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ANNEX 1 Assessment of substantive points raised in Lord Berkeley’s letter of 19 January 2015 to Lord de Mauley. Summary There are concerns regarding the statements made by Lord Berkeley in his letter of 13 January 2015. These statements are based on the report dated 10 December 2014 by Professor Chris Binnie entitled “Thames Tideway: Review of Tideway spills and their environmental impact.” This report concludes that the Thames Tideway Tunnel is not needed to meet environmental and legal objectives, and that the Thames Tideway can be regarded as satisfactory under the terms of the Urban Waste Water Treatment Directive (UWWTD). Careful reading of this report and the appendices that underpin the conclusions it makes, shows that a great number of these conclusions are based on either a misunderstanding of the data sets used, inappropriate assessment methodology, or unsupported assumptions. This means that the conclusions are being based on unsound science, and are incorrect. The Environment Agency (EA) has been in dialogue with Professor Binnie over the last three years on this and a range of other issues relating to the need for the Thames Tideway Tunnel, and has expressed concern to him on a number of occasions in recent months about the technical work incorporated into the supporting arguments of the conclusions in his 10 December report. These conclusions, when read in the abstract, may appear reasonable at first glance. However, when the body of supporting work is assessed in detail, the overall conclusion that the Thames Tideway currently complies with the UWWTD and the environmental standards set for the Tideway, is not supported. The main concerns relate to: an inappropriate analysis of dissolved oxygen using the Automatic Quality Monitoring Station (AQMS) data which masks low DO levels; the analysis of combined sewer dry weather flow and its associated impacts; a misunderstanding of the different requirements for discharges from Combined Sewer Overflows (CSOs) and Sewage Treatment Works (STW); a misunderstanding of probability modelling; no solution for the remaining west London CSO discharges (following completion of the Lee Tunnel and upgrades to the five main London STWs); and the role of booms, bubblers and skimmers (in-river solutions). These concerns are set out in detail below. 1 1. Dissolved oxygen (DO) standards compliance assessment Summary: 1) With respect to industry standard Urban Pollution Management (UPM) procedure, the Thames Tideway Strategic Study (TTSS) approach to DO compliance assessment conforms to UK industry norms. The methodology in Professor Binnie’s report does not. 2) The methodology used in Professor Binnie’s report for the analysis of DO compliance is not sound. It masks the critical low DO periods that impact on aquatic ecology. 3) There are fundamental issues in the DO compliance assessment approach used in Professor Binnie’s report. The methodology suggests there are no failures; EA review of the same data shows how Professor Binnie’s approach fails to identify frequent and regular noncompliance over the same period. 1.1 Aspects with respect to industry standard UPM approach Professor Binnie’s method is not appropriate for assessing the number of breaches of each of the four thresholds established for the Thames Tideway DO standard, as it does not check compliance as defined by the standard. It also masks the range in DO of any given tide. Lord Berkeley states in his letter of 19 January that: "In any case the Chiswick and Cadogan AQMSs have already met the relevant standards for the last 5 years, much longer than the one year used initially at Mogden." (page 3, paragraph 5). The evidence does not support this statement, and this highlights a significant error in Professor Binnie’s analysis and conclusions. Professor Binnie claims that when using his methodology to assess the AQMS DO dataset provided by the EA, he demonstrates that there has not been a failure of the DO standard during the 2007 – 2014 period. The EA has reviewed the dataset in light of that claim, and its analysis indicates that this is not the case. The resulting discrepancy between the two analyses is entirely due to a fundamental error in Professor Binnie’s analysis and associated methodology. The EA repeatedly asked Professor Binnie to clarify the objective of his DO analysis, but did not receive a response. Had the EA understood that the objective was to assess compliance with the DO standards, it would have advised Professor Binnie of the appropriate methodology to use to ensure compatibility with the UPM industry standard. By setting appropriate standards to protect aquatic life, the impact of intermittent discharges can be assessed and solutions designed for an environmentally acceptable discharge. The DO standards relevant to the tideway are exactly that: 2 design standards. This represents an adaptation of the UK industry standard UPM methodology, insofar as they are standards specific to the Thames Tideway. It is important to note that design standards are not primarily intended to test the performance of a scheme, once complete, especially where long return periods apply as they do in the Tideway. However, the DO monitoring data does present the possibility of testing performance, and it is an interesting approach. The Thames Tideway Strategic Study aimed to provide standards which ensure the long-term survival of fish and other biological life. Fish are useful indicators of the quality and health of the water environment. A 2012 review by a panel of experts found the Tideway standards for fish are a good surrogate for wider ecology in the Tideway as a whole. Intermittent standards for water quality in the UK are based on the following parameters: (a) return period (probability) of an event; (b) the duration of the event; and (c) the magnitude of the pollution impact on the environment. This UPM procedure is more commonly applied to flowing freshwaters and incorporates intermittent standards appropriate for freshwaters, but the sensitive ecology they aim to protect are also present in the Thames Tideway. Bespoke intermittent standards were developed for the tidal Thames, during the TTSS (20002005), to be used to design solutions to London’s CSO problem. These standards are still appropriate as design standards today, as confirmed by a review of experts in 2012. The duration element of the Thames Tideway intermittent standards is defined in terms of consecutive tides, and a distance element equivalent to approximately one tidal zone1 is also incorporated into the standards to reduce the risk of misreporting compliance due to erroneous data. The Thames Tideway intermittent standards are made up of four thresholds with different return periods and durations, in line with the principle that the more acute concentrations should be encountered more rarely, and for shorter periods of time. A failure occurs if any one (or more) of the four standards are exceeded. That is because each of the thresholds is designed to protect different aspects of the ecology, ranging from subtle and less severe (sub-lethal) impacts of long periods below a DO level of 4 mg/l (which are “allowed” relatively frequently) to the acute and severe effect of DO concentrations below 1.5 mg/l, which should happen very rarely indeed. For the record, the four thresholds are defined as below: Standard (no.) 1 DO (mg/l) 4 Return (years) 1 1 Duration (tides) 29 A tidal zone is a unit of water in the Thames Tideway that is used by the Environment Agency to manage water quality. 3 2 3 4 3 2 1.5 3 5 10 3 1 1 They apply to any continuous stretch of river 3 km or more in length. Duration means that the DO concentration must not fall below the limit for more than the stated number of tides. A tide is a single ebb or flood. Standard 1 was selected to ensure protection against the chronic effects of reduced oxygen, such as growth depression and behavioural impacts linked to fish trying to avoid affected areas. Standards 2 and 3 are both designed to limit the scale and frequency of fish kills. Standard 4 is aimed at preventing mass fish mortality across several life stages. The 3km length aspect is not considered in Professor Binnie’s analysis. It is assessed by performing half tide correction (HTC) on the measurements collected by the AQMS network over the course of a tide. The HTC procedure is designed to convert the location at which a water sample is taken to the location along the estuary that the water sampled would have been under half tide conditions. The definition of half-tide, for any location in an estuary, is the point in time when the volume of water upstream of the location is at its mean value (given that the volume upstream reduces over an ebb tide, and increases during a flood). This allows the results to be plotted along the length of the estuary at locations which correspond to the half tide position of any measurement. The resulting plots can be used to see if any portion of the estuary exceeding 3km in length is below a threshold during that particular tide. 1.2 Design standards versus reality In order to compare CSO spill frequency and volume for a number of proposed solutions, the TTSS and subsequent Thames Water projects used a typical year. The selection of the typical year was based on rainfall records from 10 sites across London and Beckton STW and Crossness STW flows. The actual year that was assessed as most typical in the period 1970 - 2003 was the 1980 water year (October 1979 to September 1980). Professor Binnie’s reports appear to assume that a "typical year" is simply defined as a year with broadly "normal" rainfall, and that CSO spill frequency in any year exempting floods or droughts should be directly comparable. That is not the case. The compliance testing procedure used by Thames Water to assess the performance of proposed engineering solutions to the Tideway CSO problem against the design standards used a 41-year rainfall series, and not the typical year. Any formal compliance procedure to assess the actual performance of the Thames Tideway Improvements Programme (i.e. the Lee and Thames Tideway Tunnels together with the upgrades of the 5 STWs) against the Thames tideway intermittent standards will need to use an appropriately long data period, to ensure compliance 4 with all four DO standards can be reliably assessed. Professor Binnie, as Chair of the Thames Tideway Strategic Study, is aware that this was the agreed approach for assessment. The EA would expect these principles to be applied to any current assessment. 1.3 Technique and methodology The EA has reviewed the same datasets that it provided to Professor Binnie, and has reached very different conclusions. This is related to the methodology he has used, which masks critical DO periods. As an example to illustrate the differences, consider the recent six-year 2009-2015 period where there is good optical DO data from the Cadogan AQMS. The Cadogan AQMS data shows 3 clear dips below the 3mg/l threshold in 2011, despite Professor Binnie’s report Appendix A claiming that “from 2009 onwards Cadogan AQMS shows no breaches or failures over the following 5 year period” (page 34). AQMS are fixed to a structure in the river. The tide washes past the monitor, which takes a sample every 15 minutes. That means that the entire tidal excursion passes the monitor over the course of the tide, giving good representation of most of the river across the AQMS network as a whole. An AQMS will “see” the full 13km+ tidal excursion over the course of a tide, so averaging the data across that time period will mask the lowest observed levels of DO, and any statistics will not be representative of the worst-affected 3km river segment. It is these low levels of DO that will have an impact on the ecology of the river, and must be recognised in any analysis of the data. An exceedance of a DO standard is defined as more than a continuous 3 km stretch below a concentration threshold for more than a certain number of tides. The standard is only failed if an exceedance occurs more frequently than defined by the return period of the standard. So for example, standard 4 is failed if the river falls below 1.5 mg/l for longer than 1 tide, more frequently than once every 10 years. A failure of any of the 4 standards constitutes non-compliance. In the Cadogan AQMS data being considered here there are six clear exceedances of Standard 2 (3 mg/l) and five of Standard 3 (2 mg/l). Given the acceptable return period of these thresholds are 3 and 5 years respectively, this demonstrates that the Tideway has not met the standard even in the short section of river monitored by the Cadogan AQMS. Professor Binnie’s method, which ignores these events by averaging the DO measurements across a tide, is entirely inappropriate. The error is related to the fact that Professor Binnie’ methodology seemingly ignores the tidal excursion of the receiving water, and the ecology the standards are designed to protect. Because DO concentrations in the Tideway typically vary a great deal along its length, Professor Binnie’s methodology smoothes out the DO sags and therefore misses the true depth of the sag; precisely the part that will have maximum impact on aquatic ecology. 5 1.4 Preferred way and what this means for results and conclusions To illustrate why Professor Binnie’s method, although speedy, returns misleading results consider the event of the 27 August 2011: here Professor Binnie states that the minimum DO encountered was 1.47 mg/l, but that as the 1-tide average using his methodology works out as 2.1 – 2.5 mg/l, that’s “OK” (report page 33, Appendix A, Section: “Period before 2014”). Looking at the DO values across the upper tideway for four consecutive tides in the table below, the longitudinal variation is evident and shows a range between 2 and 8 mg/l. It is clear that for all four tides more than 3km of river is below the Standard 2 concentration threshold. Standard 2 is intended to protect the wider ecology and against fish mortality, and this incident is expected to have had a significant impact on both. Looking at Cadogan alone in the chart below, over a flood – ebb sequence, the AQMS sees a range of 2-5mg/l. 3-4km of river is below the threshold. 6 That this continues for longer than the duration “allowed” by standard 2 is evident when five consecutive tides are plotted together (this is easier to see when more AQMS are plotted simultaneously, but here Cadogan is shown in isolation in the chart below for the purposes of illustration: While this is easy to see on the half-tide corrected plots above, it’s also clear from the simple time-series plot below (the distance element is not clear from this type of 7 plot, but the above two plots do show it). The specific issue is with standards 2 and 3: Standard 2, as over 3km of river is under 3mg/l for 8 consecutive tides, and anything over 3 tides every 3 years is unacceptable for the ecology in the river. Standard 3, as over 3km of river is under 2mg/l for 3 consecutive tides, and anything over 1 tide every 5 years is unacceptable. Standard 4 is not actually breached, as less than 3km of river was below 1.5mg/l for more than 1 tide. Standard 1 is not considered here, as the impact did not last longer than the allowed 29 tides. The above graph clearly shows that following this one release of storm sewage in August 2011, several of the DO standards are failed simultaneously; which means that the overall DO objective is failed. A breach of any one of the four standards means that the Tideway has failed the objective to maintain sufficient DO for the ecology to avoid unacceptable polluting effects. By contrast, Professor Binnie’s average DO readings are shown in the graph above as a solid black line. When a simplistic tide-by-tide statistical analysis is applied, the averages are clearly significantly higher than the minimums, as one would expect: 8 Tide 28/8 0040 0707 ebb 28/8 0707 1309 flood 28/8 1309 1948 ebb 28/8 1948 0129 flood 29/8 0129 0808 ebb 27/8 0606 1219 flood 27/8 1219 1848 ebb 27/8 1848 0040 flood Minimum DOO 1.9 1.84 2.63 2.57 2.54 1.32 2.43 1.47 Average DOO 3.58 2.74 3.61 3.09 3.54 2.89 3.86 2.84 This is why Professor Binnie erroneously concludes that this period does not fail standard 2 – his averaging methodology does not account for the variation observed in the data. It is essential to recognise that the point of the standard is to protect the environment. Any analysis of the DO data must be appropriate to the way the standards are defined, by capturing the periods of low DO impacting on the aquatic ecology. 2. Combined sewer Dry Weather Flow (DWF) and headroom Summary: 1) Sensitivity analysis testing of Professor Binnie’s proposals demonstrates that the additional headroom provided by reducing sewer dry weather flows would not have a significant effect on reducing CSO spill frequency and volume. 2) Professor Binnie’s interpretation of the figures in the Water Resource Management Plan (WRMP) is inconsistent with national water industry resource planning approaches. His use of baseline figures for water going into supply fails to account for uncertainty, a requirement of the water industry. 2.1 Sensitivity of sewer network spill frequency to DWF In Appendix C of Professor Binnie’s report supporting evidence there is an assumption that a reduction in dry weather flow would have a significant effect on CSO performance. Sensitivity testing the effect of a reduction in water use was carried out by the TTT project. DWF reduction had only a marginal effect on spill frequency. The extreme scenario tested considered hypothetical assumptions leading to a 26% reduction in the dry weather sewage flow of the sewer network, in order to consider how sensitive the system was to changes in this parameter. As an example of just one of the CSOs, even after making the adjustments to baseflows that Professor Binnie proposes, leading to the removal of 26% of the dry weather flow from the model, it still predicts over 50 spills in the typical year from Hammersmith Pumping Station alone. Therefore, the additional headroom provided 9 by removing some of the dry weather flow is insufficient to accommodate the rainfallderived storm sewage component. 2.2 TWUL WRMP data assumptions The figures quoted in Professor Binnie’s report from the WRMP regarding baseline water into supply are correct. However, this is the baseline figure for water going into supply, and does not account for any uncertainty. Ofwat, EA and water companies use uncertainty values in the planning process to ensure that future demand can be met. This is an integral part of the water supply planning process. Professor Binnie’s work does not cater for any uncertainty in future supply with the figures he has used. Similarly, he has not accounted for these issues (including not meeting demand reductions and climate change) in other parts of his work (which he freely admits). It is unwise to plan without taking these uncertainties into account, and the regulatory process ensures that the EA does that. These uncertainties include uncertainty associated with the uptake levels of demand management measures that Professor Binnie relies upon to maintain a low base-flow in the sewers. The figures used in Appendix C of Professor Binnie’s report misleadingly assume that there is no increase in water supply, and this method is not used by the regulatory bodies to plan for the future. All water resource planning for London shows that there will need to be a significant increase in the amount of water available for supply, with new potable supply sources planned to be delivered in future water resource management plans for the London Resource Zone. 3. Urban Waste Water Treatment Directive (UWWTD) compliance Summary: 1) Professor Binnie’s report fails to recognise the different requirements for STWs and CSOs imposed by the UWWTD. 2) The report misrepresents the reasons why the EA considers that Mogden STW is compliant following its recent upgrade work. 3) The “do nothing more” approach with respect to Central London CSOs is not compliant with the UWWTD; Professor Binnie’s assessment does not provide a solution to this issue. 3.1 Different requirements for CSOs and STWs There is a lack of clarity in the report about the difference in the way that the UWWTD considers STWs and CSOs. Member States are required to limit pollution from storm water overflows. To that end there is a requirement for an adequate system to collect and transfer all waste water under normal climatic conditions to treatment. Professor Binnie’s report assumes that the current performance of the Mogden STW is directly comparable to the performance of the Tideway CSOs. He incorrectly concludes that spills from the CSOs have little environmental impact on 10 the Tideway, failing to recognise that discharges from CSOs have a higher pollutant load by volume than equivalent discharges from STW storm tanks. This demonstrates a fundamental misunderstanding of the different requirements for the management of STW and CSO spills. STWs are required by the UWWTD to provide secondary treatment of waste water before discharges. Storm sewage at Mogden STW is screened and settled before discharge; CSO discharges are not, and are more polluting as a result. Given the continuing CSO spill levels that will occur even after the Lee Tunnel is operational and London STW upgrades have been completed, action therefore must be taken to reduce those. Professor Binnie does not apply these differences to the analysis in his report, and this leads to a gap of assessment for Central London CSO compliance. The Central London CSOs will still frequently discharge into the Tideway even after the five London STW improvements and the Lee Tunnel are in operation, and so pollution from these discharges has not been limited as required by the Directive. 3.2 Mogden STW compliance Professor Binnie has misunderstood why the EA considers the Mogden STW is compliant, and suggests that this is solely because it has not caused a major pollution event in the Tideway. He cites his interpretation of the water quality data as evidence for this position. The EA has explained its assessment of the Mogden STW to Professor Binnie on numerous occasions. The EA is working with TWUL to ascertain the reasons for the Mogden STW storm tank spills that have happened since the works upgrade was completed in 2013. The driver for this is ascertaining compliance with their discharge permit for the STW, and concern among local people about the STW’s performance. It is not about the environmental impact of these spills on the Tideway. Discharges from STW storm tanks have a less polluting load than the equivalent volume of discharge from a CSO. This is because the storm sewage from the storm tank receives some treatment before discharge, in the form of screening and settlement. For this reason, it is inappropriate to assume that CSOs discharging at the same frequency as STW storm tank discharges are satisfactory, just because the STW storm tank discharges may be regarded as satisfactory. Instead, regard needs to be given to the environmental impact of each individual CSO to determine whether it is satisfactory or not. CSOs are different to STW storm tank discharges as they do not have settlement or screening. 3.3 “Do nothing more” does not support compliance In his report, Professor Binnie also assumes that his approach to discharge analysis of the remaining CSOs in central London is relevant and legal. However, this is erroneous, as his analysis fails to identify the breaches of the DO standards resulting from the discharges. In addition, the discharges from the remaining very large CSOs and their associated effects are completely disregarded. The correct compliance assessment confirms that the river is failing to meet the DO standards, and therefore doing nothing about the remaining central London CSOs is not an option. 11 4. Probability models The EA disagrees with the statistical assumptions founded on probability in Professor Binnie’s report. The report suggests that data from the upper estuary (Chiswick & Cadogan AQMS) since April 2013, when the Mogden STW improvements were completed, can be used to demonstrate that future performance will be satisfactory. There is no statistical basis to support this assumption. UK Water Industry planning uses historic datasets to predict the likelihood of future events occurring, but this does not guarantee that any given event will occur in any given year or to an exact frequency. An analogy of this approach would be the delivery of flood risk management infrastructure: these are not deemed to have been inappropriately planned if a 1-in-30 year event or a 1-in-100 year storm does not manifest itself in the first 10 years of operation. Professor Binnie’s approach is to assume that as there has not been a failure of the 1.5 mg/l standard in the two summers since the Mogden STW improvements were completed, the risk of this occurring has disappeared. The EA finds no basis to support this conclusion. 5. Central London CSOs are not dealt with by the “do nothing more” option In the report, Professor Binnie uses his assessment of STW and sewer DWF to suggest that the Tideway is compliant with UWWTD requirements. However, the report does not specifically provide an analysis or solution for the 34 most polluting London CSOs, which continue to discharge into the Tidal Thames. There are no planned upgrades or improvements to these CSOs through any other process than the Thames Tideway Tunnel. Applying the proposals set out in Professor Binnie’s report (i.e. “do nothing more”) leaves these CSOs to continue frequently discharging and polluting the river to the same extent as currently, meaning that they would continue to be categorised as unsatisfactory by the EA. The “do nothing more” approach, therefore, does not comply with the UWWTD. 6. Booms, bubblers and skimmers Summary: 1) These measures do not address the mix of pollutants in CSO spills, such as those derived from road runoff, and submerged litter. 2) Booms, bubblers and skimmers are in-river measures, and therefore cannot be a permanent solution in compliance with UWWTD requirements. 6.1 Pollutants in CSO discharges Lord Berkeley’s letter of 19 January 2015 states that “…the water spilling from the overflows is basically storm water with a foul water component, thus it is not just sewage as you imply but diluted sewage” (page 2, paragraph 4). 12 Arguably, all sewage is water with waste added to it. Using booms, bubblers and skimmers as alternatives to capturing the remaining CSO spills after the Tideway improvements, does not deal with the environmental risk posed by the mix of pollutants they contain. Road runoff in isolation also has the potential to cause pollution. Storm sewage is raw sewage mixed with rainwater. Despite the sewage element being diluted, it still contains levels of bacteria far in excess of World Health Organisation recommended limits to protect human health, and it contains pathogens that are harmful to humans if ingested. Storm sewage is also a source of sewage-derived litter and sewage solids that pollute the river and its foreshore, leaving unsightly and harmful deposits in places used for recreation. It contains organic matter that exerts an oxygen demand on the river, causing DO levels to drop rapidly, causing unacceptable damage to the environment and aquatic ecology. Lord Berkeley’s letter also states that “I cannot find where he proposes bubblers in his report and believe you are mistaken on this” (page 2, paragraph 6). In fact, from a full reading of his report, and supporting work in Appendix F, it is clear that Professor Binnie relies upon bubblers and other measures for the solutions he proposes, and his further work is based upon this. To cope with aesthetics issues, Professor Binnie proposes booms and skimmers for surface litter collection. These are currently already used on the Tideway to collect wind-blown and other litter. There is recent published evidence2 to suggest that there is a significant submerged litter quantity in the Thames Tideway, comprised of sanitary components and plastics. This litter has been shown to travel within the water column, and not on the surface, and therefore would not be collected by surface booms and skimmers. 6.2 These measures are interim measures Skimmers and bubblers are already in use on the Thames Tideway, but can only ever be interim measures to mitigate the worst effects of CSO pollution in the immediate short-term. While they undoubtedly have environmental benefits, they are inappropriate as a permanent solution as they do not prevent CSO spills entering the river in the first place, and thus do not meet the UWWTD requirements in that regard. They cannot therefore be considered as an alternative to the Tideway Tunnel as proposed in Appendix F of Professor Binnie’s report. Booms are an in-river solution unless somehow incorporated into the waste water collecting system required by the UWWTD. There are significant practical challenges to using booms to screen very large discharges with significant solid component in a very visible public area, with tidal dynamics, and health risks associated with sewage detritus. 2 “Plastic in the Thames: A river runs through it”, Marine Pollution Bulletin 78 (2014) 196-200 13 7. Other issues 7.1 The use of Meteorological data Professor Binnie’s report makes incorrect assumptions regarding the use of meteorological data. In the Compliance Test Procedure used by the EA, actual rainfall data covering a 41-year period has been used to derive the event series in the procedure. This matter has formed part of wider discussions between Professor Binnie and the EA prior to the publication of his report. Appendix C, on which so much of Professor Binnie’s report conclusions are based, does not use an appropriate rainfall analysis. His stated assumption on rainfall variability is that the 41 years of rainfall data “will not be that reliable” (report page 42, Appendix C, paragraph 5). This assumption is unfounded and the report contains no evidence to support it. Additionally, Professor Binnie’s report fails to clarify what might constitute a better estimate of rainfall than a combination of gauge and radar data as used in the Compliance Test Procedure. 7.2 Underlying foundations for Professor Binnie’s report conclusions Appendix C, on which so much of Professor Binnie’s report conclusions have been based, is flawed in the stated assumption on rainfall variability when it states that 41 years of rainfall data “will not be that reliable” (page 42, last line). As noted above, this assumption is unfounded with no supporting evidence. Professor Binnie’s assumptions on future sewer flows are not consistent with the water industry national planning process; this undermines his report Appendix C. Professor Binnie’s assessment in the report Appendix A, regarding the assessment of AQMS data in relation to meeting DO requirements, has been shown above to be inappropriate. Professor Binnie’s report conclusions rely heavily on the work in these Appendices. In the light of the above assessments the EA therefore has to regard the conclusions as based on flawed science. 7.3 Specific points in Lord Berkeley’s letter of 19 January of relevance to the Environment Agency "I understand there are few records of when CSOs spill and pumping station discharges are assessed on the basis of hours pumped. Thus the spill frequency data is not robust." (letter page 2, paragraph 1) Pump records are not available for most of the gravity CSOs, and only for the large pumping stations. These pumping stations represent the largest discharges in terms of volume, and the three in the western reaches of the Tideway (Hammersmith, Lots Road, and Western) alone account for over 50 spills and 5 million cubic metres in the base-case scenario, after the Lee Tunnel is completed. The verification monitoring referred to was intended to verify the model assumptions for the remaining gravity CSOs and the actual spill frequencies in any given year is not comparable to the typical year, as described above. 14 "For other CSOs the spill frequency model is based on constant per capita water consumption…" (letter page 2, paragraph 2) As described above, the model sensitivity tests indicate that the meteorological data (most importantly rainfall) is the primary factor affecting spill frequency, not the dry weather flow composed of infiltration, domestic and trade sewage. "First the water spilling from the overflows is basically storm water with a foul water component, thus it is not just sewage as you imply but diluted sewage." (letter page 2, paragraph 4) Storm sewage does have a large component of rainwater, but the CSOs are at the end of a large combined drainage catchment which means it is mixed with the dry weather flow - the wastewater spilling from the CSOs cannot be described as inoffensive, and as described above contains excessive levels of harmful bacteria and other pathogens. "As the objective of the UWWTD is “to protect the environment from the adverse effects of waste water discharges”, the rejection of bubblers and skimmers, actually litter collectors, which have already been in use for many years, seems illogical." (letter page 2, paragraph 5) This statement may be the result of a misunderstanding in Professor Binnie’s report, where he states that "The UWWTD requirement is to collect and treat and that is what the litter collectors allow to happen." (report page 21, paragraph 1). The assumption that the Directive allows for collection/treatment of sewage derived litter after this has left the collection system is incorrect: the Directive requires treatment plants to perform sufficiently under all normal local climatic conditions, and for CSOs and STW storm tanks to only discharge in situations such as unusually heavy rainfall. The strategy of in-river treatment was dismissed by the TTSS Solutions working group as it "really cannot be considered a true strategy or an appropriate solution in that once in the river the polluting effects can only be ameliorated[...]" (Solutions Working Group Vol.1, 2005). The TTSS was Chaired by Professor Binnie, and he should be well aware of this requirement. "You state that “they do not provide a good representation of all discharge and tide circumstances”. However, the Environment Agency in its notes of the meeting on 25th September stated “We have explained that the WQ monitoring is a better indicator of how often each DO standard is breached.”" (letter page 2, last paragraph) The context is lost here - the original reference was that WQ monitoring data was a better indicator than the record of fish kills, which the EA maintains is correct. "Above you state that the 3 sites provide “reasonable coverage of the Tideway” [...] and the 9 locations were selected by the Environment Agency." (letter page 3, paragraph 1) 15 The monitoring network and its coverage are determined by the objective - to manage water quality incidents from an operational perspective. The primary objective is not to assess compliance. "However, whilst this will have a significant effect, these changes will occur slowly and further measures such as SuDs, BGI, Real Time Control etc are very likely to be able to be implemented in time to cope with such changes..." (letter page 3, paragraph 8) The EA’s Rapid Evidence Assessment of October 2013 shows that there is no evidence that SUDS and associated measures can be implemented to the degree required within an appropriate timescale, so the basis for this assertion is not clear. "For the one tide condition, Prof Binnie took the minimum average of 24 consecutive every 15 minutes readings to get the worst period, irrespective of whether this was part of different tides or not." (letter page 3, last paragraph) It is unclear what the "minimum average" means, but the fact that Professor Binnie did not consider which tide the data pertained to further illustrates the point made above that his analysis was not framed within the context of the DO standards. "Whilst meteorological data has been discussed previously, we are not aware that the current report relies on any such analysis of meteorological data." (letter page 4, paragraph 7) Professor Binnie’s report does consider rainfall data, in the appendices. "This would indicate that, for the 5 year period 2010 to 2014 relevant to the Chiswick and Cadogan assessment, the summers were both wet and dry and typical." (letter page 5, paragraph 2) This does not mean that this period is comparable to the typical year, defined by the TTSS as the 1980 water year. "Whist (sic) Professor Binnie believes that the modelling system are (sic) probably the best available at the time, the problem is with the quality and reliability of the input data. As his report identifies in Appendix C these issues include: - Rainfall spatial variation particularly of the critical summer thunderstorms - Few reliable sewer flow gauges in the complex sewer system - Lack of discharge measurements at most CSOs - Use of wrong data on future sewer flows - Limited data on quality of spilled flows - Variability of Tideway water quality. - Variability of tidal data. - Variability of tributary flow and water quality." (letter page 5, paragraph 8) It is important to note that the EA does not agree with any aspect of this assessment of the modelling approach, except that it was the best available at the time of TTSS. 16 "The importance of any model is not so much whether it has been peer reviewed but whether its output actually reflects actual conditions that occur" (letter page 6, paragraph 2) As the EA has sought to explain above (and in previous meetings with professor Binnie), the purpose of the water quality model was to design an appropriate solution and predict its effectiveness in the long term. "Thus the water quality model does not reflect the relevant conditions." (letter page 6, paragraph 5) To re-iterate, the water quality model was intended to predict long-term performance as required by the DO standards. "This the water quality model has failed to reflect either initial conditions or conditions after the upgrades sufficiently. Thus it is not so much Professor Binnie’s report that challenges the water quality model, it is its failure to reflect actual conditions as found by other analysis." (letter page 6, paragraph 7) The EA’s view, for the reasons outlined above, is that Professor Binnie’s analysis is not fit for purpose. The water quality model was used to ensure any proposed solution was neither inadequate nor gold plated in the sense that it was overprotective and therefore unnecessarily expensive. 17