Open Consultations | Date Closes |
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Practical Fire Safety Guidance for existing Specialised Housing and other supported domestic accommodation | 22 October 2019 |
A Consultation on Scotland's National Transport Strategy | 23 October 2019 |
A Consultation on Information sharing agreements between NHS Scotland boards and Police Scotland | 30 October 2019 |
Independent Child Trafficking Guardians | 17 November 2019 |
Consultation on Judicial Factors | 20 November 2019 |
See All Open Consultations |
Closed Consultations | Date Closed |
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Social security advocacy service standards | 7 October 2019 |
Review of Strategic Police Priorities: Consultation | 4 October 2019 |
Falls and Fracture Prevention Strategy for Scotland, 2019-2024 | 30 September 2019 |
Funeral Director: Code of Practice Consultation | 20 September 2019 |
Consultation on the Right to Buy Land to Further Sustainable Development | 19 September 2019 |
See All Closed Consultations |
Here are some of the issues we have consulted on and their outcomes. See all outcomes
We sought your views on whether or not the proposed extension of the Power of Direction in Section 57 of the EPA 1990 is:
(A) Necessary to ensure full compliance with EU obligations and:
(B) Appropriate to prevent damage to human health and harm to the environment in circumstances where no other mechanism is available.
The consultation received 10 responses. 7 were from organisations and 3 from individuals.
There was agreement that the extension was necessary from 5 respondees.
Of the remaining 5 respondees, 4 provided comment on the format of the regulations whilst supporting the need for the extension.
The comments received centred around 3 main themes.
The remaining respondee commented on the general need for the extension.
No formal objection to the proposed extension was received.
We responded to the five respondees who made comment on (a) the format of the regulations and (b) the need for them and provided answers to their comments as follows:-
We explained that there is no appeal mechanism in respect of Ministerial powers of direction as the direction may only be used where immediate action is to prevent environmental harm or protect human health. A right of appeal would potentially delay action being taken, thus defeating the purpose of the provision.
We advised that consultation with SEPA would be standard practice, and we would consult with SEPA and the operator to explore whether agreement could be reached without having to use the power of direction, which we see as a last resort. We consider it would not be appropriate to add those steps to the legislation, as this could also potentially delay action being taken, thus defeating the purpose of the provision.
We confirmed that the drafting would work to include authorisations under the Integrated Authorisation Framework, once waste is included in that regime. Further, should that give rise to a need to make consequential amendments, powers are available to make those amendments.
We confirmed that notwithstanding existing EU obligations, Scottish Ministers consider it appropriate and necessary in the interests of protecting human health and the environment, to extend the current power of direction to all operators which accept, keep or dispose of waste.
We have published those responses where consent has been given to publish.
As there were no formal objections, arrangements have been made to lay the draft regulations before the Scottish Parliament.
On 03 October 2017, the Scottish Government confirmed its preferred policy position of no support for unconventional oil and gas (UOG) in Scotland, subject to the necessary statutory and other assessments. Any policy decision that has potential for significant environmental effects must be subject to a SEA prior to its finalisation. These requirements are set out in the Environmental Assessment (Scotland) Act 2005. A Strategic Environmental Assessment is a means of considering the likely significant impact of a public plan, programme or strategy on the environment.
As there is potential for significant environmental effects, either as a consequence of industrial activity or as a consequence of not permitting an unconventional oil and gas industry, a SEA was required before the policy is finalised. Similarly, as there is potential for business and regulatory impacts, either as a consequence of industrial activity or as a consequence of not permitting an unconventional oil and gas industry, a BRIA was required before the policy is finalised.
A partial BRIA was produced help to assess the likely costs, benefits and risks of the preferred policy position and views are invited on its contents. The final BRIA builds on the partial BRIA and the consultation analysis.
The responses received to the 2018 consultation on the SEA Environmental Report, partial BRIA, and preferred policy position statement have led the Scottish Government to form the view that it would be helpful to provide some further clarification on a number of points raised in response to the consultation documents, specifically regarding the preferred policy position and its objectives. We are also taking the opportunity to update our position on the reasonable alternatives to the preferred policy position which were considered as part of the SEA process.
Responses to the addendum will be considered in detail prior to any policy position being adopted. When providing views to this consultation, there is no need to restate views already covered in the 2018 consultation, or as part of the 2017 Talking “Fracking” public consultation, as these have been, and will continue to be, taken into account as the Scottish Government finalises its policy position on unconventional oil and gas.
Altogether, 98 responses were received to this consultation. These responses have been independently analysed.
The consultation ran for eight weeks, with responses accepted until 25 June 2019. Following the consultation closure, the responses were independently analysed.
On 03 October 2019, the Scottish Government confirmed its final policy position of no support for unconventional oil and gas (UOG). The responses to this consultation, along with the 2017 Talking “Fracking” consultation and 2018 consultation on statutory and other assessments, were considered in detail by Ministers prior to the finalisation of this policy.
We published the Scottish Government national online consultation on fireworks: Your experiences, your ideas, your views, at the beginning of February. In addition to the online consultation, 29 events were held across Scotland and a range of social media platforms were used to seek people's views.
We sought your views on:
The consultation closed on 13 May, having received a total of 16,420 responses. Over 7,000 responses were received in the first 24 hours of the consultation launch.
The results of the consultation demonstrate strong support for a change in how fireworks are sold.
Key findings included:
• 70% of respondents reported that they had been affected by fireworks used in an irresponsible or unsafe way.
• 94% of respondents thought there should be more controls over the sale of fireworks.
• 87% of respondents would welcome a ban on the sale of fireworks to the public in Scotland.
• 92% of respondents thought there should be more controls over how fireworks can be used in Scotland.
• 93% of respondents thought there should be more controls to make sure animals are not caused unnecessary suffering because of the use of fireworks.
Many respondents went on to make further comments, ranging from 10,940 comments from those who had been directly affected by the use of fireworks to 14,290 from those looking for more controls on sales of fireworks to the public.
On 4 October 2019, we published:
The Scottish Government is committed to driving forward action to reduce the negative impact of firework use and to ensure that fireworks are used safely and appropriately.
Following further discussions with stakeholders on the consultation findings, the Minister for Community Safety will issue a statement and action plan later in October 2019.