*Note: MS Word Version of the letter is attached*

*ToxicsWatch*

www.toxicswatch.org



To



Chairman

Ship Breaking Scrap Committee

Union Ministry of Shipping

Government of India



Joint Secretary

Union Ministry of Shipping

Government of India



October 9, 2020



Subject: Threat to Indian maritime environment and security from viral
diseases like covid-19 from ballast water and toxic substances

Sir

With reference to the news *Toxic laden ship arriving at Alang
<https://gujaratinbox.com/english/news/25953> *(25 September, 2020), it is
to inform you that a dubious ship named J-Nat (IMO No. 8100909) and its tug
C-Cas (IMO No.8411047) which is pulling it is likely to arrive at Alang
Anchorage, Bhavnagar, Gujarat on 14th October, 2020. The J-Nat ship
includes about 1500 tonnes of mercury waste, 60 tons of slug oil, 1000 tons
of slop oil, 500 burnt oiled water. The movement of the ship in Indian
waters will be manifestly in violation of Section 6 of the Recycling of
Ships Act, 2019.

I wish to submit that according to this legal provision no ship is allowed
to install or use “prohibited hazardous materials”. It defines “ship” as “a
vessel and floating structure of any type whatsoever operating or having
operated in the marine environment and includes submersibles, floating
craft, floating platforms, self-elevating platforms, the floating storage
units, and the like.” Besides the threat of hazardous substances the ship
in question poses a threat of covid-19 like viral disease from the ballast
water of the ship. It is note withy that IMO’s Ballast Water
Management Convention entered into force in September 2017, which requires
that ships have to manage their ballast water to avoid the transfer of
potentially invasive aquatic species.  Ships take on ballast water at sea
to maintain stability and minimize stress on the hull. This water may carry
virus and bacteria to new locations, a process linked with deadly outbreaks
of diseases among humans as well as threats to the marine environment.

I submit that the ship in question comes under the ambit the law. This
vessel in question is currently owned by SOMAP International Pte Ltd, a
Singapore-based company. It renamed the vessel as “J Nat” (ex- Jesslyn
Natuna). Prior to this this vessel operated in the Natuna gas field under
the ownership of Global Niaga Bersama PT, an Indonesian company.

I submit that the preamble of the Recycling of Ships Act refers to the
Ship-breaking Code which regulates the recycling of ships in India. The Act
does not override the pre-existing Code which was framed in compliance with
the order of Hon’ble Supreme Court of India. It is concerned with only
those limited aspects that are not covered under the Code. It acknowledges
the need “for the protection of environment and human health and safety
during the process of recycling of ships”. It defines “hazardous material”
as “any material or substance, which is liable to cause harm to human
beings, other living creatures, plants, micro-organisms, property or the
environment.”

I submit that with the enactment of the *Recycling of Ships Act and
ratification of International Maritime Organisation (*IMO)’s Hong Kong
International Convention for Safe and Environmentally Sound Recycling of
Ships in November, 2019 by India, one of the world's five major ship
recycling countries has made Alang beach deeply vulnerable. The Act came
into force on December 16, 2019.

I submit that in an order dated 30th July, 2012, Chief Justice of India
headed Bench of Hon'ble Supreme Court of India has directed that "....the
concerned authorities shall strictly comply with the norms laid down in the
Basel Convention or any other subsequent provisions that may be adopted by
the Central Government in aid of a clean and pollution free maritime
environment, before permitting entry of any vessel suspected to be carrying
toxic and hazardous material into Indian territorial waters" in Union of
India & Ors. Vs. Research Foundation for Science [I.A. Nos.61 & 62 of
2012]. Hon’ble Court’s order that led to framing of Shipbreaking Code also
seeks “Confirmation to the effect that ballast water has been exchanged in
the high seas”. I was an applicant in these cases.

I wish to also draw your attention towards UN’s Basel Technical Guidelines
under the UN’s Basel Convention. At page 49-50, the Guidelines specifically
points out: Ballast water which is fresh, brackish or marine water that has
intentionally been brought on board a ship in order to adjust the ship’s
stability and trim characteristics in accordance with various operating
conditions “may contain pollutants, such as residual fuel, cargo hold
residues, biocides, oil and grease, petroleum hydrocarbons, and metals
(e.g. iron, copper, chromium, nickel, and zinc). Ballast water in cargo
tanks (oil) is referred to as dirty ballast water. The transport of large
volumes of water containing organisms from shallow, coastal waters across
natural oceanic barriers can cause massive invasions of neritic marine
organisms. Because ballast water is usually taken from bays and estuaries
with water rich in animal and plant life, most ships carry a diverse
assemblage of aquatic organisms. Aggregate sediments typically found in
ballast tanks will contain living species which reflect the trade history
of the vessel.”
It further adds: ‘The arrival condition of the dismantling candidate is
most likely that of “in ballast”. The discharge of ballast water/ sediment
species into the coastal sea-area may be a potential source for introducing
unwanted organisms which threaten the ecological balance in the surrounding
seas and thereby represent a direct threat to biodiversity. *Ballast water
can be the carrier of viruses and bacteria transferred to humans causing
epidemics.* In order to limit the biological threat represented by the
introduction of invasive species via ballast water, the vessel should
undergo recommended de-ballasting in accordance with IMO Assembly
Resolution A.868(20): “Guidelines for the control and management of ships
ballast water to minimise the transfer of harmful aquatic organisms and
pathogens”, unless other regulations apply. It has been noted that some 32
end-of-life ships came to Alang beach during April-June 2020. ’As inquiry
ought to be undertaken to ascertain whether the end-of-life ships which
have been arriving during the lockdown period complied with these laws,
regulations, guidelines and orders to take remedial containment measures.

I submit that the ship owners generally try escape decontamination cost and
evade responsibility and accountability for the trafficking of toxic ships
by misleading Indian
authorities. There is an immediate need to ensure that such hazardous ships
are not dumped in ecologically fragile Indian coastal beach environment
territory.

I submit that India is being turned into a dumping ground of foreign
hazardous wastes because of the gullibility of Directorate General of
Foreign Trade and Ministry of Commerce and Ministry of Environment, Forests
and Climate Change. They have attempted to legalise such dumping through
series of amendments in the Hazardous Waste Management & Handling Rules
under Environment (Protection) Act, 1986 at the behest of hazardous waste
traders. This takes a heavy toll on the ecosystem of Alang beach,
Bhavnagar, Gujarat and the inter-state migrant workers who work there under
dirty, degrading and dangerous situations who worked even during the
covod-19 lockdown. *The concerned authorities ought to be also on alert
against movement of bio-weapons and chemical weapons in disguise towards
Indian waters.*

In such a backdrop, I wish to request you to ensure that such ships do not
enter Indian waters in order to safeguard India’s maritime environment and
security from invasive species and virus.



Thanking you in anticipation.


warm regards
Dr. Gopal Krishna, LL.M., Ph.D
Editor, ToxicsWatch Journal
Mb: 9818089660
E-mail:[email protected]
Web:www.toxicswatch.org

Cc
Secretary, Ministry of Defence

Member Secretary, Ship Breaking Scrap Committee
Member, Ship Breaking Scrap Committee
Secretary, Ministry of Steel
Secretary, Ministry of Environment, Forests & Climate Change
Chairman, Central Pollution Control Board
Focal Point, Basel Convention, Ministry of Environment, Forests & Climate
Change
Shri S.D. Kaushik, Consultant, Ministry of Shipping





----
..years ago I recognized my kinship with all living beings, and I made up
my mind that I was not one bit better than the meanest on earth. I said
then, and I say now, that while there is a lower class, I am in it, and
while there is a criminal element, I am of it, and while there is a soul in
prison, I am not free. -------Eugene Debs, five times Presidential
candidate of USA & author of Walls and Bars

"We may admire what he does, but we despise what he is."-referring to
humans who act mechanically on instructions -------Wilhelm von Humboldt,
1792

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