Skip to main content

New Metro incinerator would cost $1.3 billion more than planned: study

Metro Vancouver is taking more heat over its plan to build a second garbage incinerator, with a new study commissioned by waste company Belkorp Environmental Services suggesting the move could cost up to $1.3 billion more than originally estimated.

The analysis, conducted by ICF International on behalf of Belkorp, comes as Metro Vancouver attempts to deal with the province’s rejection of its proposed Bylaw 280, which was integral to its solid waste management plan because it would have ensured garbage generated in Metro was kept in the region.

Belkorp, which runs the Cache Creek dump, has been involved in a high-profile lobbying campaign against Bylaw 280 as well as Metro Vancouver’s plans to burn the region’s waste rather than landfill it. Metro is slated to close the Cache Creek dump in 2016.

“We’re still fighting for options that are better than the incinerator,” said Russ Black, Belkorp’s vice-president of corporate development. “Irrespective of Bylaw 280, we still wanted to show the true costs of the incinerator.”

The report, by ICF’s lead author Seth Hulkower, suggests Metro Vancouver significantly overestimated the revenue it would earn by selling electricity from the new incinerator to BC Hydro over a period of 35 years.

Metro had suggested it would seek to negotiate a price of $100 per kilowatt hour from BC Hydro, but Hulkower noted the waste-to-energy business plan doesn’t take into account that BC Hydro may adjust the price it pays for electricity after Metro recovers it capital outlay on the project.

Metro Vancouver chairman Greg Moore said he’s not surprised with the study’s findings, saying it’s a point that has long been argued by Belkorp.

But he said the analysis is premature considering that Metro has at least 10 proponents offering different forms of waste-to-energy, including district heat and gasification, and there are several potential scenarios.

“They don’t know anything about what we’re doing in our (request-for-proposals) process … all of them are not based on selling to Hydro,” Moore said.

He added Metro has experience running a waste-to-energy plant, having done so in Burnaby since 1988, while Belkorp is interested in setting up multi-material recovery facilities and ensuring the dump continues to operate.

“They are relentless in pursuit of their agenda to continue to have garbage going to their landfill,” Moore said. “Until that decision is made I don’t think they’ll stop.”

Belkorp already has a Coquitlam site where it proposes to build a facility to take a “last pass” at waste to remove recyclables such as organics, paper, plastics and metals, a move that would ultimately rob the region of enough material to fuel another waste-to-energy facility.

Black acknowledged multi-material recovery facilities directly compete with incinerators but say they make sense. “When you look at the range of costs, there’s some serious questions that have to be addressed,” he said.

by: http://www.vancouversun.com/technology/Metro+incinerator+would+cost+billion+more+than+planned+study/10329525/story.html

Dangerous waste

The stench coming from the room is nauseating. Its not the typical smell of rotting cabbage leaves or chicken intestines.

It’s human waste and decaying body parts.

Tonota clinic is facing a serious health hazard. For seven months the incinerator has not been working and piles of red waste disposal bags are bursting from the room housing the defunct engine.“Do you know what’s in these bags?” asked a clinic employee who is so fearful for his health that he has risked being identified and sacked in order to expose the appalling conditions at the clinic.

“It’s human placentas and dirty pampers from patients suffering from chronic diseases. It’s disgusting,” he says, furrowing his eyebrows to emphasis the point.

“There are worms as big as my index finger and the stench is unbearable, but no action is being taken,” he adds.

The employee (name withheld) confirms the incinerator has not been operational for the past seven months.

He maintains that authorities both at District Health Management Team (DHMT) and Ministry level were informed, but no action has yet been taken.

According to the concerned employee, the trouble started when responsibility for the clinic was transferred from the Ministry of Local Government and placed under the Ministry of Health.
The malfunctioning incinerator has also affected clinics in villages surrounding Tonota who use the facility. “I was in Mmandunyane recently. The situation is also bad there since they have nowhere to dispose their clinical waste,” said the source.

Clinics in Mandunyane, Semotswane and Shashe rely on Tonota for disposal of their waste.

Adding to the woes of employees it is said that they last received uniform and protective clothing in 2011.

“There is also acute shortage of accommodation. Staff flats that were gutted by fire in 2011 are yet to be fixed,” the worker revealed.

He claimed that there are nurses who were transferred to Nyangabwe Referral Hospital, who were paid their transfer and hotel allowances but are still occupying staff houses in Tonota.

“All this is happening because there is lack of leadership. I believe only the President can help employees, but when he was in the area last weekend for a rally he neglected to come here.”

The source took The Voice on a tour of the clinic and showed us the dilapidated staff flats, damaged emergency fire pumps and tattered sheets in the maternity ward.

“What kind of a health facility, home to bed ridden patients, operates without an emergency fire pump?”
Efforts to get a comment from the clinic Matron Thatayaone Moitebatsi did not bear fruit as she referred all questions to a certain Dr Ayele at DHMT.

When contacted for comment Dr Ayele asked for a face-to-face interview but later called to cancel the appointment.

“We are aware off the situation in Tonota, but you know I don’t have the authority to talk to the media.

Please send a questionnaire and I will forward it to the relevant people,” was all Dr Ayele was prepared to say.

Environmental Guideline for the Burning and Incineration of Solid Waste

People living and working in Nunavut often have limited options available for cost effective and environmentally sound

management of household and other solid waste. The widespread presence of permafrost, lack of adequate cover material and

remote locations make open burning and incineration a common and widespread practice to reduce the volume of solid waste and

make it less of an attractant to wildlife.  A wide variety of combustion methods are used ranging from open burning on the

ground to high temperature dual-chamber commercial incinerators.  Generally, high temperature incinerators are more expensive

to purchase and operate and cause less pollution than do the less expensive and lower temperature methods.  However, high

temperature incinerators can safely dispose of a wider variety of waste than can the lower temperature open burning methods.

The Guideline for the Burning and Incineration of Solid Waste (the Guideline) is not intended to promote or endorse the

burning and incineration of solid waste. It is intended to be a resource for traditional, field and commercial camp

operators, communities and others considering burning and incineration as an element of their solid waste management program.

It examines waste burning and incineration methods that are used in Nunavut, their hazards and risks and outlines best

management practices that can reduce impacts on the environment, reduce human-wildlife interactions and ensure worker and

public health and safety. This Guideline does not address incineration of biomedical waste, hazardous waste and sewage

sludge. The management of these wastes requires specific equipment, operational controls and training that are beyond the

scope of the current document.

The Environmental Protection Act enables the Government of Nunavut to implement measures to preserve, protect and enhance the

quality of the environment. Section 2.2 of the Act provides the Minister with authority to develop, coordinate, and

administer the Guideline.

The Guideline is not an official statement of the law. For further information and guidance, the owner or person in charge,

management or control of a solid waste is encouraged to review all applicable legislation and consult the Department of

Environment, other regulatory agencies or qualified persons with expertise in the management of solid waste.

Local company helps dispose of Ebola-tainted waste

SAN DIEGO – A local company has joined the front lines of an effort that has sparked a lot of debate: how to dispose of Ebola waste.

A representative from Envitech just returned from Texas after the first batch of medical waste was disposed of this past weekend.

The spacesuit-like gear is just one reminder of how contagious Ebola can be. The virus attacks the organs and liquefies parts of the body, with blood and other liquids seeping out of all body openings.

The medical supplies used to treat the first U.S. Ebola patient, Thomas Duncan, arrived in a semi-truck at a Galveston facility on Saturday.

“It was kind of all hands on-deck,” said Andy Bartocci, national sales manager at Envitech. He says a company official flew into Texas this weekend.

Envitech’s scrubbing system was installed at the Galveston site earlier this year. Here is how it works: once the Ebola-tainted supplies are incinerated at more than 2,000 degrees, the scrubber removes all the pollutants from the exhaust gas.

“We were on hand as they were burning this waste and the system operated flawlessly throughout that time,” said Bartocci.

The air scrubbers are newly designed after more stringent EPA standards went into effect this month.

“Somebody is probably more exposed to harmful pollutants pumping gas into their automobile than they would be by working or living around one of the medical waste incinerators,” said Bartocci.

Still, some states do not want that waste. Missouri’s attorney general is seeking a court order barring the waste from being shipped to a St. Louis incinerator. Among the concerns is the handling before it gets into the incinerator.

As for California, the state has a ban on the burning of medical waste, so any Ebola waste would have to be shipped to another state on public highways.

Many states like California began cracking down on medical waste incineration because hospitals were sending materials that did not need to be burned, which led to more pollutants.

Some are calling for California to reconsider these restrictions when it comes to Ebola waste.

by: http://www.10news.com/news/local-company-helps-dispose-of-ebola-tainted-waste-10202014

HICLOVER TS200 Medical Waste Incinerator in Pakistan: High-Capacity and Advanced Smoke Emission Control

HICLOVER TS200 Medical Waste Incinerator in Pakistan: High-Capacity and Advanced Smoke Emission Control

Introduction: Waste Management Challenges in Pakistan

Pakistan faces increasing challenges in medical and biological waste management. With a growing population and rapid urbanization, hospitals in cities like Karachi, Lahore, Islamabad, and Peshawar generate large volumes of hazardous waste every day. Traditional disposal methods such as open burning or poorly controlled furnaces create serious risks of air pollution, dioxin emissions, and public health hazards.

In this context, the HICLOVER TS200 incinerator offers a proven solution: 200 kg/hour burn rate, designed to handle complex waste streams while meeting international emission standards.

HICLOVER TS200: Key Specifications

  • Model: TS200 (PLC Control)

  • Average Capacity: 200 kg/hour

  • Primary Combustion Chamber: 1,980 liters (reinforced refractory lining)

  • Secondary Combustion Chamber: 800 liters (retention ≥2 seconds, ≥1100°C)

  • Fuel: Diesel / LPG / Natural Gas

  • Control: PLC automation with intelligent temperature sensors

  • Application: Suitable for district hospitals, university medical centers, and large clinics across Pakistan

The TS200 is specifically engineered for Pakistan’s diverse waste types, including high-moisture infusion bags, plastics with high PVC content, and sharps disposal.

Advanced Smoke Emission Control Systems

In Pakistan, environmental agencies and donor-funded projects (WHO, UNDP) are increasingly requiring advanced smoke treatment technology. HICLOVER offers flexible configurations to adapt to local compliance and budget needs:

  1. Optional Wet Scrubber

    • Single tower spray system

    • Integrated ID fan, water tank, and circulation pump

    • Removes acid gases such as HCl and SO₂

  2. Optional Secondary Wet Scrubber

    • Multi-stage system including Washing Tower, Cooling, and Defogging

    • Equipped with spray tower, ID fan, water tank, defogging device, and water pump

    • Reduces visible smoke and improves air quality

  3. Quench Tower + Washing Scrubber + Defogging Tower + Activated Carbon Adsorption + Baghouse Filter

    • Full high-efficiency emission control package

    • Includes ID fan, dosing system, built-in water tank, and air compressor

    • Captures particulates, neutralizes acid gases, adsorbs dioxins/furans, and removes heavy metals

    • Recommended for projects in Karachi Port Qasim, Lahore industrial area, and donor-funded hospitals

Relevance for Pakistan

  • Provincial hospitals in Punjab and Sindh require on-site incinerators to comply with environmental rules.

  • Teaching hospitals in Lahore and Karachi prefer PLC-controlled systems for reliability and training purposes.

  • Emergency relief facilities in Khyber Pakhtunkhwa and Balochistan benefit from containerized/mobile versions of TS200, ensuring rapid deployment in rural zones.

In local context:
پاکستان میں جدید میڈیکل ویسٹ انسی نیریٹر کی طلب تیزی سے بڑھ رہی ہے، اور HICLOVER TS200 اس ضرورت کو پورا کرتا ہے۔
(Translation: In Pakistan, the demand for modern medical waste incinerators is rapidly increasing, and the HICLOVER TS200 meets this need.)

Conclusion

The HICLOVER TS200 incinerator provides Pakistan with a reliable, high-capacity, and environmentally compliant solution for medical waste disposal. Combined with advanced smoke emission control systems such as wet scrubbers and baghouse filters, it ensures clean air and safe healthcare environments.

Hospitals, universities, and donor-funded programs in Pakistan can confidently adopt the TS200 to achieve sustainable, WHO-aligned waste treatment.

For specifications and project consultation:
www.hiclover.com
sales@hiclover.com


Mobile: +86-13813931455(WhatsApp)

Email:     sales@hiclover.com     
Email:     hicloversales@gmail.com 

 

2025-09-21/20:08:48

Containerized Incinerators

Containerized Incinerator incinerator house mobile incinerator

Model CA50
Feed Capacity Average 60 kgs per feed
Burning Rate Average 70 kgs per hour
Burning Time per Feed 1 hour
Voltage 220V
Power 0.7Kw
Fuel Diesel oil
Burner Italy Burner
Feed Mode Manual
Fuel consumption (Oil) Average 18 Kgs/Hour
Internal Dimensions 100x80x70cm (Primary Chamber)
External Dimensions 230 x 130 x 155cm (main body)
Waste combustion chamber 560Liters
Post Combustion Chamber 280Liters
Oil Tank Capacity 100 Liters
Door Opening 70 x 50cm
Chimney 5.0M
Gross Weight 4500kgs
Chamber Material Firebrick ,Refractory Concrete
Max. Heat Value 240,000Kcal/Hr.
Operation Technical Specifications
Solid Chamber temperature 8000C -10000C
Gas Chamber temperature 10000C -12000C
Chamber Anti-Rate 14500C
Residency time 2.0 Sec.
Burning efficiency >98%
Waste Lower Calorific Power 3000Kcal

Envilead 2005 a study on waste incineration

1. The International POPs Elimination Project (IPEP) Fostering Active and Effective Civil Society Participation

in Preparations for Implementation of the Stockholm Convention A Study on Waste Incineration Activities in

Nairobi that Release Dioxin and Furan into the Environment Environmental Liaison, Education and Action for

Development (ENVILEAD) Kenya November 2005 Cannon House Annex Building, Haile Selassie Avenue P.O. Box 45585-

00100, Nairobi, KENYA Tel: +254-20-243914, +254-734-940632 E-mail: envilead@excite.com November 2005
• 2.  About the International POPs Elimination Project On May 1, 2004, the International POPs Elimination

Network (IPEN http://www.ipen.org ) began a global NGO project called the International POPs Elimination Project

(IPEP) in partnership with the United Nations Industrial Development Organization (UNIDO) and the United Nations

Environment Program (UNEP). The Global Environment Facility (GEF) provided core funding for the project. IPEP

has three principal objectives: • Encourage and enable NGOs in 40 developing and transitional countries to ii

engage in activities that provide concrete and immediate contributions to country efforts in preparing for the

implementation of the Stockholm Convention; • Enhance the skills and knowledge of NGOs to help build their

capacity as effective stakeholders in the Convention implementation process; • Help establish regional and

national NGO coordination and capacity in all regions of the world in support of longer-term efforts to achieve

chemical safety. IPEP will support preparation of reports on country situation, hotspots, policy briefs, and

regional activities. Three principal types of activities will be supported by IPEP: participation in the

National Implementation Plan, training and awareness workshops, and public information and awareness campaigns.

For more information, please see http://www.ipen.org IPEN gratefully acknowledges the financial support of the

Global Environment Facility, Swiss Agency for Development and Cooperation, Swiss Agency for the Environment

Forests and Landscape, the Canada POPs Fund, the Dutch Ministry of Housing, Spatial Planning and the Environment

(VROM), Mitchell Kapor Foundation, Sigrid Rausing Trust, New York Community Trust and others. The views

expressed in this report are those of the authors and not necessarily the views of the institutions providing

management and/or financial support. This report is available in the following languages: English International

POPs Elimination Project – IPEP Website- www.ipen.org
• 3.  iii TABLE OF CONTENTS LIST OF

FIGURES…………………………………………………………………………..V LIST OF TABLES

……………………………………………………………………………V ACRONYMS AND

ABBREVIATIONS………………………………………………. VI EXECUTIVE SUMMARY

…………………………………………………………………. 1

INTRODUCTION…………………………………………………………………………….. 2

Background

………………………………………………………………………………………………….

……. 2 Burning and POPs

Generation……………………………………………………………………………. 3 Objectives

of Study

…………………………………………………………………………………………….. 4

Significance of

Study…………………………………………………………………………………………… 5

METHODOLOGY……………………………………………………………………………. 5 Scope of

the

Study……………………………………………………………………………………………..

.. 5 Preparation for the Study

…………………………………………………………………………………… 6 Locations of

Interest

…………………………………………………………………………………………… 6 AREA

OF STUDY…………………………………………………………………………… 6 LITERATURE

REVIEW …………………………………………………………………… 7 Health Effects

………………………………………………………………………………………………….

…. 8 Environmental and Socio-economic Effects

…………………………………………………………. 8 Other Pollutants from Incineration

…………………………………………………………………….. 9 Public Opposition to

Incineration ……………………………………………………………………… 10 Kenya Eggs

Study

…………………………………………………………………………………………….. 10
• 4.  STUDY FINDINGS………………………………………………………………………… 11

Basic

Findings…………………………………………………………………………………………..

………. 11 General

Findings…………………………………………………………………………………………..

….. 12 CHALLENGES TO THE STOCKHOLM CONVENTION: RESPONSIBLE PARTIES –

KENYA……………………………………………………………………….. 15 POPs and Scientific

Development ……………………………………………………………………… 15 POPs and Less

Organized Countries …………………………………………………………………. 15 The

Environment and Economy………………………………………………………………………… 17

ALTERNATIVE PRACTICES …………………………………………………………. 17 Alternative

Technologies for Hazardous Waste Treatment ………………………………… 17

RECOMMENDATIONS………………………………………………………………….. 19 CONCLUSION

……………………………………………………………………………… 21 ANNEX 1: MAPS

………………………………………………………………………….. 24 ANNEX 2: PLATES

………………………………………………………………………. 26 iv
• 5.  v LIST OF FIGURES Fig. 1: Comparison of U-POPs emissions from different source categories in Kenya

………………………………………………………………………………………………….

…………….. 4 Fig. 2: Mean values (PCDD/Fs) found in Eggs Sampled from Dandora – Kenya, compared with

levels in eggs from other contaminated sites in the world………… 11 LIST OF TABLES Table 1. Worldwide

atmospheric emissions of trace metals from waste incineration

………………………………………………………………………………………………….

…… 10 Table 2. Waste disposal methods for various major companies in Nairobi ………. 14 Table 3. Non-

Incineration technologies for hazardous waste treatment…………… 18
• 6.  vi ACRONYMS AND ABBREVIATIONS AFD: Agence Francaise de Développement APCD: Air Pollution Control Devices

BAT: Best Available Techniques BEP: Best Environmental Practices CBO: Community Based Organization CBS: Central

Bureau of Statistics EMCA: Environment Management and Coordination Act EPR: Extended Producer Responsibility

GAIA: Global Anti-Incinerator Alliance/ Global Alliance for Incinerator Alternatives GoK: Government of Kenya

GPCR: Gas Phase Chemical Reduction HCB: Hexachlorobenzene IARC: International Agency for Research on Cancer

IPEN: International POPs Elimination Network IPEP: International POPs Elimination Project ITDG: Intermediate

Technology Group JICA: Japan International Cooperation Agency KAM: Kenya Association of Manufacturers KEBS:

Kenya Bureau of Standards KEPI: Kenya Expanded Programme on Immunization KIPPRA: Kenya Institute for Public

Policy Research and Analysis KNH: Kenyatta National Hospital LOCs: Less Organized Countries NIP: National

Implementation Plan NCT: Non Combustion Technology NGO: Non Governmental Organization PCBs: Polychlorinated

Biphenyls PCDD: Polychlorinated dibenzo-p-dioxins PCDF: Polychlorinated dibenzofurans POPs: Persistent Organic

Pollutants PVC: Polyvinyl Chloride SANE: South Africa New Economics (network) SCWO: Super-Critical Water

Oxidation TCDD: 2,3,7,8 – tetrachlorodibenzodioxin TEQ: Toxic Equivalency Quotient TNT: Trinitrotoluene UNEP:

United Nations Environmental Program U-POPs: Unintentional Persistent Organic Pollutants USEPA: United States

Environmental Protection Agency WHO: World Health Organization
• 7.  EXECUTIVE SUMMARY This report outlines the findings of a study carried out in and around the city of

Nairobi, Kenya by ENVILEAD. The study was carried out between the months of January and March 2005, about the

patterns of practice that are likely to release persistent organic pollutants (POPs) into the environment as

part of the International POPs Elimination Project (IPEP’s) initiatives. The focus of the study was the

practice of medical and municipal waste burning, which research has shown to be a potential source of

unintentional POPs (U-POPs). The study’s objective was to investigate the anatomy of this practice, identify

the key issues involved and make recommendations for the way forward. It was established that burning is the

dominant method of waste disposal in the city, and this is done through industrial incinerators and in the open

air. The main reason for this preferred method of disposal is its convenience in the absence of a functioning

system of waste management (by the City Council) and in the absence of adequate legal guidelines on the disposal

of solid waste by the government. This practice is however also associated with several other factors such as

lack of awareness on the part of the public, economic pressures and the general paucity of administrative

capacity in Less Organized Countries (LOCs). The study was able to establish that the area around the Dandora

dumpsite, the city’s biggest waste burning site, is highly contaminated with POPs. This was established from

the results of U-POPs levels in eggs sampled from the site in a different study. There is also a high likelihood

of other sites, such as the Kenyatta National Hospital (KNH) incinerator, whose maximum temperatures range

between 600°C and 700°C and has no Air Pollution control Devices (APCD), and open-air burning site and

Kitengela open burning site being U-POPs hotspots. The study came up with the following key recommendations for

the way forward: ¾ Additional research needs to be undertaken in order to gather more detailed information

regarding this pattern of practice. Among the additional research required is in the area of relationship

between the socio-economic dynamics and the practice, quantification of the levels of dioxin (as well as other

organic pollutants and heavy metals) emissions from the identified sites, and establishment of the impacts of

the same on public health; ¾ The legal framework for the safe disposal of solid waste, based on Best Available

Techniques (BAT) and Best Environmental Practices (BEP), should to be addressed; ¾ The plastics industry, as a

major contributor of difficult-to-manage waste, needs to be fully engaged in the search for solutions in the

city’s waste management programme; ¾ Greater effort should be placed in the development of alternative

technologies 1 for safe waste disposal, which should be affordable and sustainable;
• 8.  ¾ A popular appreciation of the science of ecology needs to be created in the country, as a means of

ensuring sustained grassroots support for environmental conservation efforts. INTRODUCTION Background Just as

the generation of waste involves a complex interplay of social, cultural, economic and technological processes,

the proper management of waste cannot be divorced from the same processes. While it is necessary, for conceptual

purposes, to view waste management as a clear and distinct category of activity in society, in practice any

successful waste management strategy has to address such diverse issues as patterns of consumption, incentive

systems (the economics of waste management), waste handling technology, and legal frameworks. In its broadest

sense, the issue of waste management is an aspect of the search for sustainable development strategies. This

report seeks to provide an overview of the critical issues regarding the management of municipal and medical

waste in Nairobi, especially in respect of the potential danger of generating unintentional POPs (U-POPs) in the

process of burning such waste. The study’s broader objective is to assist in the development of a comprehensive

waste management strategy for the city and other urban areas in the country, in the context of the provisions of

the Stockholm Convention on Persistent Organic Pollutants (POPs). Annex C of the Stockholm Convention,

identifies waste incinerators, including co-incinerators of municipal, hazardous or medical waste or of sewage

sludge, as source categories with high potential to release U-POPs into the environment. Municipal and medical

waste was selected for study because of its large quantity as a percentage of the total waste generated1, and

the complex nature of issues involved in the proper management of these two types of waste. Nairobi City Council

(2002) admits that it is unable to manage waste effectively in the city, and of particular concern was the

proliferation of informal medical facilities, some of which are located within residential areas. The

Environmental Management and Coordination Act (1999), is well placed to manage waste, including POPs-

contaminated waste, it gives provisions for setting of standards, licensing of waste disposal sites and control

of hazardous waste. However, lack of enforcement mechanism is the biggest challenge facing waste management in

Kenya (Nairobi City Council, 2002). 2 1 A report by NEMA reveals that Nairobi generates approximately 2000

tonnes of waste per day. Of this, 68% is municipal waste generated from households (East Standard 2004)
• 9.  Kenya as a country is in the process of developing a National Health Care Waste Management Plan. The

National AIDS Control Council has just received funds from the World Bank toward the cost of Kenya’s HIV/AIDS

Disaster Response Project, part of the funds are to be used in the development of a National Health Care Waste

Management Plan (Daily Nation, 2005). The lack of enforcement of the relevant environmental law, among other key

factors, has led to a chaotic situation in which almost anything goes as far as the handling of waste is

concerned. A recent report by KIPPRA on solid waste management in Kenya shows that only 25% of the solid waste

generated daily in the city of Nairobi is currently collected (UNEP 2005). The focus of the study was waste

burning, which any casual observation reveals to be the preferred waste disposal option for the Nairobi

residents, which is a consequence of failure on the part of the City Council, and Government, to institute

organized systems waste handling. The study looked at open air burning types and industrial incinerators.

Burning and POPs Generation Polychlorinated dibenzo-p-dioxins (PCDD) and Polychlorinated dibenzofurans (PCDF),

Hexachlorobenzene (HCB) and Polychlorinated Biphenyls (PCBs) are unintentional persistent organic pollutants

(U-POPs), formed and released from thermal processes involving organic matter and chlorine as a result of

incomplete combustion or chemical reactions. These U-POPs are commonly known as dioxins because of their similar

structure and health effects (Tangri 2003). These U-POPs are both of natural and anthropogenic origin. They

resist photolytic, biological and chemical degradation. They are bio-accumulative, widespread geographically and

are toxic to life. The concentration of U-POPs of anthropogenic origin has greatly increased over the years.

Toxics Link Report (2000) identifies several potential sources of these U-POPs, among them being medical waste

incineration and open burning of domestic waste. According to USEPA estimates, municipal solid waste

incineration and medical waste incineration are among the top sources of dioxins released into the air. They

make up for 1,100gm TEQ/year and 477gm TEQ/year respectively (USEPA 1998). Of all source categories, combustion

sources account for nearly 80% of air emissions. 3
• 10.  4 AIR LAND Waste Incineration Ferrous and Non-Ferrous Metal Production Production of Chemicals and

Consumer Goods* Waste Incineration Uncontrolled Combustion Processes Source: Kenya POPs Inventory Fig. 1:

Comparison of U-POPs emissions from different source categories in Kenya Luscombe and Costner (2003) show how

incinerators endanger public health and the environment in general. They identify the toxic pollutants in

incinerator gases and residues, and enumerate the human health and environmental damage of the various chemicals

in the incinerator releases. Connett (1998) shows how municipal waste incineration is a poor solution to the

waste management problem. He lists the toxic emissions of incineration and shows how dioxins, furans and other

by-products of combustion impact human health and the environment. Objectives of Study The overall goal of the

study was to understand the (social, economic and technological) dynamics of the practice of waste burning in

the city and to find out how this might contribute to the release of U-POPs into the environment. Other critical

issues, such as the public health impact of the pattern of practice, were left for the next phase of the study.

The specific objectives of the study were: i. to assess the extent of waste burning/incineration within Nairobi

ii. to establish the City Council of Nairobi’s role in the prevalence of open burning and incineration as the

preferred methods of waste disposal iii. to identify the location of waste burning/ incineration sites in the

city iv. to find out how chlorine-containing waste (such as PVC plastics) is disposed v. to assess the level of

awareness of the general public about the adverse consequences of waste incineration
• 11.  vi. to examine Government regulatory mechanisms for disposal of chlorine-containing 5 waste vii. to

explore suitable BAT and BEP for waste management in Kenya. Significance of Study Article 5 of the Stockholm

Convention requires parties, Kenya included2, taking measures to reduce or eliminate releases from unintentional

production of POPs. These measures include: i. reduction of annual total releases derived from anthropogenic

sources of U-POPs, with the goal of their continuing minimization and where feasible, ultimate elimination; ii.

the development of an action plan (NIP) by parties. Kenya’s NIP should be ready by 25th December, 2006; and

iii. to promote BEP and incorporate BAT in the NIP. The study’s findings will be incorporated in Kenya’s NIP

of the Stockholm Convention with a view to assisting in the realization of the above measures. METHODOLOGY To

achieve the objectives of this study, both primary and secondary data was used. Primary data comprised local

views, perceptions and opinions related to the waste disposal sites among local community members. Various

Government and other resource persons also provided valuable primary data for the study. The state of the

incinerators and dumpsites as well as the disposal methods were studied through observation by the researchers.

Additional data was gathered through taking photographs of the sites and interviewing workers (where applicable)

at the different sites visited. Secondary data was obtained from both published and unpublished information on

waste burning in Kenya and elsewhere in the world. Previous studies carried out on medical and municipal waste

disposal at the global, regional, national and local levels were reviewed. Descriptive analysis was used to

summarize the collected data. Scope of the Study The study was a preliminary investigation, intended to open the

way for further detailed investigations of the same sites and other similar sites in the country. 2 The

convention came into force on 17th May 2004. Kenya became a party to the convention on 23rd December 2004
• 12.  Preparation for the Study Staff recruitment and training: Two research assistants were recruited and

trained for fieldwork. Stakeholders’ identification: Various stakeholders were identified and approached for

their views on the issue under investigation. These stakeholders included: i. Members of public within Nairobi

ii. Health care professionals iii. The Occupational Health Officer, Ministry of Health iv. National

Environmental Management Authority (NEMA) v. Kenya Association of Manufacturers vi. Major Supermarkets in town

vii. Private waste handlers viii. City Council of Nairobi Locations of Interest For the study of medical waste

management, researchers chose to visit a few health care institutions based in Nairobi. These were: Kenyatta

National Hospital (KNH), Nairobi Hospital, Mater Hospital and Forces Memorial Hospital. For the study of

municipal waste management, the researchers visited the Nairobi City Council’s dump site at Dandora as well as

several residential estates in Nairobi including: Jericho, Kariobangi, Huruma, Ngomongo, Baba dogo, Muthurwa,

Shauri moyo, Kimathi, Buruburu, Lucky Summer and Korogocho all in Eastlands; Westlands, Kangemi, Uthiru and

Kikuyu along Waiyaki Way in the West side of Nairobi, and Kitengela to the south of the city. AREA OF STUDY

Nairobi is the largest town in Kenya and also the country’s capital city. It covers an area of 696 km² and

currently has a population of 2,143,254 and population density 3,079 per square kilometre (GoK, 2000). At 1.5 0

south of the equator, Nairobi is a tropical city. Its altitude of 5,000 to 6,000 feet means that the climate is

temperate. Rainfall is divided between two rainy seasons: the short rains fall in November and early December,

and the long rains between April and mid-June. Because it is virtually on the equator, Nairobi has a constant

twelve hours of daylight per day all year round. The sun rises at 6.30 – 7.00a.m and sets again at 6.30 – 7.00

p.m. 6
• 13.  The average day-time temperature varies only slightly throughout the year, ranging from 85°F (29°C) in

the dry season to 75°F (24°C) during the rest of the year. At night, however, temperatures can drop to as low

as 48°F (9°C), though rarely lower. Founded as a last halt before the Highlands for railway engineers in the

early 1900s, Nairobi, which was then just a few shacks and tracks, now covers 696 square kilometres. This figure

includes 120 square kilometres of the Nairobi Game Park and all of Jomo Kenyatta International Airport. Central

Nairobi barely makes up five square kilometres. LITERATURE REVIEW Tangri (2003), notes that despite intensive

scrutiny over many years, much remains unknown about the releases of pollutants from waste-burning activities.

Waste burning produces hundreds of distinct hazardous by-products of which only a handful of them have been

studied thoroughly. Hundreds remain unidentified. Connett (1998) identifies some of the toxic emissions of

incineration. These include: hydrogen chloride, nitric oxide, heavy metals, dioxins, furans and other U-POPs,

fly ash, bottom ash, stack gas, fugitive emissions plus other residues. Polythene bags and plastics, including

PVC items, make up approximately 225 tonnes out of the 2000 tonnes of solid waste generated daily in Nairobi

(KAM, 2003). This represents about 11% of total waste generated daily, while 75% comprises biodegradable waste

that can be composted. The remaining percentage is made up of other recyclable materials such as textiles, metal

and glass making up 2.7%, 2.6% and 2.3% respectively. Open burning of municipal waste is widely used by the

residents of Nairobi, as a means of disposing solid waste. 7 The following facts regarding plastics were

identified from literature: • According to KAM, consumers and end users are the ones who cause environmental

pollution from plastics; • Not all plastics emanate from the local industry, some is imported; • The plastics

sector currently constitutes approximately 150 industries, and has an annual growth rate of 6%; • Currently,

there are about 70 firms that recycle plastics locally; and • Plastics contribute 28% of all cadmium found in

municipal solid waste and approximately 32% of all lead; substances that are highly toxic to humans and the

environment in general.
• 14.  Health Effects Because of the persistent and bio-accumulative nature of dioxins and furans, these

chemicals exist throughout the environment. Human exposure is mainly through consumption of fatty foods, such as

milk. USEPA (2000) in Tangri (2003) notes that 90-95% of human exposure to dioxins is from food, particularly

meat and dairy products. This is because dioxins accumulate in fats and oils3. Their health effects depend on a

variety of factors, including the level of exposure, duration of exposure and stage of life during exposure.

Some of the probable health effects of dioxins and furans include the development of cancer, immune system

suppression, reproductive and developmental complications, endocrine disruption (GAIA, 2003; Connett, 1998;

Luscombe and Costner, 2003). The International Agency for Research on Cancer (IARC) has identified 2,3,7,8 –

TCDD as the most toxic of all dioxin compounds. Environmental and Socio-economic Effects The accumulation of

dioxins and furans in the environment owing to waste incineration activities can reach levels that render

resources unfit for human consumption. Connett (1989), cited in Connett (2003), reports of an incident in

Netherlands where 16 dairy farmers downwind of a huge incinerator in Rotterdam could not sell their milk because

it contained three times higher dioxin levels than anywhere else in Netherlands. Even low doses of dioxins are

very toxic. In 1998, the WHO lowered its recommended Tolerable Daily Intake (TDI) of dioxins from 10 picograms

TEQ per kilogram of bodyweight per day (pg/kg/day) to a range of 1-4 pg/kg/day (Van Leeuwen and Younes 1998).

According to studies conducted in Netherlands, prenatal exposure to typical daily intake of dioxins and PCBs has

effects on neurodevelopment and thyroid hormones. Deficits of up to four points in IQ and increased

susceptibility to infections in 42 month old children exposed to typical daily intakes of dioxins/PCBs were

observed (Patandin 1999). Incineration produces residues that require treatment and/or disposal, most often in a

landfill. Incinerator ash – either as bottom ash or fly ash – is highly toxic. Tangri (2003) observes that

handling of this ash raises serious concerns because workers are often exposed to the ash, sometimes with little

or no protective gear. In India just like in Kenya, Toxic Link (2000), notes that incineration is rudimentary

and most incinerators are single chambered with a smoke stack. Major reasons for dioxin emissions from such

waste incinerators are: 8 3 WHO (1999) points out that dioxins are highly persistent for they breakdown very

slowly and have a half-life in human body of about 7 years.
• 15.  • almost all of them burn mixed waste; • due to lack of enforcement and monitoring, most of the hospitals

are incinerating their plastic waste and also waste treated with chlorinated disinfectant; • many of the

incinerators still have single chambers, in spite of the fact that the installation of double (secondary)

chambers is needed to eliminate volatile substances by better combustion; and • most of the incinerators do not

operate under stipulated temperature. Under the regulations, primary chambers should operate at 850º C and

secondary chambers should operate at 1000º C or more. Tangri (2003) has enumerated several problems particular

to transferring incineration technology to the developing countries. These problems include: • lack of

monitoring – no ability to regularly monitor stack emissions or 9 incinerator ash toxicity; • lack of technical

capacity to test releases – not able to conduct tests for dioxins and other pollutants; • lack of secure

landfills for ash – toxic incinerator ash dumped in, at best, an unlined pit, where it runs the risk of

contaminating groundwater. Access to the ash land not controlled; • corruption4; • shortage of trained personnel

– necessary number of trained Manpower to manage incinerator operations; • budgetary constraints – hinder

maintenance and replacement of key incinerator functions; and • differing physical conditions and lack of

robustness of technology – where incinerator technology imported from the west is not appropriate to the

Southern conditions. Other Pollutants from Incineration In addition to dioxins, polychlorinated biphenyls (PCBs)

and Hexachlorobenzene (HCB), incinerators are sources of other halogenated organic compounds, toxic metals and

greenhouse gases to name but a few5. Toxic metals released from incineration activities include: Mercury, Lead,

Cadmium, Arsenic, Chromium, Beryllium, Antimony, and Manganese. Stanners and Bourdeau (1995), cited in Tangri

(2003), give a worldwide atmospheric emissions estimate of trace metals from waste incineration; this is

summarized in the Table 1 below: 4 Where there is corruption the likelihood of installing substandard equipment

for kickbacks is high. 5 [Blumenstock et al (2000) in Tangri, (2003)].
• 16.  10 Table 1. Worldwide atmospheric emissions of trace metals from waste incineration Atmospheric emissions

from waste incineration Metal 1000 tons/year % of total emission Antimony 0.67 19.0 Arsenic 0.31 3.0 Cadmium

0.75 9.0 Chromium 0.84 2.0 Copper 1.58 4.0 Lead 2.37 20.7 Manganese 8.26 21.0 Mercury 1.16 32.0 Nickel 0.35 0.6

Selenium 0.11 11.0 Tin 0.81 15.0 Vanadium 1.15 1.0 Zinc 5.90 4.0 Source: Stanners and Bourdeau (1995), in Tangri

(2003), page 17 Public Opposition to Incineration Waste incineration is unpopular in many countries. In the USA,

for example, since 1985, over 300 trash incinerator proposals have been defeated or put on hold due to public

opposition, and several large engineering firms have pulled out of the incinerator business altogether (Connett

1998). In Michigan, all but one of the 290 medical waste incinerators in the state closed down rather than

attempt to meet federal emissions limits imposed in 1997 (Tangri 2003). Tangri (2003) reports that in 2001

alone, major incinerator proposals were defeated by public opposition in France, Haiti, Ireland, Poland, South

Africa, Thailand, UK, Venezuela. Even in poor countries such as Bangladesh, public opposition to incinerators

has yielded changes. A proposal by an American company to build a power station which would burn trash shipped-

in from New York City to Khulna in Bangladesh was defeated by public opposition (Connett 1998). In 2000, GAIA

was launched. GAIA members work both against incineration and for the implementation of alternatives Tangri

(2003). Kenya Eggs Study A study in early 2005 on egg-sampling by ENVILEAD and Arnika (under the Dioxin, PCBs

and Waste Working Group of IPEN) found eggs collected around the Dandora dumpsite in Nairobi, Kenya, to have

dioxin levels over 6 times higher than the EU dioxins limits for eggs. In addition, the sampled eggs
• 17.  exceeded the proposed WHO limits for PCBs by more than 4-fold (Fig. 2). It is estimated that the Dandora

open dumpsite handles 803,000 tons of waste per year (National inventory of POPs, 2004). Fig. 2: Mean values

(PCDD/Fs) found in Eggs Sampled from Dandora – Kenya, compared with levels in eggs from other contaminated

sites in the world Source: The Egg sampling report by ENVILEAD and ARNIKA (2005) STUDY FINDINGS Basic Findings

The study made several basic findings that will be important in the search for waste management solutions in

Nairobi and elsewhere in the country. Among these are: a. The nature of consumer demand: In the Kenyan market,

where more than half the nation’s population lives below the poverty line, plastic constitutes a very

attractive option as the material of choice for numerous domestic, medical and industrial products. The business

organizations that researchers were able to visit, such as supermarkets and plastics’ manufacturers, confirmed

cost attractiveness of plastic to local consumers. There is therefore a basic market-based challenge to the

problem of waste management, 11
• 18.  comprising rational economic action linking consumers, manufacturers and traders. b. Legal framework and

administrative capacity: Waste is a necessary outcome of any production and consumption process. But in the real

world, the quantity of waste a society produces has implications on the resources the society requires for

managing the same. It is therefore necessary, especially where resources for waste management are very limited,

to institute measures that reduce the overall quantity of waste generated, with a special focus on products such

as plastics that are especially problematic in safe disposal. Proper waste management requires enforcement of

the existing legal provisions. The study established that Kenya has a sound legal framework (EMCA, 1999) for

guiding the utilization of BEP and BAP in waste management. However, the law is not enforced to the letter. It

was established that most health institutions, including KNH, do only rudimentary segregation of waste. Of the

hospitals visited, only Nairobi Hospital and Mater Hospital had a thorough waste segregation system. The

existence of suitable legal guidelines is however only one part of the requirements for a proper system of waste

management. The other part has to do with administrative capacity to enforce such law. The study established

that the City Council, which has the legal responsibility for managing solid waste in the city, has an alarming

lack of administrative capacity for this role. For example, the Dandora dumpsite, which is supposed to be under

the management of the Council, is a veritable health and ecological time-bomb for Nairobi and its environs. 12

General Findings The following were the study’s general findings: I. The level of public awareness on the

adverse effects of waste burning activities and U-POPs among the residents is pathetically low. A majority of

the study’s respondents could not link any ill-health to incineration activities and U-POPs as a major health

threat; II. All the main health institutions in Nairobi such as KNH, Nairobi Hospital, Mater Hospital, and

Forces Memorial Hospital either have their own incinerators or hire the services of one. In addition however

some of the institutions are involved in open air burning. For instance, the biggest hospital in Kenya (KNH)

burns some of its waste mostly consisting paper, plastics, clothing etc – usually considered to be of low risk

– in an open pit in front of the incinerator;
• 19.  III. Open burning of municipal waste is widely used by the residents of Nairobi, as a means of disposing

solid waste. In a survey of two blocks’ area around Pumwani in Eastlands, Nairobi, eight small open air waste

burning sites were counted, all of which had assorted plastics; IV. The incinerator at Kenyatta National

Hospital, which is situated just a few metres upwind from the residential homes of low cadre staff of the

hospital and medical students’ hostels, operates at temperatures between 350°C and 650°C and has no APCD. The

incinerator emits noxious fumes that are carried to the homes and hostels, causing considerable distress to the

residents; 13 Plate: Kenyatta National Hospital open dumpsite: At the background are hospital staff quarters V.

The dioxin-rich bottom ash from incinerators around Nairobi is normally deposited at the Dandora dumpsite; VI.

The Dandora dumpsite constitutes the most prominent, and challenging, manifestation of problems arising out of

the waste-burning pattern of practice in Nairobi; VII. The level of waste recovery, reuse and recycling is

grossly inadequate. For example, only 1% of plastics are recycled (KAM, 2003); VIII. The legal framework

regulating waste burning activities is sound. However, the enforcement of the law is weak; and IX. The Nairobi

City Council lacks the capacity to manage the waste generated in the city effectively; Table 2 below shows a

number of major companies in Nairobi that dump their mixed waste in Dandora dumpsite. It is therefore necessary

for the private sector to be involved in the search for waste management solutions as they are major

contributors of waste.
• 20.  14 Table 2. Waste disposal methods for various major companies in Nairobi Company/organization Contents

of waste Estimated weight in tons/month Method of disposal Jomo Kenyatta International Airport (JKIA) Mixed

aircraft waste 300 Waste dumped in Dandora dumpsite Kenya Revenue Authority staff quarters Household/domestic

waste 285 Waste dumped in Dandora dumpsite Kenya Shell Company (Shell & B.P. House) Commercial waste 60 Waste

dumped in Dandora dumpsite Kenya breweries Household and commercial 200 Waste dumped in Dandora dumpsite NAS

Airport Services Food & food packaging 350 Waste dumped in Dandora dumpsite Swan Industries Commercial &

industrial waste 350 Waste dumped in Dandora dumpsite Kenya Shell aviation Stations Commercial & food waste 72

Waste dumped in Dandora dumpsite Orbit Chemicals Polythene sheet cuttings & plastic drums – • Plastics recycled

• Paper & drum sold • Other waste dumped near Athi River. Source: Kenya National Inventory of POPs (2004)

Findings on Health Effects and Exposure Pathways The study was not able to carry out a comprehensive

investigation into the health consequences of the incinerators and open air burning sites visited. There were

however complaints about chest complications and serious smoke irritation for those living downwind from the KNH

incinerator, as well as from those living around the Dandora dumpsite. The main exposure pathways for any

contamination from the sites visited in the study are: • Inhalation of the pollutants-infested smoke and fly ash

carried across by the wind; • Consumption of animal products such as meat, milk and eggs from animals feeding

within and around the sites; • River water from a river flowing next to the Dandora dumpsite and serving

numerous people downstream on its way to the Indian ocean; and • Ground water reserves affected by leachate from

the Dandora dumpsite. It is worth noting that some categories of people are at higher risks of exposure to

dioxins than others. These include children, infants, some workers, people
• 21.  who eat fish as a main staple of their diet and people who live near dioxin release sites. CHEJ (1999)

observes that these groups are likely to be exposed to at least 10 times as much dioxin as the general

population. CHALLENGES TO THE STOCKHOLM CONVENTION: RESPONSIBLE PARTIES – KENYA POPs and Scientific Development

The existence of POPs worldwide is one of the best illustrations of the Frankenstein nature of scientific and

technological development. While progress in science and technology has greatly increased humanity’s power to

modify its environment for its benefit in ways previously unimagined, the same progress has created threats of

similar magnitude to humanity and the planet as a whole. The last century has been called an “era of chemicals

”, where more than 18 million chemicals were synthesized and about 100,000 of them came into commercial use

(Toxics Link 2000). It was not until the publication of Rachel Carson’s book, “The Silent Spring”, that the

general public’s attention was drawn to the dark side of the chemical revolution. The Stockholm Convention is

in many respects an effort to interpret Carson’s thesis into social action. The broader framework of the

Stockholm Convention’s objectives should be viewed as completing the loop of knowledge in chemistry, through

developing the institutional capacity to control the real and potential danger of chemicals. The realization of

the Stockholm Convention’s mandate would be the coming of age of the chemical revolution. As Isaac Asimov put

it, “The saddest aspect of life right now is that science gathers knowledge faster than society gathers wisdom.

” POPs and Less Organized Countries The above-outlined problems are relevant to Kenya and other Less Organized

Countries (LOCs). In addition though, LOCs face several challenges that are unique to their special

circumstances. Among these is the sheer pressure of survival priorities. The immediacy of hunger, debilitating

disease, social and economic dislocation, and other such concerns that affect large sections of society in LOCs

is such that an issue like that of POPs is unlikely to find a place at the fore of the national agenda. The

psychological environment of desperate social and economic circumstances has a tendency to promote fatalism and

other behavioural tendencies that are not conducive to organized long term action based on people’s faith in

their ability to 15
• 22.  influence the course of their destiny. A good illustration of this is the challenge that the behaviour-

change message in the HIV/Aids campaign in Africa has faced, despite the powerful and very public nature of the

AIDS pandemic. Galvanizing community action for the POPs eradication campaign shall require very well thought-

out strategies, and competent leadership. In addition to the problem of priorities, LOCs face a big challenge of

organizational capacity in the campaign against POPs. The low levels of organizational capacity in LOCs

translate to challenges in administrative competence, financial resources, technological resources, monitoring

ability and other such key requirements for an effective POPs eradication campaign. With sufficient support

there are specific organizations within LOCs that can make a real and positive difference in such a campaign. In

the long run, in order for any major campaign such as that of the Stockholm Convention to be truly successful,

the campaign has to be done in the context of an overall sustainable development strategy. Such a campaign would

have implications going beyond specific issue of POPs. For example, a successful POPs elimination campaign may

need to involve fundamental changes in the agricultural sector, waste management approaches and legislation (as

well as enforcement mechanisms) dealing with chemical safety in general. Such an agenda requires very

considerable organizational capacity both within the public sector and civil society, which is the big challenge

for LOCs. 16 The crippling nature of incinerator debt. Capital costs of incinerator projects for instance, drain

the resources of LOCs and increase their indebtedness through the need for foreign financing to build and

maintain such facilities not forgetting continued reliance on manufactured products from other nations. Instead

of allowing nations to develop new industries and reduce foreign imports, incinerators transform these resources

into smoke and ash. Analysis by a local environmental group in Miljoteknik Zychlin, Poland revealed that the

debt for the US$5million proposed incineration facility would have taken the community of 14,000 residents over

100 years to repay! – Brenda Platt (2004)
• 23.  The Environment and Economy While the growth of science and technology has an important bearing on the

dangers to the environment that the Stockholm Convention and similar other Conventions seek to counter, it is

the market economy that provides the framework within which the power of science and technology can be projected

into the world. As is the case with science, measuring economic development in a one-dimensional manner, purely

in terms of (monetary) returns on investment and not the overall impact of the concerned economic activity on

society and the natural environment, is unsatisfactory. In economics, problems arising from the undesirable

consequences of economic activity that are not captured in the pricing structure of products are called negative

externalities. Negative externalities are those situations arising from economic activity that create costs to

the society that are not reflected in the balance sheets of the concerned businesses. For example, in pricing

its products, a given organization may include the cost of labour, energy, marketing, finance and other such

inputs but leave out the cost (borne by the society) of medical and other costs directly attributable to harmful

effects of the organization’s products. POPs ought to be treated as an aspect of the problem of externalities

in economic theory, and solutions sought within the framework of approaches developed in the discipline of

economics to deal with this problem. ALTERNATIVE PRACTICES Other than incineration, landfilling and composting

are alternative methods of waste disposal used in the country, although to a minimal extent. More often than

not, individuals and community-based organizations (CBOs) are the ones involved in composting biodegradable

waste mostly on a commercial basis. Landfilling is commonly practiced in the smaller health facilities such as

District hospitals, health centers and clinics, but most of these landfills are not built to standard. Other

landfills in the country are situated in Mombasa and Nakuru for municipal waste disposal, built through the

assistance of Agence Francaise de Développement (AFD), a French operation that works through the government.

Alternative Technologies for Hazardous Waste Treatment In developed countries, non-incineration technologies for

hazardous waste treatment are available; these include several processes summarized by Crowe and Schade (2002)

in Tangri (2003) in Table 3. 17
• 24.  18 Table 3. Non-Incineration technologies for hazardous waste treatment Technology Process description

Potential Advantages Current Uses Base Catalyzed Dechlorination Wastes reacted with alkali metal hydroxide,

hydrogen and catalyst material. Results in salts, water and carbon. Reportedly high destruction efficiencies. No

dioxin formation. Licensed in the United States, Australia, Mexico, Japan, and Spain. Potential demonstration

for PCBs through United Nations project. Biodegradation (in enclosed vessel) Microorganisms destroy organic

compounds in liquid solutions. Requires high oxygen/nitrogen input. Low temperature, low pressure. No dioxin

formation. Contained process. Chosen for destruction of chemical weapons neutralent in the United States.

Potential use on other military explosive wastes typically used for commercial wastewater treatment. Chemical

Neutralization Waste is mixed with water and caustic solution. Typically requires secondary treatment. Low

temperature, low pressure. Contained and controlled process. No dioxin formation. Chosen for treatment of

chemical agents in the United State. Electrochemical Oxidation (Silver II) Wastes are exposed to nitric acid and

silver nitrate treated in an electrochemical cell. Low temperature, low pressure. High destruction efficiency.

Ability to reuse/ recycle process input materials. Contained process. No dioxin formation. Under consideration

for chemical weapons disposal in the United States. Assessed for treatment of radioactive wastes.

Electrochemical Oxidation (CerOx) Similar to above, but using cerium rather than silver nitrate. Same as above;

cerium is less hazardous than silver nitrate. Demonstration unit at the University of Nevada, USA. Under

consideration for destruction of chemical agent neutralent waste. Gas Phase Chemical Reduction Waste is exposed

to hydrogen and high heat, resulting in methane and hydrogen chloride. Contained, controlled system. Potential

for reprocessing by-products. High destruction efficiency Used commercially in Australia and Japan for PCBs and

other hazardous waste contaminated materials. Currently under consideration for chemical weapons destruction in

the United States. Potential demonstration for PCB destruction through United Nations project. Solvated Electron

Technology Sodium metal and ammonia used to reduce hazardous wastes to salts and hydrocarbon compounds. Reported

high destruction efficiencies. Commercially available in the United States for treatment of PCBs. Supercritical

Water Oxidation Waste is dissolved at high temperature and pressure and treated with oxygen or hydrogen

peroxide. Contained, controlled system. Potential for reprocessing by-products. High destruction efficiencies.

Under consideration for chemical weapons destruction in the United States. Assessed for use on radioactive

wastes in the United States. Wet Air Oxidation Liquid waste is oxidized and hydrolyzed in water at moderate

temperature Contained, controlled system. No dioxin formation. Vendor claims 300 systems worldwide, for

treatment of hazardous sludges and wastewater Source: Crowe and Schade (2002) in Tangri 2003, page 62
• 25.  From the study, we found out that none of the above stated technologies is used in Kenya. RECOMMENDATIONS

The study proposes the following measures: I. Additional studies should be undertaken to acquire additional and

more detailed information about the waste burning and incineration and its consequences in Kenya. This includes

analysis and quantification of U-POPs 19 in biotic and abiotic systems and their impact on public health; II. In

line with Article 10 of the Stockholm Convention, Public information, awareness and education on U-POPs should

be carried out, for a well informed citizenry will make a big contribution on efforts geared towards

elimination/ and reduction of the U-POPs. Proper education and training in waste management must be offered to

all stakeholders in a way best suites their respective circumstances and builds their understanding and changes

their behaviour accordingly; III. Subsidiary legislation addressing waste incineration should be enacted under

the Environmental Management and Coordination Act (1999). This should guard against indiscriminate burning of

waste; IV. A buy-back scheme for used plastics should be instituted. This should not be difficult to do because

the plastics industry is willing to manage waste sites in all major population areas where the manufacturers

will buy plastic waste from the general public. Such collection centres would be set up and fully funded by the

same manufacturers (KAM, 2003); V. A national campaign, financed by the plastics industry should be launched,

giving the public exact details of where to take their plastic waste for recycling. Supermarket chains should

also be encouraged to allocate bins in their branches where customers can bring back plastic carrier bags and

other items for recycling; VI. A zero waste program should be introduced immediately and eventually developed

into policy. It has been tried and tested in other countries and it is rapidly gaining acceptance the world

over. Within the zero waste program, there should be a rigorous national campaign lobbying for an end to open

burning and incineration of waste and in particular waste that contains PVC; VII. Waste segregation at source

should be the standard practice in all households and medical facilities. The current waste management practice

in which waste materials are all mixed together as they are generated, collected, transported and finally

disposed of should be stopped. If proper segregation is achieved through training, clear standards, and tough

enforcement, then resources can be turned to the
• 26.  management of the small portion of the waste stream needing special treatment6; VIII. A policy of

Extended Producer Responsibility (EPR) should be put in place. The basic concept of EPR is that firms must take

responsibility for their products over their entire life cycles (Tangri 2003). This is in harmony with the

“Polluter Pays” principle of the Stockholm Convention; IX. Statutory regulations to force manufacturers to use

at least 15% recycled plastics in their non-food products should be imposed. In this way demand for plastic

waste will be created therefore leaving little if anything for disposal. Since to install capacity for recycling

is expensive however, the plastics’ industry should be given tax incentives for the exercise; X. Cleaner

production based on a circular vision of the economy should be encouraged. Cleaner production aims at

eliminating toxic wastes and inputs by designing products and manufacturing processes in harmony with natural

ecological cycles (Tangri 2003); XI. Product bans ought to be made for certain categories of manufactures.

Products and packaging that create waste problems (non-recyclable or hazardous- such as polyvinyl chloride –

PVC) for the society should not be allowed to enter into the economy. Bans are appropriate for materials that

are problematic at every stage of their lifecycles (Ryder 2000 in Tangri 2003); XII. Infrastructure for the safe

disposal and recycling of hazardous materials and municipal solid waste should be developed. Approximately 50%

of all waste is organic, and can therefore be composted. Another large segment of the remainder can be recycled,

leaving only a small portion to be disposed. The remaining portion can then be disposed through sanitary

landfills, sewage treatment plants, and other technologies. To ensure continuity and clarity in the proposed

recommendations, clear plans and policies on management and disposal of waste should be developed. This should

be followed by integrating them into routine workers’ training, continuing education and evaluation processes

for systems and personnel. Involvement of all stakeholders including public interest NGOs and other civil

society in developing and implementing a waste management scheme is necessary for successful implementation of

the Stockholm Convention. 20 6 Platt and Seldman (2000), show how comprehensive waste composting, reuse and

recycling programmes generate ten times as many jobs per tonne of municipal waste as do incinerators.
• 27.  CONCLUSION The burning of waste as a method of waste disposal in Nairobi clearly constitutes a pattern of

practice which contributes to the release of U-POPs into the environment. As suggested by the term “pattern”,

this practice is a complex process involving economic factors, people’s attitudes, governance issues and other

such components. It is a matter requiring detailed study and much creative effort to address satisfactorily. In

its broader context, the issue of waste management is an aspect of the challenge of sustainable development.

Inability to deal with waste in such a way as it does not harm people or the environment is an indication of an

ecologically unsustainable system of social organization. The challenge of sustainable development is to design

an economic and technological system that is in harmony with ecological principles. The current dominant system

of economic and technological organization in the world is powerful and in many respects very successful. It is

however not a sustainable system and in fact constitutes a veritable danger to the survival of life in the

planet. There is need to review some of the system’s most basic organizational principles, as a way out of the

dangerous trajectory it has set for humanity. The poorly formed social structures and systems in LOCs,

especially in sub- Saharan Africa, may ironically make the best hope for the development of fresh, ecologically

sustainable development approaches. LOCs have the opportunity to build their houses with the special benefit of

a wealth of knowledge of the successes, and follies, of the past. LOCs should proceed to build their societies

with energy and enthusiasm, but with the clear understanding that humanity cannot stand outside, or above, the

ecological order that sustains all other life in the planet. 21
• 28.  REFERENCES 1. Alcock R., Gemmill R. and Jones K. (1998), “An updated PCDD/F atmospheric emission

inventory based on recent emissions measurement programme” in Organologen compounds, Vol. 36, pp 105 -108 2.

CHEJ (1999) America’s Choice; Children’s Health or Corporate profit. The American People’s Dioxin Report by

Center for Health, Environment and Justice – www.essential.org/cchw 3. Connett Paul (1998) “Municipal Waste

Incineration: A poor solution for the 21st Century” 4th Annual International Management Conference. Waste – to

– Energy, Nov 24 -25, 1998, Amsterdam. 22 4. Crowe Elizabeth and Schade Mike (June 2002) Learning Not to Burn:

a Primer for Citizens on Alternatives to Burning Hazardous Waste. 5. Daiy Nation, July 15 2005” National AIDS

Control Council: Request for Expressions of Interest Consultant Services- the Kenya HIV/AIDS Disaster Response

Project”` 6. East African standard, June 6 2004: ”Filth is choking up Kenya and pushing the country to the

blink of an Environmental catastrophe” Nairobi. 7. Government of Kenya, 1999, Environmental Management and

Coordination Act (EMCA),1999, Nairobi: Government printers. 8. Government of Kenya, 2000, National Human

Population and Housing Census 1999, Nairobi: Government printers. 9. IPEN, Arnika and ENVILEAD, 2005:

Contamination of Eggs from the Sorroundings of Dandora Dumpsite by Dioxins, PCBs and HCBs; ”Keep the Promise,

Eliminate POPs” campaign reports. 10. KAM (Plastic Sector) Position Paper to NEMA, July 2003. 11. Kenya

National Inventory of Persistent Organic Pollutants under the Stockholm Convention, final report (Unpublished).

12. Luscombe Darryl and Costner Pat, (1998) Technical Criteria for the Destruction of Stockpiled Persistent

Organic Pollutants; Greenpeace International Science Unit. 13. Nairobi City Council 2002: A Survey on medical

Waste in Nairobi (unpublished report) 14. Patandin S. (1999) Effects of environmental exposure to

polychlorinated biphenyls and dioxins on growth and development in young children, A prospective follow-up study

of breast-fed infants from birth until 42 months of age. Thesis, Erasmus University, Rotterdam. 15. Stanners D.

and Bourdeau P. (1995) Europe’s Environment, The Dobris Assessment, Copenhagen: European Environment Agency.

16. Stockholm Convention on Persistent Organic Pollutants (POPs) (www.pops.int) 17. Tangri Neil (2003), Waste

Incineration: A Dying Technology: Essential Action for GAIA: www.no-burn.org 18. Toxics Link (2000) Trojan

Horses: Persistent organic Pollutants in India. Delhi: Toxics Link.
• 29.  19. UNEP (Nairobi): Plastic bag ban in Kenya proposed as part of the New 23 waste strategy” Press

release February 23, 2005. 20. University of Nairobi Enterprises and Services Limited (UNES): National Inventory

of Persistent Organic Pollutants (POPs) under Stockholm Convention. 2004. 21. USEPA (1998) The Inventory of

Sources of Dioxins in the United States, USEPA, Office of Research and Development, EPA/600/P-98/002Aa. External

Review Draft, April. 22. USEPA, Dioxin: Summary of the Dioxin Reassessment Science, 2000a. 23. USEPA (2000)

Exposure and Human Health Reassessment of 2,3,7,8- Tetrachlorodibenzo-p-Dioxin (TCDD) and Related Compounds,

Part I: Estimating Exposure to Dioxin Like Compounds, Volume 2: Sources of Dioxin Like compounds in the United

States, Draft Final Report EPA/600/P-00/001Bb, (http://www.epa.gov/ncea ). 24. Van Leeuwen F and Younnes M.

1998, WHO revises the TDI in for dioxins. In organohalogen compounds, Vol. 38, pp 295 -298; 1998.
• 30.  24 ANNEX 1: MAPS 1. Map of Kenya Note Nairobi’s position and the other major towns (the red dots) which

could have similar environmental challenges.
• 31.  25 2. Map of Nairobi The brown patch at the center of White square is the heart of Nairobi. Note the

Nairobi River, which joins the Athi River on the way to the Indian Ocean.
• 32.  26 ANNEX 2: PLATES 1. Dandora dumpsite This is the Western edge of the Dandora dumpsite. The houses in

the foreground are part of the Korogocho slums. In the background is lucky-summer estate. The dumpsite is

surrounded by densely populated residential quarters. 2. Kitengela Town Dump Notice the persons in the way of

the smoke. These are scavengers at the site who work in this environment on a daily basis.
• 33.  27 3. Waste content of the dumpsites Typical contents of dumpsites around Nairobi. Notice the high

proportion of plastics. 4. Medical Waste awaiting incineration (KNH) The maximum temperature of the hospital’s

incinerator on the right is 700ºC
• 34.  28 5. The Nairobi river (foreground) flowing past the Dandora Dumpsite Note the mountain of burnt ashes

in the background

 

by: http://www.slideshare.net/anhtungdx/envilead-2005-a-study-on-waste-incineration

Demonstrators gather to protest Poolbeg Incinerator

Up to 100 people are expected to arrive at the Dáil this evening to express their anger at the building of the Poolbeg Incinerator.

Work on the €600m project in Dublin has started, seven years since planning permission was granted.

Frances Corr from Combined Residents Against Incineration says they are getting support from the whole city.

Ms Corr said: “We have huge support from the whole of Dublin city, but in particular from Clonfarf, Marino and the coastal areas, as they can actually see it as they look across the bay.

“They are just waking up to how large this is. Also, they’ve been looking at the whole issue of the traffic in and out and the hours that will be worked.”

Waste Incinerators for Livestock and Hatchery Operations in the Republic of Congo

Supplying Waste Incinerators for Livestock and Hatchery Operations in the Republic of Congo

As part of ongoing efforts to modernize agricultural and veterinary waste management, the Ministry of Agriculture, Livestock and Fisheries of the Republic of Congo has expressed interest in acquiring a biological waste incinerator suitable for handling complex waste streams generated from livestock and hatchery operations.
This includes non-hatched chicks, infertile eggs, placentas, animal carcasses, and pathological waste—all classified as high-risk biological waste requiring safe, controlled destruction.


Proposal from HICLOVER

Requirement Proposed by HICLOVER
Model TS100 or equivalent – Yes, we recommend Model TS100
Capacity ~100 kg per cycle – Yes, designed for 100–150 kg per feeding, particularly for animal waste
Preferred fuel Mixed (Diesel + Electric power supply) – Yes, our incinerators support diesel burners with electric controls
Destination Port of Pointe-Noire, Republic of Congo – Yes, shipping and logistics can be arranged directly

The TS100 is a robust, dual-chamber incinerator engineered for biological waste, featuring:

  • High combustion temperature (>850°C in secondary chamber) to ensure pathogen destruction.

  • Diesel-fueled primary combustion supported by an electric PLC control system.

  • Average throughput designed for ~100 kg per batch, scalable based on feeding frequency.

  • Heavy-duty refractory lining to withstand daily agricultural and hatchery operations.


Waste Incineration Needs in the Republic of Congo

The Republic of Congo, like many Central African countries, faces increasing demand for environmentally compliant biological waste disposal, especially in:

  • Large-scale poultry hatcheries dealing with non-hatched chicks and infertile eggs.

  • Veterinary laboratories and livestock operations generating pathological waste, animal carcasses, and placental remains.

  • Slaughterhouses and meat processing units.

Historically, many farms and facilities relied on open burning or simple single-chamber brick incinerators. These older methods:

  • Fail to reach the high temperatures required for complete pathogen destruction.

  • Produce visible smoke, odor, and significant particulate emissions.

  • Do not comply with modern environmental and veterinary health standards.


Import and Market Trends

The Republic of Congo largely imports incinerators due to limited local manufacturing capacity for specialized equipment. Over the past five years, government ministries, NGOs, and private agribusinesses have procured:

  • Small and medium-sized dual-chamber diesel-fired incinerators.

  • Mobile or containerized units for field use in remote agricultural zones.

  • Incinerators with electronic controls and better emissions management.

Growing urbanization, stricter veterinary regulations, and international support (from FAO, OIE, and development banks) have accelerated this trend.


Why Choose HICLOVER TS100 for Agricultural Biological Waste?

Technical advantages:

  • Specifically engineered for dense organic waste like poultry and livestock remains.

  • Dual combustion chambers to reduce smoke and odor.

  • Flexible installation: can be fixed, skid-mounted, or containerized.

  • Electric-powered control panel with temperature monitoring and auto-start.

Operational benefits:

  • Average capacity per batch suits medium-scale hatcheries and livestock operations.

  • Fast burning cycle keeps pace with daily waste generation.

  • Heavy refractory lining ensures durability, even with high-moisture animal waste.

Environmental compliance:

  • Meets WHO and FAO recommendations for biological waste disposal.

  • High-temperature combustion significantly reduces pathogen load and odor.

  • Ash volume reduced to less than 5–10% of original waste volume.


Shipping and Support

HICLOVER can arrange direct delivery to Port of Pointe-Noire, Republic of Congo, the country’s principal seaport.
We also offer:

  • On-site installation guidance.

  • Operator training.

  • Spare parts and after-sales technical support.


By selecting the TS100 biological waste incinerator, the Ministry of Agriculture, Livestock and Fisheries of the Republic of Congo—and other agricultural stakeholders—can:

  • Improve farm and hatchery biosecurity.

  • Meet modern veterinary health standards.

  • Reduce environmental impact compared to open burning.

For detailed technical specifications, price quotations, or references from similar African projects, please visit:
www.hiclover.com
sales@hiclover.com

HICLOVER – providing reliable, high-temperature waste treatment solutions for agriculture, veterinary, and medical sectors across Africa.


Mobile: +86-13813931455(WhatsApp)

Email:     sales@hiclover.com     

Mine Spews Toxic Fumes: NWT Air Regulations Not in Place

Snap Lake Mine, 220 kilometres northeast of Yellowknife, where elevated levels of dioxins and furans were pumped into the air. | Photo Fire Prevention Services

Last July, two incinerators at De Beers’ Snap Lake Mine were belching out clouds of black smoke, one sending an average of 65 times the accepted national limit of cancer-causing toxins into the air.

The hugely elevated levels of dioxins and furans — released when plastic is burned or garbage is not fully incinerated — were recorded during a four-day “stack test.” According to the World Health Organization, “dioxins are highly toxic and can cause reproductive and developmental problems, damage the immune system, interfere with hormones and also cause cancer.” The Canada-Wide Standards recommends emission levels for dioxins and furans not exceed 80 picograms per cubic metre. The company contracted to do the testing at Snap Lake found that one of the mine’s incinerators was emitting 6.5 times the acceptable limit, while the other incinerator was emitting a whopping 65 times the acceptable limit (5,220 picograms per cubic metre on average, as

emission

 

It’s unclear how long this was going on for, though the report noted the problem was clearly visible: “Black opaque smoke was noted for all tests early in the incineration cycle.”

De Beers did not respond to EDGE’s request for an interview by the time of publication. However, according to a letter from De Beers’ Environment and Permitting Superintendent, Alexandra Hood, sent to the GNWT and Environment Canada in January, the root cause of the problem was “not following standardized work practices,” and running the incinerators, which were only installed in 2013, at too low a temperature.

Since flunking the test, De Beers has retrained staff, rewritten operating procedures and brought in new policy to shut down the incinerators if they’re not meeting the correct temperatures (if it’s safe to do so), according to Hood’s letter. An inspection of the Snap Lake incinerators by a GNWT Lands Officer in March suggests De Beers has ameliorated the problem, at least in part: “No concerns were noted during this inspection,” it states, and “the west incinerator which was burning waste at the time of inspection was emitting clear exhaust gas with no black smoke coming from the stack.”

Whether or not sufficient steps have been taken, however, won’t be known for years: the next stack test is not scheduled until 2019, according to a source close to the issue wishing to remain anonymous.

No GNWT regulation

The fact that, for an undetermined period of time around July 2014, the Snap Lake incinerators were pumping out unacceptable levels of toxic emissions is troublesome in itself. But it points to a much larger problem in the territory; the GNWT does not regulate emissions, require companies to meet the CWS, or mandate stack testing. (The Mackenzie Valley Land and Water Board, likewise, does not regulate air emissions.)

At several points in her letter, Hood notes the lack of regulation, claiming De Beers “will conform with any regulatory requirements regarding incinerator stack testing once enabling legislation is developed and approved in the NWT.”

Without legislation in place, there is nothing to force De Beers or other groups using incinerators (i.e. every single mine in the territory), to keep their emissions at a safe level or undertake stack testing on a regular basis. Each mine has an Air Quality and Emissions Management Plan as part of its environmental agreement, but these plans only dictate reporting requirements, not actual emission targets. And while Hood claims “deficiencies, as measured against the Canada Wide Standards, will be managed through adaptive management and continuous improvement by De Beers,” there’s little government oversight of this “continuous improvement” and no fines or other mechanisms to force polluting companies to remedy their ways.

This problem has been going on for years. According to a Canadian Press report from 2011, the scientific journal Integrated Environmental Assessment and Management found sediments in a lake near the Ekati Mine that had levels of dioxins and furans 10 times higher than those collected from an uncontaminated lake. The same report cited a 2007 study commissioned by Environment Canada which suggested “extensive, uncontrolled burning of wastes could result in substantial accumulations of dioxins and furans in the local ecosystem, some of which will persist for some 8½ years at levels approaching those considered to be of toxicological concern.”

“In most cases we’re below the level that health agencies would (watch) for…” the study continues, “but we’re getting there. And if you have more incinerators and more burning, you may well exceed those levels.”

The GNWT’s Department of Environment and Natural resources did not return EDGE’s request for comment on the lack of regulation.

Why no regulation?

Back in 2001, the GNWT did sign on to the Canada-Wide Standards of dioxins and furans with all other provinces and territories (except Quebec) as part of a national Accord on Environmental Harmonization.

The document says: “Parties are required to take measures to reduce total releases from anthropogenic sources of dioxins, furans… with the goal of their continuing minimization and where feasible (technically and socio-economically), ultimate elimination.” However, it adds, “each jurisdiction will determine the exact means of ensuring compliance” – basically defanging the document by letting provinces and territories renege on their commitment with no repercussions.

Other jurisdictions have taken proactive steps, bringing in legislation to regulate emissions in line with the CWS. The GNWT has not. They did bring in guidelines for managing biomedical waste in 2005, but they have been unwilling to regulate incinerators at mine sites. Their reason? The “waste incinerators operating at remote industrial sites within the NWT… are located on federal crown land and are not regulated by the Government of the Northwest Territories,” says a report from 2009.

This may have been true in 2009, but post-devolution it’s no longer the case. Since April of last year, the mines are on land managed by the GNWT, yet there have been no moves from legislators to start regulating toxic emissions from mine or other industrial incinerators. The last time the issue was discussed in the legislative assembly in 2011, Weledeh MLA Bob Bromley said a “loophole in environmental rules is allowing a growing number of unregulated waste incinerators to release extremely toxic chemicals into the land and water.” He suggested, “when we take on new powers, we must be ready to move with new law.”

Devolution has come, and incinerators are still operating in an unregulated environment. With all the talk of fracking and opening up new mining projects in the territory, it’s now time, more than ever, for the GNWT to get its act together.

 

from: https://edgeyk.com/article/mine-spews-toxic-fumes-nwt-air-regulations-not-in-place/