"Whilst I admire the ingenuity of the arguments raised under the four grounds of the claim, they have been effectively answered in the acknowledgment of service by the Defendant and Interested Parties. I do not consider that there was any arguable error of law involved in this case in respect of which it would be appropriate to grant permission."
"The Stockholm Convention distinguishes between intentionally-and unintentionally-produced POPS. Intentionally-produced POPS are those used (mainly in the past) in agriculture (primarily as pesticides, e.g. HCB) and industry (e.g. PCBs). Those intentionally-produced POPS are not relevant where waste incineration is concerned but it is these that we understand Article 6(3) addresses."
"The concept of best available techniques is not aimed at the prescription of any specific technique or technology, but at taking into account the technical characteristics of the installation concerned, its geographical location and the local environmental conditions. Appropriate control techniques to reduce releases of the chemicals listed in Part I are in general the same. In determining best available techniques, special consideration should be given, generally or in specific cases, to the following factors, bearing in mind the likely costs and benefits of a measure and consideration of precaution and prevention: [and a number of general considerations are set out]"
"When considering proposals to construct new facilities or significantly modify existing facilities using processes that release chemicals listed in this annex, priority consideration should be given to alternative processes, techniques or practices that have similar usefulness but which avoid the formation and release of such chemicals."
"In the case of a new installation or a substantial change where Article 4 of Directive 85/337/EEC applies, any relevant information obtained or conclusion arrived at pursuant to Articles 5, 6 and 7 of that Directive shall be taken into consideration for the purposes of granting the permit."
"The information to be provided by the developer in accordance with paragraph 1 shall include at least: • a description of the project comprising information on the site, design and size of the project, • a description of the measures envisaged in order to avoid, reduce and, if possible, remedy significant adverse effects, • the data required to identify and assess the main effects which the project is likely to have on the environment, • an outline of the main alternatives studied by the developer and an indication of the main reasons for his choice, taking into account the environmental effects, • a non-technical summary of the information mentioned in the previous indents."
"The permit shall include emission limit values for polluting substances, in particular those listed in Annex III, likely to be emitted from the installation concerned in significant quantities, having regard to their nature and their potential to transfer pollution from one medium to another (water, air and land). If necessary, the permit shall include appropriate requirements ensuring protection of the soil and ground water and measures concerning the management of waste generated by the installation. Where appropriate, limit values may be supplemented or replaced by equivalent parameters or technical measures."
"The CO2 emissions from the facility are undoubtedly significant, but CO2 differs from other pollutants emitted from the Installation, in that its effect on the environment is global rather than local. It is for this reason that CO2 is not included in Annex III to the IPPCD, which lists the main polluting substances that are to be considered when setting emission limit values (ELVs) in Permits. The Environment Agency recognises that emissions of CO2 are inevitable where waste is combusted. Once the amount and type of waste had been set, the CO2 emissions are, essentially, a given [can be calculated]. It is not therefore appropriate to set an ELV for CO2. This does not, however, mean that no further consideration needs to be given to this emission."
"Waste shall only be accepted if: (a) it is of a type and quantity listed in Schedule 3 of Table S3.2; and (b) it conforms to the description in the documentation supplied by the producer and holder."
"1. Member States shall ensure that the public concerned are given early and effective opportunities to participate in the procedure for: - issuing a permit for new installations, - issuing a permit for any substantial change in the operation of an installation, - updating of a permit or permit conditions for an installation in accordance with Article 13, paragraph 2, first indent. The procedure set out in Annex V shall apply for the purposes of such participation."
“1. The public shall be informed (by public notices or other appropriate means such as electronic media where available) of the following matters early in the procedure for the taking of a decision or, at the latest, as soon as the information can reasonably be provided:”
“3. The public concerned shall be entitled to express comments and opinions to the competent authority before a decision is taken. 4. The results of the consultations held pursuant to this Annex must be taken into due account in the taking of a decision.”