Spain

Spain is a member of the European Union, Directive(EU) 2016/802 therefore applies and a maximum of 0.10% sulphur fuel is to be used in port. As Spanish waters are outside of the Emission Control Areas defined under MARPOL Annex VI Regulation 14 (and the EU Directive) a fuel sulphur limit of 0.50% applies to vessels outside of ports from 1 January 2020.

Ports of Valencia, Sagunto and Gandía, managed by the Port Authority of Valencia

See Resolution of the Director General (english translation) and Resolucion Del Director General (original spanish version), which in effect prohibits discharges from open loop scrubbers in the service areas managed by the Port Authority of Valencia; namely Valencia, Sagunto and Gandia.

Closed loop scrubbers can be used in zero discharge mode only.

The Resolution does allow for use of open loop scrubbers subject to Port Authority technician authorization “as long as EACH AND EVERY ONE of the following requirements are met”.

  • Electronic submission of an authorization request at least one week in advance of the ship’s arrival date with the following information:
  • Vessel name and IMO number
  • Description of the scrubber system and its certification
  • Analysis of the discharge within the previous 3 months (turbidity, pH, nitrate, PAH and other substances – a table of limit values for a number of substances including PAH, metals and BTEX is included).

It should be noted the additional substances are not required to be analysed under the 2021 EGCS Guidelines but are listed in Spain’s Royal Decree 817/2015 Of 11 September – establishing the criteria for monitoring and evaluating the state of surface water and environmental quality standards, which are broadly similar to European Union Environmental Quality Standards for surface waters. The Port Authority has chosen to apply the substance concentration limits in the Decree to point discharges from EGCS, whereas the limits are actually annual average values for the surface of a body of water i.e. after discharges after been subject to distribution and any longer term actions leading to degradation or accumulation of the substances.

In addition to the foregoing requirements, during the vessel’s port stay, the volume, time, duration and GPS location of discharges are requested, along with a written committment that a washwater monitoring report (WMR), which includes these data and continuous monitoring records of pH, PAH, turbidity and nitrates, will be provided by the ship within 30 days of departure. (Note nitrates are not continuously monitored so it is not clear how this requirement would be satisfied.)

If, once the WMR is received, non-compliance with the established parameters is detected, the Port Authority may initiate the corresponding sanctioning procedure.

The resolution contains port maps for references and while the document appears not to be publicly available online (or at least not easily discoverable), it does give the following website address: https://valenciaportse.gob.es/SedeElectronica/

Further port information can also be found at https://www.valenciaport.com/en/ports/valencia/the-port/

Other Spanish Ports

It is advisable to check with Harbour Masters and Port Authorities as there are indications that open loop discharges are either prohibited or restricted at other Spanish ports including Algeciras, Cartagena, Huelva, Bilbao and Cadiz.

EGCSA would welcome any supporting documentation.