Leighton Arthur Yeo
EnviroHaz Limited
NZBN:
9429035647539
Certifier number:
TST100247
Authorisation status:
Active
Authorisation start:
Authorisation expiry:
Home region:
Manawatu-Wanganui
Working region:
Auckland, Bay of Plenty, Canterbury, Gisborne, Hawke's Bay, Marlborough, Nelson, Northland, Otago, Southland, Taranaki, Tasman, Waikato, Wellington, West Coast
Contact address:
PO Box 4149
Whanganui 4541
Whanganui 4541
Website:
http://www.envirohaz.co.nz
Phone:
06 345 6999
Fax:
06 345 6998
Mobile:
027 587 8887
Email:
leighton@envirohaz.co.nz
Authorised to issue certificates for
Burners
Stationary Container Systems that include burners [Regulation 17.91(2)(g) and (h), Health and Safety at Work (Hazardous Substances) Regulations 2017]
Burning of Class 3.1 substances
Stationary Container Systems that include installations for burning class 3.1 substances [Regulation 17.91(2)(g), Health and Safety at Work (Hazardous Substances) Regulations 2017]
Dispensers
Stationary container systems that include dispensers [Regulation 17.91(2)(m), Health and Safety at Work (Hazardous Substances) Regulations 2017]
Installation
The installation of Stationary Container Systems [Regulation 17.91(2), Health and Safety at Work (Hazardous Substances) Regulations 2017]
Scope: The authorisation for the installation of stationary container systems is limited to:
i. new above ground tanks up to a maximum capacity of 1,000,000 L per tank used or intended to be used to contain a hazardous substance.
ii. above ground tanks which have previously been certified and used or intended to be used to contain a hazardous substance.
iii. below ground tanks used or intended to be used to contain a hazardous substance.
The authorisation for stationary container systems – installation and for which a compliance plan is in effect does not include:
The authorisation does not include stationary container systems that include transfer line between ship and stationary tank [Regulation 17.91(2)(i)(iii), Health and Safety at Work (Hazardous Substances) Regulations 2017].
The authorisation for stationary container systems does not include certification of a design as per regulation 17.93(1)(a) [Health and Safety at Work (Hazardous Substances) Regulations 2017].
The authorisation of stationary container systems does not include certification of a fabricator for the purpose of constructing a stationary tank or process container in accordance with a design as per regulation 17.93(1)(b) [Health and Safety at Work (Hazardous Substances) Regulations 2017].
i. new above ground tanks up to a maximum capacity of 1,000,000 L per tank used or intended to be used to contain a hazardous substance.
ii. above ground tanks which have previously been certified and used or intended to be used to contain a hazardous substance.
iii. below ground tanks used or intended to be used to contain a hazardous substance.
The authorisation for stationary container systems – installation and for which a compliance plan is in effect does not include:
The authorisation does not include stationary container systems that include transfer line between ship and stationary tank [Regulation 17.91(2)(i)(iii), Health and Safety at Work (Hazardous Substances) Regulations 2017].
The authorisation for stationary container systems does not include certification of a design as per regulation 17.93(1)(a) [Health and Safety at Work (Hazardous Substances) Regulations 2017].
The authorisation of stationary container systems does not include certification of a fabricator for the purpose of constructing a stationary tank or process container in accordance with a design as per regulation 17.93(1)(b) [Health and Safety at Work (Hazardous Substances) Regulations 2017].
Process Containers
Stationary container systems that include process containers [Regulation 17.91(2)(e), Health and Safety at Work (Hazardous Substances) Regulations 2017]
Repair, Alteration and Maintenance
The repair, alteration and maintenance of Stationary Container Systems including above ground or below ground tanks [Regulation 17.91(2)(l), Health and Safety at Work (Hazardous Substances) Regulations 2017]
Scope: The authorisation for the repair, alteration and maintenance of stationary container systems is limited to:
i. above ground tanks up to a maximum capacity of 250,000 L per tank used or intended to be used to contain a hazardous substance.
ii. below ground tanks used or intended to be used to contain a hazardous substance.
i. above ground tanks up to a maximum capacity of 250,000 L per tank used or intended to be used to contain a hazardous substance.
ii. below ground tanks used or intended to be used to contain a hazardous substance.
Stationary tanks – Design, Construction and Installation
The design, construction and installation of stationary tanks [Regulation 17.91(2)(b), Health and Safety at Work (Hazardous Substances) Regulations 2017]
Scope: The authorisation is for the installation of stationary tanks as per regulation 17.91(2)(b)(iii) and is limited to:
i. new above ground tanks up to a maximum capacity of 1,000,000 L per tank used or intended to be used to contain a hazardous substance.
ii. above ground tanks which have previously been certified and used or intended to be used to contain a hazardous substance.
iii. below ground tanks used or intended to be used to contain a hazardous substance.
The authorisation for stationary tanks does not include a design that is to be certified as per regulation 17.91(2)(b)(i) [Health and Safety at Work (Hazardous Substances) Regulations 2017].
The authorisation for stationary tanks does not include the construction of a tank that is to be certified as per regulation 17.91(2)(b)(ii) [Health and Safety at Work (Hazardous Substances) Regulations 2017].
i. new above ground tanks up to a maximum capacity of 1,000,000 L per tank used or intended to be used to contain a hazardous substance.
ii. above ground tanks which have previously been certified and used or intended to be used to contain a hazardous substance.
iii. below ground tanks used or intended to be used to contain a hazardous substance.
The authorisation for stationary tanks does not include a design that is to be certified as per regulation 17.91(2)(b)(i) [Health and Safety at Work (Hazardous Substances) Regulations 2017].
The authorisation for stationary tanks does not include the construction of a tank that is to be certified as per regulation 17.91(2)(b)(ii) [Health and Safety at Work (Hazardous Substances) Regulations 2017].
Vapourisers
Stationary Container Systems that include vapourisers [Regulation 17.91(2)(f), Health and Safety at Work (Hazardous Substances) Regulations 2017]
Classes 2.1.1, 2.1.2 or 3.1
Locations where classes 2.1.1, 2.1.2 or 3.1 substances are present [Regulation 10.34, Health and Safety at Work (Hazardous Substances) Regulations 2017]
Classes 3.2 or 4
Locations where classes 3.2 or 4 substances are present [Regulation 10.36, Health and Safety at Work (Hazardous Substances) Regulations 2017]
Classes 5.1.1 or 5.1.2
Locations where classes 5.1.1 or 5.1.2 substances are present [Regulation 12.17, Health and Safety at Work (Hazardous Substances) Regulations 2017]
Class 5.2
Locations where class 5.2 substances are present [Regulation 12.42, Health and Safety at Work (Hazardous Substances) Regulations 2017]
Classes 6 or 8
Locations where classes 6 or 8 substances are present [Regulation 13.38, Health and Safety at Work (Hazardous Substances) Regulations 2017]
Compliance Plan
Existing Stationary Container Systems for which a compliance plan is in effect [Regulation 17.91 and Schedule 1 Clause 45, Health and Safety at Work (Hazardous Substances) Regulations 2017]
Scope: The authorisation for stationary container systems – installation and for which a compliance plan is in effect does not include:
The authorisation does not include stationary container systems that include transfer line between ship and stationary tank [Regulation 17.91(2)(i)(iii), Health and Safety at Work (Hazardous Substances) Regulations 2017].
The authorisation for stationary container systems does not include certification of a design as per regulation 17.93(1)(a) [Health and Safety at Work (Hazardous Substances) Regulations 2017].
The authorisation of stationary container systems does not include certification of a fabricator for the purpose of constructing a stationary tank or process container in accordance with a design as per regulation 17.93(1)(b) [Health and Safety at Work (Hazardous Substances) Regulations 2017].
The authorisation does not include stationary container systems that include transfer line between ship and stationary tank [Regulation 17.91(2)(i)(iii), Health and Safety at Work (Hazardous Substances) Regulations 2017].
The authorisation for stationary container systems does not include certification of a design as per regulation 17.93(1)(a) [Health and Safety at Work (Hazardous Substances) Regulations 2017].
The authorisation of stationary container systems does not include certification of a fabricator for the purpose of constructing a stationary tank or process container in accordance with a design as per regulation 17.93(1)(b) [Health and Safety at Work (Hazardous Substances) Regulations 2017].
In Service
Tank wagons meet in-service requirements [Regulation 16.36, Health and Safety at Work (Hazardous Substances) Regulations 2017]
Tank Wagon Pre-commissioning
Pre-commissioning of tank wagons [Regulation 16.34, Health and Safety at Work (Hazardous Substances) Regulations 2017]
Conditions that apply for this authorisation
This authorisation ends on the earlier of the following:- 5 years after the date on which the authorisation was granted; and
- When the authorisation holder ceases to be an employee of EnviroHaz Limited.