Bovine TB Eradication Programme: wildlife control programme

The wildlife control aspect of the eradication programme incurred a cost of €7.7 million in 2023, up 20% on 2022, when around €6.4 million was spent in this area.

The programme includes a badger culling programme where they are implicated in a disease breakdown

The 2019 Programme for Government included a commitment to extend the badger vaccination programme nationwide and end badger culling as soon as possible, consistent with the best scientific and veterinary advice.

A new Irish bovine tuberculosis (bTB) eradication strategy was launched in 2021. Large scale vaccination of badgers has been rolled out under the new strategy, with over 20,000 km2 covered by the vaccination programme and 6,586 badgers captured in vaccination areas in 2021.

By 2021, over 20,000 km2 in Ireland was designated a badger vaccination area; this is more than half of the total area on which the DAFM wildlife unit operates. In these areas, vaccination is the default, although culling may still be carried out where required for epidemiological reasons. In 2021, the DAFM wildlife unit captured 6,586 badgers in vaccination areas, of which 3,958 were then vaccinated (badgers captured which are found to have been previously vaccinated are not re-vaccinated), and captured 5,868 in culling areas

Areas where badger vaccination was carried out in Ireland in 2021. Yellow areas are where culling is carried out; green areas are where vaccination is carried out. A tile is an area of 2 km by 3 km which is the operational management unit for badger culling and vaccination in Ireland

Related docs

https://www.gov.ie/en/collection/5b92a-bovine-tb/#tb-forum

TB Forum meetings

https://www.gov.ie/en/collection/d3baf-tb-forum

AIE Request: Aughrim fish kill, July 2024

Under the AIE Regs to request any records related to a specific fish kill at the following location: 3km stretch of the river near Coats Bridge, downstream from Aughrim village, Wicklow

Please provide any records / correspondence between IFI and the following

1) Company involved in aquaculture called IDAS
2) Uisce Éireann
3) Wicklow CoCo



For context see
https://www.epa.ie/our-services/compliance–enforcement/whats-happening/incidents-at-epa-regulated-sites/notifications-of-recent-incidents/fish-kill-aughrim-river-co-wicklow/

Notes:

https://afloat.ie/watersport/angling/item/64163-probe-into-serious-fish-kill-in-co-wicklow-s-aughrim-river

https://www.independent.ie/regionals/wicklow/arklow-news/issue-that-caused-deaths-of-thousands-of-fish-in-co-wicklow-being-monitored/a1577038612.html

https://www.farmersjournal.ie/news/news/some-2-000-fish-killed-in-wicklow-river-829279

AIE: all information related to the Stakeholder Meetings held between the FAC and DAFM in 2023. To also include post meeting follow up engagements

Note: FAC DAFM meetings are effectively unminuted

Matters Discussed

  • Chairperson opened the meeting and stated that no individual decisions could or would be
    discussed
  • Number of open appeals and expected workload into the future
  • New Afforestation Programme
  • Expected outputs by Forestry Division
  • Forestry licence viewer
  • EU law developments
  • FAC resources

The Chairperson concluded the meeting.
Ruth Kinehan
Secretary to FAC

Matters Discussed

  • Chairperson opened the meeting and stated that no individual decisions could or would be
    discussed
  • Number of open appeals
  • Timely provision of statements and documents by Minister
  • Requirements of FAC Regulations 2020 – Regulation 7
  • Circulation of statements and submission
  • Final and conclusive nature of FAC decision – no further communications or revisions
  • Oral hearings – discretion of FAC, all parties notified
  • Requirements of the Habitats and EIA Directives and screening
  • Archaeology reports
  • At risk species and safeguards required
  • Expected outputs by Forestry Division

EPA Water Abstraction Register – December 2024

The information / data contained in this file has been generated from the Environmental Protection Agency’s (EPA) Water Abstraction Registration Database.

Summary: The register contains information on water abstractions of 25 cubic meters (25,000 litres) or more per day that have been registered with the EPA. Further information on the data is contained in the read me tab of this file.

EPA file with Easting / Northing co-ordinates converted to Lat / Long

Thanks to @conoro

https://t.co/RkEVhX8Ukd

Tellus Peat Soil Map

https://drive.google.com/drive/folders/10pHuDNN-Az5fmh6w_22y3JP2nt-XZxMd

2024 forestry data

http://www.agriland.ie/farming-news/seefa-urges-next-minister-to-address-forestry-licensing/

342 licences have been approved for the Native Area Tree Scheme (NTAS) relating to 369ha.

201 licences for the Deer Tree Shelter scheme (DTS) for 860ha

180 licences under the Woodland Improvement Scheme (WIS) relating to 1,001ha

10 licences for the Native Woodland Conservation Scheme covering 79ha

AIE: records in relation to peat extraction on the Bord na Móna landbank for the timeframe 2023 – 2024 YTD

Re: AIE Request COSEC00473

Dear Sir/Madam,

I refer to your request under the European Communities (Access to Information on the Environment) Regulations 2007 to 2018 (S.I. No. 133 of 2007, S.I. No. 662 of 2011, S.I. 615 of 2014 and S.I. No. 309 of 2018) (hereafter referred to as the AIE Regulations), for access to the following records in relation to peat extraction on the Bord na Móna landbank for the timeframe 2023 – 2024 YTD.

For the purposes of this AIE please include records related to the following sites:

  • Glenlough Bog
  • Kilaun Bog and/or Erin Peat
  • Derryounce Bog
  • Codd 2 / Sheridan Bog
  • Clynan Bog

By email dated 22nd October 2024, you provided clarification that the request relates to third party extraction only, applies to sites regardless of authorisation or rights and applies to the named bogs.

Decision Maker

By acknowledgement letter dated 22nd October 2024, you were advised that Ms. Ciara O’Loughlin, Legal Services Manager, would be the officer handling your request.  However, due to annual leave, I have now been appointed in her place to make a decision in respect of your request. 

The following records were identified as coming within the scope of your request:

Schedule of Records

  1. 2024.11.06 BnM IPC Overlaps Categorised 20220915_EMD Oct 2024
  2. EPA Meeting Minutes 10.10.23

Decision

Record 1)

Firstly, as a preliminary point you should note that the only bogs of the five you specified in your request, upon which Bord na Móna is aware of peat extraction having taken place in 2023/2024 by third parties, are Derryounce Bog and Codd 2/Sheridan Bog.  In such circumstances, only information in respect of these two bogs is within the scope of your request.  However, neither Codd 2/Sheridan Bog nor the section of Derryounce Bog upon which such extraction apparently occurred are in the occupation or control of Bord na Móna plc. or any of its subsidiaries. 

Record 1) is only partially within the scope of your request, with a considerable amount of information outside of scope.  In respect of the information that is within scope with regard to Derryounce Bog and Codd 2/Sheridan Bog, exemptions under Article 8(a)(i) (adverse effect on the confidentiality of personal information relating to a natural person who has not consented to the disclosure of the information, and where that confidentiality is otherwise protected by law; Article 8(a)(iii)(adverse effect on the protection of the environment to which that information relates) and Article 9(1)(b)(adverse effect on the course of justice (including criminal inquiries and disciplinary inquiries)), are applicable.

Article 8(a)(i)

Record 1) contains the identities of third parties, which constitute personal information in accordance with GDPR/the Data Protection Act 2018.  These individuals have not consented to the disclosure of their identities by Bord na Móna plc. and disclosure is likely to have an adverse effect on the confidentiality of such personal information.

Article 8(a)(iii)

Record 1) also contains confidential information regarding the investigations/actions Bord na Móna is taking on foot of apparent peat extraction in Derryounce and Codd 2/Sheridan Bogs.  The record also contains maps which would enable the location of such alleged extraction activities to be identified.

Knowledge of Bord na Móna actions/investigations on foot of apparent peat extraction on these bogs, together with the specific location/(s) of such extraction activities, would be of interest to persons engaged in such activities and/or persons who may be contemplating engaging in such activities.  Such knowledge could influence decisions by such persons as to whether or not to cease/ not engage in such activities or to persist/ commence same.  In addition, knowledge of specific location/(s) on which peat extraction is apparently taking place could prompt persons seeking to engage in such activities to seek out such locations, with a view to themselves engaging in unauthorised peat extraction activities in the vicinity.

Any peat extraction on boglands, particularly if on an industrial level, has the potential to damage such lands possibly irreparably or to a degree that will require considerable remediation.  Therefore, in such circumstances I believe the exemption in Article 8(a)(iii) is applicable – adverse effect on the protection of the environment to which the information relates. 

Article 9(1)(b)

Unauthorised extraction of peat is the subject of current investigations by the EPA and could potentially be the subject of criminal prosecutions and/or civil injunctive proceedings in due course.  Further, such unauthorised extraction may in the future be the subject of enforcement action brought by the relevant local authority/(ies).

Disclosure of the information contained within Record 1) may prejudice ongoing investigation/(s) into alleged unauthorised activities and in turn any future criminal prosecution and/or civil proceedings instituted and may hinder the detection and identification of persons engaged in such activities, by alerting such persons to information in the possession of Bord na Móna, which may assist such persons in evading detection.  Therefore, I am of the view that disclosure of the information would adversely affect the course of justice in accordance with Article 9(1)(b).

Record 2)

I have decided that you should be granted access to Record 2) in full.

Public Interest

I have considered the public interest in accordance with Articles 10(3) and (4) of the AIE Regulations.  The interests in favour of disclosure include the public interest in making environmental information publicly available, in facilitating members of the public in exercising their rights of access under the AIE Regulations and in enabling members of the public to be informed in respect of peat harvesting by third parties on bogs within the State.

However, the public interest in ensuring the right of access to environmental information is not unlimited and the AIE Directive and in turn the AIE Regulations, recognise that there are situations where environmental information should not be disclosed in the public interest.  There is a public interest in the protection of personal information and in its disclosure only in accordance with the provisions of the Data Protection Act 2018/GDPR.  Further, there is also a public interest in the safeguarding and protection of the environment.  Where disclosure of information could potentially lead to an increase in and/or persistence of activities which may be unauthorised and/or unlawful and which have the potential to damage and harm that environment, the public interest against disclosure must outweigh that in favour.  Additionally, there is a public interest in ensuring that investigations into apparent unauthorised and/or unlawful activities are not prejudiced or impeded by disclosure of information.

Weighing up the competing public interests, I am of the view that the public interest is best served by refusal of Record 1).

Right of Review

Under Article 11 of the AIE Regulations you have a right to request an internal review of this decision. An internal review involves a complete reconsideration of the matter by a member of the staff of Bord na Móna plc, unconnected with the original decision, of the same or higher rank than the original decision-maker, who may affirm, vary or annul the original decision.

If you wish to request an internal review, you can do so in writing to InformationOfficer@bnm.ie, referring to this decision and quoting the AIE reference number. This request must be made within one month of the date of receipt of this decision. The decision of an internal review will be communicated to you within one month of receipt of your request for an internal review.

You can contact InformationOfficer@bnm.ie if you require any assistance in relation to your request.

Yours sincerely,

John MacNamara

Internal review, appealed to OCEI 20/1/25

Stakeholder Participation Programme for the National Restoration Plan

Nature Restoration Regulation (EU2024/1991) came into force in August 2024

The Regulation is the first continent-wide, comprehensive law of its kind, and sets binding targets to restore degraded ecosystems, in particular those with the most potential to capture and store carbon and to prevent and reduce the impact of natural disasters.

The National Parks & Wildlife Service (NPWS) have been appointed by Government to coordinate the development of a national Nature Restoration Plan (NRP) arising from the Regulation, to be submitted to the EU Commission by 1 September 2026. 

Preliminary work is already underway and an Independent Advisory Committee has been established to advise on the developments and the contents of the NRP. The Committee will be supported by technical thematic working groups and a Stakeholder Participation Programme.

The programme will contain two key elements; a Leaders’ Forum and Community Conversations.

The Leaders’ Forum will be a cross-sectoral dialogue at the most senior level, to discuss the overall trajectory of the NRP and identify key risks and opportunities. It will see senior leadership of all stakeholder groups invited to participate in  exchanges of views and progress briefings. The Leaders Forum will be convened in the Spring of 2025 and discussions from the forum will feed directly to the Independent Advisory Committee. Further follow-up Leaders’ Forums will be held throughout 2025.

The Community Conversations will be a locally-led, participatory engagement model that aims to inform and hear the views of groups and individuals around the country. This will provide opportunities at all levels for genuine exploration and dialogue and to create a country-wide conversation about what EU Nature Restoration Law (NRL) means for all citizens.