ABS 192-2013 GUIDANCE NOTES ON BIOFOULING MANAGEMENT PLANS.pdf

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1、 Guidance Notes on Biofouling Management Plans GUIDANCE NOTES ON BIOFOULING MANAGEMENT PLANS JANUARY 2013 American Bureau of Shipping Incorporated by Act of Legislature of the State of New York 1862 Copyright 2013 American Bureau of Shipping ABS Plaza 16855 Northchase Drive Houston, TX 77060 USA ii

2、ABSGUIDANCE NOTES ON BIOFOULING MANAGEMENT PLANS .2013 Foreword Foreword While the adoption of the International Convention for the Control and Management of Ships Ballast Water & Sediments, 2004 (BWM Convention) represents a significant commitment by the IMO Member States to reducing the spread of

3、harmful species and pathogens, studies have indicated that biofouling of ships can also contribute to the spread of potentially invasive organisms. Noting the potential for invasive aquatic species to be transferred through biofouling, Administrations and the IMO, respectively, have established Regu

4、lations and Guidelines aimed at reducing the risk of the transfer of invasive aquatic species via biofouling. In association with the various management practices contained within these Regulations and Guidelines, Administrations and the IMO have recommended the development, implementation, and peri

5、odic review of a Biofouling Management Plan. IMO Resolution MEPC.207(62) contains Guidelines that recommend every ship have a Biofouling Management Plan and a Biofouling Record Book onboard. In and of themselves, these Guidelines are not mandatory. However, regular reference should be made to the la

6、test requirements of individual States to determine the scope of implementation to ships entitled to fly the flag, and to ships operating in the jurisdictional waters, of that State. To assist the marine industry, ABS is issuing these Guidance Notes and Template to provide practical assistance to sh

7、ip masters, operators and owners, shipbuilders, ship cleaning and maintenance operators, and other interested parties in the development of a Biofouling Management Plan. The text of these Guidance Notes and Template is intended to complement current maintenance practices carried out within the indus

8、try. These Guidance Notes become effective on 15 January 2013. Users are advised to check periodically on the ABS website www.eagle.org to verify that this version of these Guidance Notes is the most current. We welcome your feedback. Comments or suggestions can be sent electronically by email to rs

9、deagle.org. ABSGUIDANCE NOTES ON BIOFOULING MANAGEMENT PLANS .2013 iii Table of Contents GUIDANCE NOTES ON BIOFOULING MANAGEMENT PLANS CONTENTS SECTION 1 Introduction 1 1 General . 1 1.1 Biofouling Management Plan . 1 1.3 Biofouling Record Book . 2 1.5 Biofouling Management Plan Template . 2 SECTION

10、 2 Regional Requirements . 3 1 General . 3 3 United States of America 3 3.1 U.S. Coast Guard 3 3.3 U.S. Environmental Protection Agency . 3 3.5 State of California 5 APPENDIX 1 Contents of a Biofouling Management Plan . 6 This Page Intentionally Left Blank ABSGUIDANCE NOTES ON BIOFOULING MANAGEMENT

11、PLANS .2013 1 Section 1: Introduction SECTION 1 Introduction 1 General IMO Resolution MEPC.207(62) contains Guidelines that recommend every ship have a Biofouling Management Plan and a Biofouling Record Book onboard. In and of themselves, these Guidelines are not mandatory. However, regular referenc

12、e should be made to the latest requirements of individual States to determine the scope of implementation to ships entitled to fly the flag, and to ships operating in the jurisdictional waters of that State. A biofouling management plan and biofouling record book may be either a stand-alone document

13、, or integrated, in part or fully, into the vessels existing operational and procedural manuals and/or planned maintenance system. The biofouling management plan is to be vessel-specific and is to provide a description of the biofouling management strategy for a vessel with sufficient details to all

14、ow a vessels Master, the designated ships officer, or crew members to understand and implement the biofouling management strategy. The contents of these Guidance Notes are based on IMO Resolution MEPC.207(62) “2011 Guidelines for the Control and Management of Ships Biofouling to Minimize the Transfe

15、r of Invasive Aquatic Species”. This document has been provided to assist in the development of a vessels Biofouling Management Plan. 1.1 Biofouling Management Plan The Biofouling Management Plan should be specific to each vessel and included in the vessels operational documentation. Such a plan sho

16、uld address, among other things, the following: i) Relevant parts of IMO Resolution MEPC.207(62) “2011 Guidelines for the Control and Management of Ships Biofouling to Minimize the Transfer of Invasive Aquatic Species” ii) Details of the anti-fouling systems and operational practices or treatments u

17、sed, including those for niche areas iii) Hull locations susceptible to biofouling, schedule of planned inspections, repairs, maintenance, and renewal of anti-fouling systems iv) Details of the recommended operating conditions suitable for the chosen anti-fouling systems and operational practices v)

18、 Details relevant for the safety of the crew, including details on the anti-fouling system(s) used vi) Details of the documentation required to verify any treatments recorded in the biofouling record book as outlined in Appendix 1, Chapter 2 vii) A copy of the two most recent drydockings detailing t

19、he out of water maintenance The biofouling management plan should be updated as necessary. Section 1 Introduction 2 ABSGUIDANCE NOTES ON BIOFOULING MANAGEMENT PLANS .2013 1.3 Biofouling Record Book A biofouling record book is to be maintained such that it could also assist interested State authoriti

20、es to quickly and efficiently assess the potential biofouling risk of the vessel, and thus minimize delays to vessel operations. The biofouling record book is to be retained on the vessel for the life of the vessel. Information that should be recorded in a biofouling record book should include the f

21、ollowing: i) Details of the anti-fouling systems and operational practices used (where appropriate as recorded in the Anti-fouling System Certificate), where and when installed, areas of the ship coated, its maintenance and, where applicable, its operation ii) Dates and location of drydockings/slipp

22、ings, including the date the ship was re-floated, and any measures taken to remove biofouling or to renew or repair the anti-fouling system 1.5 Biofouling Management Plan Template A template of a vessels Biofouling Management Plan, which may be modified to suit a specific vessel, is found in Appendi

23、x 1. ABSGUIDANCE NOTES ON BIOFOULING MANAGEMENT PLANS .2013 3 Section 2: Regional Requirements SECTION 2 Regional Requirements 1 General The regional requirements described in this section include particular requirements specified by the United States of America. If and when other Flag Administratio

24、ns issue requirements additional to the IMO Resolution MEPC.207(62) “2011 Guidelines for the Control and Management of Ships Biofouling to Minimize the Transfer of Invasive Aquatic Species”, these will be included in future updates of these guidance notes. 3 United States of America To support the o

25、ngoing objective of further reducing the potential risk of the spread of invasive aquatic species by shipping, the U.S. Coast Guard and the State of California have incorporated regulations specifying operational measures aimed at preventing the spread of invasive aquatic species via biofouling. The

26、 prevention of biofouling is an important component of the ballast water management plan. 3.1 U.S. Coast Guard In accordance with 33 CFR 151.2050(e), every vessel equipped with ballast tanks operating in U.S. Waters is required to rinse anchors and anchor chains when the anchor is retrieved to remov

27、e organisms and sediments at their places of origin. In addition, these vessels are required by 33 CFR 151.2050(f) to remove fouling organisms from the vessels hull, piping, and tanks on a regular basis and dispose of any removed substance in accordance with local, State and Federal regulations. To

28、assist the Owners/operators and ships crew, as well as Coast Guard Inspecting Officers/Teams, in the management of biofouling, the U.S. Coast Guard regulations specify that the required Ballast Water Management Plan shall include detailed fouling maintenance procedures. While the regulations do not

29、detail the items to be included within the fouling maintenance procedures, the Coast Guard has advised that IMO Resolution MEPC.207(62) and the latest draft of the California State Lands Commission (specifically Section 2298.4 entitled “Biofouling Management Plan”) provide a basis for developing a v

30、essel-specific biofouling management plan. The Coast Guard has also advised that inclusion of such a biofouling management plan in the required Ballast Water Management Plan or a reference in the Ballast Water Management Plan to an independent vessel-specific Biofouling Management Plan would satisfy

31、 this regulation. Coast Guard regulations do not currently require Ballast Water Management Plans to be approved. However, approval of the Ballast Water Management Plan will be required when the IMO Ballast Water Management Convention enters into force. 3.3 U.S. Environmental Protection Agency As re

32、quired by part 4.1.3 of the 2008 Vessel General Permit (VGP), a comprehensive vessel inspection must be conducted by qualified personnel at least once every 12 months. Qualified personnel include the Master or Owner/operator of the vessel, if appropriately trained, or appropriately trained marine or

33、 environmental engineers or technicians or an appropriately trained representative of a vessels class society acting on behalf of the Owner/operator (ABS Surveyor). These comprehensive annual inspections must cover all areas of the vessel affected by the requirements in the VGP that can be inspected

34、 without forcing a vessel into drydock. Special attention should be paid to those areas most likely to result in a discharge, likely to cause or contribute to non-compliance of water quality standards, or violate effluent limits established in the VGP. Areas that inspectors must examine include, but

35、 are not limited to: Section 2 Regional Requirements 4 ABSGUIDANCE NOTES ON BIOFOULING MANAGEMENT PLANS .2013 i) Vessels hull for attached living organisms, flaking anti-fouling paint, exposed organotin (tin-based chemicals used in marine anti-fouling paints) surfaces such as TBT (tributyltin) ii) B

36、allast water tanks, as applicable iii) Bilges, pumps, and oily water separator (OWS) sensors, as applicable iv) Oil discharge monitoring systems v) Protective seals for lubrication and any hydraulic oil leaks vi) Oil and chemical storage areas, cargo areas, and waste storage areas vii) All visible p

37、ollution control measures to verify that they are functioning properly The annual inspections must also include a review of monitoring data collected in accordance with Part 5 of the VGP, where applicable, and routine maintenance records to verify that required maintenance is being performed. Furthe

38、rmore, the inspections must verify whether all monitoring, training, and inspections are logged and documented according to permit requirements. If any inspection reveals deficiencies that would result in a violation of effluent limits, or indicates that a control measure is not functioning as antic

39、ipated or is in need of repair or upgrade, the Master or Owner/operator must take corrective action to resolve such deficiencies in accordance with Part 3 of the VGP. All results from the comprehensive annual inspection must be recorded in the vessels record-keeping documentation or logbook. Wheneve

40、r possible, rigorous hull-cleaning activities should take place in drydock, or at other land-based facilities where the removal of fouling organisms or spent antifouling coatings paint can be contained. If water-pressure based systems are used to clean the hull and remove old paint, use facilities w

41、hich treat the washwater prior to discharge to remove the antifouling compound(s) and fouling growth from the washwater. Vessel owner/operators who remove fouling organisms from hulls while the vessel is waterborne must employ methods that minimize the discharge of fouling organisms and antifouling

42、hull coatings. These shall include Selection of appropriate cleaning brush or sponge rigidity to minimize removal of antifouling coatings and biocide release into the water column Limiting use of hard brushes and surfaces to the removal of hard growth When available and feasible, use of vacuum contr

43、ol technologies to minimize the release or dispersion of antifouling hull coatings and fouling organisms into the water column. Vessel owners/operators must minimize the release of copper based antifoulant paint into the water column when they clean their vessel. Cleaning of copper based antifoulant

44、 paints must not result in any visible cloud or plume of paint in the water: if a visible cloud or plume of paint develops, shift to a softer brush or less abrasive cleaning technique. A plume or cloud of paint can be noted by the presence of discoloration or other visible indication that is disting

45、uishable from hull growth or sediment removal. Production of a plume or cloud of sediment or hull growth is normal in some cases during the hull cleaning, but this plume or cloud should be substantially paint free (e.g. paint should not be clearly identified in the plume or cloud). Vessels that use

46、copper based anti-fouling paint must not clean the hull in copper impaired waters within the first 365 days after paint application unless there is a significant visible indication of hull fouling. For purposes of the VGP, tributyltin is a toxic organometallic compound which was previously registere

47、d for use as a biocide in anti-fouling paints applied to vessel hulls and other underwater parts of ships. Organotins are the larger family of organometallic compounds to which tributyltin belongs. When used in the text of the VGP, the EPA is referring to “organotins” as compounds in their capacity

48、as biocides. In many IMO Member States, including the United States, the use of anti-fouling paints containing tributyltin has been phased out due to concerns about its environmental impacts. Section 2 Regional Requirements ABSGUIDANCE NOTES ON BIOFOULING MANAGEMENT PLANS .2013 5 The U.S. Environmen

49、tal Protection Agency has prohibited the use of anti-fouling paints containing TBT or any other organotin compounds as a biocide. In cases where TBT anti-fouling coatings have been applied to a vessel, all residual TBT must be removed from immersed surfaces or a sealer-coat must be applied to prevent any residual TBT leaking in to the environment. The EPA is unaware of any non-biocidal use of TBT which would result in a residual presence in anti-fouling paints, hence, the EPA has reaffirmed that there must be zero discharge of TBT from vessel hulls. Other less toxic org

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