Herbicides/Toxics - Updates to March 2005
Aug 06: Hancock
pollutes Geelong Drinking Water with Hexazinone for 18 months (and counting)
Environmental
groups call for bans on aerial spraying of pesticides
See Previous
Herbicides Updates
Atrazine and Hexazinone (Forest Mix WDH*) incident that killed 100
old growth redgum trees at Rosedale between 2000
and 2002.
Friends Block Background
1 The site
Friends Block (now owned by Grand Ridge Plantations (GRP) is located
approximately 6km south of Rosedale. The district has a long grazing
history. The site receives roughly 700mm of rain per year and is about
50m ASL. The landform is gently undulating to flat, with locally dissected
drainage ways, or on flatter parts, shallow irregularly scattered depressions.
The parent material is unconsolidated alluvial deposits of the late
Pliocene age. The soils are a yellow duplex textured soil, with a loamy
sand surface horizon over a yellow-brown mottled and generally dense
clay. The block is about 450ha in size.
2 Past activities
In 2000, the Friends Block was site prepared and planted in Pinus radiata
by Australian Paper Plantations. The site had in excess of 100 old Red
Gum trees on site, which were deliberately protected and left intact
at time of site preparation and planting. A different herbicide was
used to that used normally, which was believed to have a lesser effect
on native trees. No herbicide was sprayed around the native trees but
this appears to have been inadequate protection. On this block we applied
"Forest Mix WDH*" @ 7.2Kg/Ha. Apparently, following herbicide
application a strong rain event occurred, resulting in water from the
general establishment area pooling around the base of the native trees.
The water was slow to get away due to the duplex nature of the soil.

March 2003: Poisoned redgums
- Friends Block
3. Unacceptable outcome
Unfortunately, many of the Red Gums on the Friends Block have died
since the site was established. This was brought to the attention of
GRP in late 2002.
The patterns of tree death have been investigated, and there are some
parts of the block that have had very few deaths, whereas other parts
have been heavily affected. There doesn't appear to be any patterns
of death that can be related to topography or location within the block.
It would appear that the combined effect of herbicide, cultivation and
fertilisation has caused the rapid death of most of these trees. It
is likely that the herbicide was the main factor.
GRP has undertaken additional investigations including, analysis of
the leaves of alive trees in the block for chloride, an analysis of
the dam water for chloride and herbicide and an analysis of the soil
for residual herbicide levels. These investigations have failed to turn
up any additional information and there was no residual herbicide found
in soil or water.
4. GRP response
After the purchase of the Australian Paper business, GRP worked with
the Regulatory Authority, Wellington Shire, in an attempt to mitigate
the impact of the loss. Approximately 10,000 trees (local redgum and
lightwood) have been planted in a biolink that stretches for 3 km along
the main drainage line in the block. The biolink adjoins native vegetation
at each end. This involved the removal of recently planted pine, fencing
of the area, planting and tree guarding. The trees are currently about
50cm tall and growing well. The block is fenced and gated and signs
have been erected to discourage any firewood getters. The redgums which
have died, have hollows and must be retained for hollow nesting fauna.
The Rosedale Historical Society, who have taken an interest in this
issue have been kept informed of developments.
*Forest Mix WDH is made by Macspred Pty Ltd (Ballarat). Active Contituents:
210 g/kg Hexazinone and 620 g/kg Atrazine used at a rate of 7.2 kg/ha.
FSC Board Committee Decision Regarding Simazine
Use in Victorian Plantations 3/11/03
(Background in April 2003, Hancock Victorian Plantations approached
the FSC in terms of gaining a derogation for the continued use of the
herbicide Simazine in its hardwood 'plantations' in Gippsland - what
follows is the FSC judgement in terms of this derogation)
FSC Board Committee Decision:
Simazine may be used in Victoria, Australia, for the residual pre-emergent
control of grass and broadleaved weeds in Eucalypt plantation establishment,
until September 2006, and subject to the following conditions:
1. A 'Pesticides Advisory Group' which consists of technical advisers
and which has the support of key FSC stakeholders in Victoria and environmental,
social and economic members of the interim Australian NI shall be established
by the FSC Australia Contact Person prior to any application of simazine
by FSC certificate holders.
2. The role of the Pesticides Advisory Group shall be to provide guidance
on the conditions attached to this derogation, and to review the results
of monitoring carried out by certification bodies of certificates applying
the derogation. Certificate holders shall make all necessary information
available to members of the Advisory Group to allow them to meet these
objectives.
3. Until the Pesticides Advisory Group gives clarifying guidance, there
shall be no application of simazine in domestic supply water catchments.
4. Simazine shall not be applied on sites with conditions in which
simazine can move off-site or accumulate in water courses. Until the
Pesticides Advisory Group gives clarifying guidance, there shall be
no aerial application of simazine in certified operations.
5. Where simazine is used there shall be buffers around the edges of
sites and along drainage lines to ensure there is no spray drift, contamination
of waterways, or off-site impact on native vegetation.
6. The Pesticides Advisory Group shall provide specific guidance to
be followed with respect to:
6a. pre- and post- application monitoring of water courses, buffers,
native vegetation and soils in catchments where simazine is applied;
6b. determination of sites, soils and catchments where it is not appropriate
to apply simazine;
6c. the use of alternative chemicals that are not on the FSC prohibited
list and have a lower risk of negative on- and/or off- site environmental
impacts;
6d. determining the "trigger value" for simazine and procedures
to be followed when monitoring shows the trigger value has been exceeded
or when simazine is detected in waterways;
6e. appropriate application methods, in particular under what, if any,
circumstances aerial application is acceptable.
6f. appropriate controls under which simazine may, if at all, be applied
in domestic water supply catchments.
7. The policies and procedures of certifications applicants shall be
evaluated and confirmed by the certification body prior to the issue
of a certificate.
Re: Simazine derogation (FSC-GUI-30-603)
On 3rd November 2003 the FSC Board Committee on Chemical Pesticides
agreed to permit a derogation for the use of simazine in Victoria, subject
to a number of conditions. The decision and the associated conditions
are described in the FSC document FSC-GUI-30-603.
One of the conditions requires that a 'Pesticides Advisory Group' should
be set up by the FSC Australia Contact Person to provide advice, prior
to the application of simazine by any FSC certificate holder.
The role of the Pesticides Advisory Group will be to provide advice
on the application of the derogation, and to review the results of monitoring
when simazine is used under its conditions. For this purpose the Pesticides
Advisory Group is designed to consist of technical advisors and to have
the support of stakeholders and FSC members in Victoria.
During the review of the simazine derogation request it was clear that
it would be highly useful if a Pesticides Advisory Group could be established
to provide advice on any further derogation requests in Australia. This
would ensure that derogation requests could be scrutinised by experts
in Australia, prior to submission to FSC, and improve the quality and
timeliness of the evaluation.
There would be obvious advantages if the Pesticides Advisory Group
set up to provide advice on simazine use in Victoria could go on to
provide further advice on subsequent chemicals issues in the context
of FSC certification in Australia as a whole. For further information,
please contact Mr Tim Cadman, FSC Contact Person in Australia (tcadman@certifiedforests.org.au).
Matthew Wenban-Smith (Head of Policy and Standards Unit - Forest Stewardship
Council, Bonn Germany).
'Tip of the Iceberg'
Herbicide Regimes - March 2003: Hancock Watch has recently been
given information pertaining to the quantity of herbicides sprayed in
certain Hancock plantations in the Gippsland Region. This data was provided
by Gippsland Water. Information is incomplete and doesn't give an indication
of the full story associated with herbicide use by the company. Nevertheless
it does shed some light on this important issue.
Hancock are currently attempting to get their Victorian operations
certified by the Forest Stewardship Council. FSC requires that companies
reduce their herbicide regimes and ban the use of certain chemicals.
We call on Hancock to publicly release all details of herbicide applications
over their entire asset base. If we are not privy to this information
then that is an unacceptable outcome - especially if herbicides are
aerially dropped into peoples drinking water.
The following links will provide information relating to plantations
and their herbicide regimes over the past few years. Also see March
03 updates with information pertaining to
a herbicide pollution incident which has killed old growth redgums in
Central Gippsland.
Incomplete Spray Regimes can be found at (plantations inside domestic
water catchments highlighted in blue);
93-72,
93-73,
93-82,
93-89-1,
93-90-1,
93-97,
93-106,
93-108,
LEGL93-118,
93-119,
LEGL
93-120
Water Supplies Update November 2006:
Water supplies most likely to be impacted by
Hancock activities (in red):
For more detailed information on these potentially
impacted water supplies, please go to connecting links:
http://www.hancock.forests.org.au/directory/regional.html
- Acheron - Acheron River (Central
Region: LEGL93-67,
LEGL93-71)
- Adelaide Lead - Tullaroop Reservoir
(Ballarat Region: LEGL93-
39/1, 93-40/1,
93-41)
- Agnes - Agnes River (Strzelecki
Region: LEGL93-85)
- Alberton - Tarra River (Strzelecki
Region: LEGL93-92,
93-93,
93-96,
Parish
Bulga )
- Albury/Wodonga - Murray River
- Alexandra - Goulburn River (Central
Region: LEGL93-67,
93-68,
93-70,
93-71)
- Alma - Tullaroop Reservoir
(Ballarat Region: LEGL93-
39/1, 93-40/1,
93-41)
- Anakie - Korweinguboora Reservoir (Ballarat
Region: LEGL93-54)
- Avenel - Goulburn River
- Ballarat - White Swan Reservoir
(Ballarat Region:93-41
)
- Bannockburn - Moorabool River (Ballarat Region:
LEGL93-52)
- Barmah - Murray River
- Batesford - Korweinguboora Reservoir
(Ballarat Region:LEGL93-54
)
- Bealiba - Loddon River
- Beechworth - Nine Mile Creek
(Ovens Region: 93-138,
93-139)
- Bellbridge - Lake Hume (Upper
Murray Region LEGL's)
- Bendigo - Lake Eppaloch
- Benalla - Ryans Creek
(Benalla/Mansfield Region: LEGL
93-65, 93-66/1,
94-16)
- Bennison - Agnes River (Strzelecki
Region: LEGL93-85)
- Betley - Tullaroop Reservoir
(Ballarat Region:LEGL93-
39/1, 93-40/1,
93-41
)
- Bonnie Doon - Lake Eildon (Benalla/Mansfield
Region: LEGL
94-17, 94-18,
94-19,
94-20)
- Boorcan - Gellibrand River (Otways
Region:LEGL
93-47/1, 93-48/1,
93-49,
Midway
Plantations)
)
- Bridgewater - Loddon River
- Bright - Ovens River (Ovens
Region: LEGL
93-129, 93-132,
93-133,
93-134)
- Bulla - Rosslynne Reservoir
(Ballarat Region: LEGL93-58)
- Camperdown - Gellibrand River (Otways
Region: LEGL
93-47/1, 93-48/1,
93-49,
Midway
Plantations)
)
- Castlemaine - Lake Eppaloch
- Chocolyn - Gellibrand River (Otways
Region: LEGL
93-47/1, 93-48/1,
93-49,
Midway
Plantations)
)
- Churchill - Moondarra
Reservoir (Strzelecki
Region LEGL
93-120,
Moondarra)
- Cobden, - Gellibrand River
(Otways Region: LEGL
93-47/1, 93-48/1,
93-49,
Midway
Plantations)
)
- Cobram - Murray River
- Congupina - Goulburn River
- Daylesford - Stewarts Creek (Wombat
Forest: LEGL
94-15)
- Derrinallum - Gellibrand River (Otways
Region: LEGL
93-47/1, 93-48/1,
93-49,
Midway
Plantations)
)
- Devenish - Broken Creek/River
- Devils Gully - Gellibrand River
(Otways Region: LEGL
93-47/1, 93-48/1,
93-49,
Midway
Plantations)
)
- Diggers Rest - Rosslynne Reservoir
(Ballarat Region: LEGL93-58)
- Dumbalk - Tarwin River (Strzelecki
Region: LEGL
93-79, 93-80,
93-81,
93-82,
93-114,
93-117,
93-121)
- Dunnolly - Loddon River
- Echuca - Murray River
- Eildon - Lake Eildon (Benalla/Mansfield
Region:LEGL
94-17, 94-18,
94-19,
94-20)
- Elphingstone - Lake Eppaloch
- Euroa - Seven Creeks (Benalla/Mansfield
Region: LEGL93-60)
- Flowerdale -
King Parrot Creek (Central Region:
LEGL93-69 - Mount Robertson)
- Foster - Deep Creek
(Strzelecki Region: LEGL93-82)
- Fryerstown, - Lake Eppaloch
- Geelong - Korweinguboora Reservoir/Moorabool
System/Wurdiboluc System (Ballarat
Region: LEGL93-54,
Midway
Plantations, AKD Plantations).
- Gellibrand - Lardners Creek/Gellibrand
River Catchment (Otways Region:
93-48/1,
Midway
Plantations)
)
- Gheringhap - Moorabool River (Ballarat Region:
LEGL93-52)
- Ghotuk - Gellibrand River
(Otways Region: LEGL
93-47/1, 93-48/1,
93-49,
Midway
Plantations)
)
- Gisborne - Rosslynne Reservoir (Ballarat
Region: LEGL93-58)
- Glengarry - Moondarra
Reservoir (Strzelecki
Region LEGL
93-120,
Moondarra)
- Glenormiston - Gellibrand River
(Otways Region: LEGL
93-47/1, 93-48/1,
93-49,
Midway
Plantations)
)
- Glenrowan - Fifteen Mile Creek
(Benalla/Mansfield Region:93-66/1
)
- Goorambat - Broken Creek/River
- Happy Valley -
King Parrot Creek (Central Region:
LEGL93-69 - Mount Robertson)
- Harcourt - Lake Eppaloch
- Havelock - Tullaroop Reservoir (Ballarat
Region:LEGL93-
39/1, 93-40/1,
93-41
)
- Heathcote - Lake Eppaloch
- Hedley - Agnes River
(Strzelecki Region: LEGL93-85)
- Hepburn Springs - Stewarts
Creek (Wombat Forest: LEGL
94-15)
- Inglewood - Loddon River
- Inverleigh - Moorabool River (Ballarat Region:
LEGL93-52)
- Kerang - Murray River/Loddon River
- Kiewa - Murray River from Wodonga
- Laanecoorie - Loddon River
- Lara - Korweinguboora Reservoir
(Ballarat Region: LEGL93-54)
- Lethbridge - Moorabool River (Ballarat Region:
LEGL93-52)
- Lismore - Gellibrand River
(Otways Region: LEGL
93-47/1, 93-48/1,
93-49,
Midway
Plantations)
)
- Macedon - Riddells Creek
(Ballarat Region: LEGL
93-57)
- Majorca - Tullaroop Reservoir
(Ballarat Region: LEGL93-
39/1, 93-40/1,
93-41)
- Maldon - Lake Eppaloch
- Maryborough - Tullaroop Reservoir
(Ballarat Region: LEGL93-
39/1, 93-40/1,
93-41)
- Meeniyan - Tarwin River
(Strzelecki Region:LEGL
93-79, 93-80,
93-81,
93-82,
93-114,
93-117,
93-121)
- Meredith - Moorabool River (Ballarat Region:
LEGL93-52)
- Merino - Groundwater
(South West Victoria: LEGL
93-21, 93-23,
ITC
Plantations)
- Mildura - Murray River
- Mirboo North - Little Morwell River
(Strzelecki Region Allotment
98 Parish Allambee East)
- Moe - Narracan Creek
(Strzelecki Region LEGL93-121)
- Molesworth - Goulburn River
- Mooroopna - Goulburn River via Shepparton
- Morwell - Moondarra Reservoir
(Strzelecki Region LEGL
93-120,
Moondarra)
- Mount Macedon - Riddells Creek
(Ballarat Region: LEGL
93-57)
- Moyhu - King River (Benalla
Mansfield Region: 93-66/1)
- Murchison - Goulburn River
- Myrniong - Werribee River (Ballarat
Region: LEGL93-54)
- Nagambie - Goulburn River
- Nathalia - Broken Creek (Benalla/Mansfield
Region: LEGL
93-62,
LEGL
93-65)
- Newborough - Narracan
Creek (Strzelecki
Region LEGL93-121)
- Newstead - Lake Eppaloch
- Noojee - Loch River
(LEGL93-118)
- Noorat - Gellibrand River (Otways
Region: LEGL
93-47/1, 93-48/1,
93-49,
Midway
Plantations)
)
- Numurkah - Broken Creek (Benalla/Mansfield
Region: LEGL
93-62,
LEGL
93-65)
- Oxley - King River
(Benalla Mansfield Region: 93-66/1.
Ovens Region LEGL 93-149,
93-150,
93-151,
93-152)
- Paradise Valley- King Parrot Creek
(Central Region: LEGL93-69
- Mount Robertson)
- Piangil - Murray River
- Port Albert - Tarra River
(Strzelecki Region: LEGL93-92,
93-93,
93-96,
Parish
Bulga )
- Port Franklin - Agnes River (Strzelecki
Region: LEGL93-85)
- Port Welshpool - Agnes River (Strzelecki
Region: LEGL93-85)
- Raywood - Lake Eppaloch
- Riddell - Bulk supply from Sunbury
(Ballarat Region: LEGL93-58)
- Robinvale - Murray River
- Rosedale - Moondarra
Reservoir (Strzelecki
Region LEGL
93-120,
Moondarra)
- Rutherglen - Murray River
- Seaspray - Merrimans Creek
Strzelecki Region: LEGL93-106,
93-107,
93-108,
93-116,
ex APM
plantations)
- Sebastian, - Lake Eppaloch
- Seymour - Goulburn River (Central
Region LEGL93-67,
LEGL93-68, LEGL93-69,
LEGL93-70, LEGL93-71
Midway
Plantations).
- Shepparton - Goulburn River
- Simpson - Gellibrand River
(Otways Region: LEGL
93-47/1, 93-48/1,
93-49,
Midway
Plantations)
)
- South Purrumbete - Gellibrand River
(Otways Region: LEGL
93-47/1, 93-48/1,
93-49,
Midway
Plantations)
)
- St. James - Broken Creek
(Benalla/Mansfield Region: LEGL
93-62,
LEGL
93-65)
- Strathfieldsaye - Lake Eppaloch
- Sunbury - Rosslynne Reservoir
(Ballarat Region: LEGL93-58)
- Swan Hill - Murray River
- Taggerty - Acheron River (Central
Region: LEGL93-67,
LEGL93-71)
- Tallangatta - Lake Hume (Upper
Murray Region LEGL's)
- Tallarook - Goulburn River
- Tallygaroopna - Goulburn River
- Tangambalanga - Murray River from Wodonga
- Taradale - Lake Eppaloch
- Tarnagulla - Loddon River
- Terang - Gellibrand River
(Otways Region: LEGL
93-47/1, 93-48/1,
93-49,
Midway
Plantations)
)
- Tooborac - Bulk supply from Heathcote - Lake Eppaloch
- Toolamba - Goulburn River via Shepparton
- Toora - Agnes River
(Strzelecki Region: LEGL93-85)
- Trafalgar - Narracan Creek (Strzelecki
Region LEGL93-121)
- Traralgon - Moondarra Reservoir
(Strzelecki Region LEGL
93-120,
Moondarra)
- Traralgon South - Moondarra
Reservoir (Strzelecki
Region LEGL
93-120,
Moondarra)
- Tungamah - Broken Creek/River
- Wangaratta - Ovens River (Ovens
Region: LEGL's
93-124/1, 93-125/1,
93-127/1,
93-128/1,LEGL
93-129, 93-130/1,
93-131/1,
93-132,
93-133,
93-134-1,
93-141,
93-142/1,
93-143/1,
93-144,
93-145,
93-146,
93-147,
93-148,
93-149,
93-150,
93-151,
93-152,
93-153/1,
93-154/1,
93-155,
93-156,
93-176)
- Warrenbayne - Baddaganinnie Creek
(Benalla/Mansfield Region 93-63)
- Warrnambool - Gellibrand River
(Otways Region: LEGL
93-47/1, 93-48/1,
93-49,
Midway
Plantations
)
- Welshpool - Agnes River (Strzelecki
Region: LEGL93-85)
- Westbury - Narracan Creek (Strzelecki
Region LEGL93-121)
- Wunghnu - Broken Creek from Numurkah
(Benalla/Mansfield Region: LEGL
93-62,
LEGL
93-65)
- Yackandandah - Nine Mile Creek
(Ovens Region:LEGL93-136,
93-137,
93-138,
93-139
)
- Yallourn North - Narracan
Creek (Strzelecki
Region LEGL93-121)
- Yarragon - Narracan
Creek (Strzelecki
Region LEGL93-121)
- Yarram - Tarra River (Strzelecki
Region: LEGL93-92,
93-93,
93-96,
Parish
Bulga )
- Yarrawonga - Murray River
- Yea - Yea River/Goulburn River
(Midway
Plantations)
- Yinnar - Moondarra Reservoir (Strzelecki
Region LEGL
93-120,
Moondarra)

Plantations, Gold Mining and Mercury Pollution
Numerous plantations in the Hancock estate in Victoria are located
on top of areas that were mined for gold in the 19th Century. Plantations
were established in these areas to stabilise disturbed soil and mine
tailings. Will logging of these areas and the associated soil disturbance
release mercury (and other toxins) into the environment? Are existing
buffer zones on these areas appropriate to stop this insidious form
of pollution?
"(a) Auriferous Areas. An aftermath of the gold mining era
in Ballarat, Creswick and Castlemaine was the denuded and unproductive
areas of worked-out diggings. Partly to put the land to better use and
partly to hide an unpleasant sight, planting of such areas commenced
in 1888 at Creswick and at Ballarat and Castlemaine in 1919. Under natural
conditions the auriferous soils are too poor for satisfactory tree growth
but when disturbed by mining operations a big improvement is often obtained.
This is largely a reflection of internal soil drainage and root penetration;
under natural conditions the soils are compacted with a relatively impervious
B horizon underneath a shallow A horizon, but mining operations results
in several feet of "loose" soils being created. Responses
like this suggest that deep cultivation to 3 or 4 feet may give a big
improvement in site where low quality is due to compacted soils and
not inadequate soils depth.
When most of the mined land had been planted, activities extended
to the surrounding low quality native forest. Generally these did not
prove to be very satisfactory, so that further extension has been confined
to the more favourable localities.
(b) Dredged gravels. During the 1890's and early 1900's gold dredging
extended into the Ovens Valley and its tributaries. At the peak of operations
more than 40 dredges operated in the valley destroying large acres of
alluvial flats and leaving a churned up mass of course gravels.
An experimental planting of 80 acres of P.radiata at Bright in 1916
on dredge trailings was very successful, so that over the next ten years
several hundred acres were planted. These areas are some of the best
in the Bright group of plantations.
Areas dredged more recently are not so satisfactory. With improved
techniques and processing, soils have been disturbed to much greater
depths and too high a proportion of the finer particles have been washed
out. On such areas tree growth has not been satisfactory and many are
now being converted to pasture of a kind". (Exotic
Forests and Land Use by K.J. Simpfendorfer - Victoria Forests Commission
Forestry Technical Papers No.19 1967)
Not all of the gold mining areas now under Hancock plantations would
have used Mercury but many may have. The following excepts may shed
some light on this disturbing issue which in many cases could be toxic
timebombs waiting to happen.

Plantation LEGL93-41
Glen Park Plantation: Feb 01. Black liquid oozing from plantation gully
which was once mined for gold. Could this be Mercury?
Hancock plantations on top of old gold mine areas include: Ballarat
Region (LEGL's 93-24,
93-29,
93-34,
93-39/1,
93-40,
93-41
93-53,
93-54,
93-55)
Ovens Region (LEGL's 93-130,
93-136, 93-137,
93-138,
93-139,
93-141,
93-142,
93-132).
Following article sourced from: Environment
Protection Authority: Mercury in the Freshwater Environment - The Contamination
of waterbodies in Victoria as a Result of Past Gold Mining Activities
- David Tiller 1990.
". . . losses from gold mining activities in the past 100 or so
years has contributed far more mercury to streams and lakes in Victoria
than erosion would have over the same period. . . Mercury was, and in
places still is, used for recovering gold from crushed ore. The gold
containing ore is crushed into fine particles, mixed with water to form
a slurry, and then passed over copper plates coated with mercury. Mercury
forms an amalgam (mixture or combination) with the gold. The gold is
seperated from the mercury by vaporizing off the mercury, which can
be recondensed and re-used. Unfortunately, during the process some of
the mercury is lost from the copper plates to the slurry. The processed
slurry, now called tailings or slimes, was either contained in dams
or discharged to water courses . . .
In the aquatic environment very little mercury will be dissolved in
the water column. Mercury tends to bind to organic particles (Sherbin
1979), which then settle out of the water column and accumulate in the
sediment. Most of the mercury in an aquatic system will, therefore,
end up in sediments. . . Many aquatic organisms can take up and accumulate
mercury, either directly from the water column or via their food. Mercury
is also thought to biomagnify at higher trophic levels . . . Human poisonings
by mercury are usually the result of eating contaminated fish or molluscs.
. . Methyl mercury tends to accumulate in various organs of the body,
particularly the brain (OECD1974). . .
The re-suspension of contaminated sediment during high flows may lead
to elevated concentrations in the water column . . . In general, elevated
mercury concentrations in the water column are episodic events . . .
Unfortunately, there are no sediment mercury criteria available . .
. The erosion of mercury-contaminated tailings continues to be a source
of mercury to the aquatic environment . . . It should not be concluded
that all the old tailings dams in gold mining areas are contaminated
with mercury, as the mercury amalgam process was not the only method
employed to remove gold . . .
Fish can accumulate large amounts of mercury, mostly methyl mercury,
from the environment. . . Invertebrates can also accumulate mercury
. . . While there is some uncertainty in the literature, it is generally
considered that mercury is taken up by biota primarily from the water
column rather than through ingestion of food. . . "
Following article sourced from: Marine and Freshwater Resources
Institute. Report No 49. Mercury Concentrations in Brown Trout (salmo
trutta) from Eastern Victorian Waterways. By G. Fabris December 2002.
"In Victoria there is a history of pollution of otherwise pristine
streams and lakes by mercury which was commonly used to seperate gold,
by amalgamation, from crushed ore during the last century . . . Coller
estimated that approximatley 950 tonnes of metallic mercury was lost
in streams of the Great Divide by this process . . .
p3 While it is unlikely that acute poisoning (seizures, severe neurological
impairment and death) would result from exposure to low doses of methyl
mercury, it can produce harmful effects in humans at concentrations
one tenth of those of inorganic mercury and it has been implicated in
cognitive deficits in children (Dietz et al. 2000). The risk is that
recreational fishers as well as sensitive sub-populations such as pregnant
women/foetus, nursing mothers and their infants and children would be
at risk of developing subtle to severe neurological problems due to
persistent exposure to low doses of methylmercury . . . In Australia,
the FSANZ Food Standards Code (FSANZ 2002) prescribes a Maximum Level
(ML) of 0.5ug g-1(wet weight) for most fish . . . p13 Ovens River (Site
4) have mean mercury concentrations ranging from 0.23 to 0.81ug g -1
. . . " (The Ovens River readings were taken from three sites between
Bright and Freeburg).
Following article sourced from: State of the Environment Report
1988. Victoria's Inland Waters. Office of the Commissioner for the Environment.
p88/89 "Aquatic Impacts of Gold Mining: Historical Impacts.
The major environmental impacts of mining occurred during the intensive
and widespread activity of the 19th century rushes. They include:
i) Massive logging of Victoria's box, ironbark and other forests for
timber for mine props and fuel accompanied clearing of vegetation for
easier access to outcrops, and the wholesale removal of washdirt for
panning. This led to heavy erosion of hill slopes and river banks, and
resultant changes to the physical form of rivers and streams. Only some
of this cleared land - usually on the more accessible river flats -
was later converted to agriculture use but much, while exposed, became
heavily eroded, often being literally stripped of all vegetation. While
many of the early mining areas have reverted to bush, evidence remains
of these activities - including the relative paucity of regrowth. Current
erosion rates in some localities are still influenced by the impact
of mining activity.
ii) Most streams within areas bearing gold deposits were subjected
to intensive excavation of their beds and banks, crude engineering works,
and diversion of waters. In certain areas, river beds were dug over
several times. Many thousands of tons of sediment were washed down-stream.
Combined with the effects of sediment from erosion, significant changes
in stream morphology resulted both within and down-stream from gold
mining areas. In the absence of scientific evidence, it is impossible
to precisely evaluate the extent to which these activities have had
an impact on individual water bodies, but many of the dramatic alterations
effected during the gold rush period have persisted through to the present
day.
iii) Leaching of tailing dumps, the passage of waste effluent from
processing to streams, and in some instances the mobilisation of natural
sources of metals during the course of mining, all contributed to the
loads of heavy metals and trace elements - particularly mercury, lead,
zinc, copper and arsenic - which exists now in significant quantities
in the sediment of streams in former gold mining areas (e.g. Goulburn
River, Bendigo Creek, Rasberry Creek, Lerderderg River). These persistent
contaminants are particularly concentrated downstream from processing
sites.
iv) The massive changes in stream morphology and hydrology, sediment
and heavy metal inputs inevitably had a significant impact on instream
biota, though the extent of these impacts also cannot be assessed scientifically
because of lack of data. Changes in the distribution and range of native
fish in streams in previously mined regions may have been initiated
by these impacts. . . "
Article sourced from Pesticide Action Network North America (PANNA)
http://www.panna.org
http://www.panna.org/resources/panups/panup_20020510.du.html
Atrazine, the most commonly used herbicide in the U.S. and possibly
the world, causes an array of sexual abnormalities including hermaphrodism
(the development of both male and female sex organs) according to a
new study published in the Proceedings of the National Academy of Sciences.
The results may provide the key to a global mystery. The U.S. Environmental
Protection Agency (EPA) is now in the process of evaluating the ecological
impacts of atrazine, and we are encouraging the public to send in comments
(see below).
For the last decade, scientists have documented a worldwide collapse
in frog populations, and some believe that as many as 20 species are
now extinct. Perhaps most surprising, frog populations have collapsed
even in very remote, pristine areas. While the declines are well documented,
the cause is a mystery; suggested culprits have included global climate
change, habitat destruction, toxics, predation from introduced species
and diseases. Now University of California at Berkeley researcher Tyrone
Hayes may have found a key cause that would explain much of the decline.
Atrazine, is used in over 80 countries, and where it is used it is
almost invariably found in streams, ponds and lakes. In the U.S., it
is found in virtually all waterways. "[It] can be found in rain water,
snow runoff, and ground water. There seems to be no atrazine-free environment,"
says author Hayes. The reason for this is simple: in addition to being
widely used, it is also highly mobile and persistent in the environment.
The EPA estimates that the average half-life of atrazine in aquatic
environments is 167 days, and in the cold waters of Lake Michigan, it
is 31 years. Atrazine flows downstream from farms where it is applied
and is also picked up by winds and carried to remote areas. The EPA
notes that atrazine "was detected in more than 60% of weekly rainfall
samples taken in 1995 from agricultural and urban sites in Mississippi,
Iowa and Minnesota."
While widespread atrazine pollution in the U.S. is well documented,
U.S. pesticide manufacturers have long claimed that it is of little
concern because the amounts normally found in the environment produce
few obvious effects in laboratory studies. However, traditional toxicological
studies use very high concentrations of atrazine and look for gross
abnormalities. Hayes's low-dose study, documented subtle sexual abnormalities
missed by traditional high-dose atrazine studies. The results of the
study, if confirmed, may pave the way to a major rethinking of how toxicological
assessments are done in the United States.
Atrazine is a known endocrine disruptor. Endocrine disruptors cause
developmental harm in extremely low doses by interfering with hormonal
triggers at key points in the development of an organism. Hayes' study
shows significant sexual abnormalities at just 0.1 parts per billion
(ppb)--30 times lower than levels allowed by the EPA for drinking water
and 120 times lower than the 12 ppb EPA guideline for the protection
of aquatic life.
The ubiquity of atrazine in the environment combined with an explanation
of how very low concentrations might cause harm to frog populations
could provide a key piece of information to unravel the mystery surrounding
the decline of frog populations worldwide.
The EPA periodically re-assesses chemicals and is currently finalizing
the ecological risk assessment for atrazine. Though this document is
supposed to consider all the major ecological impacts, developmental
impacts on frogs like those shown by Hayes' paper are not considered
in their risk assessment model. In fact, impacts on amphibians are entirely
ignored in their model, which only looks at mammals, birds, fish, aquatic
invertebrates and plants. The EPA's conclusions, based on this flawed
assessment are that "potential effects [are] likely to be greatest where
concentrations recurrently or consistently exceed 10 to 20 ppb"--100
to 200 times the concentrations where significant sexual abnormalities
were observed in Hayes' study. Though Hayes' results are mentioned elsewhere
in the assessment, these risk assessment models are expected to form
the basis of any EPA regulatory action.
* Write the EPA and urge them to include the developmental impacts
of atrazine on amphibians in their risk assessment models. The EPA's
"Environmental Fate and Effects Revised Risk Assessment" for atrazine
states that: "One of the most important steps in problem formulation
is the selection of the endpoints upon which the ecological risk assessment
is to be based." By excluding developmental impacts on frogs, this document
fails to accurately assess the likely impacts of continued atrazine
use.
Comments should reference the docket number (OPP-34237C) in the subject
and must be received by EPA on or before July 5, 2002. Comments can
be sent via email or mail.
Email: opp-docket@epa.gov
Public Information and Records Integrity Branch,
Information Resources and Services Division (7502C)
Office of Pesticide Programs
Environmental Protection Agency
1200 Pennsylvania Ave., NW
Washington, DC 20460
Document Number in Subject Line: OPP-34237C
Background information on atrazine can be found on the EPA's atrazine
re-registration Web page at: http://www.epa.gov/pesticides/reregistration/atrazine/
For further information on the EPA assessment of atrazine see:
http://www.epa.gov/oppsrrd1/reregistration/atrazine/efed_redchap_22apr02.pdf
For further chemical information on atrazine see:
http://www.pesticideinfo.org/PCW/Detail_Chemical.jsp?Rec_Id=PC35042
For further information on frog declines see:
http://dlp.cs.Berkeley.edu/aw/declines/
Sources:
"Feminized Frogs: Herbicide disrupts sexual groups," Science News Online,
April 20,2002, Vol. 161, No. 16. Viewed on April 29, 2002,
http://www.sciencenews.org/20020420/fob1.asp; Hayes, T.B., et al. 2002.
"Hermaphroditic,demasculinized frogs after exposure to the herbicide
atrazine at low ecologically relevant doses." Proceedings of the National
Academy of Sciences, Vol. 99 (April 16):5476-5480,
http://www.pnas.org/cgi/content/full/99/8/5476;
"Popular weed killer demasculinizes frogs, disrupts their sexual development,
UC Berkeley study shows," UC Berkeley press release, April 15, 2002;
"Amphibian Declines: An Issue Overview" jointly published by the Federal
Taskforce on Amphibian Declines and Deformities (TADD), Partners in
Amphibian and Reptile Conservation (PARC), the Declining Amphibian Populations
Task Force (DAPTF), and the Amphibian Conservation Alliance (ACA),
http://elib.cs.berkeley.edu/aw/declines/declines.pdf; and
"Reregistration Eligibility Science Chapter for Atrazine, Environmental
Fate and Effects Chapter," April 22, 2002,
http://www.epa.gov/oppsrrd1/reregistration/atrazine/efed_redchap_22apr02.pdf.
Industrial waste sold as fertiliser
Sydney Morning Herald By Gerard Ryle
May 6 2002
Graphic: Waste products used in agriculture
Big businesses across Australia are disposing of their industrial
waste as fertilisers or soil conditioners to be spread on farms, vineyards
and home gardens.
The material often contains potentially toxic substances and heavy
metals such as arsenic, mercury, chromium and lead.
State government agencies encourage the practice in the name of recycling
and farmers embrace it because it delivers cheap fertiliser. Corporations
also can save millions of dollars in dumping costs.
Untreated slag from BHP's Port Kembla steelworks is being spread over
dairy fields and crops in the southern tablelands.
Radioactive material from aluminium refineries in Western Australia
is being poured onto big cattle stations. In Victoria, South Australia
and Queensland, waste from zinc smelters, power stations, cement kilns
and car-part manufacturers is turned into products for farms and home
gardens.
The practice is perfectly legal.
In Australia, there is no national regulation of fertilisers and any
material that has fertilising qualities can be labelled and used as
such, even if it contains toxins and heavy metals.
There are no requirements to register the products with state agricultural
departments or to stop them being marketed as organic, which some of
them are.
The few state regulations controlling toxic heavy metals in fertilisers
can disappear when an industrial waste is re-labelled as a soil conditioner.
The potential threat to human health posed by the waste is a matter
of dispute.
Studies show that large amounts of heavy metals such as arsenic, cadmium
and mercury can cause cancers, birth defects and neurological problems
in humans. They also can be taken up by grazing animals and by many
table crops.
State environmental protection authorities and agricultural departments
believe that the levels in the recycled material are harmless.
But they rarely test the products, relying instead on data supplied
by the companies producing the waste for assurance that it is not dangerous.
Dr Mark Conyers, a soil scientist with the NSW Department of Agriculture,
says it is time for a public debate on an issue which is unknown to
most consumers.
"One of the things that disturbs me is that they give these apparently
detailed analyses on their products, but they don't give you analysis
on the bogymen [heavy metals]," he said. "It is like they are not there.
"My feeling is that these things should not be dumped on agricultural
land until they have been deemed to be safe."
Lee Bell, a member of the National Environmental Consultative Forum,
said there appeared to be a lack of regulation.
"It is a scandal and a disgrace and I think that if the public were
made aware of the implications of doing this there would be mass outrage,"
he said.
"They are trying to convince people that black is white, and that
potentially toxic waste is actually good for your garden. I don't think
that any sensible and informed people would be of that view."
Ben Cole, a spokesman for the Total Environment Centre, said any reuse
of unscreened industrial waste in agriculture should cause alarm.
"Industrial waste is dangerous; it should be kept well away from agriculture
and the environment," he said.
"The risk of exposure to undesirable levels of heavy metals and other
pollutants is far too high.
"Many of these contaminants bioaccumulate. This means they can be
passed through the food chain and into our bodies, and flow into waterways
via run-off."
Foreign fertilisers do not need warning labels
Sydney Morning Herald
By Gerard Ryle
May 6 2002
In NSW and Victoria it is mandatory for bags of fertiliser to carry
a warning if the product exceeds certain limits of certain heavy metals.
In NSW these are: Lead, 20 milligrams per kilogram; Cadmium, one milligram
per kilogram; and mercury, 0.2 milligrams per kilogram.
The warnings spell out the fact that using the fertiliser may result
in crop and animal products that exceed guidelines on maximum allowable
levels of these three heavy metals.
It also warns that the metals may accumulate in your soil.
But a loophole exists whereby fertilisers produced in other states
do not have to carry the warning labels, even if they are being sold
in NSW and Victoria.
The same loophole applies to overseas products - which accounts for
about 40 per cent of all fertiliser sold in Australia.
Products made in the United States and sold in supermarkets in Australia
do not have to meet guidelines set down for the same products made in
Sydney.
And if you take a walk around your local supermarket you will find
there are typically no warning labels on these products.
Figures released to the Herald from one large Australian fertiliser
manufacturer show a number of their products have higher levels of lead,
cadmium and mercury than the levels which trigger the warnings.
Some products have levels up to 25 times higher for cadmium and mercury
and up to 12 times higher for lead.
In January 2000, the United States Fertiliser Institute produced a
list of 12 heavy metals and one radionuclide (a radioactive element
called radium 226) which it termed "metals of potential concern" found
in fertilisers.
On the list were cadmium, mercury and lead. But also included were
nine other heavy metals - arsenic, chromium, cobalt, copper, molybdenum,
nickel, selenium, vanadium and zinc.
There are no set limits for any of these materials.
Some toxic metals can be absorbed by vegetable crops:
Arsenic: Carrots, onions, potatoes and other root vegetables
Cadmium: Lettuce, corn, wheat
Lead: Fruits and grains
Dioxin: Zucchini, pumpkin, cucumber, carrots, lettuce and peas.
Boron: Corn
SOURCE: California Public Interest Research Group Charitable Trust.
How industrial waste gets into the food chain
May 6 2002
Agriculture gobbles up recycled materials, but there are few checks
on the practice, Gerard Ryle reports.
The names of the companies recycling industrial waste into agriculture
read like a who's who of Australian business.
Alcoa, BHP, Boral, Intercast & Forge, and Iluka Resources all dispose
of by-products either directly to farmers or indirectly to fertiliser
companies who use them in their production process.
Other companies, such as Ford, Backwell-IXL and TiWest, have explored
ways of turning wastes into garden or agricultural products.
Much of the recycling is done in the name of the environment, and
big fertiliser companies who use material say there is nothing wrong
with it.
For instance, sulphuric acid used in the making of phosphate-based
fertiliser is recycled sulphur dioxide captured from the pollution stacks
of Pasminco's zinc and lead refineries. And ammonium sulphate, a by-product
from Anaconda's nickel smelter, is used as a source of nitrogen in compound
fertilisers.
But while some recycling may be desirable, there is little monitoring
by state agricultural departments. Safety issues are left almost entirely
to the honesty of private industry.
"In the olden days the Department of Agriculture would have done random
checks on products to make sure they were what they were," said Dr Mark
Conyers, a research scientist with the NSW Department of Agriculture.
"Today there are no inspectors. There is no compliance testing. There
is just a labelling requirement, and if someone says 'I am not happy
with the information, I am going to get a second opinion' it is up to
the individual consumer to challenge the company."
The Herald has learned that there are no national laws on the level
of contaminants allowed in recycled materials used in agriculture.
State fertiliser laws are restricted to just three heavy metals -
lead, mercury and cadmium. Other potential hazards are ignored.
As a result some farmers can find themselves sprinkling several cups
of arsenic over their lands when they follow recommendations on one
recycled material for higher crop yields.
Arsenic has no nutrient value for plants and is considered injurious
to human health. It can also be ingested by animals and some table vegetables.
But, with a number of other toxic substances, such as uranium, chromium
and nickel, it is in some recycled wastes.
"It is hard to get hard numbers out of data about what are safe levels
of arsenic, or even lead, mercury and cadmium," said Dr Conyers. "You
might get data on what is safe on potatoes in Tasmania but you don't
get general information on what are safe levels in soil. The numbers
are very rubbery.
"What we do know is that there are problems with lead, mercury and
cadmium, and there are suspected problems with arsenic and chromium
in some industrial waste products."
The recent explosion in using waste in agriculture appears to have
coincided with two events.
The first was a general push by state environmental protection authorities
to encourage recycling by raising disposal costs for hazardous materials.
The second was the abandonment, state by state, of rules that required
the registration of fertilisers. These rules had been around for decades
and NSW was one of the last to get rid of them.
In 1998, NSW was one of the last states to abolish the need for companies
to list their products and their all-important contents.
"Companies are often looking for ways to bulk out products from cheap
waste material," said Angela Thomas, technical manager for the fertiliser
company, Yates, which does not use any dangerous byproducts. "I can't
actually quote anything for you, but I wouldn't be surprised. There
is such a drive at the moment for people to find alternatives for their
waste products.
"I suppose some companies would see that it would be a good way to
get rid of materials that they couldn't get rid of elsewhere," Ms Thomas
said.
Even those who make their living from selling the recycled products
to farmers are amazed at the lack of regulation.
Richard Clarke, who sells steel and cement-making wastes and incinerator
ash from the burning of Canberra's sewage, says he is never bothered,
even by the EPA.
"The Department of Agriculture used to keep an eye on us and this
is the crazy thing," he said. "It has all become truth in labelling
and it is a very big open market now because of the cutbacks the State
Government have made." Mr Clarke, who tests all materials offered to
him for safety before selling them to farmers, said he knocks some of
them back, even when industries offer them free.
"There are products that are out there that are just no good," he
said. "The Government says it is concerned about the environment, but
then why isn't the Government controlling a little bit more what is
going on the ground?"
But it appears that some recycling is being done with the active encouragement
of state authorities.
For instance, at Townsville's Sun Metals Corporation, the world's
third-largest zinc smelter, a waste gypsum is blended with natural gypsum,
and then spread over cane fields and banana plantations. The waste product
contains heavy metals, such as lead, cadmium and mercury, but the blending
process brings it below Queensland's allowable levels for agriculture.
"We don't make any money on it. We are just trying to get rid of a
waste product and get it reused for a better purpose than what we would
do with it in terms of just putting it into a lime pond for storage
and ultimately for capping and sealing," said the company's environmental
officer, Eddie Boggiano.
"We have a licence from the EPA and they are aware of that; and also
Burdekin Lime Company [which mixes the product] has an environmental
licence whereby they can transport the gypsum, because it is considered
a waste from here and it should be tracked."
Similarly the recycling of waste from Blue Circle Southern Cement
at Marulan has drawn effusive praise from the CSIRO.
"Blue Circle Southern Cement sell their 'pollution' to farmers for
$130,000 a year," says one CSIRO document on sustainable resources.
In fact the company is now saving about $200,000 a year more by adopting
a program on recycling lime kiln dust to farmers.
What was once a waste is now a product called "hot-lime". The extra
savings come in the form of lower EPA licensing fees, said the company's
general manager of minerals, Allan Starr.
According to Mike McLaughlin from the CSIRO, who is in charge of a
national program to monitor cadmium contamination in soils, much of
the recycling simply makes sense. "A lot of the waste streams are very
useful," said Dr McLaughlin. "Sulphur used to be put out into the air,
but this can now be captured and used to make fertilisers.
"Rather than paying for sulphuric acid, you are taking a pollutant
that would be going into the atmosphere and using it to substitute for
a mineral that would have to be mined out of the ground anyway."
It is a point repeated by Craig Heidrich, a spokesman for the Ash
Development Association of Australia. This is a body seeking alternative
uses for Australia's estimated 12 million-tonne annual discharge of
waste ash from coal-powered generating stations.
"There is a lot of fear and paranoia about using a so-called industrial
waste for that type of application - it breeds the usual sort of scepticism,"
he said, but "from an environmental standpoint, from a nutrient standpoint
... this has no negative effects."
Jim Devine, a spokesman for Macquarie Generation, which recycles coal
ash waste from the Bayswater Power Station into a tree plantation, said
the material would otherwise have to be buried at great cost.
"We see it as an opportunity to capitalise on what has traditionally
been regarded as a liability, that's for sure," said Mr Devine. "Every
tonne we can divert from the [disposal] dam defers construction of the
next dam. It is an expensive business maintaining it where it is at
present."
But Lee Bell, a member of the National Environmental Consultative
Forum, said some recycling was little more than legalised dumping and
is not being properly monitored.
"The miraculous development of some industrial wastes into so-called
fertiliser doesn't seem to have any regulatory control at all," Mr Bell
said.
"It seems that if you can give waste some name that relates to improved
farm yields, then it is fine to put it on the market. The regulators
don't seem to be able to cope with that."
The following information sourced from:
"Buffer strips and streamwater contamination by
atrazine and pyrethroids aerially applied to Eucalyptus nitens plantations"
Jan L. Barton and Peter E. Davies
Inland Fisheries Commission, 127 Davey St, Hobart, Tasmania 7000.
"Summary
Concentrations of pesticides in streams draining 20 plantations of
Eucalyptus nitens in Tasmania were examined in relation to buffer strip
width. Atrazine concentrations on the day of spray in streams draining
15 plantations were significantly negatively correlated with riparian
buffer strip width but not buffer quality. Concentrations following
the first rain event and one month after spraying were highly positively
correlated with day of spray concentrations and were only weakly correlated
with other site characteristics. Streams with 30 m buffer strips had
median atrazine concentrations less than 20ug/L at all times and these
buffer widths are recommended for minimising short term ecological impact
on streams.
In streams draining five plantations that were aerially sprayed with
pyrethoroids alpha - or cypermethrin, pyrethoroid concentration and
short term changes in drift (downstream movement) of stream invertebrates
were highly negatively correlated with buffer strip width but with no
other variable. Drift of stream invertebrates is recommended as a biomonitor
for the contamination of streams with pyrethoroids on the day of spray,
sensitive down to 0.1ug/L. Buffer strips of at least 50 m are recommended
to minimise mortality of stream invertebrates from pyrethroid spraying.
Introduction
Strips of riparian vegetation, commonly called buffer strips, are
frequently used in forest management as a primary conservation measure
to protect streams (Clinninck 1985). These buffer strips of natural
vegetation are often expected to serve a number of roles - the reduction
of sediment and associated nutrient losses and the reduction of pollutant
loads into surface waters; the maintenance of natural channel stability,
stream habitat and of allocthonous energy inputs; the conservation of
terrestrial fauna and floral communities; the provision of wildlife
corridors; and the maintenance of aesthetic values (see Clinnick 1985).
Despite these expectations and the frequent and established use of prescribed
buffer strip widths in forest management in Australia (Cameron and Henderson
1979), Campbell and Doeg (1989), in a recent review of the impact of
forestry on streams stated that: "although buffer zones along streams
have been widely advocated to protect streams ... there have been no
Australian studies to determine the effectiveness of, or appropriate
widths for, buffer strips in forestry operations...".
The effectiveness of buffer strips in reducing contamination of surface
waters is related to strip width, the nature of the strip vegetation
and the strip's relationship with catchment topography. Asmussen el
al. (1977) described a reduction in herbicide loads in surface waters
passing through vegetated channels which was dependent on the efficacy
of the strip to trap contaminated particulates. Other authors have observed
the dependence of sediment and nutrient reductions in surface waters
on buffer slope and vegetation type (Trimble and Sartz 1957, Wilson
1967, Barfield et al, 1979) and modelled them under a range of runoff
conditions (Hayes and Hairston 1983, Hayes and Dillaha 1992). Such descriptions
are, however, related to relatively uniform grassed systems in agricultural
watersheds and not to be near-natural forest riparian systems more common
in forestry. Borg et al. (1988) described the effect of removal of buffer
strips on Western Australian streams on stream channel profiles and
water quality in the only Australian study in this field.
Few studies describe the contamination of surface waters from forestry
pesticide spraying operations in Australia. McKimm and Hopmans (1978)
reported stream contamination of up to 10ug/L with 2,4,5-T in an aerially
sprayed Victorian pine plantation in which streams had natural buffer
strips ranging from 20 to 40 m in width. They reported, however, that
no significant contamination occurred on the day of spray, indicating
that the strips had protected the streams from aerial drift contamination.
McAlpine and Weil (1990) reported minimal contamination of streams from
aerial drift when granulated formulations of atrazine and hexazinone
were applied to Western Australian plantations, but noted significant
contamination to the characteristics of the riparian vegetation. Leitch
and Flinn (1983) and Leitch and Fagg (1985), in relation to aerial spraying
of Pinus radiata plantations for woody weed control, reported low concentrations
of the herbicides hexazinone and clopyralid in stream water which were
stongly dependent on rainfall. They attributed the low concentrations
to interception of aerial drift by 30 to 40 m wide buffer strips combined
with a low proportion of catchment area sprayed and accurate spraying
techniques.
Application of chemicals for pest control is an intrinsic component
of Tasmanian eucalypt plantation management. Atrazine, a triazine herbicide
is used extensively at high application rates (4-12 kg/ha) during winter
in the early stages of plantation establishment. It is also used widely
in plantation establishment in south-eastern and western Australia.
Davies et al. (1993) report the widespread and persistent contamination
of Tasmanian streams draining sprayed Eucalyptus nitens (shining gum)
plantations, with concentrations of atrazine ranging over six orders
of magnitude up to 53mg/L on the day of spray. Contamination persisted
for up to 16 months and was dependent on runoff. Atrazine is regarded
as having significant effects on stream fauna and flora at concentrations
above 20ug/L (Dewey 1986). The recommended WHO drinking water guidelines
for this compound are 2ug/L (WHO 1992), while the ECE's current drinking
water quality criterion for atrazine is 0.1 ug/L (Buser 1990).
Alphamethrin, a pyrethroid insecticide, is used to control outbreaks
of gum beetles (Chrysomphtharta sp.) in young E. nitens plantations
in early and mid-summer, and is aerially sprayed at low application
rates (10-30g/ha). Davies and Cook (1993) studied streams draining a
Tasmanian plantation following aerial application of the closely related
pyrethroid, cypermethrin (alphamethrin is a partially resolved racemic
mixture of cypermethrin isomers). They reported large increases in stream
invertebrate drift (downstream movement), and toxic symptoms in fish,
in streams with buffer strips less than 10m. Concentrations of cyper-
and alphamethrin in the 0.1-1 ug/L range are lethal to aquatic macroinvertebrates
(Stephenson 1982). This concentration range is frequently at the limit
of analytical techniques due to the high adsorption characteristics
of these compunds, making them difficult to sample efficiently in surface
waters.
The environmental effects of aerial spraying of pesticides are partially
mediated in Tasmanian forestry operations by the use of a range of buffer
strip widths dependent on stream size (Forestry Commission 1992), combined
with prescriptions on recommended spraying practices (Forestry Commission
1988). This paper describes relationships between the concentrations
of atrazine in plantation streams and the characteristics of the spray
site, including buffer strip width and quality. Observations were made
on the day of spray, the day following the first major rainfall event
after spraying and one month after spraying. The relationships are also
described for alphamethrin and cypermethrin on the day of spray, using
both the response of drifting invertebrates as an indicator of contamination
and the reported concentrations, which are regarded as less reliable.
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