32.41M
Категория: ЭкологияЭкология

Marpol and other legal requirements for the protection of the environment

1.

MARPOL
and
other legal requirements
for the
protection of the environment
© 2024 | COLUMBIA Shipmanagement | Prepared by Alpha Marine Consulting PC | Revision 2 | January 2024
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2.

Course Objectives
Objective and Approach
The objective of this course is to ensure the proper
This presentation should be considered as the
understanding
the
vehicle for all the facilitators and participants to
environmental requirements and relevant regulations
lead and participate receptively to an interactive
through presenting useful information, solving
and interesting training session
exercises,
and
answering
the
knowledge
questions
and
of
creating
discussions, in order to refresh the already acquired
knowledge relative to the protection of the
environment
© 2024 | COLUMBIA Shipmanagement | Prepared by Alpha Marine Consulting PC | Revision 2 | January 2024
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3.

MARPOL
and
other legal requirements
for the
protection of the environment
© 2024 | COLUMBIA Shipmanagement | Prepared by Alpha Marine Consulting PC | Revision 2 | January 2024
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4.

What is ECT?
Environmental Compliance Training - Initial
A systematic and controlled way for ensuring that all personnel
meet or exceed the minimum requirements of the Company’s
Environmental Management System (EMS) requirements
It consists of 3 different basic modules:
Environmental Compliance
MARPOL and legal environmental requirements
Handling of E/R Waste – ORB entries
This is module 2: MARPOL and legal environmental requirements
© 2024 | COLUMBIA Shipmanagement | Prepared by Alpha Marine Consulting PC | Revision 2 | January 2024
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5.

Training Agenda
MARPOL ANNEX I - Prevention of Pollution by Oil
MARPOL ANNEX II - Prevention of Pollution by Noxious Liquid Substances
MARPOL ANNEX III - Prevention of Pollution by Harmful Substances
MARPOL ANNEX IV - Prevention of Pollution by Sewage from Ships
MARPOL ANNEX V - Prevention of Pollution by Garbage from Ships
MARPOL ANNEX VI - Prevention of Air Pollution from Ships
SEEMP – Ship Energy Efficiency Management Plan
EU MRV - IMO DCS
VGP – Vessel General Permit
BWM – Ballast Water Management
BFMP – Biofouling Management Plan
© 2024 | COLUMBIA Shipmanagement | Prepared by Alpha Marine Consulting PC | Revision 2 | January 2024
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6.

Section 1
MARPOL ANNEX I
Prevention of Pollution by Oil
© 2024 | COLUMBIA Shipmanagement | Prepared by Alpha Marine Consulting PC | Revision 2 | January 2024
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7.

MARPOL ANNEX I
Handling of Oil and Oily Mixtures
from Machinery Spaces
Applicable to all Ships
© 2024 | COLUMBIA Shipmanagement | Prepared by Alpha Marine Consulting PC | Revision 2 | January 2024
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8.

Definition of Oily Bilge Water - Oil Residue (Sludge)
What is considered as oily bilge water?
What is considered as sludge?
© 2024 | COLUMBIA Shipmanagement | Prepared by Alpha Marine Consulting PC | Revision 2 | January 2024
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9.

Oil Pollution Prevention - Definitions
Oily Bilge Water
The water which may be contaminated by oil resulting from leakage or maintenance
work in machinery spaces. Any liquid entering the bilge system including bilge wells,
bilge piping, tank top or bilge holding tanks is considered oily bilge water
Oily Bilge Water Holding Tank
The tank collecting oily bilge water prior to its discharge, transfer or disposal
Oil Residue (Sludge)
The residual waste oil products generated during the normal operation of a ship such
as those resulting from the purification of fuel or lubricant oil for main or auxiliary
machinery, separated waste oil from oil filtering equipment, waste oil collected in
drip trays and waste hydraulic and lubricating oils
Oil Residue (Sludge) Tank
The tank which holds oil residue (sludge) from which sludge may be disposed ashore
through the standard discharge connection or any other approved means for disposal
© 2024 | COLUMBIA Shipmanagement | Prepared by Alpha Marine Consulting PC | Revision 2 | January 2024
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10.

Tank Identification in IOPP Supplement
As oily bilge water holding tanks
are considered those listed in
item 3.3
………………....
of the Supplement of the vessel’s
IOPP Certificate
As oil residue/sludge tanks are
considered those listed in
item 3.1
…………………
of the Supplement of the vessel’s
IOPP Certificate
Any discharge overboard of bilge
water shall be in accordance
with MARPOL Annex I
Must be provided with a designated
pump for disposal
© 2024 | COLUMBIA Shipmanagement | Prepared by Alpha Marine Consulting PC | Revision 2 | January 2024
Must not have discharge connections
connected directly to the bilge piping
system, oily bilge water holding tanks,
tank top or oily water separators
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11.

Sample of Tank Identification in IOPP Supplement
item 3.1
© 2024 | COLUMBIA Shipmanagement | Prepared by Alpha Marine Consulting PC | Revision 2 | January 2024
item 3.3
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12.

Handling of Oil and Oily Mixtures
Oily Bilge Water
• Any discharge overboard
should be according to
MARPOL Annex I
……………………………..
• Transferred from the
bilges to the bilge
holding tank for
discharge overboard via
OWS
the…………
• Delivered to
reception
facilities
……………………….......
© 2024 | COLUMBIA Shipmanagement | Prepared by Alpha Marine Consulting PC | Revision 2 | January 2024
Oil Residues (sludge)
• Transferred to the oil residue
(sludge) tank for later
disposal
incinerator
• Burned in the …………………
• Delivered to
reception
facilities directly
…………………………….
from the sludge tank through
the standard discharge
connection
• Disposed in accordance with
items 3.2.2 and 3.2.3 of the
IOPPC Supplement
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13.

Regenerated Fuel
Regeneration of fuel from oil residue (Sludge):
Prohibition of transferring fuel from leakage tanks (listed in IOPP section 3.1) back to
fuel tanks unless such method is listed in item 3.2.3 or as a note in the bottom of
the IOPP supplement.
Example of entry in the Supplement Form A to the IOPP certificate.
3.2 Means for the disposal of oil residues (sludge) retained in oil residue (sludge)
tanks:
3.2.1 Incinerator for oil residues (sludge)

3.2.2 Auxiliary boiler suitable for burning oil residues (sludge)

3.2.3 Other acceptable means, state which....

1. Dirty Fuel Oil Tank oil residues can be disposed via the fuel oil
system as regeneration of fuel (Transfer to HFO Settling Tanks
Port and Starboard)
© 2024 | COLUMBIA Shipmanagement | Prepared by Alpha Marine Consulting PC | Revision 2 | January 2024
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14.

Oily Water Separator (OWS)
The OWS separates oil from oily
waste water accumulated in the
E/R bilge holding tank(s) of the
vessel, before discharging it to the
sea
Under MARPOL - IMO Resolution
MEPC.107(49), discharged water
has to contain less than
15 parts per million (ppm) of oil
…………………………………………
© 2024 | COLUMBIA Shipmanagement | Prepared by Alpha Marine Consulting PC | Revision 2 | January 2024
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15.

Oily Water Separator (OWS)
The OWS must be:
capable of handling any oily mixtures from the machinery space bilges
effective over the complete range of oils which might be carried on board
capable of handling satisfactorily oil of very high relative density or with
emulsified mixtures
© 2024 | COLUMBIA Shipmanagement | Prepared by Alpha Marine Consulting PC | Revision 2 | January 2024
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16.

Discussion
Who are allowed to operate the OWS
as per MSOPR-11.2 ?
Whenever OWS is being tested or
operated, the CE acts as the officer
in charge and shall personally record
testing and operation of the OWS in
the ORB and solely sign for it.
© 2024 | COLUMBIA Shipmanagement | Prepared by Alpha Marine Consulting PC | Revision 2 | January 2024
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17.

Discussion How can we ensure that there is no method to discharge bilges overboard by
by-passing the OWS?
By using Environmental Seals in:
Piping connections, fittings, the OCM, and other control equipment of the OWS
System crossover and connection valves where bilge systems tie into ballast, general
service and other pumping or ejector systems, and systems capable of bilge removal
without the use of the OWS
Every blank or potentially removable flange associated with any piping leading
overboard, such as but not limited to the following piping: bilge, sewage, grey water,
boiler blow down, cooling water, etc.
Any overboard valves connected to ejectors situated in compartments such as but not
limited to steering gear, bow/stern thrusters, and compartments such as the Bosun
store forward, pump rooms etc.
Sludge and dirty oil tanks manholes in engine room spaces and all attached level,
temperature and other removable accessories fitted to them as far as practically
possible
Portable pumps and flexible hoses
By allowing specific personnel to discharge bilges and supervise them
By enforcing the company’s environmental policy
By familiarizing the personnel with the consequences of the violations of MARPOL Annex I
© 2024 | COLUMBIA Shipmanagement | Prepared by Alpha Marine Consulting PC | Revision 2 | January 2024
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18.

Oil Content Monitor (OCM)
The OCM is a monitoring equipment connected with the OWS, for
measuring, indicating and continuously detecting the oil content in
water
flag administration
Must be approved by the……………………………..
parts per million (ppm)
The content of oil is measured in………………………………………
Records of the date and time of the total quantity discharged,
of the oil content and the rate of discharge shall be kept
at least 3 years
for………………………………………
OWS and OCM to be maintained and operated as
manufacturer’s instructions
per…………………………………………….
If OWS or OCM fails, no discharge overboard is allowed until the
defect is rectified and flag dispensation is closed out.
© 2024 | COLUMBIA Shipmanagement | Prepared by Alpha Marine Consulting PC | Revision 2 | January 2024
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19.

OCM Calibration
The OCM must be calibrated at intervals not exceeding 5 years after its
commissioning, or as specified in the manufacturer's instructions, whichever
is shorter as required by MEPC.285 (70) and Company’s instructions
Calibration certificates are issued every 5 years by an approved contractor
ashore and must be:
maintained on board
maintained ashore by the Technical Department
When a new calibrated and certified Measuring cell for the OCM is installed
on board by the vessels C/E or Service Engineers, details along with
the name of service engineer must be recorded in the ORB (Part-I, Code I) &
PMS (Refer to MSOPR-11.3)
© 2024 | COLUMBIA Shipmanagement | Prepared by Alpha Marine Consulting PC | Revision 2 | January 2024
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Example of how an OWS with absorber works
1. Rough separation: An eccentric spiral pump
draws the mixture out of the bilge
2. Fine separation: A very open porous coalescer
causes, due to its oleophilic surface, fine
separation of even the smallest oil drops
3. The OCM takes samples and controls the use of
the absorber
4. Absorber bypass: If the OCM detects less than
14ppm the operation is done without the
absorber and cleaned water is guided outboards
5. Operation with absorber: If the OCM detects
more than 14ppm the water passes through the
absorber
• if after the extra cleaning the new
measurement < 15ppm, the cleaned water is
guided outboards
• if the OCM shows > 15ppm, the cleaned water
is guided back to the bilge water tank
© 2024 | COLUMBIA Shipmanagement | Prepared by Alpha Marine Consulting PC | Revision 2 | January 2024
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21.

Certificates Required On Board
IOPP (International Oil Pollution Prevention) Certificate and Supplement
Validity for 5 years after the completion of the specific initial
inspection
Intermediate inspection between 2nd and 3rd anniversary date* of
the certificate
Endorsed annually by the Classification Society of the vessel (with a
window of ±3 months from anniversary date* of the certificate)
Calibration of Oil Content Monitor (15 ppm Bilge Alarm): performed by
Manufacturer or service engineer authorised by the Manufacturer
Certificate of Type Approval for Oily Water Separator: Issued once by a
Recognised Organisation (RO) on behalf of the flag administration
Certificate of Type Approval for Oil Content Monitor (15 ppm Bilge
Alarm): Issued once by RO on behalf of the flag administration
*OWS and OCM approved by the administration are accepted by USCG and no separate USCG certification is required.
*Anniversary date means the day and month of each year which will correspond to the date of expiry of the certificate.
© 2024 | COLUMBIA Shipmanagement | Prepared by Alpha Marine Consulting PC | Revision 2 | January 2024
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22.

Discharge of Oil and Oily Mixtures
Name the conditions that must be satisfied to discharge of oily bilge water to sea:
MARPOL Annex 1 – Regulation 15
The ship is en route
The oil content is ≤ 15ppm
The oily mixture is processed through OWS, with alarm arrangements
and automatic stopping device when discharge in Special Areas
(Please refer to the IOPP Supplement item 2.2.2 to check if the
equipment can be used in Special Areas)
The oily mixture does not originate from cargo pump-room
bilges on oil tankers
The oily mixture in case of oil tankers, is not mixed with oil cargo residues
MARPOL does not set the limit on the distance to the shore for normal
operation of the OWS.
Local regulations must be observed in waters under jurisdiction of a coastal
State.
© 2024 | COLUMBIA Shipmanagement | Prepared by Alpha Marine Consulting PC | Revision 2 | January 2024
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23.

Discharge of Oil and Oily Mixtures
What are the differences between discharging of oily bilge water
outside and inside Special Areas?
There are no differences, if the previous conditions are satisfied, with the
exemption of the Antarctic Sea and Arctic waters where any discharge of oily
mixtures is prohibited
© 2024 | COLUMBIA Shipmanagement | Prepared by Alpha Marine Consulting PC | Revision 2 | January 2024
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24.

Special Areas under MARPOL Annex I
Name as many Special Areas you can
The Mediterranean Sea
The Baltic Sea
The Black Sea
The Red Sea
The Gulfs area
The Gulf of Aden
The Antarctic area
The North West European Waters
Oman area of the Arabian Sea
Southern South African Waters
© 2024 | COLUMBIA Shipmanagement | Prepared by Alpha Marine Consulting PC | Revision 2 | January 2024
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25.

Posting
General Practice for Documents Required to be Posted in the Vicinity of OWS:
Bilge Piping Diagram
Operation Instructions of the specific model of OWS
Emergency shut down procedure of the specific model of OWS
Areas where discharge is allowed/not allowed
CFR Poster – for vessels calling US ports
Calibration of Oil Content Monitor
Certificate of Type Approval for OWS
Certificate of Type Approval for OCM
Poster MSOPOST-11.1
It is the Best Practice to prepare affix a board to clearly and neatly post all required documents.
© 2024 | COLUMBIA Shipmanagement | Prepared by Alpha Marine Consulting PC | Revision 2 | January 2024
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26.

Discussion
What should you do in the case that the bilge water tanks are full
and the OWS is not working?
© 2024 | COLUMBIA Shipmanagement | Prepared by Alpha Marine Consulting PC | Revision 2 | January 2024
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Discussion- possible reactions
Inform TSI and ECM in the first instance
Carry out Risk Assessment and Management of Change
Request for Flag Administration Dispensation Letter
Transfer the bilges to other tank(s), approved by the Class, for later disposal or
delivery to shore facilities
Transfer the bilges to Sludge Tank for later delivery to shore facilities
Transfer the bilges to deck/cargo tank for later disposal (in case of tankers)
Transfer to any non-IOPP tanks are not allowed without permission from the
Flag Administration
© 2024 | COLUMBIA Shipmanagement | Prepared by Alpha Marine Consulting PC | Revision 2 | January 2024
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28.

MARPOL ANNEX I
Handling of Oil and Oily Mixtures
from Cargo Spaces - Slops
Applicable to Oil Tankers
© 2024 | COLUMBIA Shipmanagement | Prepared by Alpha Marine Consulting PC | Revision 2 | January 2024
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29.

Discharge of Slops
Name the conditions that must be satisfied to discharge slops at sea:
ODME and control system is operational and in use and slop tank
arrangement is available
En route
Distance from the nearest land ≥ 50 nm
NOT in a special area (as per MARPOL Annex I)
Instantaneous discharge rate of oil content does not exceed 30 liters per
nautical mile
Total quantity of oil discharge into the sea < 1/30.000 of the total
quantity of the particular cargo of which the residue formed a part
© 2024 | COLUMBIA Shipmanagement | Prepared by Alpha Marine Consulting PC | Revision 2 | January 2024
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30.

Bilge - Sludge - Slop
Management Record Keeping
Company’s Policy
Rough notes, sounding logs and/or other documents used
by E/R personnel to record tank soundings and monitor
tank levels should be
maintained for at least 3 years
Such notes must be dated even if on scrap paper
Electronic sounding logs are not accepted (MSOPR 11.14).
© 2024 | COLUMBIA Shipmanagement | Prepared by Alpha Marine Consulting PC | Revision 2 | January 2024
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31.

Violation Consequences
What do you think that the violations of MARPOL Annex I may result in ?
heavy fines
and / or
imprisonment
© 2024 | COLUMBIA Shipmanagement | Prepared by Alpha Marine Consulting PC | Revision 2 | January 2024
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32.

Discussion
Why do you think that we must not pollute the marine environment?
© 2024 | COLUMBIA Shipmanagement | Prepared by Alpha Marine Consulting PC | Revision 2 | January 2024
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Discussion – Possible answers
Because:
We destroy the environment
It is against Company’s Environmental Policy and values
It may result in heavy fines and / or imprisonment
We have been committed not to do so, when we signed the EC Declaration and in
case of non-compliance we may face disciplinary action, including termination of
employment, liability for criminal, civil and administrative penalties
© 2024 | COLUMBIA Shipmanagement | Prepared by Alpha Marine Consulting PC | Revision 2 | January 2024
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34.

Section 2
MARPOL ANNEX II
Prevention of Pollution by Noxious Liquid
Substances in Bulk
© 2024 | COLUMBIA Shipmanagement | Prepared by Alpha Marine Consulting PC | Revision 2 | January 2024
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35.

Noxious Liquid Substances - NLS
Pollution
Category
Category X
Category Y
Category Z
Other Substances
• Major hazard
• Hazard
• Minor hazard
• No harm
… to marine resources and human health
Discharge is prohibited in:
Antarctic Sea, Arctic Waters & areas as per local regulations
Discharge provisions apply to ballast water, tank washings or other
residues, and mixtures containing NLS substances.
Exceptions as per P&A Manual and IMO criteria.
© 2024 | COLUMBIA Shipmanagement | Prepared by Alpha Marine Consulting PC | Revision 2 | January 2024
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36.

NLS Discharge Standards
What are the discharge standards of NLS ?
En route
≥ 7 kn (for self-propelled ships)
≥ 4 kn (for not self-propelled ships)
Piping
Outlet
Location
Underwater (below waterline)
Not mandatory for Category Z on ships
constructed before 1/1/2007
Nearest
land
≥12 nm and water depth
≥25m
Discharge of residues should be in accordance
with local requirements.
© 2024 | COLUMBIA Shipmanagement | Prepared by Alpha Marine Consulting PC | Revision 2 | January 2024
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37.

Certificates & Manuals on Board
What Certificates & Manuals are on board the ship to ensure
compliance with the requirements of MARPOL Annex II ?
as per IBC Code
International Certificate of
Fitness for the Carriage of
Dangerous Chemicals in Bulk
(CoF)
Procedures &
Arrangements Manual
© 2024 | COLUMBIA Shipmanagement | Prepared by Alpha Marine Consulting PC | Revision 2 | January 2024
OR
as per MARPOL
International Pollution Prevention
Certificate for the Carriage of Noxious
Liquid Substances in Bulk
(NLS Certificate)
Cargo Record
Book
Shipboard Marine Pollution
Emergency Plan for Noxious
Liquid Substances (SMPEP)
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Procedures & Arrangements (P&A) Manual
Each ship is provided with a ship-specific Procedures & Arrangements
(P&A) Manual describing all physical arrangements and operational
procedures related to ship’s cargo operations with respect to
cargo
handling
tank cleaning
slops
handling
residue
discharging
ballasting and
de-ballasting
which must be followed in order to comply with the requirements of
MARPOL Annex II.
Approval of the P&A Manual by the Flag or Class is mandatory
© 2024 | COLUMBIA Shipmanagement | Prepared by Alpha Marine Consulting PC | Revision 2 | January 2024
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39.

Noxious Liquid Substances – Category X
After the unloading of a Category X substance, the relevant tank shall
be prewashed before the ship leaves the port of unloading.
The resulting residues shall be discharged to a reception facility until
the concentration of the substance in the effluent to such facility is at
or below 0.1% by weight.
When the required concentration level has been achieved, remaining
tank washings shall continue to be discharged to the reception facility
until the tank is empty.
Any water subsequently introduced into the tank may be discharged
into the sea in accordance with the discharge standards mentioned
before.
© 2024 | COLUMBIA Shipmanagement | Prepared by Alpha Marine Consulting PC | Revision 2 | January 2024
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40.

Noxious Liquid Substances – Categories Y and Z Substances
With respect to the residue discharge procedures for substances in
Category Y or Z the discharge standards, previously displayed shall
apply (prewash is not always necessary).
Especially for High-Viscosity or Solidifying Substances in Category Y
the following shall also apply:
• The residue/water mixture generated during the prewash shall
be discharged to a reception facility until the tank is empty; and
• Any water subsequently introduced into the tank may be
discharged into the sea in accordance with the above mentioned
discharge standards.
© 2024 | COLUMBIA Shipmanagement | Prepared by Alpha Marine Consulting PC | Revision 2 | January 2024
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41.

Noxious Liquid Substances – Persistent Floaters
The amendment to MARPOL Annex II includes a new definition on a
so-called “persistent floater”
Substances classified as persistent floaters are defined by having a
viscosity equal to or greater than 50 mPa.s @20°C and/or with a
melting point ≥0°C as identified by section 16.2.7 and in column 'o'
of Chapter 17 of the amended IBC Code, e.g.
• Castor oil
• Fatty acids, (C12+)
• Groundnut oil
• Palm oil and its variations
• Paraffin wax, highly-refined
• Sunflower seed oil
© 2024 | COLUMBIA Shipmanagement | Prepared by Alpha Marine Consulting PC | Revision 2 | January 2024
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42.

Noxious Liquid Substances – Persistent Floaters
The requirements are only applicable when the port of unloading is located inside certain
regional areas, according to new regulation 13.7.1.4 in MARPOL Annex II.
The regional areas are listed in regulation
13.9 of MARPOL and include the ports
north of Gibraltar and east of the west
coast of Ireland, and ports in the North,
Norwegian and Baltic Seas.
For all ships Prewash procedures for persistent floaters to which regulation 13.7.1.4 of Annex II of MARPOL
applies…shall be treated as solidifying or high viscosity substances for the purposes of the prewash.
© 2024 | COLUMBIA Shipmanagement | Prepared by Alpha Marine Consulting PC | Revision 2 | January 2024
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43.

Handling of Chemical Cargoes
Whenever a nominated cargo is a chemical cargo, the Master should verify whether it is included
in the list of substances that the vessel is certified to carry.
Information regarding the Chemical Cargoes to be carried should be
available on board and include a cargo stowage plan indicating all cargoes
on board, including for each dangerous chemical to be carried:
A full description of the physical and chemical properties, including
reactivity, necessary for the safe containment of the cargo
Action to be taken in the event of oil spill
Countermeasures against accidental personal contact
Fire fighting procedures and fire fighting media
Procedures for cargo transfer, tank cleaning, gas freeing and ballasting
© 2024 | COLUMBIA Shipmanagement | Prepared by Alpha Marine Consulting PC | Revision 2 | January 2024
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44.

Section 3
MARPOL ANNEX III
Prevention of Pollution by Harmful Substances
Carried by Sea in Packaged Form
© 2024 | COLUMBIA Shipmanagement | Prepared by Alpha Marine Consulting PC | Revision 2 | January 2024
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45.

Application
Harmful substances: as identified by International Maritime Dangerous Goods (IMDG) Code
Packaged form: the form of containment specified for harmful substances in the IMDG Code
Packages shall minimize the hazard to the marine environment
Packages to be durably marked or labeled to indicate that the harmful
substance is in accordance with IMDG Code
The transport information to be in accordance with IMDG Code and be available
The vessel to carry a special list, manifest or stowage plan setting forth the
harmful substances on board and their location
Harmful substances to be properly stowed and secured
© 2024 | COLUMBIA Shipmanagement | Prepared by Alpha Marine Consulting PC | Revision 2 | January 2024
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46.

Section 4
MARPOL ANNEX IV
Prevention of Pollution by Sewage
© 2024 | COLUMBIA Shipmanagement | Prepared by Alpha Marine Consulting PC | Revision 2 | January 2024
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47.

Sewage Pollution Prevention - Definition
Sewage refers to:
Drainage and other wastes from any
form of toilets and urinals
Drainage from medical premises
(dispensary, sick bay, etc.) via wash
basins, wash tubs and scuppers
located in such premises
Drainage from spaces containing
living animals
What is considered as “Grey Water”?
Drainage from dishwater,
shower, laundry, bath and
washbasin drains
What is considered as “Black Water”?
Drainage from toilets, urinals,
hospitals and animal spaces
Other waste waters when mixed with
the drainages defined above
© 2024 | COLUMBIA Shipmanagement | Prepared by Alpha Marine Consulting PC | Revision 2 | January 2024
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48.

Sewage Discharge
Fill in the gaps (….)
Sewage status
Distance from the
nearest land
From an approved
Comminuted and
Not comminuted or
Sewage Treatment Plant disinfected from a holding disinfected from a holding
(STP)
tank
tank
3
12 nautical miles
No restrictions
≥ ……nautical
miles
≥ ……
Ship’s speed
No restrictions
……………………..
≥ 4 knots
≥ 4 knots
Comments
The effluent shall not
produce visible floating
solids nor cause
discoloration of the
surrounding water
Sewage stored in holding
tanks shall not be
discharged instantaneously
but at moderate rate when
ship is en route
Sewage stored in holding
tanks shall not be discharged
instantaneously but at a
moderate rate when the ship
is en route
© 2024 | COLUMBIA Shipmanagement | Prepared by Alpha Marine Consulting PC | Revision 2 | January 2024
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49.

Sewage Discharge
According to some National Requirements, the discharge of treated sewage is not allowed when the
ship is in their ports or within their territorial waters
In this case, National and Local regulations shall be followed, superseding MARPOL Annex IV restrictions
For example, in the United States, specific waters are designated as "no
discharge zones" where treated and untreated sewage discharges are
prohibited in these areas and vessel discharges are regulated through
the Environmental Protection Agency's Clean Water Act (CWA) National
Pollutant Discharge Elimination System (NPDES) Program
For example, China issued the “Discharge standard for water pollutants
from ships” that controls the requirements for the discharge of treated
sewage
© 2024 | COLUMBIA Shipmanagement | Prepared by Alpha Marine Consulting PC | Revision 2 | January 2024
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50.

STP Operation and Maintenance
Fill in the gaps (….)
STP is considered critical equipment
Sufficient spares are to be carried on board
High level alarm sensor of STP is considered
critical equipment
as …………………………….
Testing of clean effluent to be carried out
weekly
…………..
At least 1 spare sensor must be on board
weekly
High level alarm must be tested ………….
Sewage spills into bilge tanks must be prevented
In case STP is designed to overflow to BHT, all existing connections
between them must be identified by the C/E and /or Technical
Superintendent (TSI) and inform the Environmental Compliance
Manager (ECM)
STP effluent test should include testing of Total Suspended Solids
(TSS), Chlorine, Biochemical Oxygen Demand (BOD5), pH and
Chemical Oxygen Demand (COD).
© 2024 | COLUMBIA Shipmanagement | Prepared by Alpha Marine Consulting PC | Revision 2 | January 2024
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51.

Grey Water Management - Ports Specific Requirements
No existing requirement under MARPOL
Regulated under Vessel General Permit (VGP) of the United
States Environmental Protection Agency
• Vessels with grey water holding tank should discharge
the grey water in a distance greater than 1 nautical
mile from shore while underway
• Vessels without grey water holding tank should
minimize the production of grey water while in waters
subject to VGP
Regulated under some National and Local Requirements.
• Turkey prohibits discharging grey water into their
teritorial waters.
• Australian States prohibit discharge of grey water in
regulated waters.
© 2024 | COLUMBIA Shipmanagement | Prepared by Alpha Marine Consulting PC | Revision 2 | January 2024
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52.

Collecting Treated Sewage and Grey Water on board
Occasionally, capacity of holding tank listed in the ISPPC section 1.3 is insufficient
for longer ship’s stay in the area where discharge overboard is not allowed.
On number of CSM vessels Class approved arrangements are fitted to allow
collection of treated sewage and grey water in a designated ballast or other tanks.
Approved arrangement is shown on the ISPPC and can be utilized according to the
approved ship specific procedure.
Vessels not having an approved arrangement should communicate the necessity
to utilize an available tank to the Technical Superintendent in advance.
Permission from the Flag Administration for storing treated sewage and grey
water in assigned tank has to be obtained prior to any transfer.
Procedure provided by the Flag Administration has to be followed until the tank is
emptied and restored to its previous condition.
© 2024 | COLUMBIA Shipmanagement | Prepared by Alpha Marine Consulting PC | Revision 2 | January 2024
52

53.

Section 5
MARPOL ANNEX V
Prevention of Pollution by Garbage
© 2024 | COLUMBIA Shipmanagement | Prepared by Alpha Marine Consulting PC | Revision 2 | January 2024
53

54.

Garbage Pollution Prevention - Definition
What is considered as garbage?
All kinds of food wastes, domestic wastes and operational wastes, all
plastics, cargo residues, incinerator ashes, cooking oil, fishing gear, and
animal carcasses generated during the normal operation of the ship
Garbage does not include fresh fish and parts thereof generated as a
result of fishing activities undertaken during the voyage
© 2024 | COLUMBIA Shipmanagement | Prepared by Alpha Marine Consulting PC | Revision 2 | January 2024
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55.

Garbage Management Plans & Garbage Record Keeping
As per MARPOL Annex V Regulation 10
100 GT and Above
Shall carry a Garbage
Management Plan
400 GT and Above
Shall carry a Garbage
Record Book
All ships
Certified to carry
15 or more persons
All ships with 12 meters or more in
length overall
CSM Garbage Record Book should be used.
Flag GRBs are currently not required.
© 2024 | COLUMBIA Shipmanagement | Prepared by Alpha Marine Consulting PC | Revision 2 | January 2024
Must permanently post
a Placard (for CSM
GMPOST-5.1) for the
discharge requirements
of Garbage and the
possible Penalties for
failure to comply
55

56.

Let’s Fresh up the Segregation Categories of Garbage
Non-recyclable plastics and plastics mixed
with non-plastic garbage
“Non-recyclable plastics” (Red)
Incinerator ashes
“Incinerator ashes” (Black)
Food wastes
“Food Waste” (Green)
Rags
Labelled only
Recyclable garbage
o Glass
“Glass” (Blue)
o Cooking oil
Labelled only
o Aluminum cans
“Aluminum Cans” (Grey)
o Paper, cardboard, corrugated board
Labelled only
o Wood
“Wood” (Brown)
o Metal
“Metal” (Grey)
o Plastics (including Styrofoam or similar plastic material)
“Plastics” (Yellow)
Hazardous wastes
“Hazardous Waste” (Red)
E-waste
“E-waste” (Red)
Cargo residues (non-HME)
“Cargo residues (non-HME)” (Brown/White Stripes)
Cargo residues (HME)
“Cargo residues (HME)” (Red)
© 2024 | COLUMBIA Shipmanagement | Prepared by Alpha Marine Consulting PC | Revision 2 | January 2024
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57.

Garbage Categories
© 2024 | COLUMBIA Shipmanagement | Prepared by Alpha Marine Consulting PC | Revision 2 | January 2024
A. Plastics
B. Food Waste
C. Domestic waste
D. Cooking Oil
E. Incinerator ashes
F. Operational waste
G. Animal carcasses
H. Fishing gear
I. E-Waste
J. Cargo residues (non-HME)
K. Cargo residues (HME)
57

58.

Garbage Categories
What is considered as Operational waste ?
All solid waste collected on board during normal maintenance or
operations of a ship, including but not limited to:
Slurries
Un-pumpable solid residues collected during cleaning of oil
(cargo, fuel, bilge, sludge, etc.) and other tanks
Materials used for cargo stowage & handling
Cleaning agents and Additives contained in cargo hold and
external wash water
Ash and Clinkers not resulted from garbage incineration
Hazardous Waste, including used or expired chemicals
Oily Rags
© 2024 | COLUMBIA Shipmanagement | Prepared by Alpha Marine Consulting PC | Revision 2 | January 2024
58

59.

Garbage Categories
What is considered as E- waste ?
As E-waste is considered all the electrical and electronic equipment
used for the normal operation of the ship or in the accommodation
spaces, including all components, sub-assemblies and consumables
which are part of the equipment at the time of discarding, with the
presence of material potentially hazardous to human health and/or
the environment
© 2024 | COLUMBIA Shipmanagement | Prepared by Alpha Marine Consulting PC | Revision 2 | January 2024
59

60.

Garbage Record Book
Garbage Record Book is divided in 2 parts
GRB - PART I
All ships
For all garbage except cargo residues
New Category I: e-Waste
GRB - PART II
Ships that carry solid bulk cargoes
For all cargo residues
Category J: Cargo residues (non-HME)
Category K: Cargo residues (HME)
© 2024 | COLUMBIA Shipmanagement | Prepared by Alpha Marine Consulting PC | Revision 2 | January 2024
60

61.

Special Areas under Annex V: Garbage
© 2024 | COLUMBIA Shipmanagement | Prepared by Alpha Marine Consulting PC | Revision 2 | January 2024
61

62.

Waste Receptacles
Inside the Accommodation, Engine Room and Galley:
Non-combustible materials
Without openings
Water-proof
Washable for wet waste;
Safely stored
Segregated waste
Marked with the garbage category
Warnings on dangers of particular types of waste;
Suitable fire protection devices in closed vicinity;
© 2024 | COLUMBIA Shipmanagement | Prepared by Alpha Marine Consulting PC | Revision 2 | January 2024
Outside the Accommodation:
Metal Containers
Leak Proof
Protected against sea water
Located away from ship’s side
With lid and plastic seals
No hazard to adjacent spaces
Not to block access to safety equipment
Not stored in cofferdams.
62

63.

Discussion
What actions should you take if you notice a crewmember not to comply with
the Company’s Garbage Management Plan policy ?
© 2024 | COLUMBIA Shipmanagement | Prepared by Alpha Marine Consulting PC | Revision 2 | January 2024
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64.

Discussion – Possible actions
Stop the crewmember in case an environmental breach is imminent
Inform the crewmember about the Company’s Garbage Management Plan Requirements
Inform the Garbage Management Officer or the Master
Report the incident through the Open Reporting System
Inform the crewmember about the consequences of the violations of MARPOL Annex V
© 2024 | COLUMBIA Shipmanagement | Prepared by Alpha Marine Consulting PC | Revision 2 | January 2024
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65.

Section 6
MARPOL ANNEX VI
Prevention of Air Pollution
© 2024 | COLUMBIA Shipmanagement | Prepared by Alpha Marine Consulting PC | Revision 2 | January 2024
65

66.

NOx Emissions
Which vessels have to comply with the NOx regulation ?
Ozone production from NOx pollutants: Oxygen atoms freed from nitrogen dioxide by
the action of sunlight attack oxygen molecules to make ozone. Nitric oxide can
combine with ozone to reform nitrogen dioxide, and the cycle repeats
All vessels with diesel engines installed onboard on or after 1/1/2000 with power
output more than 130kw have to comply with the NOx regulation
This regulation applies also on older engines, installed onboard prior to 1/1/2000 but
which undergo a conversion of engine systems & components that affect the
engines NOx emissions, or increase the engine MCR more than 10% after this date
Requirements do not apply to engines installed on board and used solely in case of
an emergency (i.e. emergency generator, lifeboat engines, etc.)
© 2024 | COLUMBIA Shipmanagement | Prepared by Alpha Marine Consulting PC | Revision 2 | January 2024
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67.

NOx Emission Control Areas
Name as many NOx Emission Control Areas you can:
© 2024 | COLUMBIA Shipmanagement | Prepared by Alpha Marine Consulting PC | Revision 2 | January 2024
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68.

Reduction of NOx emissions
Engine Certification and Survey Requirements
Engine Technical File
Contains the identification of all originally installed components & settings which
affect NOx emissions
Engine International Air Pollution Prevention Certificate
Is a statement of compliance supplemented by the Engine Technical File
Air Pollution Prevention Certificate
It remains valid only if the Engine compliance with NOx regulation is validated at
every IAPP survey
Issued by the Administration for a period not more than 5 years
© 2024 | COLUMBIA Shipmanagement | Prepared by Alpha Marine Consulting PC | Revision 2 | January 2024
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69.

Reduction of NOx emissions
What do the Class surveyors check, to ensure engine’s compliance with NOx regulation ?
The EIAPP certificate of each engine
Whether the Engine NOx emission affecting components, as detailed in the
Technical File, are maintained in good condition
Whether the components replacement complies with the Technical File
requirements and recorded in the “Record Book of Engine Parameters’’
If the engine settings affecting NOx emissions are maintained within the limits
detailed in the Technical File and any adjustments are recorded in the “Record
Book of Engine Parameters’’
Inspect of engine components included in the Technical File as per the
“Onboard Verification Procedure’’ attached to the Technical File
© 2024 | COLUMBIA Shipmanagement | Prepared by Alpha Marine Consulting PC | Revision 2 | January 2024
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70.

Reduction of NOx emissions
Engine Certification and Survey Requirements
Since the “Engine Parameter Check’’ is an indirect method, the following
additional documents should become available to the surveyor:
Engine logbook parameter records (mainly exhaust gas temperatures, but
also fuel, lube oil, cooling water and charge air temperatures and pressures)
Records/diagrams of compression and combustion pressures
© 2024 | COLUMBIA Shipmanagement | Prepared by Alpha Marine Consulting PC | Revision 2 | January 2024
70

71.

Maintaining the engines according to NOx regulations
What should the C/E do to ensure that the engines are maintained according to the NOx regulations ?
Check that the operational parameters are logged and are within the maker’s specified limits
Use suitable components and their ID numbers are recorded in the “Record Book of Engine
Parameters’’, whenever a replacement of components is carried out
Make sure that whenever adjustments are carried out to engine settings, these are within the
specified range and recorded in the “Record Book of Engine Parameters”
The engine’s Technical File and the EIAPP must always be onboard and maintained in an
excellent condition
© 2024 | COLUMBIA Shipmanagement | Prepared by Alpha Marine Consulting PC | Revision 2 | January 2024
71

72.

SOx Emission Control Areas
Name as many SOx Emission Control Areas you can:
The North Sea Area
The North American Area
The US Caribbean Sea Area
The Baltic Sea Area
China ECA Area
Any other ports or areas may have their specific requirements.
© 2024 | COLUMBIA Shipmanagement | Prepared by Alpha Marine Consulting PC | Revision 2 | January 2024
72

73.

Maximum Permitted Sulphur Content of Fuel
Sulphur
Enforcement limit
date
(% m/m)
Already in
force
Grade
0.50
All grades
0.10
Operating area
Reference
Global limit (since 01/01/2020)
Revised MARPOL Annex VI adopted by Res. MEPC. 176(58)
MGO
For MGO supplied in EU territory and waters
(since 01/01/2008)
Directive 1999/32/EC as amended by Regulation 1882/2003 and Directive
2005/33
0.10
All grades
European (outside IMO ECA) & Turkish inland
waterways and when berthed at EU & Turkish
ports
Directive 1999/32/EC as amended by Regulation 1882/2003 and Directive
2005/33 & Turkish Maritime Regulations applicable since 01/01/2012
0.10
All grades
North America ECA, US Caribbean ECA, Baltic
ECA, North Sea ECA & English Channel
Revised MARPOL Annex VI adopted by Res. MEPC. 176(58)
California waters and 24 NM of the California
baseline (since 01/01/2014)
CARB Marine Notice (mandatory use of either MGO or MDO with the set
maximum sulphur limit to main propulsion diesel engines, auxiliary diesel
engines and boilers. HFO is not allowed to be used)
0.10
MGO (DMA)
MDO (DMB)
Vessels using scrubbers may use fuel with higher percentage of Sulphur, however specific local requirements should be considered.
© 2024 | COLUMBIA Shipmanagement | Prepared by Alpha Marine Consulting PC | Revision 2 | January 2024
73

74.

Reduction of SOx emissions
Ensure that vessels operations will fully comply with the
MARPOL Annex VI requirements regarding SOx emissions,
both inside and outside SOx Emission Control Areas (ECAs)
The fuel oil received and consumed must satisfy the Annex VI
maximum Sulphur content limit
The C/E should ensure this by verifying that the Sulphur
content is written on the Bunker Delivery Note (BDN), and
that it is not above the limit stated
In the situation that the BDN shows compliant fuel, but test
results of the “commercial sample” indicates non-compliance,
the TSI has to be notified immediately.
© 2024 | COLUMBIA Shipmanagement | Prepared by Alpha Marine Consulting PC | Revision 2 | January 2024
74

75.

Fuel oil samples under MARPOL
There are three defined fuel oil samples under MARPOL, each provided with a set of IMO
guidelines:
MARPOL delivered sample – the traditional sample taken during bunkering, accompanying
the Bunker Delivery Note (BDN) which represents the fuel oil delivered on board.
In-use sample – represents the fuel oil in use on the ship.
On board sample – represents the fuel oil intended to be used or carried for use on board
the ship.
The “commercial sample” is not required by MARPOL
© 2024 | COLUMBIA Shipmanagement | Prepared by Alpha Marine Consulting PC | Revision 2 | January 2024
75

76.

General Practice for Change-over Procedures – (MSOPR-02.2)
What is the General Practice for Change-over Procedures ?
Calculate the required time for safe change over of fuels
Start at calculated time prior to entering the ECA, to ensure that upon crossing the ECA
border the fuel oil system of the M/E and/or D/G has been fully flushed with the low
sulphur fuel
The less the segregation of the 2 fuel oil systems between the tanks the greater will be the
time interval required for the change over
The time required for fully flushing the fuel system depends upon several parameters,
which are mentioned below:
The existence of separate service and settling tanks
The volume of the service and settling tank, in case these are common for the two fuel
types
The existence of separate purifiers, heaters, etc. for the two fuel types
Requirements for gradual adjustments of the F.O. temperature and viscosity, if applicable
© 2024 | COLUMBIA Shipmanagement | Prepared by Alpha Marine Consulting PC | Revision 2 | January 2024
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77.

Change-over procedure calculation
What tool is available on board to calculate the Fuel Oil Change – Over procedure ?
The MSOF-2.2 FOBAS Change-Over Calculator
© 2024 | COLUMBIA Shipmanagement | Prepared by Alpha Marine Consulting PC | Revision 2 | January 2024
77

78.

Exhaust Gas Cleaning System (EGCS) - Scrubber
Marine scrubbers generally use sea water to remove sulphur oxides and particulate matter from the
exhaust gas.
EGCS can be used both inside and outside of ECAs.
Vessels fitted with EGCS are permitted to carry fuel oil with sulphur content exceeding that required
by MARPOL Annex VI Regulation 14.
Discharges of EGCS wash water to sea must be continuously monitored.
Several ports and regions limit or ban discharging of wash water into their waters.
Some coastal states (i.e. Australia and USA) require analytical monitoring of wash water.
Residues generated by EGCS should not be incinerated or discharged into the sea but delivered to
adequate shore reception facilities.
EGCS Malfunction
In case of EGCS malfunction (e.g. an alarm is triggered), immediate action should be taken to identify
and rectify the fault.
In case of EGCS breakdown, if the EGCS cannot be put back into a compliant condition within one hour
the vessel should switch over to compliant fuel.
© 2024 | COLUMBIA Shipmanagement | Prepared by Alpha Marine Consulting PC | Revision 2 | January 2024
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79.

Control of Volatile Organic Compounds (VOCs)
Vessels carrying crude oil and trading in terminals at which VOCs’ emissions
are to be regulated must be provided with a Volatile Organic Compounds
Management Plan
Control of Vapour Emissions
Vessels undergoing closed operations in terminals, at which vapour
emissions are to be controlled, must be provided with:
A Vapour Emission Control System (VECS), approved by the Administration
A Vapour Emission Control Manual, which covers all necessary procedures,
including crew training requirements
© 2024 | COLUMBIA Shipmanagement | Prepared by Alpha Marine Consulting PC | Revision 2 | January 2024
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80.

Control of Incineration Emissions
Incineration of the following substances is prohibited
Cargo residues of crude oil and oil like substance cargoes, chemical cargoes
included in Chapter 17 of the IBC Code
Polychlorinated biphenyls (PCBs), which are mainly liquid substances used as
coolants and lubricators in electrical apparatus like transformers
Garbage when containing more than traces of heavy metal
Refined petroleum products containing halogen compounds
Polyvinyl Chlorides (PVCs) unless the Incinerator is IMO type approved for
burning these substances
Cargo residues of harmful substances (IMDG code) and NLS
Residues of the Exhaust Gas Cleaning System (EGCS).
Special rules on incineration under domestic law may apply in some ports and in
some special areas prohibiting the use of incinerators (Ref GMP section 03.1)
© 2024 | COLUMBIA Shipmanagement | Prepared by Alpha Marine Consulting PC | Revision 2 | January 2024
80

81.

Ozone Depleting Substances
Ozone Depleting Substances
Application
Chlorofluorocarbons (CFC)
Refrigeration, Air conditioning, Foam
Application, Aerosol propellant
Halon
Fire extinguisher
Carbon tetrachloride, Methyl
chloroform
Cleaning fluid, Fire extinguisher
Hydrobromofluorocarbons (HBFCs)
Fire suppressant
Hydrochlorofluorocarbons (HCFCS)
(R22, R141b)
Refrigeration, Air conditioning, Foam
application, Aerosol propellant
Methyl Bromide
Fumigant
Bromochloromethane (BCM)
Fire extinguisher
© 2024 | COLUMBIA Shipmanagement | Prepared by Alpha Marine Consulting PC | Revision 2 | January 2024
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82.

Control of Shipboard Refrigerants Emissions
What measures are taken onboard the ship to control refrigerants emissions ?
Recover and reuse refrigerants by using a recovery unit, together with an empty gas
bottle which is supplied to all vessels
Maintain recovery units in good working order at all times
Order required spares via the Technical Superintendent
Register any detected loss of gas in the Refrigerant Record Book
Repair any leaks and record the loss of gas
Plan and execute the maintenance of the Air Conditioning and refrigerating plants in
accordance with the manufacturer’s instructions and as described in the PMS
© 2024 | COLUMBIA Shipmanagement | Prepared by Alpha Marine Consulting PC | Revision 2 | January 2024
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83.

Section 7
SEEMP
Ship Energy Efficiency Management Plan
© 2024 | COLUMBIA Shipmanagement | Prepared by Alpha Marine Consulting PC | Revision 2 | January 2024
83

84.

SEEMP Part I – Applicability
According to MARPOL Annex VI Chapter 4 Regulations 19 & 22:
SEEMP Part I
Old SEEMP = …………….........
400 GT
All vessels > …....
SEEMP Part I does not require approval
Each vessel shall keep onboard a ship-specific SEEMP, to be verified by attending
Class surveyor, as part of International Ship Energy Efficiency Certificate (IEEC)
issuance
© 2024 | COLUMBIA Shipmanagement | Prepared by Alpha Marine Consulting PC | Revision 2 | January 2024
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85.

SEEMP Part I
Name as many best practices for fuel-efficient operation of ships as you can
mentioned in Resolution MEPC.282(70)
Improved voyage planning
Hull maintenance
Weather routing
Propulsion system
Just in time
Propulsion system maintenance
Speed optimization
Waste heat recovery
Optimized shaft power
Improved fleet management
Optimized ship handling
Improved cargo handling
Optimum trim
Energy management
Optimum ballast
Fuel Type
Optimum propeller and propeller inflow
Age and operational service life of a ship
considerations
Trade and sailing area
Optimum use of rudder and heading control
systems (autopilots)
© 2024 | COLUMBIA Shipmanagement | Prepared by Alpha Marine Consulting PC | Revision 2 | January 2024
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86.

SEEMP Part II - Applicability
According to MARPOL Annex VI Chapter 4 Regulations 19 & 22A:
SEEMP Part II
New SEEMP = ……………………..
5.000
All vessels > ……..….GT
SEEMP Part II – (Ship Fuel Oil Consumption Data Collection Plan) shall include a
description of the methodology that will be used to collect the data required by
regulation 22A.1 of Annex VI and the processes that will be used to report the data to
the ship’s Administration”.
© 2024 | COLUMBIA Shipmanagement | Prepared by Alpha Marine Consulting PC | Revision 2 | January 2024
86

87.

SEEMP Part II - Approval
SEEMP Part II to be reviewed and approved by the Verifier.
© 2024 | COLUMBIA Shipmanagement | Prepared by Alpha Marine Consulting PC | Revision 2 | January 2024
87

88.

SEEMP Part II - Content
Introduction;
Ship Particulars;
Flag, IMO Number, Homeport, Ship type, Deadweight, Gross/Net Tonnage, EEDI.
Company information (Ship owner/ISM Manager), Name, IMO Number, Address.
Emission Sources and Fuel Types Used;
Main Engine, Aux. Engines, Aux. Boilers, IG Generators, Hydraulic Pump units.
MDO/MGO, LFO, ULFO, HFO, LPG, LNG, Methanol.
Emission Factors;
MGO=3.206, LFO=3.151, HFO=3.114, LPG=3.030, LNG=2.75 (in t-CO₂/t-fuel).
Method to measure Fuel Oil Consumption;
Bunker Delivery Notes;
Periodic stocktakes of fuel tanks during bunkering and at departure and arrival ports.
© 2024 | COLUMBIA Shipmanagement | Prepared by Alpha Marine Consulting PC | Revision 2 | January 2024
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89.

SEEMP Part II - Content
Method to measure Distance Travelled;
Distance over ground (via GPS);
Reported based on the voyage distance, calculated from berth to berth.
Method to measure Hours Under Way;
Steaming time as in Deck Logbook;
Actual time at sea from previous noon report.
Procedure for reporting data to Administration;
Vessel reports to the office the fuel consumption through noon report (InfoPath);
Data received is imported automatically in the database;
Final report of the year is produced in the office by retrieving all noon reports available in the
database;
Final report is reviewed/validated in the office and sent to the Verifier.
Data Quality
© 2024 | COLUMBIA Shipmanagement | Prepared by Alpha Marine Consulting PC | Revision 2 | January 2024
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90.

Energy Efficiency Design Index
EEDI is the theoretical indicator for vessel’s Energy Efficiency
Building contract placed on/after 1 January 2013
In the absence of contract, keel laid after 1 July 2013 or the delivery of
which is on/after 1 July 2015
NOT applicable to vessels sailing entirely within flag state waters
The EEDI sets CO2 emissions reference and is calculated once for each
vessel. It is a reference value for the energy efficiency indicating how
many grams of CO2 a vessel emits for the transportation of 1 tonne of
cargo over a distance of one nautical mile
The EEDI dimension is given as: gr CO2 ÷ (tonnes x nautical miles)
© 2024 | COLUMBIA Shipmanagement | Prepared by Alpha Marine Consulting PC | Revision 2 | January 2024
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91.

Energy Efficiency Operational Indicator (EEOI)
The EEOI is an approach to assess the efficiency of a ship with respect to CO2 emissions
In its most simple form the Energy Efficiency Operational Indicator is defined as the ratio of
mass of CO2 emitted per unit of transport work
EEOI = Environmental Cost ÷ Benefit to Society
Energy Efficiency Operational Indicator = M CO2 / (transport work)
Measured as grams CO2 / (tonne x nautical mile)
© 2024 | COLUMBIA Shipmanagement | Prepared by Alpha Marine Consulting PC | Revision 2 | January 2024
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92.

Energy Efficiency Index for Existing Ship (EEXI)
Applicable for ships over 400 gross tonnage (GT) in line with the Energy Efficiency Design Index (EEDI)
Entry into force January 1, 2023, on first annual, intermediate or renewal International Air Pollution
Prevention (IAPP) survey or the initial International Energy Efficiency Certificate (IEE) survey
A review shall be completed by 1 January 2026 by the Organization to assess the effectiveness of the
regulation in reducing the carbon intensity of international shipping
Attained EEXI ≤ Required EEXI = (1 − y /100) • EEDI reference line value
where y is the reduction factor specified in Reg. 25 of MARPOL Annex VI.
Ship type
Bulk carrier
Gas carrier
Tanker
Containership
Size
DWT ≥ 200,000
20,000 ≤ DWT < 200,000
10,000 ≤ DWT < 20,000
DWT ≥ 15,000
10,000 ≤ DWT < 15,000
2,000 ≤ DWT < 10,000
DWT ≥ 200,000
20,000 ≤ DWT < 200,000
4,000 ≤ DWT < 20,000
DWT ≥ 200,000
120,000 ≤ DWT < 200,000
80,000 ≤ DWT < 120,000
40,000 ≤ DWT < 80,000
15,000 ≤ DWT < 40,000
10,000 ≤ DWT < 15,000
© 2024 | COLUMBIA Shipmanagement | Prepared by Alpha Marine Consulting PC | Revision 2 | January 2024
y
15
20
0-20*
30
20
0-20*
15
20
0-20*
50
45
35
30
20
0-20*
Ship type
General cargo ship
Refrigerated cargo carrier
Combination carrier
LNG carrier
Size
DWT ≥ 15,000
3,000 ≤ DWT < 15,000
DWT ≥ 5,000
3,000 ≤ DWT < 5,000
DWT ≥ 20,000
4,000 ≤ DWT < 20,000
DWT ≥ 10,000
y
30
0-30*
15
0-15*
20
0-20*
30
Ro-ro cargo ship (vehicle carrier)
DWT ≥ 10,000
15
DWT ≥ 2,000
5
Ro-ro cargo ship
1,000 ≤ DWT < 2,000
0-5*
DWT ≥ 1,000
5
Ro-ro passenger ship
250 ≤ DWT < 1,000
0-5*
GT ≥ 85,000
30
Cruise passenger ship having nonconventional propulsion
25,000 ≤ GT < 85,000
0-30*
* Reduction factor to be linearly interpolated between the two values
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93.

Carbon Intensity Indicator (CII)
Year
Reduction Factor (z)
Applicable for ships over 5,000 GT in line with IMO Data Collection System
2023
5%
(DCS)
2024
7%
Each ship must have an approved SEEMP (Part III) on board as of January
2025
9%
1, 2023
2026
11 %
SEEMP will be subject to verification and company audits
2027
**
A review shall be completed by 1 January 2026 by the Organization
Required annual operational CII = (1 −z/100) • CIIR
Where, z is the annual reduction factor and CIIR is the reference value.
Operational
carbon×intensity
(
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