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The EC Integrated Pollution Prevention and Control (IPPC) Directive ...

The EC Integrated Pollution Prevention and Control (IPPC) Directive ...

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DRIVING FORCES FOR COKE OVEN GAS DESULPHURISATION - <strong>IPPC</strong>(BREFS, UK S<strong>EC</strong>TOR GUIDANCE) & OTHER LEGISLATION195representatives from member states, industry, environmental NGOs(non-governmental organisations) <strong>and</strong> to a lesser extent equipmentsuppliers. It is important to note, however, that whilst the BREFs are auseful source of information, they have no legal status except asguidance to be taken into account by member states when determiningpermits at the local level. Whilst achievable emission levels are quoted,these are not emission limit values <strong>and</strong> are not absolute st<strong>and</strong>ards to beenforced.<strong>The</strong> iron <strong>and</strong> steel BREF, which includes coke making, waspublished in March 2000 <strong>and</strong> is due for revision in 2004/2005.Desulphurisation of coke oven gas was considered a high priority bythe BREF technical working group <strong>and</strong>, therefore, was defined as BATat a sector level for minimising SO 2 releases from coke making for bothnew <strong>and</strong> existing plants. Importantly, no particular techniques wereidentified as BAT as there are advantages <strong>and</strong> disadvantages for eachprocess, which have to be considered in the context of the localsituation.Process options can be generally divided into either wet oxidationprocesses (e.g. Stretford) or absorption processes (e.g. Still orSulfiban). <strong>The</strong>re are numerous reference plants around the worldincluding Dofasco (Stretford), Coke Plant 2 Corus IJmuiden (Still) <strong>and</strong>Coke Plant 1 Corus IJmuiden (Sulfiban).In the UK, the Environment Agency has produced guidance for thecoke, iron <strong>and</strong> steel sector, although this is still in draft form, nearlytwo years after being issued for consultation. Whilst this guidance setsindicative st<strong>and</strong>ards which should be met unless there is justificationfor not doing so, it should be noted that BAT is, in fact, site specific<strong>and</strong> EA sector guidance is exactly that, i.e. guidance, not a series ofprescriptive requirements. <strong>The</strong> expectation of the Environment Agencyis, however, that operators who do not have coke oven gasdesulphurisation should install it by 2007.Irrespective of this though, BAT has to be determined locally, takinginto account for example local air quality <strong>and</strong> other factors. In thiscontext, SO 2 is less of an issue in South Wales, due to low background

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