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  1. BORA Taxation (Base Maintenance and Miscellaneous Provisions) Bill [pdf, 86 KB]

    ...offshore investments out of New Zealand; • exempt from tax non-resident companies with drilling rigs and seismic ships involved in exploration of offshore oil or gas fields; • address concerns raised about tax deductions available for business environmental expenditure; • revise the generic rules about tax treatment of transfers of assets following a taxpayer’s death; • enable disclosure of pertinent information for purposes of Parental Leave and Employment Protection Act...

  2. Immigration and Protection Tribunal - Tribunal profile [pdf, 91 KB]

    ...balanced and defensible • assimilate large amounts of complex and competing information • thoroughly analyse the information and quickly identify facts, opinions and key issues • recognise when further critical information is required. Environmental awareness Members must be able to: • be sensitive to, understand and take account of the values and mores of other cultures • demonstrate an awareness and sensitivity to community values • identify and analyse public,...

  3. Notice of Hearing, Thursday 24 May 2018 [pdf, 478 KB]

    ...ENVIRONMENT COURT SX10044 Wellington Telephone: (04) 918 8300 Facsimile: (04) 918 8303 EC4180_NoticeOfHearing 1. Topic SCHEDULE OF PROCEEDINGS Hutt City Council: Plan Change 36 (Notable trees and Vegetation removal) i. East Harbour Environmental Association Incorporated (EHEA) v Hutt City Council Appeal By Submitter On Proposed Policy Statement Or Plan pursuant to Clause 14 of the First Schedule of the Resource ManaQement Act 1991 Court Reference: ENV-2016-WLG-000030...

  4. BORA Crown Minerals (Permitting and Crown Land) Bill [pdf, 190 KB]

    ...amends the Crown Minerals Act 1991 with the aims of encouraging the development of Crown-owned minerals, streamlining and simplifying the regime and ensuring that better coordination of regulatory agencies can contribute to stringent health, safety and environmental standards in exploration and production activities. 3. We have identified some clauses in the Bill that may engage section 21 of the Bill of Rights Act (the right of everyone to be secure against unreasonable search and...

  5. 2020-04-08-PC8-1-MfE-s-1422-direction.pdf [pdf, 540 KB]

    ...suitable members to a board of inquiry difficult in a short timeframe whereas the Environment Court process would provide surety in terms of progressing a decision on the matters. Page 2 of 2 In reaching my decision I considered: a) The Environmental Protection Authority recommendation that I refer the matters to the Environment Court; b) The views of the Otago Regional Council, being the applicant and the relevant local authority that would have processed and decided the ma...

  6. Ports of Auckland Limited 228 [pdf, 59 KB]

    ...4. POAL is interested in the entirety of the proceedings and supports the Appellant's appeal for the reasons given by the Appellant and because: (a) the AAAQS impose greater restrictions on activities than what is provided for in the National Environmental Standard for Air Quality 2004; (b) the imposition of those higher standards does not promote the purpose of the RMA; (c) there is no justification for the inclusion of the AAAQS in terms of section 32 of the RMA; and (d) th...

  7. Ports of Auckland Limited 233 [pdf, 59 KB]

    ...4. POAL is interested in the entirety of the proceedings and supports the Appellant's appeal for the reasons given by the Appellant and because: (a) the AAAQS impose greater restrictions on activities than what is provided for in the National Environmental Standard for Air Quality 2004; (b) the imposition of those higher standards does not promote the purpose of the RMA; (c) there is no justification for the inclusion of the AAAQS in terms of section 32 of the RMA; and (d) th...

  8. Ports of Auckland Limited 217 [pdf, 59 KB]

    ...4. POAL is interested in the entirety of the proceedings and supports the Appellant's appeal for the reasons given by the Appellant and because: (a) the AAAQS impose greater restrictions on activities than what is provided for in the National Environmental Standard for Air Quality 2004; (b) the imposition of those higher standards does not promote the purpose of the RMA; (c) there is no justification for the inclusion of the AAAQS in terms of section 32 of the RMA; and (d) th...

  9. Ports of Auckland Limited 222 [pdf, 59 KB]

    ...4. POAL is interested in the entirety of the proceedings and supports the Appellant's appeal for the reasons given by the Appellant and because: (a) the AAAQS impose greater restrictions on activities than what is provided for in the National Environmental Standard for Air Quality 2004; (b) the imposition of those higher standards does not promote the purpose of the RMA; (c) there is no justification for the inclusion of the AAAQS in terms of section 32 of the RMA; and (d) th...

  10. 2021-02-19 Nga Runanga notice cross-examiniation [pdf, 248 KB]

    ...Planning Minister for the Environment  Keita Koehere  Tim Ensor Planning policy Planning Otago Fish & Game Council and Central South Island Fish & Game Council  Nigel Paragreen  John Hayes Environmental management Ecological flow Director-General of Conservation  Nicholas Dunn  Murray Brass Freshwater ecology Planning