Inclusive of amendments of 30 September 2008, of 15 May 2009


Consultation on evaluation (SEA) report



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Consultation on evaluation (SEA) report

The consultation process commenced on 7 November 2006 with notices in the national press and on the Department’s websites. The Northern Ireland Authorities were also informed.



The following summarises the responses:

Environmental Protection Agency (EPA)

  • The report examined one/two alternative scenarios. Other possible alternatives might usefully be considered.

  • The proposed monitoring programme requires detailed consideration. The inclusion of existing monitoring programmes such as national surface and groundwater programmes is recommended. There should be a clear distinction between the programme’s objectives and the environmental ones as per the SEA Directive.

  • The Water Framework Directive and associated plans and measures should be referred to in the programme. Groundwater, surface water and coastal and estuarine environments also merit mention.

  • The report refers to the requirements for environmental impact assessments for individual forestry developments. The cumulative impacts of adjoining forestry developments may not, however, be adequately addressed by those assessments.

  • In terms of the preservation of rural landscapes and traditional agricultural landscapes, there may be merit in a pilot assessment of such landscapes.

  • The evaluator’s views on some issues are open to question. In some cases, impacts might be positive or negative; flood risk is a realistic threat to low-lying agricultural land.


Department of the Environment, Heritage and Local Government


  • The Department welcomes the provisions promoting protection of the aquatic environment and, in particular, the new measures in REPS and Axis 4 for the protection and improvement of threatened water bodies

  • In the case of forestry there is potential for significant negative impact on water quality, influenced by the types of trees planted and the soil types chosen. Concerns include acidification, nutrient runoff, sedimentation and dangerous substances

  • Two key control measures relating to afforestation have the capacity to substantially mitigate against the generation of any significant adverse environmental effects arising from the proposed measures. These are: the ‘Code of Best Forest Practice’ and the Environmental Impact Assessment Directive 85/337/EEC. Work underway by the Western River Basin District project may result in further controls on forestry in sensitive areas

  • Forestry plantation needs to take into account all potential impacts on water quality and biodiversity.

Department of the Communications, Marine and Natural Resources

  • There is scope to introduce a more detailed plan for more rivers and lakes to take the opportunity presented by the new Rural Development Programme to introduce voluntary measures designed to improve water quality in a number of areas: specifically, certain salmon rivers and pearl mussel habitats, and the catchments of certain western lakes.

  • There seems to be a lot of reference to protection of birds and hedgerows under Biodiversity sections yet no reference to the need for protection of aquatic habitats, particularly salmon habitats (protected species) or the benefit that the aquatic riparian corridor can provide as a habitat and continuum for flora and fauna.


Agri/environmental groups


  • With no targets set for species mix to move from the current model of fast-growing species, the 30 per cent broadleaf planting target has been abandoned.

  • Proposed ‘Requirements’ on forestry operations impacting on water-quality arising from the scientific identification of, inter alia, phosphate and silt releases are confined to SACs and are voluntary rather than statutory.

  • Definition of peat soils used by the Forest Service fails to address the organic content of the soils, as recognised in the Nitrates Regulation 2006, affecting environmental impacts and calculations of value of forestry for carbon sequestration.

  • SEA underestimates or even ignores the environmental impact of the current industrial plantation forestry policy that prevails in Ireland.

  • There are concerns about choice of location, soils and species.

  • There is no protection for Native Woodland Resources.

  • There is a dependence on monocultures, with a focus on low-quality, fast-growing species at the expense of high-quality broadleaf plantations and high-quality end-use.

  • There is a high dependence on significant and sustained use of pesticides, herbicides and fertilisers.

  • No measures are included to ensure equal application of controls to reforestation.



Response to strategic environmental assessment

As legally required the definitive response will be set out once the programme is adopted. The following, although necessarily provisional, provides a clear indication as to that response and as to the manner in which the SEA has been taken into account in preparing the programme:



  • On consideration of possible alternative approaches, it is accepted that the environmental report limited itself to one/two scenarios. However, two important and related factors have to be borne in mind. Firstly, the regulation provides a set menu of possible support measures under each of its objectives. Secondly, this programme provides for 80 per cent of total co-funded expenditure under the ‘environmental’ objective – the maximum allowable. The combined effect is to reduce the scope for alternatives.

  • While the restrictions reduce the potential for alternatives at a macro level, it is appreciated that they do not preclude consideration of possible alternatives at measure level to maximise potential benefit. Based on discussions with the EPA and other suggestions, certain measures have been adapted to this end. In the case of agri-environment, the measures proposed under REPS, Natura 2000 and Organic Farming will continue to develop a set of pro-active elements to restore and enhance the environment and biodiversity and to accommodate developments in agricultural policy and emerging environmental issues.

  • A number of issues relating specifically to forestry were raised as part of the SEA consultation process, i.e. water-quality, species selection, use of fertilisers and herbicides, reforestation and soils definitions. All applications are subject either to full EIA screening (if below 50ha) or full EIA (if above 50ha or if demanded). It is also worth remembering that the size of individual plantations is now quite small – less than 10ha on average. Statutory consultation with prescribed bodies is also part of the approval process, with full public consultation in many instances. In addition, the new GIS map-base will be extensively used not just to evaluate proposals against a range of opportunities and constraints, but also to guide the preparation and submission of such applications in the first place. The GIS system will assist in targeting investment in areas of high scenic sensitivity and converting established forests to fit better within the landscape.
  • On the forestry side, guidelines in relation to preservation of water quality have been drawn up, with specific requirements to be introduced for protection of the freshwater pearl mussel. Any further requirements identified as part of the implementation of the Water Framework Directive will of course be incorporated.

  • In relation to species selection, it is intended to maintain the target of 30 per cent broadleaf afforestation for the new programming period, with specific schemes promoting this and more favourable rates of premium applying. The native woodland resources will continue to be protected and expanded through a dedicated Native Woodland Scheme.

  • Use of fertilisers and herbicides in forestry establishment is extremely low by agricultural standards, often requiring no more than one or two applications over a full rotation of 40-100 years. A new Statutory Instrument has recently been introduced to control the use of aerial fertilisation in established forestry.


  • Reforestation is not grant-aided and forms no part of the programme. Conditions applying to reforestation are stipulated in accordance with the Forestry Acts (which are currently under review).

  • In relation to soils definitions, the question here is how to define a ‘peat’ soil. The approach used in Irish forestry is well established internationally and, at the Commission’s request, a new paragraph has been inserted into the RDP explaining the situation in more detail.

  • Initial discussions have taken place with Bord na Móna in terms of a holistic response to the future management of cut-away bogs, in which careful planting of woodlands will play an important role. The potential for easing flood-risk in this fashion (such as into the Shannon) will also be explored. At a ‘local’ level, riparian planting will be encouraged under the new Agro-Forestry scheme and this can have a significant and positive effect on localised flooding and soil-erosion.

  • The need for an effective and flexible monitoring system is recognised. Given the programme’s emphasis on environmental measures, its objectives and those of the SEA Directive are to a very significant extent compatible. In monitoring progress, use will be made of existing data sources. These will also be utilised to discern possible unforeseen effects and the need for appropriate response. Assessment of ‘environmental’ progress will be an inherent feature of annual reports etc. on the programme. In terms of broader level monitoring, the National Forest Inventory has just completed fieldwork that will provide excellent baseline information not just in terms of productivity, but also in terms of forest health and ecology. In addition to its relevance to the current programme, the monitoring system will also inform any successive programme.




  • REPS and the Natura measures will involve the collection of environmental data about each holding which will form the basis for detailed individual farm plans. This collection of data will feed into an ongoing analysis of the effects of the measures.

  • The plans and measures adopted under the Water Framework Directive will be taken into consideration as the programme progresses. A new Supplementary Measure in REPS is designed to address water quality issues, in particular lake catchments. Since farming is only one of the factors affecting water quality in these areas, the REPS Supplementary Measure will be complemented by actions under Axis 3.

  • Following the 2004 report by the Flood Policy Review Group, the Office of Public Works (OPW) was appointed as the lead agency to implement flooding policy in Ireland. The OPW is currently developing a strategy to manage flood risk, in conjunction with other relevant state agencies. The strategy is likely to involve non-structural measures such as storage and better flood forecasting and warning, but will also include structural works, particularly where flooding is already a problem. Developments here will be closely monitored and where necessary reflected in the programme measures.

In the context of the SEA and the environmental impact of the proposed Axis 2 measures the Department of Agriculture and Food considers that the following summary of the achievements to date and independent evaluations is also relevant:
(A) Agri-environmental measure (REPS)
Improvements since REPS commenced in 1994


  • Almost 60,000 farmers, farming 2m hectares in the scheme, farm to individual farm plans prepared by a professional

  • 4,000km of new hedgerow contracted for establishment

  • 2,700km of hedgerow contracted for rejuvenation

  • 13,700ha contracted for new on farm habitat creation

  • 17,000 farmers opted to provide nature corridors by increasing all field margins from 1.5m to 2.5m

  • 7,000ha contracted for the establishment of traditional hay meadow

  • 12,000ha contracted for the establishment of species-rich grassland.

Evaluation report on REPS in 1999

The 1999 evaluation was carried out by Fitzpatrick and Co. and concluded that the scheme, as designed, has many attributes. It applies a set of standard environmental requirements to be met by participating farms, which together make substantive inroads towards achieving optimal environmental sustainability on farming units. A range of areas is covered, ensuring real improvements on participant farms, although the nature of improvements, correctly, depends on the nature of individual farms. The scheme furthermore ensures that these advancements may be guaranteed for a period into the future.



Mid-term evaluation report 2003
This report was compiled by AFCon, independent consultants who established that:


  • Soil quality has been protected through nutrient management planning and grassland management.

  • Chemical contamination of soils has been prevented or reduced through the limitations on nutrient input implemented by nutrient management plans.

  • The biodiversity measure has been successful in protecting habitats that may have been otherwise lost.

  • Hedgerow quality has attributed to avian diversity on farmland in general.

  • The visual appearance of farms is much improved. Maintenance of stonewalls and retention of hedgerows has a positive impact on the landscape.

  • Research done by Teagasc found that more archaeological features have been maintained on farms because of REPS. Prior to this, some of these were destroyed due to land improvement associated with more intensive farming.

The report concluded that REPS has a positive effect on the landscape by improved visual appearance, better management of designated areas of high nature value, and appreciation of historical and cultural values.


Fondazione Eni Enrico Mattei (FEEM) report 2006
This study of REPS was carried out by Danny Cambell, W. George Hutchinson and Riccardo Scarpa and concluded that the scheme delivers:


  • Improvement of wildlife habitats, hedgerows, farmyard tidiness and cultural heritage

  • Improvements to biodiversity-enhanced recreational opportunities, rural development and contributions to farmers’ incomes and the broader rural economy.

The report further concludes that the total benefits provided by the REPS are likely to exceed the costs associated with it and on this basis the scheme would seem to be justified.




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