the management of UXO contamination.
|
8 |
Domestic Property Group
That DPG, in consultation with the CEPA and major Commonwealth
land users as appropriate, develop for consideration by Ministers
a mechanism to ensure that all Commonwealth sites notionally owned
by DPG are handed over to DPG in at least the same environmental
condition as they were acquired.
|
DAS - Agreed in principle. DPG has
not yet started implementation pending the outcome of a review of
its properties. Financial arrangements will be paramount in getting
cooperation from agencies. |
9 |
That DPG enhance its draft environmental
plan to include:
(a) quantifiable targets and firm but realistic timeframes for
DPG's proposed actions to address its contamination risk assessment
and other stated strategies; and
(b) a program of continuous improvement in respect of the sites
directly managed by DPG that will allow DPG to:
(i) regularly assess its environmental management performance
(with particular emphasis on land management) by benchmarking internally
(between regional offices where appropriate) and externally (e.g.
other land managing organisations); and
(ii) develop and conduct a regular program of environmental audits
of high risk sites that would examine, among other things, pollution
prevention and contamination management issues.
|
DAS - Agreed in principle. DPG has
approached a consultant for a proposal for an audit of sites within
the Public Interest Estate. The extent of contamination and the need
for remediation will then be taken into account in developing individual
management strategies. |
10 |
That DPG:
(a) conduct an environmental training needs assessment across
all levels within DPG with respect to pollution prevention and site
contamination issues by the end of the 1996-97 financial year; and
(b) in the future regularly address the environmental training
and information needs of its staff.
|
DAS - Agreed in principle. The environmental
training and information needs of the Public Interest/Industrial &
Special Purpose Estate team will be addressed through a specially
developed training course commencing in 1996-97. |
11 |
That DPG develop and maintain a management
information system that will allow it to record and use site contamination
information to improve DPG's environmental and financial performance.
|
DAS - Agreed. DPG has commissioned the
development of a database on which to record details about properties
in the Public Interest/Industrial & Special Purpose Estate. It
was expected the database will be operational in the second quarter
of 1996-97. |
12 |
Industrial Sites - Department of Communication
and the Arts
That the National Transmission Agency, in consultation with the
CEPA and other relevant Commonwealth entities storing PCBs*, continue
to explore permanent and cost-effective solutions to safely dispose
of or destroy its PCB residues.
|
DCA - Agreed. DCA is in consultation
with Commonwealth and State EPAs for the destruction of PCB and PCB
contaminated materials. A NTA/DPG joint task force will consider the
management of NTA land at eleven major transmitting sites.
DAS - Agreed. DAS has contributed to the development of
the proposed PCB management plan.
|
13 |
That the DCA develop a specific plan and
timetable to address the problems raised and concerns contained in
its Environmental Risk Assessment Report. |
DCA - Agreed. Action is either in train
or planned. An audit of progress has been incorporated in the Department's
1996-97 Audit Work Plan.
DAS - Agreed. The DPG is a notional owner of properties
occupied by the DCA.
|
14 |
GBE oversight by Departments
That as part of GBE* accountability and oversight processes and
in the absence of any other oversight mechanisms, departments become
more proactive in overseeing GBE operations that impact on the environment
(with particular reference to contaminated sites) operations requiring
oversight are those that are likely to affect the achievement of
GBEs' financial and environmental targets, or expose GBEs or the
Commonwealth to significant risk. In particular Departments, in
association with their Minister, should reinforce with portfolio
GBEs:
(a) the Government's expectations of GBEs' environmental responsibilities;
and
(b) the need to keep the Minister and the portfolio department
aware of environmental management issues, both as they arise (on
an exception basis) and as part of the annual report and corporate
planning and reporting processes.
|
DCA - Agreed in principle. Australia
Post did not see any need for an increased oversight role for departments
as it was already subject to all State and Local Government environmental
protection legislation and accountability mechanisms under the Commonwealth
Australian Postal Corporation Act 1989.
DTRD - Agreed in principle. DTRD supported that which seeks
reinforcement between departments and GBEs as in 14(a) and 14(b).
In regard to overseeing GBE operations that impact on the environment,
DTRD indicated that day-to-day managing and monitoring of environmental
issues is the responsibility of individual GBEs.
|
15 |
State environmental regulations
That the Commonwealth land managing entities and their tenants
have full regard to State and Territory environmental regulations:
(a) where practicable, to prevent pollution; and
(b) as soon as off-site contamination/pollution or unacceptable
human health risks are suspected or identified.
|
DoD - Agreed. DoD observes the intent
of and complies with relevant State and Territory legislation wherever
possible and practicable.
DCA - Agreed. Telstra is exempt from certain State and
Territory laws while engaging in certain activities. However, its
longer term interest is to have regard to these laws. Australia
Post is required to comply with all State and Territory legislation
on environmental issues.
DAS - Agreed.
CEPA - Agreed in principle.
|
16 |
Coordination Council on the Release of
Commonwealth Land
That DPG, as the Chair of the Coordination Council on the Release
of Commonwealth Land, raise with the Council the need to:
(a) further expand on its reporting of the impact of environmental
issues (including site contamination) on the Commonwealth Property
Disposal Program; and
(b) encourage land managing entities to identify in more detail
any environmental and contamination issues for each property scheduled
for disposal.
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DAS - Agreed in principle. The future
role of the Council was unclear. The issue of a coordinated source
of information on Commonwealth property holdings has been raised previously
at the Council and is likely to be addressed again. The need for information
regarding environmental issues on sites scheduled for disposal can
be addressed in that context.
CEPA - Agreed in principle. CEPA will not be undertaking
tasks associated with contaminated sites due to changes to its priorities.
|
17 |
Contaminated Sites Steering Group
That the CEPA, in consultation with members of the Contaminated
Sites Steering Group, provide strategic advice to Commonwealth land
managing entities on the implementation of the Commonwealth Government's
environmental policies and best environmental practices with respect
to land management in general and site contamination in particular.
|
DoD - Agreed. Defence felt that
the EPA was the most qualified organisation to carry out policy development.
DCA - Agreed.
DAS - Agreed in principle. DPG is interested in being involved
in the implementation of this recommendation.
CEPA - Agreed in principle. CEPA will not be undertaking
tasks associated with contaminated sites due to changes to its priorities
|
18 |
Independent audits
That Commonwealth land managing entities, as part of the Portfolio
Evaluation Strategy, consider the value of having their environmental
performance audited independently to protect the value of the Commonwealth's
assets and demonstrate their commitment to protecting the environment.
|
DCA - Agreed. Australia Post is
considering the certification of its EMS which would involve a periodic
external audit of the system. Telstra agrees in principle to external
auditing but is reliant on further progression of the EMS.
DAS - Agreed.
DoD - Agreed in principle. It is DoD's philosophy that
EMPs are assessed on their relevance every three to five years at
the discretion of the commanding officer managing the site. Audits
are usually undertaken by independent environmental consultants.
CEPA - Agreed in principle.
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