EMRC Oct 2008
Transcription
EMRC Oct 2008
Environment Management Review Committee Meeting 18th Oct 2008 AGENDA FOR EMRC MEETING (To be held on 18th Oct 2008 at 11:30 AM) Venue: Learning Centre [Main Conference Hall] 1. Developments in Legal & Other requirements…[PKN] A. PFOS Directive B. Overview of Flame Retardants Scenario C. REACH Directive 2. Green Cell Initiatives : A. Packaging Material Reuse/Recycling [Manmeet- Sales & Marketing] B. Indoor Air Quality [ Sangeeta Bansal- Metalcan] 3. EHS Activities in CDIL Mohali: AVC 4. Internal Audit Findings & Evaluations of compliances with Legal Requirements..[Manasi Mehta] A. General Audit findings …[Manasi Mehta] B. Status of Corrective & Preventive Actions…[Manasi Mehta] C. Evaluation of Legal Compliance ….[PKN] 5. Extent to which objectives & Targets have been met A. Environmental Foot Printing of Production areas.[Pawan Tanwar] B. Status of Environment Management Programmes C. EMG Meeting Status 6. Follow up actions from EMRC Nov 07…[ PKN] 7. Recommendations for Improvement …[ PKN] Development in Legal & other requirements An overview of Flame Retardants (FR) Deca BDE TBT PFOA TBTO POP BFR TPT PoHS PFAS PFOS ELINCS EINECS CFR REACH SVHC TBBPA HBCDD PAH RoHS ANTIMONY TOXIC PBB DEPH WELCOME TO THE WORLD OF PBDE ECHA ENVIRO-LEGAL REQUIREMENTS CMRs DSDMAC TBBPA-A-BIS An Overview of Flame Retardants Flame Retardants (FRs) These are Chemicals which is added to materials during or after the manufacture, inhibit or suppress the combustion process. Type of FRs 1. 2. 3. 4. 5. Brominated Flame Retardants [BFRs] Chlorinated Flame Retardants [CFRs] Phosphorus Containing Flame Retardants Nitrogen Containing Flame Retardants (Melamines) Inorganic Flame Retardants Flame Retardants Standard for Flammability UL 94 flammability testing There are two types of pre-selection test programs conducted on plastic materials to measure flammability characteristics. The first determines the material’s tendency either to extinguish or to spread the flame once the specimen has been ignited. The first program is described in UL 94, The Standard for Flammability of Plastic Materials for Parts in Devices and Appliances, which is now harmonized with IEC 60707, 60695-11-10 and 60695-11-20 and ISO 9772 and 9773. The second test program measures the ignition resistance of the plastic to electrical ignition sources. The material’s resistance to ignition and surface tracking characteristics is described in UL 746A, which is similar to the test procedures described in IEC 60112, 60695 and 60950. Standard for Flammability UL 94 flame classifications There are 12 flame classifications specified in UL 94 that are assigned to materials based on the results of small-scale flame tests. These classifications, are used to distinguish a material’s burning characteristics after test specimens have been exposed to a specified test flame under controlled laboratory conditions. Six of the classifications relate to materials commonly used in manufacturing enclosures, structural parts and insulators found in consumer electronic products (5VA, 5VB, V-0, V-1, V-2, HB). For semiconductor products the applicable flammability standard is UL94 V-0 UL94 V-0, V-1, V-2 Flammability Standard Specimen • Length 125 mm (5 in) x Width 13 mm (0.5 in) x Thickness [typically 0.7 mm (1/32 in) or 1.5 mm (1/16 in) or 3.0 mm (1/8 in)]. Procedure 1. A total of 10 specimens (2 sets) are tested per thickness. 2. Five specimens of each thickness are tested after conditioning for 48 hours at 23 degrees C and 50% RH. 3. Five specimens of each thickness are tested after conditioning for 7 days at 70 degrees C. 4. Each specimen is mounted with long axis vertical 5. Each specimen is supported such that its lower end is 10 mm above Bunsen burner tube. 6. A blue 20 mm high flame is applied to the center of the lower edge of the specimen for 10 seconds and removed. If burning ceases within 30 seconds, the flame is reapplied for an additional 10 seconds. If the specimen drips, particles are allowed to fall onto a layer of dry absorbent surgical cotton placed 300 mm below the specimen. Requirements for V-0 1. The specimens may not burn with flaming combustion for more than 10 seconds after either application of the test flame. 2. The total flaming combustion time may not exceed 50 seconds for the 10 flame applications for each set of 5 specimens. 3. The specimens may not burn with flaming or glowing combustion up to the holding clamp. 4. The specimens may not drip flaming particles that ignite the dry absorbent surgical cotton located 300 mm below the test specimen. 5. The specimens may not have glowing combustion that persists for more than 30 seconds after the second removal of the test flame. Requirements for V-1 1. The specimens may not burn with flaming combustion for more than 30 seconds after either application of the test flame. 2. The total flaming combustion time may not exceed 250 seconds for the 10 flame applications for each set of 5 specimens. 3. The specimens may not burn with flaming or glowing combustion up to the holding clamp. 4. The specimens may not drip flaming particles that ignite the dry absorbent surgical cotton located 300 mm below the test specimen. 5. The specimens may not have glowing combustion that persists for more than 60 seconds after the second removal of the test flame. Requirements for V-2 1. The specimens may not burn with flaming combustion for more than 30 seconds after either application of the test flame. 2. The total flaming combustion time may not exceed 250 seconds for the 10 flame applications for each set of 5 specimens. 3. The specimens may not burn with flaming or glowing combustion up to the holding clamp. 4. The specimens can drip flaming particles that ignite the dry absorbent surgical cotton located 300 mm below the test specimen. 5. The specimens may not have glowing combustion that persists for more than 60 seconds after the second removal of the test flame. Flame Retardants Flame Retardants Flame Retardants Brominated Flame Retardants [BFRs] 1. 75 different products each with specific properties and Toxicological behaviour. 2. Six product Families 1. TBBPA and its derivatives [Tetra Bromo Bisphenol A] 2. HBCDD [Hexa Bromo Cyclo Dodecane] 3. PBDE [Poly Brominated Diphenyl Ether] a) Deca-BDE [Deca Bromo Diphenyl Ether] b) Octa-BDE [Octa Bromo Diphenyl Ether] c) Penta-BDE [Penta Bromo Diphenyl Ether] 4. PBB [Poly Brominated Biphenyl ] 5. Brominated Styrols 6. Pthalic Anhydrides Flame Retardants Flame Retardants The PBDE & PBB group of flame retardants under most pressure for restrictions and phase-out currently include: PentaBDE -Pentabromodiphenyl ether , OctaBDE -Octabromodiphenyl ether , DecaBDE -Decabromodiphenyl ether , PBBs -Polybrominated Biphenyl Ethers , Antimony trioxide, and, in some instances, all brominated and halogenated flame-retardants. PentaBDE – is the main flame retardant used in polyurethane foam and furniture. It is highly toxic, persistent, and bioaccumulative and has been banned by the European Union as of 2005. OctaBDE is used in small amounts in wire and cable and other products and was banned by the EU as of August 2005, because of its high potential for bioaccumulation in the environment and humans. Flame Retardants DecaBDE The concerns include the possibility for debromination (degradation to lower congeners of BDEs, such as penta), formation of dioxins and furans in fires, processing and end-of-life handling, as well as its neurological effects and persistence. Additional studies are underway to clarify these uncertainties. PBBs are highly toxic, persistent and bioaccumulative chemicals that are no longer manufactured in the United States or Europe. Antimony trioxide is on the EPA’s Toxics Release Inventory list and is classified by the International Agency for Research on Cancer (IARC) is a probable carcinogen. Flame Retardants Legal Restrictions Six product families of BFRs Banned/Restricted under TBBPA and its derivatives [Additive] [Tetra Bromo Bisphenol A] WEEE,PoHS,IPC1752 JIGA, REACH, HBCDD [Hexa Bromo Cyclo Dodecane] WEEE, REACH, IPC1752 JIGA, PoHS PBDE [Poly Brominated Diphenyl Ether] RoHS, WEEE, China RoHS , IPC1752 JIGA, TRI, REACH, PBB [Poly Brominated Biphenyl ] RoHS, WEEE, China RoHS, IPC1752 JIGA, REACH, Brominated Styrols WEEE, REACH, IPC1752 JIGA, Pthalic Anhydrides WEEE, REACH, IPC1752 JIGA, PoHS As of today, Deca-BDE can no longer be used in electronics and electrical applications. This follows a European Court of Justice ruling from 1 April 2008. PFOS Directive 2006/122/EC 12th Dec 2006 PFOS Directive 2006/122/EC 12th Dec 2006 PFOS directive came into existence after 30th amendment of Restriction on the marketing of certain dangerous substances and preparations EU directive 76/769/EEC 27 th July 1976 Perfluorooctane sulfonates (PFOS). PFOS and their chemical variations were used historically as water, oil, soil and grease repellents for carpets, fabric and upholstery and food packaging, and in specialized applications such as fire-fighting foams, aviation hydraulic fluids, and insecticides. The definition of PFOS - Title : Perfluorooctane Sulfonates - Structure : C8F17SO2X [ X=OH, Metal salt(O-M+), Halide, Derivatives containing Amide and Polymer] PFOS is VpVb [Very Persistent Very Bioaccumulative Toxin] and Banned worldwide under POP list of Stockholm Convention . PFOS Directive 2006/122/EC 12th Dec 2006 PFOS:Perfluoro-octyl Sulfonate C8F17SO3 surface treatment, paper protection, performance chemical e.g. Carpet; Cup & plate; Fire fighting foam; Semi-conductor; PFOA: Perfluoro-octyl Acid C8F15OO Emulsifier and surfactant e.g.; Soap; Shampoo; Teflon; Gore-tex PFOS Directive 2006/122/EC 12th Dec 2006 1. 2. 3. 4. 5. 6. 7. Main use of PFOS Photoresists or anti reflective coatings for photolithography process Transcription belt and rubber roller coatings for printer and combination printer. Mist suppressants for chromium plating, dehydrator for chromate treatment, etching additives, pretreatment and post treatment agent etc Painting resin, Printed circuit board, Ceramic board, PTFE, Fluoric Resin. Paints, Colors, Pigment Solder Flux, Cream Solder Fluoric mold spatt etc PFOS is used for a surfactant and a dispersion agent etc besides the mentioned use above. PFOS Directive 2006/122/EC 12th Dec 2006 The restriction limit PFOS usage As a substance or constituent of preparation In semi finished products or articles Limit 0.005 % by mass 0.1 % by mass Photo resists or anti reflective coatings for photolithography process are currently exempted under PFOS. PFOS Directive 2006/122/EC 12th Dec 2006 REQUIREMENT FROM CDIL SUPPLIER Material Declaration detailing 1. The prohibition of the usages and circulation of the substance/preparations which have the over 0.005% concentration of the prohibited materials by PFOS. 2. The prohibition of the usages and circulation of the intermediate products which have over 0.1% ratio of the prohibited materials by PFOS. 3. The coated materials such as textiles which have PFOS 1 µgm/m2 of content. ISSUE OF PFOS CERTIFICATE TO CUSTOMER Continental Device India Limited An ISO/TS 16949 and ISO 14001 Certified Company Certificate of Compliance Restriction on the use of certain dangerous Substances and Preparation (perfluorooctane sulfonates)as per Directive 2006/122/EC of the European Parliament and of the Council with the 30th amendment of Council Directive 76/769/EEC Continental Device India Limited (Supplier) certifies to HITEC RCD KOREA INC... and its subsidiary and associated companies that, having made full and careful enquiry: All CDIL products and processes are fully compliant with the PFOS regulations of the EU. Directive 2006/122/EC This is based on specific declarations from our suppliers of ( a ) Photoresist and ( b ) chemicals used in terminal finishing process --- plating solutions and fluxes . (i) all of the materials, components, assemblies, equipment or other products or any parts of such products which are listed on the attached schedule (the Products) are in full compliance with EU directive 2006/122/EC (the PFOS Directive), EC directive 76/769/EEC (Restrictions on the marketing and use of certain dangerous substances and preparations), as amended and the national or regional legislation of member states within the European Community implementing such directives (the Applicable Legislation); and The Supplier confirms that this certificate will apply to all future supplies of the Products to HITEC RCD KOREA INC.. Unless the Supplier informs the relevant member of the HITEC RCD KOREA INC.. in writing at the time of order of any non-compliant Products. The Supplier will inform the HITEC RCD KOREA INC.. immediately that it becomes aware that any applicable exemption is being amended or withdrawn. Continental Device India Limited confirms that HITEC RCD KOREA INC.. is entitled to rely on this certificate for the purpose of providing information to its customers on the compliance of products supplied by Continental Device India Limited with the Applicable Legislation and to provide copies of this certificate to its customers and to authorities involved in the monitoring or enforcement of the Applicable Legislation. [signature] for and on behalf of Continental Device India Limited Date [ ] REACH Directive 1907/2006/EC 18th Dec 2006 Enhancing the competitiveness of EU Chemical Industry Risk of Chemicals Non Systematic Non integrated legislations Fragmented market under EU Registration Evaluation Authorisation & Restriction of Chemicals [REACH] 1. Protection of Human Health & Environment 2. Enhancing the competitiveness of EU Chemical Industry 3. Prevention of fragmentation of internal market 4. Increased Transparency 5. Integration with International Efforts 6. Promotion of non animal testing 7. Conformity with EU obligation under WTO REACH Directive 1907/2006/EC 18th Dec 2006 European Chemical Agency ECHA Helsinki (Finland) Registration Evaluation Authorisation & Restriction of Chemicals [REACH] Producers/ Manufacturers Importers Distributors & Retailers Downstream Users REACH Directive 1907/2006/EC 18th Dec 2006 SUBSTANCE: means a chemical element and its compounds in the natural state or obtained by any manufacturing process, including any additive necessary to preserve its stability and any impurity deriving from the process used, but excluding any solvent which may be separated without affecting the stability of the substance or changing its composition; ARTICLES: Articles are products such as electrical equipment, sub assemblies, components – items which have a “special shape, surface or design which dictates its function to a greater degree than does its chemical composition” – for example •Clay is a preparation (a mixture of substances) •A pottery mug is an article because it has a specific shape. PREPARATION: means a mixture or solution composed of two or more substances; REACH Directive 1907/2006/EC 18th Dec 2006 SVHC [Substances of Very High Concern] Substances which are considered to be Carcinogenic (C); Mutagenic (M); Toxic for Reproduction (R); Persistent, Bio-accumulative and Toxic (PBT); Very Persistent and Very Bio-accumulative (vPvB). ECHA has published a draft list of 16 such candidate substances. Substances above 0.1% weight-byweight will be requiring AUTHORISATION after draft is approved The EU environmental NGOs through the International Chemical Secretariat has released its "Substitute It Now" (or aptly acronymed "SIN") a list of 220 chemical substances considered to be possible Substances of Very High Concern under REACH and submitted to ECHA. ECHA expects the first candidate list to be approved on October 22. REACH Directive 1907/2006/EC 18th Dec 2006 REACH Directive 1907/2006/EC 18th Dec 2006 REGISTRATION AND NOTIFICATION OF SUBSTANCES IN ARTICLES[Article 7] 1. Any producer or importer of articles shall submit a registration to the Agency if both the following conditions are met: The substance contained in the product a) More than 1 tonne per producer or importer per year; b) intended to be released under normal or reasonably foreseeable conditions of use. 1. Any producer or importer of articles shall notify the Agency, if a substance is SVHC& both the following conditions are met: The substance contained in the product a) More than 1 tonne per producer or importer per year; b) above a concentration of 0,1 % weight by weight (w/w). Content of the Communiqué’ to all suppliers of articles or preparations for REACH compliance Form no: CDIL/PUR/OCP 01/F08 Ref no: CDIL/PUR/OCP 01/R08 Date: To, [Name & Address of Supplier] Dear CDIL Supply Chain Partner, This communiqué is in response to the latest EU regulation on REACH 1907/2006/EC of 18 December 2006. The st regulation was adopted on 18 December 2006, and came into force on 1 June 2007. The acronym REACH stands for Registration – the necessity to submit a (technical) dossier on the properties of a substance. Evaluation – of the dossier by the authorities. Authorization and restriction – on the use of a substance or preparation of Chemicals. The purpose of this Regulation is to ensure a high level of protection of human health and the environment, including the promotion of alternative methods for assessment of hazards of substances, as well as the free circulation of substances on the internal market while enhancing competitiveness and innovation. You need to register with ECHA [European Chemical Agency] located in Helsinki Finland.[if you are a supplier outside EU ,you may appoint an only representative to fulfil the obligation.] in the following main conditions of Article 6 &7: 1. Save where this Regulation provides otherwise, any manufacturer or importer of a “substance“, either on its own or in one or more preparation(s), in quantities of 1 tonne or more per year shall submit a registration to the Agency. 2. Any manufacturer or importer of a polymer shall submit a registration to the Agency for the monomer substance(s) or any other substance(s), that have not already been registered by an actor up the supply chain, if both the following conditions are met: a) the polymer consists of 2 % weight by weight (w/w) or more of such monomer substance(s) or other substance(s) in the form of monomeric units and chemically bound substance(s); b) the total quantity of such monomer substance(s) or other substance(s) makes up 1 tonne or more per year. 3. if you are a supplier of “articles“ containing “substances“ totalling over 1 tonne to CDIL and if the substances is intenteded to be released under normal or reasonably forseeable conditions of use . 4. Any producer or importer of articles shall notify the Agency, in accordance with paragraph 4 of this Article (Producer’s identity ,Registration no, classification,tonnage, & identity of SVHC etc), if a substance meets the criteria in Article 57 [SVHCs] and is identified in accordance with Article 59(1)[Annexure XV Dossier as prepared by ECHA], if both the following conditions are met: i.the substance is present in those articles in quantities totalling over 1 tonne per producer or importer per year; ii.the substance is present in those articles above a concentration of 0,1 % weight by weight (w/w). It is our duty to ask you as our supplier to list up all chemical substances or preparations which you produce, import or market in your company – no matter if you deliver them to CDIL or to other companies – and to pre-register (If the above conditions are met) them at the ECHA. In addition to this, it is your duty as a supplier, to ask your own suppliers for similar request. The registration, authorization, restriction and information provisions according to the REACH Regulation, CDIL requires you as supplier to submit the attached Confirmation on REACH Compliance and expects you to provide responses to the issues addressed in the attached questionnaire Most of CDIL customers are requesting for this information to ensure their product compliance towards these legislative requirements and hence, we need to ensure that our supply chain is prepared for the changes that are required to comply with REACH regulation. In order for CDIL to be able to monitor its own compliance with REACH, this information is being requested on behalf of Continental Device India Ltd or any of its subsidiaries that purchases or may purchase materials from your company. Therefore, we need assistance from our valued supply chain partners to help us in meeting the compliance requirements. To facilitate you in furnishing the relevant data and information for compliance please find in the attachment a send back Certificate on REACH Compliance which you need to countersign and the provide responses to the questionnaire to the undersigned no later than six weeks after receipt of this letter and update the information asked for in the questionnaire regularly. Thank You. We appreciate your cooperation in this important initiative. Best Regards, [Purchase Executive] Continental Device India Ltd C-120, Naraina Industrial Area, Phase-1 New Delhi-110028 REACH Directive 1907/2006/EC 18th Dec 2006 Information in the supply chain [Article 31] Supplier shall provide safety data sheet if the article or preparation include any substance : 1. From the SVHC list 2. Meets the criteria for classification as dangerous substances according to Directive 67/48/EEC or 1999/45/EC [Packaging & labeling of dangerous substances] 3. Declared as dangerous by ECHA. 4. Which is not classified as dangerous but having a concentration of >=1% by weight and >=0.2% by volume and at least one substance posing human health or environmental hazard. 5. For which there is a community workplace exposure limit. REACH TIME SCHEDULE Green Cell Initiatives Manmeet Kaur Sangeeta Bansal Scope of Reduction of Packaging Material in CDIL MANMEET KAUR Sales & Mktg CONTENTS Ø What is packaging Ø Type of packaging materials Ø Three 'R's of waste reduction Ø Relevance of waste reduction Ø Legislations on packaging waste Ø Good practices by some to semiconductor manufacturers Ø Use of packaging material in CDIL. Ø CDIL Practices for reuse packaging material Ø Recommendations What is Packaging? A wrapping, container, or other protective holder for a product that keeps it fresh (in the case of food or beverages) and unharmed until it is sold or conveyed Type of Packaging Material Weight of packaging material % % of packaged goods Paper/ Board 43% 25% Plastic 20% 53% Glass 19% 10% Aluminium/ Steel 14% 7% Tetra Pak (75% paper+ 20% polyethylene + 5% aluminium foil )? 4% 5% Material Three “R’s” for Waste Prevention Three “R’s” for Waste Prevention v Reduce Reduce means try to avoid goods that they consider are 'over-Packaged'. Example: The use of standardized packaging boxes can lead to void space in the package, which is both a wasteful use of resources and misleading for consumers Three “R’s” for Waste Prevention v Reuse The most direct way to recover packaging is by reusing it in its original form because recyclables need to be transported, cleaned and re-processed before they can be turned into new products. Example: Ø The Body soap, and cleaning liquids are sold in refillable or returnable containers. Ø Buying milk in returnable bottles avoids the creation of plastics waste. Three “R’s” for Waste Prevention v Recycle Transporting, cleaning and re Processing of the used packaging material before it can be turned into new products. Example : Recycled cardboard boxes. Relevance of recycling of packaging material Ø No waste of packing received from external suppliers. Ø There is no need to use new packing material. Ø Shipping costs have been reduced. Ø Total shipping weight has been decreased as compared to traditional shipments. Ø Reduce burden on environment. Directives on Packaging Waste EC Directive on Packaging and Packaging Waste 94/62/EC or Packaging Directive: u Sets targets for the recovery and recycling of packaging wastes. u It sets minimum design standards. u The combined ppm by weight of three banned substances (Pb, Hg, Cr6+) must not exceed 100ppm and Cd alone should not exceed 5ppm China RoHS u Include general rules for handling and utilization of packaging refuse. u Stipulates that the type, name, size & colours for marks of recyclable, reusable and packaging should be as per GB18455 standard Good Practices of some Top Semiconductor Manufacturers ST Microelectronics l They continue to pack their products in homogeneous materials, not in composite material l In wafer packing, Single wafer containers are designed to be reusable after cleaning. l In some regions, ST and other semiconductor manufacturers in the area have contacted recycling companies. NXP Semiconductors • Reducing the amount of packing material by switching to 'one piece' boxes (instead of boxes with upper and lower parts) • Switched to 'mono material' to aid recycling. For example, from aluminium-lined boxes to carbon-coated boxes. • Switched from white boxes to natural brown boxes to eliminate the use of bleach (chlorine) in their manufacture. Use & Reuse of Packaging Material in CDIL Packaging Material used in CDIL in last three year Year Weight (Tones) Cost (Rs in Lakh) 2006-07 18.93 11.64 2007-08 9.17 6 2008-09* 2.24 1.5 * Till July' 08 MAJOR PACKAGING MATERIAL USED IN CDIL Outer Carton POLYTHENE BAG STICKERS Inner Carton CONSUMPTION OF MAJOR PACKAGING MATERIALS IN CDIL Item Type Weight (Tones)? Cost (Rs In Lakh)? 06-07 07-08 08-09* 06-07 07-08 08-09* 06-07 07-08 08-09* Outer Carton 9 9 9 9.6 4.8 0.96 1.67 1.99 0.6 Inner Carton 4 4 1 5.5 2.92 0.7 3.6 2 0.5 Polythene Bags 10 6 6 1.72 0.47 0.24 1.67 0.47 0.28 Stickers 4 3 1 0.34 0.23 0.1 0.65 0.38 0.13 17.32 8.42 2 7.59 4.84 1.51 * Till July' 08 Material Shipped vs Major Packaging Material Used Packaging Material Year Total Material Shipped (in Tonnes) 2006-07 153.53 17.32 7.59 2007-08 134.11 8.42 4.34 Weight (In Tonnes) Value (In Lakhs) EXPORT FREIGHT CHARGES USA Weight (KG)? 0.1-10 11-45 46-100 101-250 Cost (in Rs)* Normal 2500 250 210 155 Cost (in Rs)** Courier 1895/KG 251-300 301-500 > 500 * Additional Tax: Rs 50.10 ** Additional Tax : 12% Service Tax + 20% Freight Surcharge HK Weight (KG)? 0.1-10 11-45 46-100 101-250 251-300 301-500 > 500 Cost (in Rs)* Normal 1200 92 - 63 - 50 30 Cost (in Rs)** Courier 1669/KG * Additional Tax: Rs 28.6 ** Additional Tax : 12% Service Tax + 20% Freight Surcharge CHINA Weight (KG)? 0.1-10 11-45 46-100 101-250 251-300 301-500 > 500 Cost (in Rs)* Normal 1200 114 100 80 - 63 50 Cost (in Rs)** Courier 1948/KG * Additional Tax: Rs 29.6 ** Additional Tax : 12% Service Tax + 20% Freight Surcharge Country Wise % Share of CDIL’s Total Exports Country % Share of Total Export Hong Kong 30 China 30 US 10 Africa 10 Europe 20 Case Study - Export Case Study: Packaging material fright cost in total shipment fright cost 60000 50000 Cost in Rs 3143 40000 Freight Cost for packaging (in Rs) 1886.05 30000 Total Freight Cost ( in Rs) 46912 20000 28150 10000 377.32 5717 0 Case 1 Case 2 Case 3 CDIL Practices for Reuse of Packaging Material In-House Production • At present Packaging material is reused only as 'BUFFER PACKAGING'. BUFFER PACKAGING: Packaging material used to fill void space in standardized packaging boxes. As per ITRS norm recycle of packaging material as a percentage of total packaging material is 80% SUBCON / TG For inner packing Past Situation Initially as we have our own standards we repack (inner as well as outer carton) all the supplies from the subcon/ TG material in our own standard packages Which causes below mentioned problems. a) Packaging Cost b) Manpower Cost c) Disposal of scrap packaging from subcon. d) Environmental Burden. Present Situation Now we start using subcontractors packaging by sending material as it is to avoid above mentioned problems. Now 70% packaging material of subcontractors has being reused. REASONS WHY 30% OF TG/SUBCON DEVICES STILL REPACKED è Tube packing from some vendors. Inner carton from vendor CDIL Standard inner carton è HFE Group not mentioned on CFL Devices from some vendors. è From some vendors Quality of polythene bags is not good. PACKAGING PERFORMANCE INDICATOR Shipment weight vs Procured Packaging material weight 14 10 12.11 11.51 10.12 8 Devices Shipped by weight in Tonnes (Naraina Plant) 6 Major packaging material procured by weight in tonnes (Naraina Plant) 4 2 0.9 0.8 1.01 0 July' 08 Aug' 08 Sept' 08 Month % of packaging weight in total shipment weight 9.00 8.00 7.00 Weight (%) Weight in (Tonne) 12 8.2 8.1 6.00 6.2 5.00 % of packaging material used in total shipment weight 4.00 3.00 2.00 1.00 0.00 July' 08 Aug' 08 Month Sept' 08 Recommendation to increase reuse of packaging material 1.Types of outer carton can be reduced & limited to 2-3 types. 2. Set packaging standard at vendors end to avoid repacking at our end . CHANGE........... Before you have to. Earlier EMP taken by Sales & Mktg. Non Moving Stocks Lying in FG (Domestic), DTA+EHTP 14.00 12.00 11.76 10.12 10.00 8.98 Qty in Million 8.41 8.26 8.14 7.81 8.00 7.47 7.26 7.12 6.91 6.74 6.55 6.08 6.00 5.35 4.89 3.97 4.00 3.65 3.43 3.41 3.35 3.09 2.87 1.85 2.00 1.17 1.09 1.11 1.05 1.04 0.99 0.98 0.94 0.94 0.94 0.94 0.93 0.00 Mar' 05 June' 05 Sept' 05 Dec' 05 Mar' 06 Jun' 06 Sept' 06 Month Dec' 06 Mar' 07 June' 07 Sept' 07 Dec' 07 THANK YOU INDOOR AIR QUALITY Presented by : Sangeeta Bansal Date: 18th October 2008 Overview • • • • • • What is IAQ? Indoor sources of pollutants Causes of indoor air pollution Various Researches Effects of polluted air on health Various techniques of analyzing IAQ • • • • What is NAAQS? Mitigation techniques Delhi Factory Rules 1950 IAQ survey in CDIL What is IAQ? Indoor Air Quality (IAQ) • Deals with the content of interior air that could affect health and comfort of building occupants. • The IAQ may be compromised by microbial contaminants (mold, bacteria), chemicals (such as carbon monoxide, radon), allergens, or any mass or energy stressor that can induce health effects. Various Researches • The air within homes and other buildings can be more seriously polluted than the outdoor air • People spend approximately 90 percent of their time indoors. • Risks to health may be greater due to exposure to air pollution indoors than outdoors. Sources of Indoor Air Pollution • Combustion sources such as oil, gas, kerosene,coal,wood and tobacco products • Building materials & furnishings • Asbestos containing insulation, wet carpet, furniture • Products for cleaning & maintenance • Central heating & cooling systems. • Radon pesticides In developing countries like India the most important indoor air pollutants are combustion products of unprocessed biomass fuels used by poor urban & rural folk for cooking and heating. Causes of indoor air pollution • Indoor pollution sources that release gases or particles into the air are the primary cause of indoor air quality problems in homes. • Inadequate ventilation can increase indoor pollutant levels by not bringing in enough outdoor air to dilute emissions from indoor sources and by not carrying indoor air pollutants out of the home. • High temperature and humidity levels also increase concentrations of some pollutants. Effects of polluted air on Health • Immediate effects -may show up after a single exposure or repeated exposures. These include irritation of the eyes, nose & throat, headaches, dizziness, and fatigue. • Other effects-may show up only after long or repeated periods of exposure. These effects include respiratory diseases, heart disease, and cancer. Indoor Exposures & Asthma • -- Confirmed known indoor triggers -- New triggers : ETS,high level of NO2 -- Possible triggers: formaldehyde, fragrances • Recent studies VOCs,formaldehyde,workplace cleaning products may be associated LEGIONNAIRES’ DISEASE • It is an infectious disease caused by bacteria “Legionella pneumophila” . • It is an aquatic organism that thrives in warm enviornments(25°C - 45°C). • Infection occurs after inhaling water droplets originated from a water source contaminated with ‘Legionella’. • It takes two distinct forms: a. Legionnaires’ Disease b. Pontiac Fever Techniques for analyzing IAQ • Collection of air samples • Collection of samples on building surfaces • Computer modeling of air flow inside buildings. These samples can be analyzed for mold, bacteria, chemicals or other stressors and ultimately lead to an understanding to strategies for removing the unwanted elements from the air. NAAQS National ambient air quality standards • The Central Pollution Control Board (CPCB) in collaboration with State Pollution Control Boards (SPCBs) initiated National Ambient Air Quality Monitoring (NAAQM) programme in 1984. • To assess quality of air and to take steps for prevention, control and abatement of air pollution • an attempt is made to define air quality status as low, moderate, high and critical based on the concentration of pollutants with respect to notified standards. Ambient Air Quality Standards & Actual values in CDIL 07-08 Actual Values S.No. Parameter Units 3 µg/m 1 SO2 2 3 4 5 6 7 CO Nox SPM RSPM Lead(Pb) Ammonia Tolerance Limits Security Gate Backside Main Park 120 12 11 10 3 µg/m 3 µg/m 3 µg/m 3 µg/m 3 µg/m mg/m3 BDL:Below detection limit SPM:Suspended Particulate Matter RSPM:respirable Particulate Matter 5000 120 500 150 1.5 0.4 1252 31 332 112 BDL BDL 1119 29 309 102 BDL BDL 1002 26 296 94 BDL BDL Death, Disease and Irritant Effects • PM-respiratory & cardiovascular effects • Carbon Monoxide-Death & Flu-like symptoms • NO2, respiratory disease • Communicable Diseases • Irritant Effects • Sick Building Syndrome IAQ SURVEY IN SENSITIVE AREAS OF CDIL Major chemicals / solvents used in CDIL for which there exists exposure limits as per Delhi Factories Rules 1950. • ASSEMBLY AREA – Glycol, Acetone, TCE • LF(YM area) – Ammonia, Nitric acid, Sulphuric acid, HCL • LEAD FINISH – Oxalic acid, Nitric acid, Sulphuric acid, Sodium hydroxide, Solderon Tin conc., Flux, Reflow paste. Permissible Limit Exposure (Delhi Factory Rule 1950) Substance acetic Acid ammonia n-butyl acetate cyanides ethyl alcohol methyl alcohol nitric acid sulphuric acid trichloroethylene xylene Time Weighted Average Concentration mg/m 3 ppm 10 -150 -1000 200 2 -100 100 25 10 710 5 1900 260 5 1 535 435 Short Term maximum Concentration mg/m 3 ppm 15 35 200 --250 4 -150 150 37 27 950 --310 10 -800 655 Permissible Limit Exposure (Delhi Factory Rule 1950) Substances ppm Mg/m3 Hydrochloric Acid 5 7 Potassium Hydroxide -- 2 Sodium Hydroxide -- 2 “Air Quality in Clean Rooms” The Clean Room is an environment which potentially supports the growth of Micro organisms ; Air Quality of clean rooms does not only mean control of Dust, temperature & Humidity. Classification of Clean Rooms Federal Standard 209(E) Class Name SI English Fresh Class Limits Air Air Air (no per Cuft) Velocity Intake Change 0.5µ 5.0µ M5.5 10,000 10,000 70.5 fpm %age Per hr 10-15 10-15% 50-75 Human Interface In Clean Room • There are various ways of microorganisms to enter into a ‘clean room’:1.On Skin – a. Transient Resident b. Temporary Resident 2. Skin Cells – Oil and salt residues 3. Hair – Dandruff,Scalp Flakes,Keratonin 4. Coughs, Colds, Sneezes 5. Wounds, Boils, Medicaments Mitigating Techniques Used In CDIL • VENTILATION SYSTEM – Exhaust is there to control the emission & dispersion of contaminants. • FUME SCRUBER – Dilution of hazardous fumes with water vapors to control their direct exposure in air. • High efficiency Exhaust fans are installed in Zener Area for reducing solvent vapor / reactant gases concentration discharge into the work place and ambient atmosphere. • Regular check and maintenance of all exhaust fans is being carried out within department. Mitigating Techniques Used In CDIL • GASTEC gas detection tube system is installed in yellow room and metallization areas for the analysis of Xylene / Acetone concentration • Personal protective Equipment are being issued to employees for the particular work to be perform. Concentration limits checked by GASTEC in Zener Area WF • Xylene (standard ppm level=100) Date Measured 27/10/05 50 14/06/06 40 •Acetone (standard ppm level = 500) Date Measured 22/02/06 310 29/02/06 310 09/05/06 135 EHS Activities in CDIL Mohali Avinash Chadha EHS PRESENTATION CDIL Mohali 'Avinash Chadha CDIL Mohali GAS STORAGE AREA SHED SCRAP YARD SHED CONSTRUCTED REGULARY MAINTAINED SCRAP YARD IPA DISTILLATION INITIATED EHS CERTIFICATION AUDIT NCs NCs = 7 ( 5 CLOSED) OBSERVATIONS =1 (CLOSED) OPPORTUNITY FOR IMPROVEMENT=2 (CLOSED) NOTEWORTHY EFFORTS =1 PENDING NCs =2 1. Training of Internal Auditors. 2. (a) Acoustic enclosure of DG SET (b) Stack Ht. of DG Set Details of Waste IPA Distillation Expenses Good IPA Produced (Lts) Rate of IPA/Lt(Rs) Saving(Rs) Manpower Electricity Nett Saving Cumm Saving 22nd Apr to 31st May 2008 Jun 2008 627 80 50160 4878 2640 42642 42642 762 80 60960 5365 2904 52691 95333 Jul 2008 1118 94 105092 5952 3422 95718 191051 Aug 2008 Upto 24th sep 08 1055.5 94 99217 5592 3215 90410 281460 2 holidays 773 94 72662 4496 2585.2 65581 347041 Month Mar 2008 Apr 2008 May 2008 Jun 2008 Jul 2008 Aug 2008 Upto 24th sep 08 Waste IPA Stock Status Distillation Opening Stock Waste IPA recd Closing Stock done 15391 0 1260 16651 16651 0 728 17379 17379 1204 784 16959 16959 1090 394 16263 16263 1729 692 15226 15226 1494 582 14314 14314 1135 318 13497 Rs 3,47,041.00 saving done in 5 months against investment of Rs 59,000.00 0nly. Notes: 1) Apart from Nett Saving as above, we are able to reduce the quantum of Hazardous Waste accumulated in our premesis, thereby reducing chances of Fire Hazards. 2) We have not bought fresh IPA after 1st June 2008. Rate of fresh IPA has increased RESOURSE CONSERVATION(ENERGY) TO REPLACE CONVENTIONAL TUBE LIGHTS WITH T5 ENERGY EFFICIENT TUBE LIGHTS Type of Lamp Existing Unit Proposed 689 Nos. 589 Effective consumption per point 50 Watts 29 Av operating hours 18 Hours 18 Cost per point/day 4.14 Rs 2.4 Total Cost per day 2852.46 Rs 1414.31 Total cost per month(25 days) 71311.5 Rs 35357.67 Total Cost per year(12 months) 855738 Rs 424292 Saving per year 431446 To be paid to Asian 144000 No of existing points Saving for CDIL per year Maint cost per year(free by Asian) Total saving for CDIL per year Saving in 4 years(contract period) After 4 years total saving for CDIL per year 287445.96 39180 326625.96 1306503.84 431446+39180= 470626 EHS ISSUES RENEWAL OF HAZARDOUS WASTE AUTHORISATION SLUDGE DISPOSAL SANCTION FOR DISTILLATION PLANT & IPA RESIDUE DISPOSAL WASTE FLUX DISPOSAL FURTHER IMPROVEMENT PROJECTS ENERGY CONSERVATION WATER CONSERVATION REDUCTION IN OCCUPATIONAL HEALTH & SAFETY HAZARDS AND RISKS. THANK YOU Audit Findings & Status of corrective & Preventive actions Manasi Mehta AUDIT REPORT FIFTEENTH EMS INTERNAL AUDIT At Continental Device India Ltd C-120, Naraina Industrial Area, New Delhi Conducted During Mar - May 2008 For the period (JAN – JUN'2008)? By EMS Internal Auditors MANASI MEHTA V P MATHEW S.P.JOSHI MANMEET KAUR SANGEETA NEGI MITA CHATTOPADHYAY PRIYANKA VATS BABITA KAKKAR Criteria: ISO 14001: 2004 standard system manuals/Departmental manual & Policy Methodology: Site Visits, interviews; documentary review and Data analysis/physical tests EMS 15th INTERNAL AUDIT SUMMARY (JAN-JUN'2008) Conclusion and Recommendation Environment Performance Indicators needs to be analyzed for setting of Objectives, Targets and Programme(s)? Mock Drill Training to be imparted to various departments like EHTP, Assembly, Facilities etc Corrective Actions against the Observations & Minor Non Conformities raised in the Re Certification Audit by DNV has been submitted to the Certification Agency (DNV). Special emphasis is required for Closure & follow up of activities as mentioned in respective Environment Manangement Programme(s) Efforts to be done for follow up of actions as discussed in respective EMG meetings at department level. Procedure for rating system of Environmental Assessment of Vendors generated and implemented by Purchase dept for strengthening of Supply Chain Management System Queries related to Environmental legislations – PFOS, REACH Directive, Flame Retardants are being asked by major Customers like Emerson & ST Microelectronics. DNV AUDIT OBSERVATIONS (Nov 07) S.NO ISO 14001 ISO CLAUSE CLAUSE REF. PROCESS/ AREA/ DEPARTMENT Observation Stores 4.4.6 2 4.4.7 Emergency The spent solvents are categorised as hazardous Preparedness waste in category 20.2, Schedule 1 of Hazardous & Response Waste Rules. For ensuring safe transport of these hazardous wastes which are highly inflammable, company needs to give TREM cards to the carrier and also check that the driver has received training for transport of hazardous goods Observation Personnel & Admin 3 4.4.7 Emergency 1) In mock drill reports, the action plan and Preparedness action taken report for closure of the observations & Response are not recorded. 2) For evacuation effectiveness, the head count should also be tallied with the attendance and visitors record. Observation Personnel & Admin 3) Gangway / Pathway for Shop floor & Office may be demarcated. 4) Emergency Exits may be identified & illuminated. Opportunity for Improvement Personnel & Admin 1) For monitoring performance of the cooling tower of chilling system, the approach of cold water temperature to the wet bulb temperature should be monitored and controlled within 3 °C. 2) Monitoring CO2 in water after degasser and controlling it within 5 PPM. Opportunity for Improvement Facilities 4.4.6 Operational Control The MSDS for various solvents / chemicals kept in Stores does not give details about required storage conditions as well as PPE's required for safe handling. CATEGORY OF FINDING 1 4 Operational Control DESCRIPTION & CONSEQUENCE S.NO ISO 14001 ISO CLAUSE CLAUSE REF. Operational Control DESCRIPTION & CONSEQUENCE PROCESS/ AREA/ DEPARTMENT Opportunity for Improvement Facilities 5 4.4.6 6 4.4.7 Emergency 6) Audibility of Siren to be checked in all Preparedness production areas. In case, the siren is not audible & Response in any production room, individual hooter in parallel with siren needs to be installed over there. 7) The hydrant pressure should also be checked and recorded.Presently, there is no pressure gauge in the line. Observation Facilities 7 4.4.7 Emergency 1) No obstructions should be kept in front of the Preparedness emergency exit doors. & Response 2) Emergency Procedures may be established & Implemented in Shopfloor where hydrogen & oxygen gases are consumed. Opportunity for Improvement Production (Wfr Fab) 8 4.5.2 Opportunity for Improvement Management Representative Evaluation of Compliance 3) The dissolved gas analysis of transformer oil may be got done once in 5 years to diagnose any developing problems in the transformer winding / insulation. 4) Analysis of ETP sludge to know the main constituent, for easier sludge disposal. 5) The direction of flow may be marked on the various pipelines in the ETP for easier control. CATEGORY OF FINDING In the Register of Regulations, the evaluation status of the all the legal and other applicable requirements may be incorporated and the same may be discussed in the EMRC meeting NOTEWORTHY EFFORTS n The general understanding and compliance of legislation pertaining to environmental rules is found quite good. n The company has effectively implemented the green supply chain management system as more than 50% suppliers are ISO 14001 certified and further pontential green suppliers are being identified. n The company has effectively complied with the POHS requirements of the client M/s Super Victory, China. NO OF NC'S / OBSERVATIONS 0 DEPT EDP Sales and Mktg Purchase Assy / Diode Assy EHTP WF Engg Lead finish Test/Print/Pack/CS/FG MR section Assy Engg Accounts & General Stores Facilities Exports & PPC Research & Development Wafer Fab Personnel & Administration DEPARTMENTWISE NCR’s / OBSERVATIONS DEPTWISE NCR'S / OBSERVATIONS 5 4 3 2 1 CLAUSES 4.6 4.5.5 4.5.4 4.5.3 4.5.2 4.5.1 4.4.7 4.4.6 4.4.5 4.4.4 4.4.3 4.4.2 4.4.1 4.3.3 4.3.2 4.3.1 4.2 NO OF NC'S / OBSERVATIONS ISO 14001 CLAUSEWISE NCR’s / OBSERVATIONS CLAUSEWISE NCR'S / OBSERVATIONS 5 4 3 2 1 0 Evaluation of Legal Compliance Evaluation of Legal Compliance Status of Licences/authorisations: NO. OF LICENSES / CONSENTS / AUTHORISATION VALIDITY DATE RESPONSIBILITY 1 License to work a factory from Chief Inspector of Factories. One 31/12/2008 Admn 2 “Consent to Operate” from DPCC (Air/Water Consent) One 05/08/2009 Admn 3. Authorization to operate a facility for storage of hazardous waste One 17/09/2009 Admn 4. License to store Liquid Nitrogen One 31/03/2010 Admn 5. License to store Mixture gas & Hydrogen One 30/09/2008 Admn S.NO. TITLES OF LICENSES / CONSENTS / AUTHORISATION Due to shifting of production units the cylinder storage for Hydrogen And forming gas has come down within the legal limit of 25 cylinders. Therefore the applicability of gas cylinder rules ceases to exist. Evaluation of Legal Compliance Verification of Compliance with respect to Procedural Requirements Water Cess return submitted regularly. “Environment Statement" was submitted to DPCC on 24.9.08 All outlet effluent and ambient air quality parameters are well within the prescribed standards. All stack monitoring parameters are well within norms Extent to which Objectives & Targets have been met Ecological FootPrints of Production Areas Pawan Tanwar ECO FOOT PRINT WAFERFAB ECOFOOTPRINT WAFER FAB (2007-08) ECOFOOTPRINT WAFER FAB (2006-07) Energy Energy 95 Effluent 75 95 Water 55 Effluent 35 15 Haz Waste GW 15 HSD Chemicals Gases Water 55 35 -5 75 Haz Waste -5 GW HSD Chemicals Gases ECO FOOTPRINT METALCAN ECO FOOT PRINT ASSY- 1 (2007-08) Haz Waste ECO FOOT PRINT ASSY- 1 (2006-07) Energy Energy 55.0 55.0 45.0 45.0 Water 35.0 Haz Waste 25.0 25.0 15.0 15.0 5.0 5.0 -5.0 -5.0 GW Chemicals Water 35.0 Gases HSD GW Chemicals Gases HSD ECO FOOTPRINT EHTP ECO FOOTPRINT EHTP ( FY 07-08) ECO FOOTPRINT EHTP ( FY 06-07) Energy Haz Waste 7.0 5.0 3.0 1.0 -1.0 -3.0 -5.0 GW Energy Water Gases HSD Haz Waste 7.0 5.0 3.0 1.0 -1.0 -3.0 -5.0 GW Water Gases HSD ECO FOOTPRINT LEAD FINISH ECO FOOT PRINT LF 07 - 08 Effluent Haz Waste ECO FOOT PRINT LF 06 - 07 Energy Energy 1.3 0.8 0.8 0.3 Effluent Water Chemicals Water 0.4 0.2 HSD Haz Waste -0.2 GW 0.6 0.0 HSD -0.2 Aq Eutrph Aq O2 Dmnd GW Chemicals Aq Eutrph Aq O2 Dmnd ENVIRONMENTAL BURDEN PRODUCTION AREA (2006—07) Metal EHTP / Wafer Can/ 1000 Fab/ Devices [1000 wfr] (1000 Devices) LF/ 1000 Devices BURDEN POTENTIAL EFFECTS UNITS Global Warming Climate change Kg CO2 Eq 44664.7 43.92 5.44 0.46 Ozone Depletion Climate & health Kg R11 Eq 0.22 -- -- -- Total VOC emissions Urban smog; health & safety Kg VOC 106.42 0.0152 -- 0.0023 Atmospheric acidification Acid rain; health Kg SO2 Eq 2.02 0.042 0.000029 0.0004 ENVIRONMENTAL BURDEN PRODUCTION AREA (2006—07) BURDEN POTENTI AL EFFECTS UNITS Wafer Fab Per 1000wfr Photochem ical Ozone Creation Urban smog; health Kg Ethylene Eq 2606.2 Aquatic Oxygen Demand Threat to fish and aquatic life Kg BOD 15.42 Aquatic Eutrophica tion Removes oxygen from water METAL CAN per K Devices EHTP per K Devices LF Per K Devices -- -- -- -- -- 0.0014 -- -- 0.0002 Kg Phosphate Eq 7.38 ENVIRONMENTAL BURDEN PRODUCTION AREA (2007—08) Wafer Fab Per 1000wfr Metal Can Per K Devices EHTP Per K Devices LF Per K devices 25.3 4.88 0.7656 -- -- -- -- 0.0017 BURDEN POTENTIAL EFFECTS UNITS Global Warming Climate change Kg CO2 Eq 91219.7 Ozone Depletion Climate & health Kg R-11 Eq 0.36 Total VOC emissions Urban smog; health & safety Kg VOC 149.34 0.0139 Atmospheric acidification Acid rain; health Kg SO2 Eq 4.45 0.0032 0.000034 0.0003 ENVIRONMENTAL BURDEN PRODUCTION AREA (2007—08) POTENTI AL EFFECTS UNITS (Per K Wafer) Photochemi cal Ozone Creation Urban smog; health Kg Ethylene Eq Aquatic Oxygen Demand Threat to fish and aquatic life Kg BOD Aquatic Removes Eutrophicati oxygen from on water Kg Phosphate Eq BURDEN Wafer Fab METAL CAN EHTP LEAD FINISH 3881.5 -- -- 12.22 -- -- 0.0012 4.9 -- -- 0.0002 -- ENVIRONMENTAL BURDEN WAFER FAB. PER 1000 WAFERS 2006-07 2007-08 91219.7 44664.7 Aq.Eutro. AOD 3881.5 POCP Atm.Acid. VOC OD 2606.2 GW 100000 90000 80000 70000 60000 50000 40000 30000 20000 10000 0 Global warming(KgCO2Eq) per K devices 45 43.9 06--07 07--08 40 35 30 25 25.3 20 15 10 5.44 5 0 4.88 0.46 Metalcan EHTP LF 0.76 Energy Consumption (KWH/K devices) 50 45 40 35 30 25 20 15 10 5 0 46.95 06--07 07--08 31.89 6.29 5.99 Metalcan 0.645 1.03 EHTP LF Atmospheric Acidification (Kg SO2 Eq )per K devices 0.0045 0.004 0.0035 0.003 0.0025 0.002 0.0015 0.001 0.0005 0 06--07 07--08 0.0042 0.0032 0.000029 0.00003 Metalcan EHTP 0.0003 0.0004 LF Ozone Depletion( Kg R-11 Eq.) per 1000wafer 0.4 0.36 0.35 0.3 0.25 0.22 0.2 0.15 0.1 0.05 0 Diff 06--07 07--08 Foot Print Analysis Wafer Fab. 1. Aquatic Oxygen demand & Aquatic Eutrofication has decreased due to more Re-cycling of water . 2. Global warming has been increased per wafer due to fixed consumption of energy for air conditioning, lighting, for compressed Air etc. 3. O3 dep., VOC,AA & POCP has increased due to fixed chemical change frequency of the chemical bath irrespective of the production quantity. Metal Can 1. The Global warming, VOC , and AA has been decreased due to more production. EHTP Foot Print Analysis 1. Global warming has been reduced marginally may be due to Energy consumed by machine depends on the production and the fixed energy for air conditioning/ lighting have less impact on total energy consumed i.e. low fixed/ variable energy ratio. Lead Finish 1. Global warming has been increased per K devices of production due to fixed consumption of energy for air conditioning, lighting, for compressed Air etc. 2. VOC has been decreased due to usage of old/liquidated stock of organic chemicals. 3. Aquatic Oxygen demand has been reduced due to more water Re- cycling done in 2007--08. Extent to which objectives are met Dept Wafer Fab Wafer Fab Objectives/Targets To assess manufacturing phase of Life cycle assessment of Schottky diode CB-21 To recycle used Millipore DI Water from Rinser Dryer Status as on 1.10.08 All data regarding energy ,water & chemicals, gases & metals have been collected. EMP closed due to production stoppage. Water from GMN contained organic solid impurities(11mg/ltr) when mixed with recycled millipore DI water from Rinser dryer was causing adverse effect on MPDI plant. EMP closed due to production stoppage Facilities Facilities To reduce consumption of compressed air usage by 5% wef Sep 07 About 13.4% reduction in air consumption has been achieved since Sep 07.Corresponding power consumption reduced by 17.8%.KWH/CFM reduced by 6.21% To initiate vermicomposting of canteen food waste Prepared vermicomposting beds, installed procedure. Composted 45 days Canteen’s food waste with earth worms. The manure produced was used in gardens. The procedure gets validated.EMP stands closed. Extent to which objectives are met Dept EHTP Objectives/Targets To reduce percentage lead frame rejections from 2.04 % to 1.5 % by Jun 08 Status as on 1.10.08 Lead frame rejections increased steadily since the change of the supplier from APL(Ag) to NINGBO(Cu). Rejection for Jul 08 ( 2.07%) ,Aug 08(2.06%), & Sep 08 (3.42%) .Ordered for bearings to realign Indexers. Extension sought till Mar 2009. Green Procurement in 2007-08: Purchase To increase the Green procurement for (RM+Pkg) and consumables by 5% with respect to 2007-08 by Dec 2008 a) RM: Total 15462.66 Kg., Non-Green: 28.60 Kg. RM% - 99.98% b) PKG: Total 4302.0Kg., PKG%: 100% Green Procurement in 2008-09: a) RM: Total 10432.33 Kg., Non-Green: 33 Kg. RM% - 99.68% b) PKG: Total 3387.33 Kg., PKG%: 100% LF LF To reduce the water consumption at least by 7% with respect to consumption of 04-05 To study the feasibility of recycling and reuse of solvents, acetone and IPA from various production processes. The water consumption reduced by 5% [from 0.0407 KL/K in 04-05 to 0.0377 in 07-08] due to optimization in water rinses, arresting leakages, optimizing production timings and increasing operator awareness Recycling of Acetone & IPA was found feasible and is being deployed in testing and Mohali.EMP stands closed Extent to which objectives are met Dept Exports Objectives/Targets To liquidate non moving FG Export stock [Non RoHS] by Dec 2007 by at least 95-100 % Status as on 1.10.08 Total [DTA+EHTP] Reduced from 10.93 million to 0.57 million.[94.3%] EMP stands closed Total [DTA+EHTP] Reduced from 11.68 million to 1.01 million.[91.4%] Sales & Mktg To liquidate non moving FG Local stock [Non RoHS] by Dec 2007 DTA stock reduced from 8.42 million to 1.01 million [88%] EHTP FG stock was completely liquidated by June 2007 EMP stands closed Sales & Mktg To study the feasibility of reduction of packaging material by Dec 2008. Packaging material consumption as a %age of total shipment [Domestic +Export] is monitored since Jul 08.Study is in progress. Power & Fuel [ 2004 to 2008] Total Power Consumption (KWh) 5500000 5087032 5039028 5019314 5000000 4529700 Total power consumption Reduced by 11% since 2004 4500000 4000000 Total Power Consumption (KWh) 2004-05 2005-06 2006-07 2007-08 5087032 5039028 5019314 4529700 Qty of Diesel Procured (Ltrs) Total Diesel consumption Reduced by 91.8% since 2004 600000 390053 444000 400000 72000 200000 0 Qty of Diesel Procured 31800 2004-05 2005-06 2006-07 2007-08 390053 444000 72000 31800 Power & Fuel [ 2004 to 2008] Total Raw Water consumption (KL) 80000 70139 59934 45551 60000 35977 40000 Total raw water consumption Reduced by 48.7% since 2004 20000 0 Total Raw Water 2004-05 2005-06 2006-07 2007-08 70139 59934 45551 35977 Power & Fuel Cost (In Rs) 39496247 Total Power & Fuel Cost Reduced by 28.2% since 2004 40000000 35077071 28055435 25201310 30000000 20000000 10000000 0 Power & Fuel Cost 2004-05 2005-06 2006-07 2007-08 35077071 39496247 28055435 25201310 Power & Fuel [ 2004 to 2008] Annual Average Power Factor 0.990 0.986 0.983 0.972 Power Factor maintained above 0.98 for two consecutive year by close Monitoring of capacitor performance 0.980 0.960 0.970 0.960 0.950 0.940 2004-05 2005-06 2006-07 2007-08 Power & Fuel Cost/Ton-Hour Total Power & Fuel Cost Per ton-hr reduced by 76.9% [From Avg Rs 11.13 in 2005-06 to Avg Rs 2.57 in 2008] by Continuous optimization of chillers. P&F Cost (Rs/Ton-Hour) 20.00 18.38 18.00 16.00 14.00 11.54 12.00 12.03 2005-06 2006-07 2007-08 2008-09 13.48 11.78 11.52 11.79 10.00 10.72 10.61 8.00 8.24 7.82 6.00 5.70 3.57 4.00 3.16 2.00 3.60 3.17 2.72 2.49 Apr May 3.83 3.15 2.41 3.88 3.10 2.61 4.02 3.37 3.56 3.20 3.04 2.6 3.16 3.27 3.03 2.79 2.92 3.05 3.09 2.71 2.68 3.01 3.00 0.00 Jun Jul Aug Sep Oct Nov Dec Jan Feb Mar Optimization of Screw Chillers 0.716 0.635 0.62 160 150 140 130 120 110 TR 200 190 180 170 160 0.634 0.619 0.644 150 140 130 0.603 0.592 120 0.57 0.576 TR 110 0.554 90 100 0.582 0.576 0.646 60 50 40 30 20 10 0.625 0.689 0.673 0.716 0.73 0.72 0.71 0.7 0.69 0.68 0.67 0.66 0.65 0.64 0.63 0.62 0.61 0.6 0.59 0.58 0.57 0.56 0.55 0.54 0.53 0.52 0.51 0.5 0 IKW/Ton The operating curve of the 182 TR screw chiller shows max efficiency at 50% loading of 91 Ton. Good operating efficiency obtained by maximizing the running the chiller in the range of 65 to 90 TR load IKW/TR 4185.1 80 100 90 80 70 60 50 40 30 20 10 0.553 0.577 0.583 0.604 0.647 0.674 The operating curve of the 150 TR screw chiller shows max efficiency at 50% loading of 75 Ton. Good operating efficiency obtained by maximizing the running the chiller in the range of 80 to 110 TR load 70 0.73 0.72 0.71 0.7 0.69 0.68 0.67 0.66 0.65 0.64 0.63 0.62 0.61 0.6 0.59 0.58 0.57 0.56 0.55 0.54 0.53 0.52 0.51 0.5 0 IKW/Ton IKW/TR 4155.1 Naraina’s AC load Profile Typical AC Load Profile at Naraina (TR) 350 300 300 241 Tonnage 250 200 50 100 40 100 100 325 308 143 142 130 Max Min 240 152 150 100 310 100 130 110 103 137 107 110 83 80 50 DEC NOV OCT SEP AUG JUL JUN MAY APR MAR FEB JAN 0 The size of the screw chillers allows to optimize the loading up to 200 TR throughout the year [for 83% of the time]. During remaining 17 % of the time the load crosses 200 TR and runs at slightly higher IKW/Ton. EMG Meeting Status since Dec 07-Sep 08 Departments Scheduled No of Departments Scheduled Meetings No of Meetings Facilities/ General Stores 10 10 Test/Print/Pack/CS 10 9 Metal Can 10 10 Purchase 10 8 R&D 10 10 P& A 10 5 EHTP 10 10 LF 10 4 Sales & Mktg 10 10 Exports & PPC 10 2 7 7 Wafer Fab HODs of Key supply chain areas need to actively drive holding of EMG Meetings Follow up Actions from EMRC Nov 07 Issues Actions Taken Specific Work related Training (SET) needs strengthening HR prepared detailed competency based SET training modules Green procurement to be expanded Purchase took an EMP on increasing the green procurement. A comprehensive document for management of product oriented legislation was introduced as part of Purchase OCP. NON-GREEN VENDORS NUMBER OF GREEN PARTNERS NO. OF GREEN PARTNERS 60 50 40 30 20 10 0 20 20 15 35 35 40 Oct 07 Jan 08 Apr 08 13 8 42 47 July 08 Sept 08 57 Total Vendors Recommendations for Improvements Recommendations for Improvement ISSUES PRESENT STATUS Frequency of Once in six EMRC months Training Training on product related legislations ACTION REQD To be done once in a year SET training modules on management of product related legislations to be increased RESPONSIBIL ITY MR HR THANKS