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Swakopmund Municipality intends to apply town planning procedures for the permanent closure of Erf 3352 as a Public Open Space and Rezoning Erf 3352 and Erf 3346 from POS and Institutional respectively to Local Business with Bulk 1.0. In terms of Schedule 5.1 of the Environmental Management Act (Act No. 07 of 2007), () and its regulations (GN No. 30 of 2012), the rezoning of land zoned Public Open Space to any other land use cannot be undertaken without an Environmental Impact Assessment being undertaken.
Change of land use from residential to business. In the immediate short term, the owners intend to convert the existing flat building into offices with the required on-site parking. In the long term, the existing buildings will be demolished and a three-storey building could be developed with each floor potentially comprising the following land uses: Ground Floor: Offices and/or Retail/Shops; First Floor: Offices/Apartments; Third Floor: Apartments No site development plan has been prepared to date.
Renewal application: Renewal of Environmental Clearance Certificate (ECC) for the ongoing operations of the salt works and associated activities. WBSH currently produce approximately 1 million metric tonnes of high quality NaCl from seawater per annum that is distributed to various clients locally and exported to other markets. The total project site, including evaporation ponds, covers an area of ~ 5 000 ha. Salt is transported by truck from the plant to the harbour in Walvis Bay.
Namibia Bulk Infrastructure and Grid Solutions, intends on having an Environmental Management Plan (EMP) in place, prior to the commencement of the construction and upgrading of Winnie Mandela Road, located in Windhoek, Namibia. The project area extends from the intersection of Monte Christo Road and Winnie Mandela Road, up to the intersection of C28 (Daan Viljoen Road) and Winnie Mandela Road, covering 6.2 km. The anticipated timeframe for the construction and upgrading activities is 18 - 20 months.
The ECC is for the operation and Maintenace of Hakahana Lacho Power Gas CC that will lease land from Tran-Namib Holdings Ltd at Windhoek Container Terminal point to operate a storage and distribution gas facility (Depot) i.e., receiving Iso Tank from the port of Walvisbay via a train, to the Depot in Northern industrial area (proposed site) and from there they will be loaded into trucks for distribution to the sales points around the country, and The Southern African Development Community (SADC) countries.
Attachment | Size |
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4979_Contingency Plan_Hakahana Lacho Power Gas CC.pdf | 1008.97 KB |
4979_Declaration of Authorship_Hakahana Lacho Power Gas CC.pdf | 32.56 KB |
4979_Consent Letter_Hakahana Lacho Power Gas CC.pdf | 230.01 KB |
4979_Map_Hakahana Lacho Power Gas CC.pdf | 104.12 KB |
4979_Screening Notice_Hakahana Lacho Power Gas CC.pdf | 224.51 KB |
4979_CV_Hakahana Lacho Power Gas CC.pdf | 57.04 KB |
Mr. Michael I. T. Petrus (herein referred to as the proponent), is a Namibian citizen with vested interest in mineral exploration and mining development. Mr. Petrus aims at prospecting and eventually developing mining ventures in respect to Base and Rare Metals and Semi-Precious Stones. Mr. Petrus seeks to undertake her mineral exploration and mining development on Mining Claims (MCs 75181 - 75188) South-west of Karibib in the Karibib Rural Constituency on / within Farm Utusis No. 75.
The applicant intends to mine manganese on the mining license. The Environmental Regulations procedure (GN 30 of 2012) stipulates that no mineral exploration and mining activities may be undertaken without an environmental clearance certificate. The proposed prospecting activities are listed in the Environmental Management Act, 2007, (Act No. 7 of 2007) and the EIA Regulations 30 of 2012 and cannot be undertaken without an Environmental Clearance Certificate (ECC).
KK Construction cc intends to apply for an Environmental Clearance Certificate (ECC) for the Remainder Farm Oniipa Town and Townlands No. 1164 into portion A and Remainder, for the Establishment of a Township. The Oniipa Town Council is a relatively new Local Authority and is receiving a keen interest from investors with the present demand for land delivery for housing and commercial development purposes.
The applicant intends to mine dimension stones blocks on the mining license. The applicant intends to quarry dimension stone blocks for building purposes. The Environmental Regulations procedure (GN 30 of 2012) stipulates that no mineral exploration and mining activities may be undertaken without an environmental clearance certificate. The proposed prospecting activities are listed in the Environmental Management Act, 2007, (Act No. 7 of 2007) and the EIA Regulations 30 of 2012 and cannot be undertaken without an Environmental Clearance Certificate (ECC).
Attachment | Size |
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4544_SR_ML 260_Karas Region.pdf | 2.97 MB |
4544_EMP_ML 260_Karas Region.pdf | 556.25 KB |
4544_MME Consent_ML 260_Karas Region.pdf | 320.38 KB |
4544_Proof of Consultation_ML 260_Karas Region.pdf | 1.67 MB |
4544_Map_ML 260_Karas Region.pdf | 366.49 KB |
4544_NHC Consent_ML 260_Karas Region.pdf | 372.77 KB |
4544_Screening Notice_ML 260_Karas Region.pdf | 245.33 KB |
4544_CV_ML 260_Karas Region.pdf | 359.76 KB |
The applicant intends to mine dimension stones blocks on the mining license. The applicant intends to quarry dimension stone blocks for building purposes. The Environmental Regulations procedure (GN 30 of 2012) stipulates that no mineral exploration and mining activities may be undertaken without an environmental clearance certificate. The proposed prospecting activities are listed in the Environmental Management Act, 2007, (Act No. 7 of 2007) and the EIA Regulations 30 of 2012 and cannot be undertaken without an Environmental Clearance Certificate (ECC).
Attachment | Size |
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4543_SR_ML 259_Karas Region.pdf | 3.1 MB |
4543_EMP_ML 259_Karas Region.pdf | 562.99 KB |
4543_MME Application_ML 259_Karas Region.pdf | 352.96 KB |
4543_Proof of Consultation_ML 259_Karas Region.pdf | 1.67 MB |
4543_Map_ML 259_Karas Region.pdf | 462.19 KB |
4543_NHC Consent_ML 259_Karas Region.pdf | 352.45 KB |
4543_Screening Notice_ML 259_Karas Region.pdf | 246.63 KB |
4543_CV_ML 259_Karas Region.pdf | 359.76 KB |
The Environmental Clearance Certificate for the operation, maintenance and upgrade of an existing Gerus - Gerus earth electrode line, station and other associated infrastructures in Otjozondjupa Region. The purpose of the earth electrode line and stations is to provide a current path when the 350 HVDC line is operated on earth mode. The 350 HVDC line may be operated under certain conditions in "earth return" mode. The 350 HVDC line may be operated under certain conditions in "earth return" return due to significant savings in power losses.
The proponent (Divundu Village Council) is of the intention to expand the existing village by establishing two (2) new extensions in the Village of Divundu (Portion A and B). The layouts of the proposed two extensions will make provision for a wide variety of land uses. The establishment of the new extensions will ease the shortage of housing in the village of Divundu and make more serviced land available. In order to finalize the planning actions and as part of the application, an Environmental Clearance Certificate should be obtained.
The ECC is for the operation and maintenance of the existing 330kV Ruacana - Kunene - Omburu transmission line and other associated infrastructures. Under the Environmental Management Act (Act 7 of 2007) section 27 the activity described as "energy distribution, transmission and generation" requires an Environmental Clearance Certificate (ECC) as it is a listed activity. The 330kV Ruacana - Kunene - Omburu transmission line, was constructed before the promulgation of the Environmental Management Act (Act 7 of 2007) and its regulations, thus it did not obtain an ECC.
The ECC is for the operation and maintenance of an existing 220kV Rössing– Lithops transmission line including Rössing substation and other associated infrastructures Under the Environmental Management Act (Act 7 of 2007) section 27 the activity described as "energy distribution, transmission and generation" requires an Environmental Clearance Certificate (ECC) as it is a listed activity. NamPower would therefore like to apply for the issue ECC for 220kV Rössing– Lithops in order to comply with the Environmental Management Act (Act 7 of 2007) and its regulations.
The ECC is for the operation and maintenance of an existing 132kv Trekkopje - Wlotzka Transmission line including Wlotzka, Dolerite, Lichen Substations And other associated Infrastructure. Under the Environmental Management Act (Act 7 of 2007) section 27 the activity described as "energy distribution, transmission and generation" requires an Environmental Clearance Certificate (ECC) as it is a listed activity.
The ECC is for the operation and maintenance of existing 132kv Lithops - Husab 1 and 2 transmission lines and other associated infrastructures. The construction of the 132kV Lithops - Husab 1 and 2 transmission lines was part of the ECC issued to Husab Mine. However, the powerline belongs to NamPower and would therefore like to apply for the ECC for the operation and maintenance of an existing 132kv Lithops - Husab 1 and 2 transmission lines in order to comply with the Environmental Management Act (Act 7 of 2007) and its regulations.
The ECC is for the operation and maintenance of an existing 220kv Khan – Rossing transmission line. Under the Environmental Management Act (Act 7 of 2007) section 27 the activity described as "energy distribution, transmission and generation" requires an Environmental Clearance Certificate (ECC) as it is a listed activity. The 220kV Khan - Rossing was constructed before the promulgation of the Environmental Management Act (Act 7 of 2007) and its regulations.
The ECC is for the operation and maintenance of an existing 66kV Van Eck – Osona transmission line including Osona T-off - Von Bach base and other associated infrastructures. Under the Environmental Management Act (Act 7 of 2007) section 27 the activity described as "energy distribution, transmission and generation" requires an Environmental Clearance Certificate (ECC) as it is a listed activity. NamPower would therefore like to apply for the issue ECC for 66kV Van Eck– Osona in order to comply with the Environmental Management Act (Act 7 of 2007) and its regulations.
The ECC is for the operation and maintenance of an existing 132kV Schlangkopf T-off - Schlangkopf transmission line including Schlangkopf substation and other associated infrastructures. Under the Environmental Management Act (Act 7 of 2007) section 27 the activity described as "energy distribution, transmission and generation" requires an Environmental Clearance Certificate (ECC) as it is a listed activity.
The ECC is for the operation and maintenance of the existing 132kV Omatando - Okatope transmission line. Under the Environmental Management Act (Act 7 of 2007) section 27 the activity described as "energy distribution, transmission and generation" requires an Environmental Clearance Certificate (ECC) as it is a listed activity. This transmission line was constructed before the promulgation of the Environmental Management Act (Act 7 of 2007) and its regulations.
The ECC is for the operation and maintenance of an existing 66kV Okapya – Efundja transmission line including Okapya and Efundja substations and other associated infrastructures. Under the Environmental Management Act (Act 7 of 2007) section 27 the activity described as "energy distribution, transmission and generation" requires an Environmental Clearance Certificate (ECC) as it is a listed activity. The 66kV Okapya – Efundja transmission line was constructed was constructed before the Environmental Management Act (Act 7 of 2007) and its regulations.
The ECC is for the operation and maintenance of an existing 66kV Omatando - Oshakati 1 transmission line. Under the Environmental Management Act (Act 7 of 2007) section 27 the activity described as "energy distribution, transmission and generation" requires an Environmental Clearance Certificate (ECC) as it is a listed activity. This transmission line was constructed before the promulgation of the Environmental Management Act (Act 7 of 2007) and its regulations.
The ECC is for the operation and maintenance of an existing 66kV Bismarck – Naruchas transmission line including Groot Aub - Oamites T-off line and other associated infrastructures. Under the Environmental Management Act (Act 7 of 2007) section 27 the activity described as "energy distribution, transmission and generation" requires an Environmental Clearance Certificate (ECC) as it is a listed activity. The 66kV Bismarck – Naruchas, was constructed before the Environmental Management Act (Act 7 of 2007) and its regulations.
The ECC operation and maintenance of the 66kV Hardap – Stampriet transmission line including Stampriet substation and other associated infrastructures. Under the Environmental Management Act (Act 7 of 2007) section 27 the activity described as "energy distribution, transmission and generation" requires an Environmental Clearance Certificate (ECC) as it is a listed activity. The 66kV Hardap - Stampriet, was constructed before the Environmental Management Act (Act 7 of 2007) and its regulations.
The ECC is for the operation and maintenance of an existing 400kv Kokerboom - Obib transmission line. Under the Environmental Management Act (Act 7 of 2007) section 27 the activity described as "energy distribution, transmission and generation" requires an Environmental Clearance Certificate (ECC) as it is a listed activity. NamPower would therefore like to apply for the ECC for 400kV Kokerboom – Obib transmission line in order to comply with the Environmental Management Act (Act 7 of 2007) and its regulations.
The ECC is for the operation and maintenance of an existing 132kv Lithops – Walmund transmission lines. Under the Environmental Management Act (Act 7 of 2007) section 27 the activity described as "energy distribution, transmission and generation" requires an Environmental Clearance Certificate (ECC) as it is a listed activity. NamPower would therefore like to apply for the issue of the ECC for 220kV Lithops - Walmund in order to comply with the Environmental Management Act (Act 7 of 2007) and its regulations.
The ECC is for the operation and maintenance of an existing 220kV Khan – Trekkopje transmission line including Trekkopje Substation and other associated infrastructures. Under the Environmental Management Act (Act 7 of 2007) section 27 the activity described as "energy distribution, transmission and generation" requires an Environmental Clearance Certificate (ECC) as it is a listed activity.
The ECC is for the operation and maintenance of existing 220kV Harib - Aggeneis 1 and 2 transmission lines. Under the Environmental Management Act (Act 7 of 2007) section 27 the activity described as "energy distribution, transmission and generation" requires an Environmental Clearance Certificate (ECC) as it is a listed activity. The 220kV Harib - Aggeneis 1 and 2 transmission lines were constructed before the Environmental Management Act (Act 7 of 2007) and its regulations.