CEMP-Kudu 400 KV T-Line - 28feb07
CEMP-Kudu 400 KV T-Line - 28feb07
CEMP-Kudu 400 KV T-Line - 28feb07
TRANSMISSION LINE
FEBRUARY 2007
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Eskom Transmission Kudu 400 kV Transmission Line
CEMP
SCOPE
The scope of this document is to give guidelines regarding the environment, to the Contractor
constructing the Kudu 400 kV transmission line. This document shall be seen as part of the
contract and supplementary to Eskom’s TRMSCAAC1 REV 3, which deals with Transmission
Towers and Line Construction.
This management plan must thus be part of the enquiry document to make the
recommendations and constraints, as set out in this document, enforceable under the
general conditions of the contract.
• Environmental Management considerations are implemented from the start of the project,
• Precautions against damage and claims arising from damage are taken well in advance,
• The completion date of the contract is not delayed due to problems with landowners
arising during the course of construction, and
• To take into consideration the landowners as the line traverses private property.
• Resolve problems and claims arising from damage immediately to ensure the smooth
flow of operations.
• To use this Construction Environmental Management Plan for the benefit of all involved.
• To preserve the natural environment by avoiding destructive actions on- and off-site.
This document (hereafter referred to as the CEMP) sets the institutional framework for
responsibilities and reporting of all environmental issues during the construction of the 400 kV
transmission line. It is important that the contractor team and engineers are fully acquainted with
the contents of this CEMP, to ensure potential negative impacts are avoided or identified in
advance during construction and the appropriate mitigation measures implemented.
TABLE OF CONTENTS
ABBREVIATIONS
C Contractor
CE Consulting Engineer
CEMP Construction Environmental Management Plan (this document)
CM Construction Manager
DWAF Department of Water Affairs and Forestry
ECO Environmental Control Officer
EIA Environmental Impact Assessment
IEM Integrated Environmental Management
PM Project Manager
ROD Record of Decision
EAT Environmental Audit Team
LIST OF TABLES
Table 1: List of specialist studies undertaken during the site visit ........Error! Bookmark not defined.
Table 4: List of relevant role players who could serve on the EAT ...............................................15
LIST OF FIGURES
Figure 1: Reporting structure and role players involved in implementation of the CEMP.............. 9
LIST OF APPENDICES
1.1 INTRODUCTION
Strategic Environmental Focus (Pty) Ltd (SEF), as environmental consultants, were appointed
by Eskom Transmission to undertake the appropriate environmental process for the construction
of the proposed Kudu 400 kV transmission line between Oranjemond substation in the Northern
Cape and Juno substation in the Western Cape.
This document represents the detailed Construction Environmental Management Plan (CEMP)
for the transmission line, and is compiled in accordance with the Integrated Environmental
Management (IEM) philosophy (DEAT, 2004a). This philosophy aims to achieve a desirable
balance between conservation and development (DEAT, 1992). IEM is a key instrument of the
National Environmental Management Act [NEMA] (Act No. 107 of 1998). NEMA promotes the
integrated environmental management of activities that may have a significant effect on the
environment, while IEM prescribes a code of practice for ensuring that environmental
management principles are fully integrated into all stages of the development process. It
advocates the use of several environmental management tools that are appropriate for the
various levels of decision-making. One of such tools is an Environmental Management Plan.
The IEM guidelines intend endearing a pro-active approach to sourcing, collating and presenting
information in a manner that can be interpreted at all levels. This document is in line with the
NEMA, which has repealed a number of the provisions of the Environmental Conservation Act,
1989 (ECA), and is focussed primarily on co-operative governance, public participation and
sustainable development. The Environmental Impact Assessment Regulations, 2006 that took
effect on the 3 July are meant to regulate the procedures and criteria for the submission,
processing, consideration and decision of applications for environmental authorisation of listed
activities. However, these regulations are not, strictly speaking, applicable to this document,
since the current authorisation of this project occurred under the ECA.
1.2 BACKGROUND
A Scoping Phase as well as a final Environmental Impact Assessment (EIA) were conducted by
Strategic Environmental Focus (Pty) Ltd during 2005-2007. The EIA was undertaken in terms of
the old EIA Regulations (Government Notice No’s R 1182, 1183 and 1184 of 1997) in terms of
Sections 21 and 26 of the Environment Conservation Act, 1989 (Act No. 73 of 1989). Although
new EIA Regulations in terms of the National Environmental Management Act, 1998 (Act No.
107 of 1998) have replaced these old regulations and have been in effect since July 2006, the
current EIA process was started in terms of the old regulations in May 2005, and must continue
under the requirements of the old EIA Regulations.
The process which was followed in compiling the CEMP is in accordance with Sections
24 and 24e of the National Environment Management Act, 1998 (Act No. 107 of 1998),
and it applies the principles of Integrated Environmental Management (IEM). The
purpose of this CEMP is to formulate mitigation measures that should be made binding
on all contractors during the construction phase.
The point of departure for this CEMP is to take a pro-active route by addressing potential
problems before they occur. This should limit corrective measures needed during the
construction phase of the project.
The bulk of the impacts arising during this phase will have immediate effect (e.g.
noise-, dust- and water pollution, disturbance of vegetation, etc.). If the site is
monitored on a continual basis during the construction phase, it is possible to
identify these impacts as they occur. These impacts will then be mitigated
through the contingency plans identified in the EIA process, together with a
commitment to sound environmental management from the project team.
This phase refers to all construction and its operation-related activities that will
occur within the servitude area and along access roads until the project is
completed. The construction activities will take approximately 24 months to
complete and will occur in two distinct phases.
The construction phase will be treated as an integrated whole, or as two distinct phases,
as dictated by the nature of the activities and impacts under discussion.
Any corridor chosen for the proposed transmission line has the potential to substantially
impact on the site and its adjoining land-use. The most significant negative impacts
identified in the EIA include; increased erosion and; demarcation of the servitude and
consequent loss of arable land; visual intrusion; impacts on bird life; the loss of flora and
fauna and impacts on farming operations. Other negative impacts were the loss of
historical land and heritage resources. The remainder of the impacts were considered to
be of low significance and not detrimental to the environment.
Table 2 below lists the general scope of impacts that were identified for the construction
of a transmission line during the EIA. Table 2 below does NOT include those impacts
identified with the operational phase of a transmission line, such as electro magnetic
fields (EMF). The relevant chapters and or page numbers for both the “Standard” and
“Specific” sections of this CEMP are included for convenience.
Aspect Activity
Socio – Economic Construction of the transmission line.
Agricultural Economic Construction the transmission line.
Visual Access roads, a cleared servitude, substations, construction camps and campsite for crew housing.
In order for this CEMP to be successfully implemented, all the role players involved in the
project need to co-operate. For this to happen possible role players must have a clear
understanding of their role in the project, must be professional, form respectful and
transparent relationships, and maintain open lines of communication . These role players
include Eskom Transmission, The Environmental Auditing Team (EAT), The
Environmental Control Officer (ECO), Project Manager (PM), Contract Manager (CM), the
Contractors (C), landowners, interested and affected parties and the relevant
environmental and project specialists.
Table 3 below gives a clear indication of the functions and responsibilities of the project
staff. Figure 1 below indicates the reporting channels and highlights the relationships that
need to be established between these role players to ensure that the CEMP is effectively
implemented.
Figure 1: Reporting structure and role players involved in implementation of the CEMP.
The project involves 19 major activities the first of which are completed. These are:
1. Drafting of site specific CEMP.
The following activities are still to be performed and will take approximately 12 months to
complete:
1. Negotiations for the servitude.
2. Land survey to determine exact position of the pylons.
3. Drawing work to produce the profiles for construction – profiles included.
4. Erection of camp sites for the Contractors’ workforce.
5. Negotiations for access roads to the servitude.
6. Servitude gate installation to facilitate access to the servitude.
7. Establishing of access roads on the servitude (where necessary).
8. Transportation of equipment, materials and personnel.
9. Installation of foundations for the towers.
10. Tower assembly and erection.
11. Conductor stringing and regulation.
12. Final inspection of the line and hand over to the region for operation.
13. Rehabilitation of disturbed areas.
14. Signing off landowners.
15. Handing and taking over of the servitude.
The final inspection for the release of the Contractors’ guarantee takes place one year
after completion of the project. The line will be in operation immediately after completion
of the project and will stay operational for the 20-40 year lifetime of the line. Subsequent
maintenance and refurbishment can extend the operational lifetime of the asset
substantially to 50 years.
1.4.1 Length
The Kudu 400 kV line has been alternatively designed and profiled using the
compact cross rope suspension tower (refer to Figure 2) in combination with the
701C Self Supporting Suspension structure where needed. The flat configuration
meets the electrical requirements and complies with the constraints of the
servitude provided for this line. The self-supporting angle strain 701 series have
been used at the bend points or where extra support is needed.
2.1 PREAMBLE
It is clear that a development project of the nature of this power line may adversely
influence the biophysical and social environments. However, with the appropriate
mitigation measures and management actions, it is possible to reduce the significance of
the impacts. The purpose of this CEMP is to provide management measures that must be
implemented by Eskom and the contractors to ensure that the impacts of the proposed
power line are minimised. This will take a concerted effort from the Contractor and proper
planning is of the utmost importance.
The intention of this report is that it forms a stand-alone document, which can be used as
a management tool on site during the construction phase of the development. The CEMP
also forms part of compliance with the conditions of the ROD and Eskom’s Environmental
Management System (EMS).
The CEMP must be maintained and upheld as a dynamic document. In this light, the
Environmental Control Officer may from time to time require additional mitigation or
changes to method statements under the contract in order to practically mitigate foreseen
impacts. This may only be implemented following assessment, consultation and written
approval by the EAT and Eskom.
Compliance with this CEMP must be audited in accordance Section 2.3 Environmental
Monitoring and Auditing.
The Contractor shall take all the necessary precautions against damage
(TRMSCAAC1 REV 3 section 4.1.2).
Good relations with landowners need to be established and maintained throughout the
project. This will help in the solving of problems and the prevention thereof. Lines of
communication between landowners and the Environmental Control Officer must always
be open to ensure proper and timely reaction to complaints. The Environmental Control
Officer will act as the contractor’s liaison officer for the entire contract. The Project
Manager must keep abreast of all aspects of the project in order to facilitate the role of
liaison officer should the Environmental Control Officer not be available. The contact
numbers of the ECO and Project Manager shall be made available to landowners. The
reputation of both the Contractor and Eskom is at stake and should be the driver for
everybody involved to perform in excellence.
Construction activities are limited to the area as demarcated by Eskom and shown on the
site plans. Any area outside Eskom-owned property, required to facilitate access, for
construction camps or material storage areas, shall be negotiated with the landowner and
written agreements shall be obtained.
Should water be required from sources other than Eskom supply, a written agreement
shall be reached between the Contractor and the landowner in the presence of Eskom.
Should the Contractor be required to use water from a natural source, the Contractor
shall supply a method statement to that effect. Strict control shall be maintained and
the ECO shall regularly inspect the abstraction point and methods used.
It is recommended that a single Environmental Audit Team (EAT) be established for the
entire project to monitor the performance of the Contractor and Environmental Control
Officer. The EAT should have adequate representation from both the Eskom and TAP
Environmental Advisory departments. The EAT must also serve as a platform for
resolving issues and complaints that are raised by affected parties during the construction
phase, and to provide the Environmental Control Officer, Project Manager and Contractor
with an additional avenue for communicating construction-related information to the
affected parties as and when required.
Due to the importance of establishing this EAT as soon as possible, the following list
provides a starting point of relevant role players who could form part of the EAT or who
could recommend suitable persons to serve on the EAT.
Table 3: List of relevant role players who could serve on the EAT
ESKOM REPRESENTATIVES
Name Position Contact Details
John Geeringh EIA Manager 083-632-7663
An Environmental Audit should be conducted every two months by the EAT to determine
the project’s compliance with the recommendations of the EIA, EMP and conditions of the
Record of Decision (ROD).
Before any construction activities commence, the Environmental Control Officer must
compile, for the approval by the EAT, an audit checklist based on the contents of this
CEMP and conditions of the Record of Decision (ROD). The Environmental Control
Officer shall conduct bi-monthly Environmental Audits to determine the contractor’s
compliance with the recommendations of the EIA, EMP and conditions of the revised
Record of Decision (ROD). These audit reports shall be forwarded to the EAT for review.
The following Key Performance Indicators must be included in the audit reports:
1. Complaints received from landowners and actions taken;
2. Environmental incidents, such as oil spills, concrete spills, ecological
damage, waste management, and actions taken (litigation excluded);
3. Incidents possibly leading to litigation and legal contraventions; and
4. Environmental damage requiring rehabilitation measures to be taken.
A copy of all monitoring and audit reports must be held by the EAT and be made
available to the DEAT upon request or as indicated by the conditions of the ROD.
The standard Eskom site documentation shall be used to keep records on site. All
documents shall be kept on site and be available for monitoring and auditing purposes.
Site inspections by the ECO may require access to this documentation for auditing
purposes. The documentation shall be signed by all parties to ensure that such
documents are legal. Regular monitoring of site works by the Environmental Control
Officer is imperative to ensure that all problems encountered are solved punctually and
amicably. When the Environmental Control Officer is not available, the Contract
Manager/Site Supervisor shall keep abreast of all works to ensure no problems arise.
2.4.1 PRE-CONSTRUCTION
Most landowners will see the construction period as interference with their daily activities.
There will be a negative attitude towards the whole construction process. Landowners are
always apprehensive toward changes they do not control. Landowners shall therefore be
informed well in advance of the construction programme, duration and all interference
with their daily activities. At least a week’s notice must be given to landowner’s before
accessing a site. This is especially important in an area like Namaqualand where some
farmers are remote and landowners are difficult to contact.
2.4.2 CONSTRUCTION
Due to the current security situation landowners are not comfortable when strangers
come on to their properties. They could look for reasons to interfere with the construction
process and may therefore cause delays in the process that could be very costly to
Eskom and the Contractor.
The Contractor is reminded that access shall not be continuous along the servitude and
allowance must be made for the translocation of equipment around obstacles such as
rivers and irrigation channels.
No camping shall be allowed on any private property. If the Contractor wants to leave
guards on site, it shall only be done with the written consent of the landowners involved.
Damage to fences, gates and other infrastructure may occur at any time. This will create
problems with the landowners and should be avoided as far as possible. All damage is to
be repaired immediately and to the satisfaction of the landowner.
The use of private roads for construction purposes always leads to damage due to heavy
equipment and frequent use. It is foreseen that the Contractor will receive many
complaints in this regard, especially during the rainy season.
If damaged infrastructure is not repaired to the expectations of the landowners, they may
refuse to sign the release forms and even engage in litigation. Outstanding claims may
also result in release forms not being signed by the landowners.
2.5.2 A physical access plan along the servitude shall be compiled and the
Contractor shall adhere to this plan at all times. Proper planning when the
physical access plan is drawn up by the Environmental Control Officer in
conjunction with the Contractor shall be necessary to ensure access to all
pylon sites.
2.5.3 The landowners shall be informed well in advance of the starting date of
construction as well as the phases in which the construction shall take
place.
2.5.4 The Contractor must adhere to all conditions of the contract including this
Construction Environmental Management Programme.
2.5.5 Proper planning of the construction process to allow for disruptions due to
rain and very wet conditions.
2.5.6 All servitude gates on a section of the line route shall be completely
installed before any construction activities are undertaken in that section.
2.5.7 Where existing private roads are in a bad state of repair, the conditions of
these roads shall be well documented, including photographs, before they
are used for construction purposes. If necessary some repairs should be
done to prevent damage to equipment and plant.
2.5.8 All man-made structures shall be protected against damage at all times and
any damage shall be rectified immediately.
2.5.9 Rehabilitation of the servitude roads shall be done properly to ensure all
landowners sign the release forms. The Contractor shall ensure that all
damaged areas are rehabilitated to the satisfaction of Eskom as well as
each and every property owner. The Contractor shall further ensure that all
outstanding claims are settled.
2.5.11 Proper documentation and record keeping of all complaints and actions
taken.
2.5.12 Regular site inspections and good control over the construction process
throughout the construction period.
2.5.15 Environmental Audits by both the ECO are to be carried out during and
upon completion of construction.
2.5.16 The Contractor shall not be released from site until all landowners have
signed off the release documentation to the satisfaction of the
Environmental Control Officer.
The method statements contained in Sections 2.6.1 to 2.6.4 form the core standard
mitigation reference for the construction phase of this project. The method statements
have been specifically compiled for Eskom power line construction and management.
Following extensive environmental impact assessments of the study area, landowner
consultation/negotiation, and government review, these statements contain the
requirements as stipulated in the following documentation:
NB: Reference to relevant site-specific areas, contractor method statements and Eskom
contract requirements are given where relevant.
A quick reference to the method statements is provided in table below for convenience.
Site establishment shall take place in an orderly manner and all amenities shall be installed at Camp sites before the main workforce move onto site. A
method statement is required from the Contractor at tender stage that includes the layout of the camps, management of ablution facilities and
wastewater management. (This is the contractors’ method statement referred to in the box entitled “ESKOM contract reference”.
IMPORTANT: The Environmental Control Officer (ECO) must be consulted and give approval on all proposed locations and layouts for contractor camps.
The Contractor camps shall have the necessary ablution facilities with chemical toilets where such facilities are not available at commencement of
construction. The Contractor shall supply a wastewater management system that will comply with legal requirements and be acceptable to Eskom.
Where Eskom facilities are available the Contractor shall make use of such facilities where it is viable and possible. The Contractor shall inform all site staff
to the use of supplied ablution facilities and under no circumstances shall indiscriminate excretion and urinating be allowed other than in supplied facilities.
The Contractor shall supply covered waste collection bins and all solid waste collected shall be disposed of at a registered waste dump. A certificate of
disposal shall be obtained by the Contractor and kept on file. Where a registered waste site is not available close to the construction site, the Contractor
shall provide a method statement with regard to waste management. Under no circumstances may solid waste be burned on site unless a
suitable incinerator is available.
Noise
Noise reduction is essential and Contractors shall endeavour to limit unnecessary noise, especially employee loud talking, shouting or whistling, radios,
sirens or hooters, motor revving, etc. The use of silent compressors is a specific requirement.
All machinery and equipment to be used on site shall be properly serviced and in good working order to avoid excessive exhaust fumes and smoke.
Stockpiles of soil/building rubble must be kept covered or have a suitable dust palliative applied, such as water or commercial dust suppressants
Construction activities will not be the source of dust production. Continual watering of the site should be carried out to prevent dust production during
windy and dry conditions. There must be a continuous dust monitoring process throughout construction. The impact of dust emission must be minimal
and must not be allowed to cause a nuisance to landowners of surrounding areas.
Contractors will commence rehabilitation of exposed soil surfaces as soon, as is practical after completion of earthworks.
Excessive dust conditions are to be reported to the ECO, who must take appropriate remedial actions.
All machinery and equipment to be used on site shall be properly serviced and in good working order to avoid excessive exhaust fumes and smoke.
Light Pollution
All point sources of light must be directed away from any residences of landowners.
The contractor must comply with the regulations of the Occupational, Health and Safety Act 1993 (Act No. 85 of 1993).
Where possible and practical all maintenance and washing of vehicles and equipment shall take place in the
workshop area that is equipped with a bund wall and grease trap. During servicing of vehicles or equipment, a
suitable drip tray shall be used to prevent spills onto the soil, especially where emergency repairs are affected
outside the workshop area. Leaking equipment shall be repaired immediately or be removed from site to facilitate
repair. All potentially hazardous and non-degradable waste shall be collected and removed to a registered waste
site.
Workshop areas shall be monitored for oil and fuel spills and such spills shall be cleaned and re-mediated to the
satisfaction of the ECO. To this end a method statement is required from the Contractor, tendering for the
project, to show procedures for dealing with possible emergencies that can occur, such as fire and
accidental leaks and spillage. The Contractor shall be in possession of an emergency spill kit that must be
complete and available at all times on site. The Contractor will ensure that senior and other the relevant members
of the workforce are trained in dealing with spills and emergency spill kits.
• All contaminated soil / yard stone shall be removed and be placed in containers. Contaminated material can
be taken to one central point where bio-remediation can be done.
• A specialist Contractor shall be used for the bio-remediation of contaminated soil where the required
remediation material and expertise is not available on site.
• All spills of hazardous substances must be reported to the ECO and appointed Transmission Engineering
Environmental Advisor (Tx Key Performance Indicator requirement).
The contractor must comply with the regulations of the Occupational, Health and Safety Act 1993 (Act No. 85 of
1993).
All hazardous substances shall be stored in suitable containers and storage areas shall be bunded. This includes
all carbon substances like fuel and oil as well as herbicides and battery acid. A register shall be kept on all
substances and be available for inspection at all times. Areas shall be monitored for spills and any spills shall be
contained, cleaned and rehabilitated immediately. Any leaking containers shall be repaired or removed from site
(See above for actions after spills).
Storage areas shall display the required safety signs depicting “No smoking”, “No naked lights” and “Danger”.
Containers shall be clearly marked to indicate contents as well as safety requirements. The contractor shall
supply a method statement for the storage of hazardous materials at tender stage.
The contractor must comply with the regulations of the Occupational, Health and Safety Act 1993 (Act No. 85 of
1993) as well as the Hazardous Substances Act (No. 15 of 1973).
No-go areas include areas indicated in Section 3, “Pylon Specific CEMP”, or by the ECO in consultation with
landowners as a “no-go areas” such as rocky outcrops, wetland areas, pans quartz patches, etc. No-go areas
must be cordoned off prior to any access roads are constructed and or any other construction activities
begin in the area.
Due to the exceptionally high level of plant endemism in the project area, there must be very strict control to prevent
access to and disturbance of habitats for endemic species. Quartz patches are known as areas of endemism and
must be strictly avoided. The ECO must educate the contractors personnel to identify such habitats prior to the
commencement of construction.
The demarcation of these areas is to be maintained by the contractor throughout the construction phase. Under no
circumstances may construction activities, vehicles, contractors’ personnel and workforce enter or utilise
these areas at any time. Strict management of this aspect must be closely monitored by the ECO.
The contractor is discouraged from using plastic warning tape unless in consultation with the ECO.
Warning tape is a health hazard to landowners’ livestock and becomes a litter problem if not maintained during
windy conditions.
It is preferred that brightly painted (two colours if possible) wooden stakes are utilised to demarcate no-go
areas. The stakes should be spaced closely enough to clearly indicate the area to be cordoned off. The
contractor must also implement signage at strategic points around no-go areas indicating “no entry” to the
demarcated area.
“No entry” signs must also be erected at strategic points around all pans, wetlands, streams and rivers”
which are in close proximity to access roads the servitude and pylon locations.
PHY-0001 TERRAIN
CONSTRUCTION FOOTPRINT
The building restriction is 55m. The construction footprint around the pylons and stringing locations is limited to the servitude in which the line will be
constructed. The ECO is to be informed well in advance as to the stringing locations in order to monitor the construction footprint in these areas. Any extra
space required outside the servitude, (e.g. access problems, etc.), shall be negotiated by the ECO with the relevant landowner and approved by Eskom. All
areas marked as no-go areas inside the servitude shall be treated with the utmost care and responsibility. The ECO must ensure that the contractor maintains
the demarcation of the no-go areas at all times.
REHABILITATION OF DISTURBED AREAS
Areas disturbed by construction activities, especially by compaction from construction vehicles and equipment, must be ripped to a depth of 60mm and re-
seeded. Re-seeding shall be done on disturbed areas as directed by the Environmental Control Officer. In accordance with the Conservation of Agricultural
Resources Act, No 43 of 1983, slopes in excess of 2% must be contoured and slopes in excess of 12% must be terraced. Other methods of rehabilitation of
tower sites may also be used at the discretion of the Environmental Control Officer, e.g. stone pitching, logging, etc. Contour banks shall be spaced
according to the slope on tower sites. The type of soil shall also be taken into consideration.
To get the best results in a specific area, it is a good idea to consult with a specialist or the local extension officer of the Dept of Agriculture. Seed distributors
can also give valuable advice as to the mixtures and amount of seed necessary to seed a certain area. Re-seeding, as well as fencing in of badly damaged
areas, will always be at the discretion of the Environmental Control Officer, unless specifically requested by a landowner.
Management objectives
Minimise scarring of the soil surface and land features
Minimise disturbance and loss of topsoil
Minimise Construction footprint
Rehabilitate all disturbed areas along the servitude
Control of no-go areas.
Measurable targets
No visible erosion scars once construction is completed
Minimum loss of topsoil at any one site
The foot print has not exceeded 6m along the servitude or 80m around pylons and stringing areas
No barren areas visible three months after construction is completed
All damaged areas successfully rehabilitated
Site specific reference Contract method Statement Eskom contract reference
CON-0004
Permanently wet areas are shown on the profiles in SECTION 3: Pylon Specific EMP. These include streams and rivers
(perennial and non-perennial), pans, seep lines, dongas and wetland areas.
No vehicular traffic shall be allowed in such areas. Only existing roads through such areas may be used with the approval of
Eskom, the ECO and the landowner. No equipment shall be used which may cause irreparable damage to wet areas. The
contractor shall use alternative methods of construction in such areas.
NB: “NO ENTRY” signs, in consultation with the ECO and landowner, must be strategically placed at all pans which are in
close proximity access routes, the servitude and pylons where contractors may take short cuts across/through them. The
ECO must strictly monitor this aspect as well as the maintenance of these signs for which the contractor is responsible.
References to specific wet areas along the alignment are indicated in SECTION 3, “Pylon Specific CEMP”.
PLEASE NOTE:
Any work or access near or in a permanent drainage system may have implications in terms of the National Water Act 1998
(Act No. 36 of 1998), and therefore may well require the application of a Water Use License. Therefore, the contractor must
in consultation with the ECO, assess all areas along the alignment well in advance in order to ensure the relevant Water Use
License is applied for where required.
Management objectives
Minimise scarring of the soil surface and land features
Minimise disturbance and loss of topsoil
Rehabilitate all disturbed areas along the servitude
Measurable targets
No roads shall be cut through river- and stream banks as this may lead to erosion causing siltation of streams and downstream
dams. Existing drifts and bridges may be used if the landowner gives his consent. Such structures shall then be thoroughly
examined for strength and durability before they are used. New drifts and bridges shall only be constructed with the approval of
Eskom, DWAF and the landowner and at the discretion of the Environmental Control Officer. Strict control of the footprint must
be implemented especially at river crossings.
NB: “NO ENTRY” signs, in consultation with the ECO and landowner, must be strategically placed along rivers, streams and
other natural or man made drainage lines which are in close proximity access routes, the servitude and pylons where
contractors may take short cuts across/through them. The ECO must strictly monitor this aspect as well as the maintenance
of these signs for which the contractor is responsible.
The eroded area close to the Holgate river along the existing 220Kv powerline servitude must be reparred befor the onset of
construction.
References to specific river crossings along the alignment are indicated in SECTION 3, “Pylon Specific CEMP”.
PLEASE NOTE:
Any work or access near or in a permanent drainage system may have implications in terms of the National Water Act,
1998 (Act No. 36 of 1998), and therefore may well require the application of a Water Use License. Therefore, the contractor
must in consultation with the ECO, assess all areas along the alignment well in advance in order to ensure the relevant
Water Use License is applied for where required.
Management objectives
Measurable targets
Crossing of dongas and eroded areas shall be thoroughly planned and accordance with TRMSCAAC1 REV 3 section 4.4.1.
Water diversion berms shall be installed in consultation with ECO at donga crossings to ensure runoff water on the servitude
does not run into dongas and cause an erosion hazard. Strict control of the footprint must be implemented especially near
eroded areas and donga crossings.
NB: “NO ENTRY” signs, in consultation with the ECO and landowner, must be strategically placed at eroded areas or
dongas which are in close proximity access routes, the servitude and pylons where contractors may take short cuts
across/through them. The ECO must strictly monitor this aspect as well as the maintenance of these signs for which the
contractor is responsible.
PLEASE NOTE:
Any work or access near or in a permanent drainage system may have implications in terms of the National Water Act 1998
(Act No. 36 of 1998), and therefore may well require the application of a Water Use License. Therefore, the contractor must
in consultation with the ECO, assess all areas along the alignment well in advance in order to ensure the relevant Water
Use License is applied for where required.
Management objectives
Measurable targets
Planning of access routes must be done in conjunction between the Contractor, Eskom and the landowner. All agreements
reached should be documented and no verbal agreements should be made. The normal Eskom site documentation will be
sufficient for this purpose. Where existing roads are to be utilised it is advised that the ECO record and document (in writing
with photographs) the original condition of these roads before construction activities commence. The Contractor shall
properly mark all access roads. Markers shall show the direction of travel as well as tower numbers to which the road leads.
Roads not to be used shall be marked with a “NO ENTRY “sign
Where new access roads are constructed, this must be done in accordance with TRMSCAAC1 REV 3 section 4.4. Water
diversion berms shall be installed from the start of the contract in accordance with TRMSCAAC1 REV 3 section 4.6. and in
consultation with the ECO. These berms shall be maintained at all times. On completion of the project, these berms must be
suitably repaired and the affected area suitably rehabilitated in consultation with the ELO. Where berms are installed on
severe slopes the outflow shall be suitably stone pitched to prevent erosion from starting at the berms.
No access for a period of 24 hours is permitted on any un-tarred road following a single down pour of more than 10mm.
No roads shall be constructed on slopes of more than 20% unless such roads follow contours. In such areas the Contractor
shall only use existing roads or alternative methods of construction. The Contractor shall take such areas into consideration
during the tender.
The installation of concrete pipes and drifts, to facilitate access, shall be at the discretion of the Environmental Control Officer
and with the approval of DWAF. Any dangerous crossings shall be marked as such and where necessary, speed limits shall
be enforced.
PLEASE NOTE: Any work or access near or in a permanent drainage system may have implications in terms of the National
Water Act 1998 (Act No. 36 of 1998), and therefore may well require the application of a Water Use License. Therefore, the
contractor must in consultation with the ECO, assess all areas along the alignment well in advance in order to ensure the
relevant Water Use License is applied for where required.
Where necessary a suitable mixture of grass seed shall be used to re-seed damaged areas. Badly damaged areas shall be
fenced in to enhance rehabilitation. The seed mixture should comply with the parameters as set out in section 4.12 of this
document.
Management objectives
Measurable targets
The Contractor shall dispose of all excess material on site in an appropriate manner and at a designated place in consultation
with the ECO. All relevant aspects of the EMP apply. All packaging material shall be removed from site and disposed of and
not burned or buried on site. A landfill may be used for biodegradable materials but when it is closed up, the rubble shall be
compacted and there shall be at least 1m of soil covering the waste material. No landfill may be used without the consent from
the landowner and ECO. No hazardous material, e.g. oil or diesel fuel shall be disposed of in any unregistered waste site.
No material shall be left on site that may harm man or animals. All such material must be cleared and disposed of, on a daily
basis, into closed containers. Any broken insulators shall be removed and all shards picked up. Broken, damaged and unused
nuts, bolts and washers shall be picked up and removed from site. Surplus concrete may not be dumped indiscriminately on
site, but shall be disposed of in designated areas as agreed by the landowner and ECO. Concrete trucks shall not be washed
on site after depositing concrete into foundations. Any spilled concrete shall be cleaned up immediately.
Management objectives
To keep the servitude neat and clean
Disposal of rubble and refuse in an appropriate manner
Minimise litigation
Minimise landowner complaints
Measurable targets
The objective of vegetation clearing is to trim, cut or clear the minimum number of trees and vegetation necessary for the safe mechanical
construction and electrical operation of the transmission line. Vegetation clearing shall be done in accordance with ESKASABG3 REV 0
(Standard for bush clearance and maintenance within overhead power line servitudes). All vegetation clearing must be done with the
approval and in consultation with the ECO.
Note: No vegetation clearing may be done for the access road. Vegetation clearing may take place only in areas designated for construction
camps. These should preferably be located in already disturbed areas so that the need for vegetation clearing is minimised.
No scalping shall be allowed on any part of the servitude road unless absolutely necessary. The removal of all economically
valuable trees or vegetation shall be negotiated by the ECO with the landowner before such vegetation is removed. All trees and
vegetation cleared from the site shall be cut into manageable lengths and neatly stacked at regular intervals along the line. No vegetation
shall be pushed into heaps or left lying all over the veld.
Note: the removal of any trees must be an absolute exception and must only occur in cases where safety considerations are an overriding
concern.
Vegetation clearing on tower sites must be kept to a minimum. Big trees with large root systems shall be cut manually and
removed, as the use of a bulldozer will cause major damage to the soil when the root systems are removed. All exotic and invader
tree stumps shall be treated with herbicide. Smaller vegetation can be flattened with a machine, but the blade should be kept above
ground level to prevent scalping. Any vegetation cleared on a tower site shall be removed or flattened and not be pushed to form an
embankment around the tower.
No vegetation clearing in the form of de-stumping, scalping or uprooting shall be allowed on river and stream banks. Vegetation
shall only be cut to allow for the passage of the pilot-cables and headboard. No vegetation clearing shall be allowed across ravines and
gullies, as this vegetation will very rarely interfere with the clearance to the strung conductor. Trees and vegetation not interfering with the
statutory clearance to the conductors can be left under the line. Dense vegetation under the line which could cause a fire hazard, particularly
in the middle third of the span in the vicinity of the lowest point of the conductors, will be considered as a separate case.
Protected or endangered species of plants shall not be removed unless they are interfering with a structure. Where such species
have to be removed due to interference with a structure, the necessary permission and permits shall be obtained from Nature
Conservation (Please see relevant acts in ESKOM Ref. ESKASABG3 REV 0, Page 5 of 14, 4.1.12). All protected species not to be
removed must be clearly marked and such areas fenced off if required.
The use of herbicides shall only be allowed after a proper investigation into the necessity, the type to be used, the long-term effects and the effectiveness of
the agent. Eskom's approval for the use of herbicides is mandatory (Contact Dr. Eugene van Rensburg—TRI, 082 451 1994). Application shall be under the
direct supervision of a qualified technician. All surplus herbicide shall be disposed of in accordance with the supplier’s specifications.
IT IS RECOMMENDED THAT A SPECIALIST CONTRACTOR FOR VEGETATION CLEARING SHOULD BE UTILISED WHO MUST
COMPLY WITH THE FOLLOWING PARAMETERS:
• The contractor must have the necessary knowledge to be able to identify protected species as well as species not interfering
with the operation of the line due to their height and growth rate.
• The contractor must also be able to identify declared weeds and alien species that can be totally eradicated.
• The contractor must be in possession of a valid herbicide applicators licence.
Management objectives
Minimise damage to vegetation
Keep servitude as natural looking as possible
Minimise interference by vegetation to flow of electricity
Minimise possibility of erosion due to removal of vegetation
Minimise removal of plant material on river and stream embankments
Eradication of alien invader species
Measurable targets
Only 6m vegetation cleared along the centre of the servitude
No trees and vegetation removed unnecessarily or without approval of the ECO
No vegetation interfering with structures and statutory distances upon completion of the contract
No de-stumping of vegetation on river and stream embankments
No visible erosion scars three months after completion of the contract due to vegetation removal
No visible damage to the vegetation along the servitude one year after completion of the contract due to herbicide use
No litigation due to unauthorised removal of vegetation
All alien invaders eradicated from the servitude and no re-growth visible
Site specific reference Contract method Statement Eskom contract reference
30 ESKASABG3
Prepared by Strategic REV 0 Focus
Environmental regarding
Pty Ltd
vegetation clearing.
Eskom Transmission Kudu 400 kV Transmission Line
CEMP
The contractor is referred to the Fencing Act, Act no 31 of 1963. Gate installation shall be according to TRMSCAAC1 REV 3
section 4.5 and the drawing 0.00/10261 Rev 2 as stated in the specifications. Game gates, drawing 0.00/10280 Rev 0, shall
be installed where necessary. All gates installed in electrified fencing shall be electrified as well. The Environmental
Control Officer shall approve gate positions. All gate positions shall be three (3) metres off centre to allow for continued
access when stringing takes place.
All gates shall be fitted with locks and be kept locked at all times during the construction phase. Gates shall only be left open
on request of the landowner if he accepts partial responsibility for such gates in writing, once the Contractor have left site
and the gates are fitted with Eskom locks. Such gates shall be clearly marked by painting the posts green. All claims arising
from gates left open shall be investigated and settled in full by the Contractor. If any fencing interferes with the construction
process, such fencing shall be deviated until construction is completed.
The ECO must establish with game farm owners what height in accordance with the landowners “Certificate of Adequate
Enclosure” game farm gates must be. This will be communicated to the contractor, and Eskom must supply the relevant
drawings.
Management objectives
Properly installed gates to allow access to the servitude
Minimise damage to fences
Limit access to Eskom and Contractor personnel with gate keys
Measurable targets
No transgressions of the fencing act and therefore no litigation
No damage to fences and subsequent complaints from landowners
All gates equipped with locks and kept locked at all times to limit access to key holders
All fences properly tied off to the gate posts
All gates properly and neatly installed according to specifications
No complaints about open gates
Site specific reference Contract method Statement Eskom contract reference
TRMSCAAC1 REV 3 section 4.5
and drawings 0.00/10261 Rev 2 as
stated in the specifications. Game
gates, drawing 0.00/10280 Rev 0
No open fires shall be allowed on site under any circumstance (The Forest Act, No 122 of 1984, TRMSCAAC1 REV 3 section
4.1.2). The Contractor shall have fire-fighting equipment available at crew camps and on all vehicles working on site, especially
during the winter months.
The ECO will ensure that the contractor and his/her workforce, in accordance with the “Contractor Method Statement - for Site
Establishment”, only build fires in designated areas within fenced crew camps for cooking and warmth. Suitably constructed
structures must be utilised in these areas to contain the fires.
The contractor must supply all wood for fires. No wood is to be collected, chopped or felled for fires from private or public
property.
Management objectives
Measurable targets
• TRMSCAAC1 REV 3
section4.1.2
• Contractor “Method Statement”
• EPL 32-94 Eskom SHE Policy
Servicing of vehicles in the veld is strictly prohibited. Only emergency repairs shall be allowed on site and a drip tray shall
be used to prevent oil spills. All vehicles shall be serviced in the designated area inside the Contractors camp where all run-off
from this area is contained and allowed to flow towards a sump. In the event of a breakdown in the veld, any oil spills shall be
cleaned up immediately. (Refer CON-0002) The following shall apply:
All contaminated soil shall be removed and be placed in containers. Contaminated soil can be taken to one central point
at the Contractors campsite where bio-remediation can be done.
A specialist Contractor shall be used for the bio-remediation of contaminated soil.
The area around the fuel storage drum at the Contractor’s campsite shall also be re-mediated upon completion of the
contract
The ECO must be consulted should any queries arise in this regard.
All oil spills must be reported to the ECO and Joyce Mashiteng (011) 800 4623.
All old parts, packaging, old oil, etc. shall be disposed of in the correct manner and in a proper area designated for such
waste materials. Under no circumstances shall such waste be buried on site indiscriminately.
Management objectives
Measurable targets
All anticipated crop damage shall be noted while access negotiations are underway. All damage to commercial crops shall
be recorded immediately. The Environmental Control Officer should also keep a photographic record of such damage. The
date, tim e of damage, type of damage and reason for the damage shall be recorded in full to ensure the responsible party
is held liable. All claims for compensation emanating from crop damage should be directed to the Environmental Control
Officer for appraisal. The Contractor shall be held liable for all unnecessary damage to the environment and crops. A
register shall be kept of all complaints from landowners. All claims shall be handled immediately to ensure timely
rectification / payment.
Management objectives
Measurable targets
Disturbance of topsoil on tower sites with severe slopes shall be minimised at all costs. At any tower sites where
conventional foundations are installed, the Contractor shall remove the topsoil separately and store it for later use during
rehabilitation of such tower sites.
The location and method for stockpiling of any material must be in consultation with the ECO to ensure material is not
stockpiled in drainage lines, the quality and make up of stockpiled material is not compromised, etc. During backfilling
operations, the Contractor shall take care not to dump the topsoil in the bottom of the foundation and then put spoil on top of
that.
Re-seeding shall be done on disturbed areas as directed by the Environmental Control Officer. In accordance with the
Conservation of Agricultural Resources Act, No 43 of 1983, slopes in excess of 2% must be contoured and slopes in excess
of 12% must be terraced. Other methods of rehabilitation of tower sites may also be used at the discretion of the
Environmental Control Officer, e.g. stone pitching, logging, etc. Contour banks shall be spaced according to the slope on
tower sites. The type of soil shall also be taken into consideration.
To get the best results in a specific area, it is a good idea to consult with a specialist or the local extension officer of the Dept
of Agriculture. Seed distributors can also give valuable advice as to the mixtures and amount of seed necessary to seed a
certain area. Re-seeding, as well as fencing in of badly damaged areas, will always be at the discretion of the Environmental
Control Officer, unless specifically requested by a landowner.
Management objectives
Measurable targets
The sighting of winch and tensioner stations shall be done in conjunction with the ECO, ecologist/botanist and archaeologist
that participated in the compilation of the EMP.
Specifications require the protection of Eskom supplied material on site, especially conductor drums. This normally means
that a firebreak is bladed around a drum station in the veld. These areas are left to rehabilitate on their own, which could be
disastrous. Therefore once the stringing of conductor has been completed in a certain area, the winch- and tensioner stations
shall be rehabilitated where necessary. If the area was badly damaged, re-seeding shall be done and fencing in of the area
shall be considered and carried out. For seeding and slopes, the same provisions as in PHY-0012 shall apply.
Fencing in of the storage areas for drums on site is also proposed, as this will keep out animals and prevent injury. Should the
Contractor want to leave guards on site, this should be discussed and negotiated with the landowner and all aspects of the
EMP apply. Proper facilities must be provided to ensure sanitation standards are met. Mobile chemical toilets shall be
installed at such sites where a large number of the workforce is concentrated.
Management objectives
Measurable targets
The sighting of batching plants shall be done in conjunction with the ecologist/botanist and archaeologist that participated in the
compilation of the EMP.
The batching plant area shall be operated in such a way as to prevent contaminated water to run off the site and polluting
nearby streams or water bodies. To this effect diversion berms can be installed to direct all wastewater to a catchment area
(Refer PHY-0005 for the maintenance and decommissioning of berm structures). On completion of the project, these berms
must be suitably repaired and the effected areas suitably rehabilitated in consultation with the ECO. Further, the following must
be adhered to by the contractor;
• No concrete is to be mixed within the 1:50 year flood line.
• Concrete must be contained to the batching area with every effort made in consultation with the ECO to ensure exposed
soil is not contaminated by cement mixing activities.
• After all concrete mixing is complete; all waste concrete shall be removed from the batching area and disposed of as
instructed by the ECO.
• Storm water shall not be allowed to flow through the batching area. Cement sediment shall be removed from tim e to time
and disposed of in a manner as instructed by the ECO.
Should water be required from sources other than Eskom supply, a written agreement shall be reached between the ECO and
the landowner in the presence of Eskom. Should the Contractor be required to use water from a natural source, the Contractor
shall supply a method statement to that effect. Strict control shall be maintained and the ECO shall regularly inspect the
abstraction point and methods used.
Eskom shall ensure that all agreements reached with the landowner are fulfilled, and that such areas be rehabilitated once
construction is completed. Should any claim be instituted against Eskom, due to the actions of the Contractor at a batching
plant site, Eskom shall hold the Contractor fully responsible for the claim until such time that the Contractor can prove
otherwise with the necessary documentation.
PLEASE NOTE:
Any work or access near or in a permanent drainage system may have implications in terms of the National Water Act 1998
(Act No. 36 of 1998), and therefore may well require the application of a Water Use License. Therefore the contractor, must
in consultation with the ECO, assess all areas along the alignment well in advance in order to ensure the relevant Water Use
License is applied for where required.
Management objectives
To ensure all agreements with landowners are adhered to
Prevention of complaints from landowners
Minimise pollution of soil , surface and ground water resources
Successful rehabilitation of disturbed areas
Compliance with the National Water Act 1998
Measurable targets
The necessary scaffolding must be installed to prevent damage to structures supporting certain perennial crops. All structures
supplying services such as telephone and smaller power lines, as well as farm roads, shall be safeguarded by measures to
prevent disruption of services (Refer CUL-0004).
The 80m footprint must be monitored for the stringing storage areas. Construction machinery required for stringing and bird
flapper installation must utilise existing 6m servitude cleared during the pylon construction process. Where the centre line
servitude has not been cleared, the ECO must be consulted to ensure sensitive areas such as rocky outcrops, wetland areas,
ridges, etc. are not impacted on negatively.
Management objectives
Measurable targets
SOC-0001 SANITATION
The Contractor shall install mobile chemical toilets on site at a ratio of 1 per 15 workforce members.
The toilets must not be located within or near storm water channels, no-go areas and drainage lines. These toilets must be
secured to the ground so that they cannot be pushed or blown over.
All chemical toilets must have a suitable locking mechanism.
Staff shall be sensitised to the fact that they should use these toilets at all times. The ratio of 1:15 per workforce is
recommended.
The chemical toilets must be serviced weekly by a reputable company to ensure that they are kept in a hygienic state and
that the waste is disposed of at a registered facility. Care must be taken to ensure waste is not spilled on site. The contractor
must provide the ECO with proof of maintenance contracts and schedules.
Strategies must be implemented to ensure that toilet paper is always available to the workforce.
‘Sealed’ plastic septic systems may be utilised at crew camps in consultation with the ECO. The ECO shall ensure the
location and installation mitigates against any contamination of soils and surface or ground water resources. The contractor
must provide the ECO with proof of ‘honey sucker’ maintenance contracts and schedules.
Management objectives
Measurable targets
Applicable where the transmission line traverses land where stock (cattle and sheep) and game farming is practised.
The Contractor shall take all the necessary precautions against the spreading of disease, especially under livestock and game.
A record shall be kept of drugs administered and the dates when this was done. This can then be used as evidence in court
should any claims be instituted against Eskom or the Contractor.
The workforce shall also be sensitised to the effects of sexually transmitted diseases, especially AIDS.
Management objectives
Measurable targets
Where required, relocation and decommissioning of dwellings may only take place once negotiations and compensations have
been finalised by Eskom.
The success of the project depends a lot on the good relations with the landowners. It is therefore required that the ECO be the
only liaison between the contractor and landowners. The ECO shall be available to investigate all problems arising on the work
sites concerning the landowners.
All negotiations for any reason shall be between Eskom, the landowner and the ECO. NO verbal agreements shall be made. All
agreements shall be recorded properly and all parties shall co-sign the documentation. It is proposed that the Contractor and
ECO keep a photographic record of access roads before the commencement of construction activities. This will then be
available should any claims be instituted by any landowners. Any claims instituted by the landowners shall be investigated and
treated promptly. Unnecessary delays should be avoided at all costs.
The landowners shall always be kept informed about any changes to the construction programme should they be involved. If the
Environmental Control Officer is not on site the Contractor's liaison officer should keep the landowners informed. The contact
numbers of the Contractor’s liaison officer and the Eskom ECO shall be made available to the landowners. This will ensure
open channels of communication and prompt response to queries and claims.
All contact with the landowners shall be courteous at all times. The rights of the landowners shall be respected at all times and
all staff shall be sensitised to the effect that we are working on private property.
Management objectives
Measurable targets
TRMSCAAC1 REV 3
Littering by the employees of the Contractor shall not be allowed (Environment Conservation Act, No 73 of 1989). The
Environmental Control Officer shall monitor the neatness of the work sites as well as the campsite. (Refer PHY-0006 regarding
rubble and refuse disposal).
Refuse generated from the campsite, construction area, storage area or any other area shall be collected and placed
in a suitable covered refuse bins on a daily basis.
A litter patrol around the construction camp and work areas along the alignment are to take place every day to collect
any litter that may have been strewn around.
A skip, with a cover, should be used to contain refuse from campsite bins, rubble and other construction material.
Once full and on a regular basis, the contents of the skip must be disposed of at a licensed commercial facility.
All refuse containers are to be covered at all tim es.
The piling of any material that could rot and release unpleasant smells into the air will not be permitted.
Management objectives
Measurable targets
BIO-0001 FAUNA
Construction activities must be planned carefully so as not to interfere with the calving and lambing season for
most animal species. The Contractor’s workforce will have to be very careful not to disturb the animals as this
may lead to fatalities which will give rise to claims from the landowners.
The Contractor shall under no circumstances interfere with livestock or game without the ECO and landowner being
present. This includes the moving of livestock and or game where they interfere with construction activities. Should the
Contractors workforce obtain any livestock or game for eating purposes, they must be in possession of a written note from
the landowner.
The breeding sites of raptors and other wild bird species shall be taken into consideration during the planning of the
construction programme. There are many instances where protected and endangered species of birds are nesting on our
transmission towers without causing any problems to the flow of electricity or network stability. These birds are highly
territorial and some have been using the same nests for many years, I.e. Black Eagle (Witkruisarend). They are guarded
jealously by the landowners and are monitored by many groups involved with ensuring their continued existence, including
Nature Conservation officials at National and Provincial level.
It is therefore imperative that the breeding sites of these birds are kept intact and that the breeding pairs are not
disturbed especially where there are young nestlings. The Contractor shall take all the necessary precautions and it is
recommended that sites on parallel existing lines be noted, i.e. tower numbers. This information must then be given to the
avian specialist via the Environmental Advisor so that the necessary action can be taken punctually.
Should any new sites or nests be found, during the construction process, that was not known or have been noted before,
each site shall be assessed for merit and the necessary precautions be taken to ensure the least disturbance.
The recommendations of the avian specialist shall be adhered to at all time to prevent unnecessary disruption of such
species. Bird guards and diverters shall be installed, as per the recommendations of the avian specialist, on the new line.
Management objectives
Minimise disruption of farming activities
Minimise disturbance of animals
Minimise interruption of breeding patterns of birds
Measurable targets
BIO-0002 FLORA
The ECO must on a regular basis conduct scans for protected or endangered species that may occur along the line route.
Contractors must exercise special care not to damage or remove any such species unless absolutely necessary. Permits for
removal must be obtained form NATURE CONSERVATION should such species be affected. All plants not interfering with
the operation of the line shall be left undisturbed. Collection of firewood is strictly prohibited.
Management objectives
Minimal disturbance to vegetation where such vegetation does not interfere with construction and operation of the line
Prevention of litigation concerning removal of vegetation
Measurable targets
Herbicide use shall only be allowed with the approval of Eskom. The application shall be according to set specifications and
under supervision of a qualified technician. The possibility of leaching into the surrounding environment shall be properly
investigated and only environmentally friendly herbicides shall be used (Refer section 4.7. regarding VEGETATION
CLEARING and section 3.9 regarding storage of hazardous substances).
The use of herbicides shall only be allowed after a proper investigation into the necessity, the type to be used, the long-term effects and the effectiveness of
the agent. Eskom's approval for the use of herbicides is mandatory (Contact Dr. Eugene van Rensburg—TRI, 082 451 1994). Application shall be under the
direct supervision of a qualified technician. All surplus herbicide shall be disposed of in accordance with the supplier’s specifications.
IT IS RECOMMENDED THAT A SPECIALIST CONTRACTOR FOR VEGETATION CLEARING SHOULD BE UTILISED WHO MUST
COMPLY WITH THE FOLLOWING PARAMETERS:
The contractor must have the necessary knowledge to be able to identify protected species as well as species not interfering
with the operation of the line due to their height and growth rate.
The contractor must also be able to identify declared weeds and alien species that can be totally eradicated.
The contractor must be in possession of a valid herbicide applicators licence.
Management objectives
Measurable targets
No signs of vegetation dying due to leaching of herbicides one year after completion of the bush clearing
No landowner complaints and litigation
CUL-0001 ARCHAEOLOGY
The position of known sites will be shown on the final profiles. Such areas shall be marked as no go areas. Artefacts shall
not be removed under any circumstances. Any destruction of a site can only be allowed once a permit is obtained and the
site has been mapped and noted. The permit must be obtained from the National Museum in terms of the National Heritage
Resources Act, 1999 (Act No. 25 of 1999).
Should any archaeological sites be uncovered during construction, their existence shall be reported to Eskom immediately,
Joyce Mashiteng to be informed at 011 800 4623. An archaeologist will then take the necessary action so that construction
can continue.
Management objectives
Protection of archaeological sites and land considered to be of cultural value
Protection of known sites against vandalism, destruction and theft
The preservation and appropriate management of new archaeological finds should these be discovered during
construction
Measurable targets
All monuments and historical sites shall be treated with the utmost respect. Any graves shall be clearly marked and treated
as no go areas. No destruction of any site shall be allowed. Should it be necessary to remove any graves, the necessary
procedures shall be followed and permits obtained.
Management objectives
Measurable targets
If and where the lines cross any inhabited area, the necessary precautions shall be taken by the Contractor to safeguard the
lives and property of the inhabitants. The Contractor shall under no circumstances interfere with the property of landowners.
If water is required, the Contractor shall negotiate with the relevant landowner and a written agreement shall be drawn up.
Management objectives
Measurable targets
CUL-0004 INFRASTRUCTURE
No telephone lines shall be dropped during the stringing operations. All crossings shall be with at least as high as rugby
posts to protect the lines. Where pipe lines are found along the route, the depth of the pipes under the surface shall be
determined to ensure that proper protection is afforded to such structures. Any damage to pipe lines shall be repaired
immediately.
All existing private access roads used for construction purposes, shall be maintained at all times to ensure that the local
people have free access to and from their properties. A speed limit of 40km/h shall be enforced in such areas and all drivers
shall be sensitised to this effect. Upon completion of the project all roads shall be repaired to their original state.
Many landowners use electrically driven farming activities such as irrigation or dairies. Power cuts to facilitate construction
and especially stringing must be carefully planned. If possible disruptions must be kept to a minimum and should be well
advertised and communicated to the landowners. Care must be taken not to damage irrigation equipment, lines, channels
and crops, as this could lead to major claims being instituted against Eskom and the Contractor. The position of all pipelines
and irrigation lines must be obtained from the landowners and be shown on the physical access plan.
Management objectives
Measurable targets
Table 5 below is designed to be used as an on-site reference by the contractors, engineers and
the ECO as it incorporates the standard method statements in Section 2.6 above and site
specific reference to the required mitigation measures following archaeological, avi-faunal and
ecological assessments to be done during the site walk-through following the issuing of an RoD.
Please note that these site specific measures should be implemented in conjunction with the
statements contained in Section 2.6.
By taking pro-active measures during the construction phase, potential environmental impacts
emanating during the operational phase can be minimised. This, in turn, will minimise the risk
and reduce the monitoring effort. Table 5 is a graphic representation of the environmental
mitigation measures to be implemented for each pylon. The contractors, engineers and ECO are
therefore advised to make use of Table 5 as a tool in the day to day planning of construction
related activities.
Provided the development of this powerline is mitigated, as per this EMP, the project will result in
limited negative environmental impacts.
The following is a guideline to the structure of Table 5 and how it should be used.
Pylon Number
This column indicates the specific pylon in question. Various pylons
may be grouped as a “stretch” under the action column where
applicable.
Landowner details
Pylon specific details contained in these columns include farm name;
portion number; owner; and contact details.
“PLEASE NOTE”
The contractor and ECO must take special note of these pylon-
specific mitigation measures which are ‘site specific’ and are included
in conjunction with the “standard” statements from Section 2.6
‘CEMP’. Icons have been assigned to each issue for quick reference;
please refer to the “Key” below for icon descriptions.
The ECO must ensure these measures are adhered to and are
included in the audit process.
Alignment profile
This graphic displays topographical detail for the specific pylons
included on each page for a convenient overview of each “section”
where the contractor and ECO are encouraged to make notes.
CULTIVATED LANDS – This icon is displayed where “cultivated land is the predominant land cover / use. Specific mitigation where required is indicated next to the icon.
LIVESTOCK & GAME – This icon is displayed when all or part of the land use includes cattle and game farming. Specific mitigation where required is indicated
next to the icon.
ECOLOGICAL – This icon is displayed where specific mitigation is required from a biological perspective including fauna, flora and associated habitats. Specific mitigation
where required is indicated next to the icon.
HYDROLOGICAL – This icon is displayed where the alignment runs through or in close proximity to wetland areas including pans, rivers, dams, dongas and other forms
of natural pr man-made drainage lines. Specific mitigation where required is indicated next to the icon.
HERITAGE – This icon is displayed where the alignment runs through or in close proximity to ruins, graves, artefacts, old buildings kraals, old trees, etc. Specific mitigation
where required is indicated next to the icon.
GAME FARMS – This icon is displayed where the alignment runs through or in close proximity to private and commercial game farms and protected areas. Specific mitigation
where required is indicated next to the icon.
SOCIAL – This icon is displayed where the alignment and the construction of the line directly impacts on landowners and I&APs during the construction phase.
Specific mitigation where required is indicated next to the icon.
AVIFAUNAL - This icon is displayed where mitigation measures contained in the AVIFAUNAL Report, see APPENDIX 4:, must be referenced and implemented.
CONCLUSION
This CEMP sets the institutional framework for responsibilities and reporting of all environmental
issues during the construction of the 400 kV transmission line. It is important that the contractor team
and engineers are fully acquainted with its contents to ensure potential negative impacts are avoided
or identified in advance during construction and the appropriate mitigation measures implemented.
In order for this CEMP to be successfully implemented, all the role players involved in the project
need to co-operate. For this to happen possible role players must have a clear understanding of their
role in the project, must be professional, form respectful and transparent relationships, and maintain
open lines of communication . These role players include Eskom Transmission, The Environmental
Auditing Team (EAT), The Environmental Control Officer (ECO), Project Manager (PM), Contract
Manager (CM), the Contractors (C), landowners, interested and affected parties and the relevant
environmental and project specialists.
The users of this document must therefore strive not only to underwrite Eskom's Environmental
Policy at all times, but also to thoroughly comply with all the conditions of the Record of Decision and
other relevant legal requirements.
No work shall commence until permission is granted by the Environmental Advisor from
Transmission Engineering and the amended ROD for the 400 kV transmission line from DEAT
has been obtained. The Project Manager shall ensure that all conditions in the ROD are
fulfilled before the Contractor occupies the site.
REFERENCE LIST
DEAT (1992) Integrated Environmental Management Guideline Series, Volumes 1-6, Department of
Environmental Affairs, Pretoria.
Strategic Environmental Focus (2006) Environmental Impact Assessment for the proposed Kudu
400kV Transmission Line.
APPENDIX 1: TRMSCAAC1
APPENDIX 2: ESKASABG3