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Review of RSA Exemption Orders Chris Wilson Radioactive Substances Division Defra
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Overview What are exemption orders? What is the framework for reviewing them? What are the major issues? What are the timescales? What are the major dependencies?
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Exemption Orders 18 RSA EXEMPTION ORDERS (including SOLA) They apply to: specific practices/work activities particular types of radioactive materials & waste Many EOs over 30 years old; some have been updated/amended
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Purpose RSA ensures control over radioactive waste. Prior Registration for Keeping and Use Prior authorisation to Accumulate and Dispose of Radioactive Waste EOs avoid over regulation Focus on significant cases
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NORM (7) Precipitated phosphate; Phosphatic substances, rare earths; Lead; Uranium and thorium; Prepared uranium and thorium compounds; Geological specimens; Natural Gas
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Others (11) Electronic Valves, GTLDs, Testing Instruments, Smoke Detectors, Luminous Articles Exhibitions, Schools, Hospitals Waste Closed Sources, Storage in Transit Sola
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Exemption Orders - Virtues Natural Radionuclides Low level Artificial Radionuclides Efficient for Same Activity at Different Locations
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Exemption Orders - Vices Difficult to Interpret Out of Date Descriptions Materials/Products Establishments
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A New Opportunity Objective is Better Regulation Options are Open to Change Revoke Add to Restructure EOs And even to alter Schedule 1
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Success Criteria Proportionate, risk-informed legislation having:- Clear language; Legal robustness; Flexibility Transparency Easier to use (and seen as such)
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Exemption Order Review Programme Sponsors: Defra, SE, WAG, EHS (NI), EA, SEPA, NDA
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Governance Programme board Programme management Projects and working groups
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Overall Programme
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Phase 2 Plan
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Analysis of Data Assess Options Interdepartmental Consultation Options to be approved by Programme Board Ministerial Approval Sought for Public Consultation Public Consultation on Architecture Road Map to Consultation
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Options Assessment Process Identify Options Define Criteria and Attributes Assessed by Expert Groups Make Recommendation
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Architecture What has been considered
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Architecture – Cross Cutting Issues Revocations – what is not used and what is covered elsewhere? Schedule 1 and Sola – what should be excluded and what unconditionally exempt? How do we treat conditional exemptions? Guidance will always be needed
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Architecture - Revocations Exhibitions – unused? Precipitated Phosphates –unused? Schools – Unique need? Hospitals – Unique need?
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Architecture - Schedule 1 Radionuclides v. Radioelements Derivation of numbers Inclusion of anthropogenics
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Architecture - Sola Is a general clearance/exemption value sufficient? Should it be nuclide specific? Should it be material specific? Should it include aqueous liquids?
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Possible Architectures Do Nothing Minor Updates Full update of existing EOs Rebrigade EOs Top level EO(s) - detail in schedules Dose based approach Reappraisal of numerical valuesNot applicable Reappraisal of SoLA – including high volume component (clearance?) Reappraisal of Schedule 1 – possible change to nuclide specific values or to include artificial Revocation of some EOs Guidance
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Numbers Exclusion Unconditionally Exempt Conditionally Exempt/Generically Authorised
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Major Dependencies Environmental Permitting Programme Revision of Euratom and IAEA BSS Treatment of non-radioactive hazards and “waste”.
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Current Work Working group on Schedule 1 Impact of new numbers in EOs on LLW waste volumes Current and anticipated uses of EO regime Meaning of ‘substantially insoluble’ Updating Web Pages http://www.defra.gov.uk/environment/radioactivity /government/legislation/exemption_orders_revie w.htm
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Contact us at Programme officer Bini Shah - email comments to eo-review@defra.gsi.gov.uk
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