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Streamlining of monitoring and reporting under WFD, Nitrates Directive and EEA's SoE –concept paper
DG Environment
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Background 2009 Primary technical analysis was presented and discussed by the Nitrates Directive Committee (NDC), WG D and the NFPs. Letter to the Water Directors was sent informing on the work so far and a need for a questionnaire to gather more in-depth information 2010 The Questionnaire on streamlining under the three streams was sent out in Spring and the analysis of the questionnaire was presented and discussed during the autumn meetings of the WG D, the WFD Strategic Coordination Group and NDC. The EEA carried out further technical analysis Letter to the Water Directors was sent out with a summary of the replies, technical analysis of the EEA and suggestions for further steps. 2011 The Water Directors appointed members of a ad-hoc streamlining expert group the group have met once and worked on the concept paper 2012 The concept paper has been finalized and circulated among three groups for comments
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Mandate (1/2) To elaborate in a step-wise approach firstly a general concept for streamlining followed by the development of integrated monitoring and reporting guidelines for WFD, NiD and SoE. A small core group of experts appointed by Water Directors, should take care of drafting a concept paper for the possible integrated guidelines document. This will be consulted and coordinated with the Nitrates Committee, the WFD Strategic Coordination Group and the NFPs (National Focal Points). This guidance should promote: Integration and harmonisation of water monitoring activities as well as data reporting, while respecting the specific purposes of each of the reporting exercises. The proposed aim is to make recommendations to exploit synergies between the three monitoring processes, to reduce reporting burden and to promote integration between organisations.
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Mandate (2/2) Based on the discussion in the first phase and subject to the positive feedback from the Nitrates Committee, the WFD Strategic Coordination Group and the NFPs (EEA national focal points), support will be requested from the Water Directors for a second step of this work that should cover development of the final integrated guidelines. These will be developed by the core group of experts and will be presented to the three groups and to the Water Directors for final endorsement. The Commission will investigate the possibility of aligning the reporting cycles between the WFD and the NiD. However, it needs to be stressed that a number of legal and compliance issues needs to be considered before any proposals will be made. The conclusion of this work could feed into the Commission Communication on the Blueprint to Safeguard European Waters envisaged for 2012.
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Outline of the concept paper
1 Introduction 2 Objectives of monitoring and reporting and possibilities for streamlining 2.1 Selection of monitoring stations and dealing with spatial variability 2.2 Frequency of monitoring 2.3 Data aggregation for reporting 2.3.1 Vertical aggregation of groundwater data in each of the streams 2.3.2 Spatial aggregation of data in each of the streams 2.3.3 Temporal aggregation of data in each of the streams 2.4 Selection of parameters 2.5 Classification/interpretation of results 2.6 Reporting cycles under the different streams 3 Conclusions Total of 11 questions
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Conclusions 1 Monitoring - spatial distribution of monitoring stations
There is no need for streamlining for those MS having already one single monitoring network for both surface waters and groundwaters. For remaining MS, it is possible to merge stations currently monitored under the NiD and those currently monitored under the WFD/WISE SoE monitoring in one single monitoring network (they are already partially overlapping, see table in annex I). Monitoring frequency: For nitrates concentrations, in surface water the highest frequency is required under the WISE SoE (monthly sampling every year). For groundwater most of the MS under the NiD sample monthly every year. Consequently, full streamlining would require that wherever possible this frequency should be reported. Monitoring - selection of parameters All three streams have overlaps in terms of monitored parameters. If monitoring networks (i.e. location of monitoring stations) stay as they currently are, the overlapping parameters (e.g. nitrate for groundwater and rivers) in the overlapping stations can be monitored only once. If full streamlining is achieved as regards monitoring networks (location of monitoring stations), all parameters currently requested under the three different streams will have to be monitored in all stations only once. Monitoring - interpretation of results As regards eutrophication, the same methodology is to be used under the WFD, NiD and WISE SoE,. Therefore the same parameters are to be monitored.
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Conclusions 2 Reporting – spatial distribution of monitoring stations
If there is full streamlining for monitoring, there will be automatically streamlining on reporting as well (as regards selection of monitoring sites) If there is no full streamlining for monitoring (networks are kept separated for NiD and WFD, with the existing partial overlapping), there is the possibility to streamline reporting for those overlapping stations. Reporting-frequency: Data monitored to report under WISE SoE can be used under the two other streams Reporting - aggregation of monitored results (vertical, spatial and temporal) WFD/WISE SoE Nitrates concentrations in each station should be reported disaggregated only once, so to cover ND, SoE and WFD Non-temporally aggregated data should be provided, so to make possible re-use of data for specific assessments. This would have the advantage that small pre-processing of data would be needed at MS level before reporting Monthly average concentrations per year should be reported. Reporting - selection of parameters All three streams have overlaps in terms of monitored parameters. If monitoring networks (location of stations) stay as they currently are, the overlapping parameters (e.g. nitrate for groundwater and rivers) in the overlapping stations can be reported only once. If full streamlining is achieved as regards monitoring networks (location of stations), all parameters currently requested under the three different streams will have to be reported in all stations once.
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Conclusions 3 Reporting – interpretation of results
As regards eutrophication, relevant parameters (used for assessing trophic status) are to be reported for each station. An overall assessment of the trophic status is to be reported for each water body. As regards trends in water quality, it could be possible to calculate them based on the long time series under the three streams (as it is currently done under WISE SoE). Reporting - reporting cycles for monitored data and other relevant textual information Depending on the solutions found on streamlining of monitoring (as regards location of monitoring sites, frequency of monitoring and parameters to monitor) and on reporting (as regards aggregation), cycles could be aligned: If full streamlining is achieved for monitoring and reporting in so far that aggregation is concerned, reporting could be done annually as regards monitoring data and every 4-6 years (to be discussed) as regards other information about measures put in place (Programme of Measures under WFD and Action Programme under ND) If partial streamlining is achieved for monitoring, cycle of reporting will have to be aligned accordingly (to be developed in the second phase) If no streamlining is achieved for monitoring, cycle of reporting could stay as it is currently or could be aligned (4-6 years - to be discussed)
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Issues not covered Aspects of Inspire directive could not be covered as the technical description for annex III data is not defined yet SEIS and its role could not be spelled out as the process is on-going and the details are not known
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Comments received Comments were provided by 13 MS+CH
Number of comments were positive and were already commenting on a possible solutions (i.e. phase two aspects)
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Negative comments Some of the conclusions or suggestions were negatively seen Some MS would like to see this paper covering only legal obligation (aspects which are only in guidelines should not be covered and SoE should also not be part of it). Some comments were very strict that only text of Directives should be covered but once details were presented guidelines text was used as an example. Some MS suggest that only the reporting cycle should be changed to e.g. 6 years and the whole process should be stopped. Even if the assessment based on the reported data will show differences in analysis.
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Thank you for your attention
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