Disclaimer

The information below has been extracted from a digital record and is meant for general guidance.  The Compliance & Enforcement Directorate of ERA disclaims any responsibility for any inaccuracies there may be on this site.  If you wish to verify the correctness of any information, you are advised to send a request to: [email protected]  Furthermore, if there are any discrepancies between the information contained on this site and official printed communication, the latter prevails.

Last amended: Wed., 07 February 2024

Order Details
Order Date:Wed., 08 July 2020
Order Status: Order Closed. Daily Fines pending.
Order type:Ordni ta' Waqfien u Konformità
Stop and Compliance Order
Location of Infringement:Sit fl-akkwata magħrufa bħala Tal-Bardan, fil-viċinanzi ta’ Triq Żgħawri, fil-limiti tal-Munxar, Għawdex
Local Council:Il-Munxar.
Infringement in Maltese (Official):Operazzjoni jew attività, li tinkludi tfiegħ u rimi ta’ skart ta’ skavar u kostruzzjoni u skart ieħor f’post mhux awtorizzat għal dan il-għan, u li għalhekk saret bi ksur tar-regolament 12 tar-Regolamenti dwar l-Iskart (L.S. 549.63).
Infringement Summary in English:Unauthorized dumping of construction and demolition waste in breach of the Waste Regulations.
Corresponding Investigation Case/s:IF0599/20-D
Parties subject to OrderVella Matthew Mario
Owner / Occupier

Disclaimer

The information below has been extracted from a digital record and is meant for general guidance.  The Compliance & Enforcement Directorate of ERA disclaims any responsibility for any inaccuracies there may be on this site.  If you wish to verify the correctness of any information, you are advised to send a request to: [email protected].  Furthermore, if there are any discrepancies between the information contained on this site and official printed communication, the latter prevails.

Last amended: Fri., 03 July 2020

Order Details
Order Date:Fri., 03 July 2020
Order Status: Order Active.
Order type:Ordni ta' Waqfien u Konformità
Stop and Compliance Order
Location of Infringement:Sit f’kantuniera bejn Triq il-Bir tal-Franċiżi u Triq Tal-Ħorob, fix-Xewkija.
Local Council:Ix-Xewkija.
Infringement in Maltese (Official):Tfiegħ u rimi ta’ vetturi fi tmiem żmienhom, partijiet u skart ieħor minn vetturi, u skart ieħor bi ksur tar-Regolament 12 tar-Regolamenti dwar l-Iskart (L.S.549.63).

Infringement Summary in English:Dumping of End of Life Vehicles, parts thereof and other waste in breach of regulation 12 of the Waste Regulations (S.L. 549.63).
Corresponding Investigation Case/s:IF0733/20-D
Parties subject to OrderVella Michael
Owner / Occupier
Contravention type:Unauthorized dumping of End of Life Vehicles and parts thereof.

Disclaimer

The information below has been extracted from a digital record and is meant for general guidance.  The Compliance & Enforcement Directorate of ERA disclaims any responsibility for any inaccuracies there may be on this site.  If you wish to verify the correctness of any information, you are advised to send a request to: [email protected].  Furthermore, if there are any discrepancies between the information contained on this site and official printed communication, the latter prevails.

Last amended: Fri., 07 May 2021

Order Details
Order Date:Thur., 10 October 2019
Order Status: Order Closed. Daily Fines paid.
Fine Paid/Settled:€9,100
Fine paid status:Fully Paid.
Order type:Ordni ta' Waqfien u Konformità
Stop and Compliance Order
Location of Infringement:AGV Non-Ferrous Ltd., Livell: -1, J&J Boatyard & Warehousing, Ta’ Għadajma l/o Mqabba.
Local Council:L-Imqabba.
Infringement in Maltese (Official):Hemm ksur tal-permess u ta’ r-regolamentazzjoni ambjentali li jkopru l-operat ta’ AGV Non-Ferrous Ltd., peress li:
• Qed jiġi aċċettat skart ta’ tagħmir elettriku u elettoniku li mhux awtoriżżat u qiegħed isir ukoll żarmar ta’ l-istess skart
• Ma ġiex provdut ċertifikat minn inġinier li jikkonferma li l-installazjoni tal-low rim/lip bund huwa effettiv;
• Ma ġewx provduti dettalji li jinkludu 24hr contact number u CV tal-persuna delegata bħala it-tieni Technically Competent Person;
• Ma kienx segwit programm ta’ taħrig relatat ma’ maniġġjar ta’ sustanzi perikoluzi u sottomessjoni taċ-ċertifikat relatat;
• Ma ġiex provdut l-Annual waste reporting iċċertifikat minn awditur indipendenti
Infringement Summary in English:Breach of the environmental permit and environmental regulation that cover the operations of AGV Non-Ferrous Ltd. , including due to the unauthorized acceptance and dismantling of WEEE, and lack of provision of a waste report certified by an independent auditor.
Corresponding Investigation Case/s:IF0965/19-F
Parties subject to OrderAGV Non-Ferrous Malta Limited
Micallef John (John-Andrea)
Bonavia John
Owner / Occupier
Contravention type:Non-conformity with Environmental Permit Condition.
Appeal Details
Appeal Ref. No.00393/19
Information on appeals can be found in the Environment & Planning Review Tribunal website: click here
Open Consultations

There are no ongoing consultations on the National Strategy for the Environment.

Concluded Consultations

National Strategy For the Environment 2050
Consultation Brief 

Wellbeing First: A Vision for Malta’s Environment, National Strategy for the Environment 2050
Consultation Brief
Public Consultation Submissions & Responses Report

Intent for the Development of a National Strategy for the Environment and its Vision for 2050
Consultation Brief
Public Consultation Submissions & Responses Report

Disclaimer

The information below has been extracted from a digital record and is meant for general guidance.  The Compliance & Enforcement Directorate of ERA disclaims any responsibility for any inaccuracies there may be on this site.  If you wish to verify the correctness of any information, you are advised to send a request to: [email protected].  Furthermore, if there are any discrepancies between the information contained on this site and official printed communication, the latter prevails.

Last amended: Mon., 17 February 2025

Order Details
Order Date:Fri., 26 June 2020
Order Status: Order Closed. Daily Fines paid.
Fine Paid/Settled:€75,000
Fine paid status:Fully Paid
Order type:Ordni ta' Waqfien u Konformità
Stop and Compliance Order
Location of Infringement:Sit fil-viċinanzi tal-akkwata magħrufa bħala x-Xagħriet ta’ Fraxku, fil-limiti ta’ San Pawl il-Baħar.
Local Council:San Pawl il-Baħar.
Infringement in Maltese (Official):Tfiegħ u rimi ta’ skart ta’ kostruzzjoni u skart ieħor f’post mhux awtorizzat għal dan il-għan bi ksur tar-regolament 12 tar-Regolamenti dwar l-Iskart (L.S. 549.63); kif ukoll fi tfiegħ, tpoġġija, rdim fl-art jew depożitu ta’ skart, terrapien jew rimi ieħor, qrib siġar protetti mingħajr awtorizzazzjoni, u dan bi ksur tar-regolament 16 tar-Regolamenti dwar il-Ħarsien tas-Siġar u l-Imsaġar (LS 549.123).
Infringement Summary in English:Unauthorized dumping of construction and other waste in breach of the Waste Regulations (S.L. 549.63), and depositing of waste close to protected trees in breach of S.L. 549.123.
Corresponding Investigation Case/s:IF0636/20-D
Parties subject to OrderOwner / Occupier
Contravention type:Unauthorized dumping of construction waste.

Monitoring of the aquatic environment is important for continuous assessment of the status of waters, which assessment informs management processes and enables adaptive management targeting the needs of aquatic ecosystems. Such monitoring should provide the data required to apply indicators:
(i) for assessment of status,
(ii) to measure the progress towards achievement of environmental objectives or targets,
(iii) to evaluate the effectiveness of management processes, and
(iv) to investigate causes for failure in achieving environmental objectives or targets.

Physical and biological elements, as well as pressures on these elements, should be covered by the monitoring processes in order to enable an integrated approach towards management of the aquatic environment. In this regard, ambient monitoring is supplemented by activities’ data, usually provided by Government and public entities, and by data submitted through citizen science initiatives. Monitoring processes should also be able to detect and assess emerging issues and may need to be adjusted to better respond to changing situations.

Water-related policy requires monitoring procedures to be in place for aquatic environments. It is thus important to use and optimise existing monitoring regimes to cater for the required assessment and management processes under various policies, ensuring a synergistic and cost-effective approach towards monitoring of the aquatic environment.

ERA has developed a national marine monitoring programme that considers the various policy requirements, and which is updated at regular intervals, building on the knowledge gained. The monitoring data collected is housed in a marine database together with relevant data collected by other Authorities. This data is used for the assessment and management of our waters.

The marine environment provides resources such as fish, seafood, water for desalination, and supports key sectors such as transport (of goods and people), tourism, recreation, energy, and telecommunications. The sea plays a key role and is important for everyday life and for the economy.

Inland and transitional waters are likewise valuable landscape features and support biodiversity in important natural areas, which are also appreciated by the residents and tourists for various recreational activities.

Human activities, if not well managed, can exert pressures on aquatic ecosystems and eventually lead to a deterioration in the status of these waters, with knock-on effects for the very services that these ecosystems provide. Examples of such pressures include the following:

  • Water pollution can occur from the introduction of various substances – natural or synthetic – including nutrients, suspended matter, bacteria and viruses, heavy metals, pesticides, and other synthetic chemicals. There are various sources of such pollution including agriculture, industry, urban wastewater, and shipping, and can be diffuse or point sources. Pollution can result in a decrease in light and oxygen availability, accumulation of particulate wastes, increased stress to aquatic life, alteration of habitats, and possible increased mortality in aquatic organisms.
  • Littering detracts from the visual appeal and amenity of natural areas, poses a risk to the animals that live in or visit the area – as these can become trapped in the discarded items or ingest them – and contaminates the environment as it degrades, releasing toxic substances or breaking down to microplastics that persist in the environment and enter the food chain.
  • Noise and light pollution from human activities can disturb aquatic fauna – especially seabirds and cetaceans – that use these areas for rest, breeding or foraging for food, disrupting their natural behaviour and in some cases resulting also in mortality.
  • Activities that take resources from the sea, such as fishing – be it professional or recreational – has the potential to upset the ecosystem, lead to declines in populations of aquatic animals, also through direct unintended mortality (incidental by-catch). Incidental by-catch can be of particular signficance when the fish and other aquatic animals that are caught are already endangered due to low population abundance or are protected. Seabirds and turtles can also be injured or killed as ‘by-catch’ when they are caught in fishing gears.
  • Damage to seabed habitats and the animals that live in them can result from construction at sea, as well as activities such as dredging, which can obliterate habitats, lead to the resuspension of sediments that can then smother fauna and flora, or change the water currents which in turn can impact ecosystems in the area.
  • Vessels can also lead to environmental damage, such as from anchors dragging on seagrass meadows and reefs. Recreational activities such as diving and snorkelling can also cause disturbance: touching cave walls and reefs can disturb the fragile sponges and other organisms that live on them.

Assessment

In order to manage activities, and the pressures that these are exerting on aquatic ecosystems, we need to understand what the status of our waters is, whether they are being impacted and if so, by which activities, in what ways and to what extent. The significance of these impacts can then be used to guide management efforts.

The status of Malta’s surface waters is assessed in line with the Water Framework Directive (WFD) and the Marine Strategy Framework Directive (MSFD).

The WFD seeks to implement an integrated approach and establish a framework for the protection of inland surface waters, transitional waters, coastal waters and groundwater. Under the WFD, the status of water bodies is assessed on the basis of various physical, chemical and biological elements, every six years and the assessment is published in Malta’s River Basin Management Plan.

The MSFD complements and extends the scope of the WFD, both geographically and in terms of the elements – or ‘descriptors’ – that need to be assessed, and which consider pressures on the marine environment as well effects on biological diversity. In addition, the characteristics that shall be used to assess ‘Good Environmental Status’ must be defined and Environmental Targets set. The assessment under MSFD is undertaken every six years and is published as Malta’s Assessment Report under Articles 8, 9 and 10 of the MSFD.

These assessments are carried out on the basis of monitoring data as well as information on various activities that are carried out in our waters.

Management

Management measures that are needed in order to either achieve or maintain our waters in a good state are developed on the basis of the assessments carried out, and target gaps or issues that have been identified.

The River Basin Management Plan includes the programme of measures that is necessary for good status to be achieved in Malta’s waters in line with the WFD. These include ‘basic’ measures that are required under other legislation, such as the Urban Wastewater Directive and the IPPC Directive, as well as additional measures – called ‘supplementary measures’ – that are required to address the Significant Water Management Issues identified as part of the assessment process.

The MSFD likewise requires the development of a programme of measures to achieve or maintain good environmental status in all marine waters under Malta’s jurisdictional rights, on the basis of the assessment carried out and the environmental targets that have been set.

The River Basin Management Plan and the MSFD Programme of Measures are updated and published every six years.

The measures also take into consideration the conservation measures that are required to achieve the site-specific conservation objectives of the marine Natura 2000 sites, to ensure that a coordinated and consistent approach is taken to Malta’s management of its marine waters.  While the WCMP and MSFD Programme of Measures provide an overarching framework for management at a National scale, site-specific management measures are also developed for Natura 2000 sites covering aquatic ecosystems, thus ensuring a holistic framework of complementary actions targeting the protection of such ecosystems at different scales.

The programme of measures developed under the WFD and MSFD are drafted in close collaboration with all relevant stakeholders and are subject to public consultation. The two Directives integrate economics into water management and policy making and call, either implicitly or explicitly, for economic analyses under various provisions. The economic requirements and objectives of the two Directives include amongst others:

  • an analysis of water uses in terms of their economic value, and (under the MSFD) an assessment of the costs of degradation of marine waters;
  • the establishment of objectives and targets with due consideration of social and economic concerns;
  • the assessment of the social and economic impacts of the management measures and cost-effectiveness analyses of such measures

The costs of the measures also need to be estimated and included in the published documents.

Disclaimer

The information below has been extracted from a digital record and is meant for general guidance.  The Compliance & Enforcement Directorate of ERA disclaims any responsibility for any inaccuracies there may be on this site.  If you wish to verify the correctness of any information, you are advised to send a request to: [email protected] Furthermore, if there are any discrepancies between the information contained on this site and official printed communication, the latter prevails.

Last amended: Wed., 24 June 2020

Order Details
Order Date:Tue., 21 May 2019
Order Status: Order Closed. Daily Fines paid.
Fine Paid/Settled:€100
Fine paid status:Fully paid.
Order type:Ordni ta' Waqfien u Konformità
Stop and Compliance Order
Location of Infringement:IMEX Import and Export, Garaxx 12, Triq il-Kummerċ, Ħal Qormi.
Local Council:Ħal Qormi.
Infringement in Maltese (Official):Operazzjoni jew attività ta’ ħażna u ta’ maniġġjar ta’ skart, li jinkludi u mhux limitat għal radjaturi ta’ vetturi, ram, bronż, aluminju, ċomb, u metalli mħallta, mingħajr il-permessi meħtiega, bi ksur ta’ artiklu 58 tal-Att dwar il-Protezzjoni tal-Ambjent, u tar-Regolamenti dwar l-Iskart (L.S. 549.63).
Infringement Summary in English:Unauthorized storage and management of waste, including but not limited to, vehicle radiators, copper, bronze, aluminium, lead and mixed metals, which breaches article 58 of the Environment Protect Act and the Waste Regulations (L.S.549.63).
Corresponding Investigation Case/s:IF0303/19-F
Parties subject to OrderIMEX Import and Export
Lands Authority
Owner / Occupier
Contravention type:Unauthorized storage and management of waste.

Disclaimer

The information below has been extracted from a digital record and is meant for general guidance.  The Compliance & Enforcement Directorate of ERA disclaims any responsibility for any inaccuracies there may be on this site.  If you wish to verify the correctness of any information, you are advised to send a request to: [email protected].  Furthermore, if there are any discrepancies between the information contained on this site and official printed communication, the latter prevails.

Last amended: Mon., 17 February 2025

Order Details
Order Date:Thur., 28 May 2020
Order Status: Order Closed. Daily Fines paid.
Fine Paid/Settled:€16,050
Fine paid status:Fully Paid.
Order type:Ordni ta' Waqfien u Konformità
Stop and Compliance Order
Location of Infringement:Sit fil-viċinanzi tas-Sur ta’ San Alwiġi, maġenb it-Trejqa tal-Fata fil-limiti ta’ Ħaż-Żabbar.
Local Council:Ħaż-Żabbar.
Infringement in Maltese (Official):Operazzjoni jew attività li tinkludi tfiegħ u rimi ta’ skart, inkluż, imma mhux limitat għal skart ta’ kostruzzjoni u skart ieħor, bi ksur tar-Regolamenti dwar l-Iskart (L.S. 549.63).
Infringement Summary in English:Unauthorized operation or activity which include disposal of waste, not limited to construction and other waste, in breach of the Waste Regulation (S.L. 549.63).
Corresponding Investigation Case/sIF0584/20-D
Parties subject to OrderLands Authority
Owner / Occupier

Contravention type:Unauthorized waste dumping.

Disclaimer

The information below has been extracted from a digital record and is meant for general guidance.  The Compliance & Enforcement Directorate of ERA disclaims any responsibility for any inaccuracies there may be on this site.  If you wish to verify the correctness of any information, you are advised to send a request to: [email protected].  Furthermore, if there are any discrepancies between the information contained on this site and official printed communication, the latter prevails.

Last amended: Fri., 17 July 2020

Order Details
Order Date:Thur., 28 May 2020
Order Status: Order Closed. Daily Fines paid.
Fine Paid/Settled:€100
Fine paid status:Fully paid.
Order type:Ordni ta' Konformità
Compliance Order
Location of Infringement:Il-Fontana.
Local Council:Il-Fontana.
Infringement in Maltese (Official):GreenPak Co-Op Society Limited mhix qed tosserva l-obbligi tagħha fil-lokalità tal-Fontana dwar il-ġbir bieb bieb tal-iskart tal-ippakkjar tal-konsumatur skont kif allokat lilha mill-Awtorità f’Anness III tal-awtorizzazzjoni EP 00095/19 iddatat 20 ta’ Diċembru 2019, u kif ukoll naqset milli tinforma lil-Awtorità almenu xahrejn bil-quddiem li ma kenitx ser tkompli bi ftehim ma’ Kunsill Lokali elenkat f’Anness III hekk kif stipulat f’Kundizzjoni nru. 6.2 tal-permess imsemmi. Dan kollu hu bi ksur ta’ regolament 13(7) tar-Regolamenti dwar l-Ippakkjar u l-Iskart tal-Ippakkjar fil-Maniġġar tal-Iskart (L.S. 549.43), u kif ukoll tal-kundizzjonijiet 6.1 (iv) u 6.2 tal-awtorizzazzjoni EP 00095/19.
Infringement Summary in English:Waste Scheme not collecting waste as stipulated in permit.
Corresponding Investigation Case/sIF0765/20-E
Parties subject to OrderGreenPak Co-Op Society Limited
Contravention type:Waste collection infringements.