Development of Estonian nutrient discharge standards for wastewater treatment plants/Uhtsete reovee puhastusnormide valjatootamine Eesti reoveepuhastitele.
Niine, Raili ; Loigu, Enn ; Tang, Walter Z. 等
1. INTRODUCTION
The nature of water problems requires the integration of technical,
economic, environmental, social and legal aspects into a coherent
framework As noted in [2], operations (control) in the life cycle of a
project must logically follow from planning, design and construction. It
is important to keep in mind the well-known fact that the watershed, the
receiving water body, urban wastewater treatment and sewer network
should be considered as parts of an integrated whole. It is important to
create balance between social, economic, technical and environmental
aspects [3] and to take into account different alternatives, which help
to find an optimal solution and to answer the key question how to
identify the best technical solution among several feasible alternatives
(different ecological criteria and correlation between ecology and costs
must be estimated to meet the Water Framework Directive) [4-6]. Estonian
regulations impose stricter wastewater treatment requirements than those
set by the European Council 21 May 1991 directive 91/271/EEC for urban
wastewater treatment (UWWTD). The UWWTD is based on the European Union
integrated water policy main document, Water Framework Directive
2000/60/EC (WFD), which establishes a framework for Community action in
water policy to protect inland surface waters, transitional waters,
coastal waters and groundwater and to achieve good status of these
waters. It also promotes sustainable water use [7]. The UWWTD's
main goal is to protect the environment from the adverse effects of
urban wastewater discharges and discharges from certain industrial
sectors [8]. If the UWWTD requirements are not enough to achieve good
status of water bodies and discharge is one of the important
point-pollution source for water body, additional wastewater treatment
will be required [9,10]. Therefore, wastewater treatment plants (WWTPs)
treatment efficiency, total pollution load, coming from treatment plants
of different size, and feasibility for stricter treatment requirements
and accompanying socio-economic impacts are evaluated with consideration
of environmental benefits, brought by the investment. In this study, all
the WWTPs in the nitrate vulnerable zone are assessed in terms of
biochemical oxygen demand (BOD7), chemical oxygen demand (COD),
suspended solids (SS), total phosphorus (TP) and total nitrogen (TN)
discharge requirements. Estonian water bodies are very vulnerable to
eutrophication due to small catchments area's and low flow rate.
The stream system is relatively dense; the network of rivers longer than
10 km is 0.23 km/[km.sup.2]. Most rivers are short and there are only 10
rivers longer than 100 km and only 13 rivers have their mean annual
average flow over 10 [m.sup.3]. The total runoff of Estonian rivers in
an average year is 11.7 [km.sup.3], being only 5.5 [km.sup.3] in very
dry (95% probability) years. Upper parts of Estonian rivers are
particularly poor in water and in low water periods the flow can be
almost zero [11,12]. This situation causes problems in using rivers as
recipients for wastewater discharge because flow of dry periods does not
dilute wastewater sufficiently, thus highly efficient wastewater
treatment is required [1].
Eutrophication is caused by excessive nutrients such as phosphorus
and nitrogen in water body from either natural or anthropogenic sources.
Agricultural chemicals, industrial, and municipal wastewater consists of
organic components, phosphorus and nitrogen, contribute to
eutrophication process. The other Baltic countries are also considering
the problem of phosphorus and nitrogen removal and, therefore, several
studies have investigated different methods of removing nutrients from
wastewater [13-16]. To limit eutrophication, the HELCOM Baltic Sea Action Plan set stricter urban wastewater treatment requirements
[17-19]. However, socio-economic impacts due to more stringent
requirements must be examined to achieve satisfactory water quality. In
addition, the Estonian regulation requires that all investments must
ensure full cost recovery and must be recovered through water tariffs.
The optimal wastewater treatment requirement must be determined to
achieve good status of the water body with wastewater treatment cost in
conformity with environmental benefits. The treatment efficiency of
different WWTPs will be determined so that the required investments will
result in the maximum efficiency in the reduction of the effluent pollution load. Optimal limit values for small-scale (below 2000 p.e.
(1)) [20] WWTPs are also discussed during this study by using common
treatment technologies.
2. ASSESSMENT OF THE POLLUTION LOAD OF WWTPs
In Estonia, WWTPs' effluent quality requirements are regulated
in the Regulation of the Government No. 269, 31 July 2001 under
"Requirements for discharge of wastewater into surface water and
soil". Effluent requirements established in the regulation referred
to above are much more stringent than those set in the UWWTD [21].
Although the fundamental principles of the directive have been adopted
into the Estonian regulation, additional requirements are implemented
due to the vulnerability of Estonian water bodies. Estonian rivers have
commonly a low flow rate and, due to human activity, a high
eutrophication potential. Breaking the eutrophication, one of the most
important tasks of water authorities [22] is still the major
environmental problem [23-29]. UWWTD of the EU merely sets the minimum
requirements for wastewater discharge; wastewater limit values are
developed based upon specific country's situation. If stricter
requirements are necessary to achieve the objective of other directives,
member states have to implement more stringent requirements according to economic reality and socio-economic impact. In addition, financial costs
to upgrade WWTPs shall be proportionate to the environmental benefits.
To ensure sustainable infrastructure, the necessary expenses incurred in
the operation of the system have to be covered with the water tariffs
according to Estonian legislation. To make water service accessible to
the general public, the public sewage system areas (agglomerations) are
determined so that public water service price shall not apply more than
4% of the annual average net income of households in that area in
Estonia. This threshold is often quoted in the range of 3%-5% of
household income in OECD countries [30]. Estonian, European Union and
Helsinki Commission regulations of effluent limit values are shown in
Table 1.
Table 1 shows that only for a WWTP with pollution load greater than
2000 p.e. [31], a common standard to assess the compliance of WWTPs with
requirements is established. National compliance of WWTPs were assessed
by the monitoring results of Jarvamaa WWTPs during 2008; 83 wastewater
samples were taken from 47 different WWTPs; 23 WWTPs or 49% were in
compliance with the treatment requirements.
To set the realistic standards, the loads from WWTP effluents to
receiving water bodies, was estimated. WWTPs effluents' samples
results were analysed in different water bodies. The most agricultural
intensive area such as Jarva county is used. The Nitrates Directive [32]
also specified this county as a nitrate vulnerable zone. All water
bodies in Jarva county have the highest eutrophication potential in
Estonia due to intensive agricultural activities. The impact of the
pollution load, coming from point source pollution of Jarva county on
water bodies, is analysed.
The actual pollution loads were calculated in 2008 on the basis of
the real flow rate of wastewater and monitoring results of wastewater
influent and effluent. Permissible pollution loads have been calculated
in 2008 on the basis of real flow rate of wastewater and established
Estonian national limit values for pollution indicators (Table 1)
[21,33]. The flow rates of wastewater used were obtained from the
national database kept by the Estonian Environment Information Centre.
WWTPs with the pollution load of 2000 to 10 000 p.e., the average
influent concentration for TN was approximately 60 mgN/l. For WWTPs of
150 to 2 000 p.e., the influent concentration was 86 mgN/l and for WWTPs
less than 150 p.e. approximately 106 mgN/l [34]. For WWTPs less than 10
000 p.e., the national threshold of TN have not been set (Table 1).
Since 30% of the TN removal is achievable if the biological treatment
process functions normally and operates properly without enhanced
nitrogen removal (such as nitrification-denitrification process) [35]
and considering HELCOM recommendation (Table 1), the effluent
concentrations for TN are calculated as 30% reduction of concentration
of WWTPs' inflow (Table 2).
The effluent TP limit value for WWTPs with the pollution load
500-2000 p.e. set in special water permits of 2 mgP/l (Table 1), was
also decided to use for WWTPs with load between 300 and 500 p.e. for
calculation of permissible pollution load. For WWTPs of smaller load,
less than 300 p.e., weaker socio-economical situation was considered in
our study, thus lower limit value of 3 mgP/l was the basis for the TP
permissible load calculations.
Compared to the UWWTD requirements, the levels would be even higher
than the permissible pollution load illustrated in Fig. 1, because the
directive requirements are less rigorous than the Estonian national
requirements.
Permissible pollution loads have been calculated in 2008 on the
basis of the real flow rate of wastewater and established Estonian
national limit values for pollution indicators (Tables 1 and 2) [21,33].
The actual pollution loads were calculated on the basis of the real flow
rate of wastewater and the monitoring results of the effluent. The
difference between the actual and permissible pollution load shows how
much it is possible to reduce the total pollution load in conditions
where all WWTPs are in compliance with the established requirements.
As Fig. 1 shows, the actual pollution load discharged to the
receiving water bodies is smaller than the load which is in accordance
with the national requirements of COD, TN and SS. Figure 1 also suggests
that WWTP should be upgraded to remove TP. TP pollution load discharged
to the receiving water bodies is higher than what is allowed according
to the permissible point source pollution load. Among the non-compliant
plants, most of them have the problems in removing phosphorus and
organic matter. Compared to the pattern in Fig. 1 with the average
concentrations of pollutants, many non-compliant plants have problems
with phosphorus removal but just some of plants have problems with
removal of organic matter. High concentration or high flow rate (e.g.
Roosna-Alliku, Jarva-Jaani) has a major impact on total pollutant loads.
The HELCOM Baltic Sea Action Plan enables for removal of TN to use
either 30% of reduction or limit values in concentrations, which is for
less than 10 000 p.e. WWTPs 35 mg/l, respective total permissible load
of TN is 38 t/y. Figure 1 shows that using reduction percentage, the
quantity of TN is 47 t/y, which is 24% more pollution than using the
concentration 35 mg/l for all WWTP less than 10 000 p.e.
3. SOCIO-ECONOMIC IMPACT OF NITROGEN DISCHARGE STANDARDS
To achieve goals set by the HELCOM recommendations [18], treatment
requirements for less than 10 000 p.e. WWTPs by selecting either 30% of
reduction of the TN or limit concentration of effluent to 35 mgN/l.
Costs for nitrogen removal to achieve 35 mgN/l were estimated and are
summarized in Table 3. In Tables 3 and 6, for investment calculations
results of the project report [34] are used.
Table 2 shows that to achieve TN concentration of 35 mg/l, 42% of
total nitrogen reduction rate for WWTP with the pollution load of 2000
to 10 000 p.e., 59% for 150 to 2000 p.e. and 67% for less than 150 p.e.
WWTPs is needed. However, such treatment efficiency can only be achieved
by using tertiary treatment such as nitrification and denitrification processes. To ensure the functioning of nitrification-denitrification
processes for 2000 to 9999 p.e. WWTPs, further investments in
technological devices and pipes, 36 500 EUR is required; 91 500 EUR is
required for tank expansion. Therefore the total capital is 128 000 EUR
per WWTP.
According to EU rules, the amount of investments should result in
proportional environmental benefits. Therefore, total investment and
environmental benefits in terms of pollution load reduction for
different sizes of WWTPs are plotted in Fig. 2.
[FIGURE 2 OMITTED]
Figure 2 suggests that WWTPs, discharging less pollution load to
the receiving water bodies, need higher investments to achieve TN limit
concentration of 35 mg/l. WWTPs with the pollution load less than 10 000
p.e. have significantly higher TN load of the influent than WWTPs with
pollution load more than 10 000 p.e. Therefore, at least 40% of
reduction of TN is required for WWTPs with the pollution load of 2000 to
10 000 p.e., and for 300 to 2000 p.e., about 60% of reduction of TN and
less than 300 p.e. up to 67% of reduction. However, for WWTPs with the
pollution load less than 500 p.e., TN reduction, and the amount of
investments are not comparable. The WWTPs less than 500 p.e. discharge
to the receiving water body about 4 t TN per year, of which 1.6 t come
from Vaatsa landfill. At the same time, 3.3 millions of EUR investment
will reduce the discharge only 2.5 t per year, which is half of the
nitrogen removal for 7000 p.e. WWTP discharge quantity of TN per year,
if there is no existent nitrogen removal process. It should be noted
that the reduction is calculated as maximum reduction, on condition that
there is no existent nitrogen removal process today at all. The actual
reduction of the TN pollution load may be up to 30% less than is
indicated in Fig. 2, because the existing biological treatment processes
can remove up to 30% of TN. In Fig. 2, two bigger than 10 000 p.e.
plants (Jarva-Jaani and Paide) discharge to the receiving water body
11.3 t TN/y, and smaller than 10 000 p. e. plants (a total of 45 plants)
form all together 10.5 t/y. Implementation of the [C.sub.TN] of 35 mg/l
means higher water service price for population. Table 4 gives an
overview of the necessary additional expenses by implementing TN limit
value of 35 mg/l and its impact on the price of water service to the
population.
Table 4 describes the exploitation costs entailed implementation of
TN concentration of 35 mg/l. Based on Fig. 2 and Table 4, implementation
of [C.sub.TN] of 35 mg/l for WWTPs with the pollution load less than 500
p.e. would be infeasible from the economical and environmental aspects.
Implementation of [C.sub.TN] of 35 mg/l for WWTPs with the pollution
load less than 500 p.e., the water service price will rise from 0.35 to
0.54 EUR/[m.sup.3]. At the same time, a smaller quantity of TN reaching
the water body has a marginal importance comparing it to the TN total
pollution load reaching the water body. Great investment difference for
plants of different size is due to the fact that in WWTPs with the
pollution load more than 500 p.e., the TN removal will be achievable
improving the existing technologies, but for WWTPs less than 500 p.e.
the TN level 35 mg/l will be possible to achieve only by constructing a
new WWTP.
In summary, the authors have an opinion that the implementation of
[C.sub.TN] 35 mg/l for WWTPs with the pollution load less than 10 000
p.e. is justified only if the concentration 35 mg/l is used for WWTPs
with the pollution load between 500 and 9999 p.e., and WWTPs between 300
and 499 p.e. are used either with the reduction rate of 30% or
[C.sub.TN] of 60 mg/l, which can be achieved as a result of properly
operated biological treatment processes without enhanced nitrogen
removal.
4. SOCIO-ECONOMIC IMPACT OF PHOSPHORUS DISCHARGE STANDARDS
The HELCOM Baltic Sea Action Plan pays special attention to
nutrient removal and the recommendations set the limit values for both,
TN and TP concentration, to restrict the eutrophication of the Baltic
Sea [17-19]. The socio-economic impact for using stricter requirements
of TP is discussed below. The impact assessment is based on limit values
of TP, proposed by the HELCOM as listed in Table 5.
Table 6 gives an overview of the expenditures to achieve the TP
requirements for different sizes of WWTPs.
All the additional expenditures are calculated as maximum
expenditures, which means that the cost for implementing stricter TP
requirements are calculated by assuming that all WWTPs with pollution
load less than 2000 p.e. do not have phosphorus removal. For WWTPs with
the pollution load less than 2000 p.e., where the phosphorus requirement
is applied already today, additional expenditures given in Table 6 with
the stricter phosphorus requirements do not apply. Additionally, WWTPs
with the pollution load more than 2000 p.e., the calculation is based on
the simplification that today these plants use only chemical phosphorus
removal. In case a WWTP has both chemical and biological phosphorus
removal today, the considerable additional expenditures are not
necessary with new stricter phosphorus requirements and water service
price will increase only from 0.03 to 0.04 EUR/[m.sup.3].
For WWTPs with pollution load more than 2000 p.e., the impact is
calculated so that the TP limit concentration will decrease by 0.5
mgP/l. Table 7 and Fig. 3 show that the [C.sub.TP] is justified if
pollution load of WWTP is higher than 300 p.e. For smaller plants, the
additional costs for stricter phosphorus removal forms in water service
price from 0.27 to 0.43 EUR/[m.sup.3], while reduction of TP discharged
to the receiving water body has no considerable influence. For WWTP with
less than 300 p.e., no dramatic reduction of phosphorus pollution load
will result. For the WWTPs with the pollution load between 300 and 10
000 p.e., the price of water service will increase from 0.04 to 0.11
EUR/[m.sup.3]. The additional investments need implementing stricter TP
requirements and the resulting environmental benefits are presented in
Fig. 3.
[FIGURE 3 OMITTED]
Figure 3 shows that the stricter phosphorus requirements do not
lead to the very high investment needs. Investment need is estimated by
assuming that WWTPs with pollution load less than 2000 p.e. have no
chemical and biological phosphorus removal. When WWTP has chemical
phosphorus removal today then the additional investments may not be
necessary. Several studies show that phosphorus reduction is achievable
even without any specific phosphorus removal strategy if the optimum
dose of chemicals is used [36,37]. WWTPs with the pollution load 2000
p.e. or more must apply phosphorus removal according to the existing
treatment requirements. Therefore, assessment of investments takes into
account that these plants apply the chemical treatment of phosphorus. If
these plants apply both chemical and biological phosphorus removal
today, the investment needs will be up to 90% less.
5. RECOMMENDATION FOR EFFLUENT STANDARDS OF WWTPs IN ESTONIA
Actual pollution load of WWTP effluent discharged to the recipient
and the existing treatment requirements according to the EU requirements
are analysed to set the TN and TP standards. Different sizes of WWTP
pollution load, discharged to the recipient, were evaluated and
additional investments need and environmental benefit were analysed to
achieve the EU TN and TP requirements. Different sizes of WWTPs effluent
pollution loads, discharged to the recipient, were assessed to determine
the cumulative impact on the environment. Figures 4-6 present discharged
TP, TN and [BOD.sub.7] pollution loads to the receiving water bodies.
Figure 4 shows the indicative TP limit concentrations, which are
the basis for calculating total pollution load of phosphorus. The actual
pollution load is found from the monitoring results and real wastewater
flow rates in 2008. Permissible pollution load is calculated on the
basis of real flow rate of wastewater and established Estonian national
limit values for pollution indicators (Tables 1 and 2). WWTP over 2000
p.e. in Fig. 4 is the permissible limit of CTP 1 to 1.5 mgP/l. For WWTP
more than 10 000 p.e., the permissible limit concentration is 1 mgP/l
and for WWTP between 2000 to 10 000 p.e. the limit concentrations is 1.5
mgP/l (Table 1, EE wastewater discharge criteria). Greater than 10 000
p.e WWTPs are Paide (35 010 p.e.) and Jarva-Jaani (12 000 p.e.). WWTPs
between 2000-10 000 p.e. are Turi (7632 p.e.) and Koeru (2035 p.e.).
Similarly is calculated pollution load using the HE requirement (Table
1, HE wastewater discharge criteria) and on the basis of real flow rate
of wastewater.
Figure 6 shows that actual TN loads, discharged to the receiving
water bodies, are considerably smaller than it is permitted by the
existing requirements. Comparing Fig. 6 to Figs 4 and 5, the balance of
nutrients in sewage is not optimal, because the TP and organic matter is
partially not removed due to the deficiency of nitrogen in sewage.
Therefore, sewage treatment processes need to be improved to ensure the
optimal nutrients and organic matter ratio for bacteria. Figs 4-6 imply
that the largest pollution load is caused by WWTPs with the pollution
load more than 2000 p.e. (in Jarva county, 4 WWTPs). There are six WWTPs
with the pollution load between 500 and 2000 p.e. and in the group less
than 500 p.e. there are 37 WWTPs. Figures 4-6 suggest that to limit the
amount of pollution load, all WWTPs with the pollution load more than
2000 p.e. must be reduced. For over 2000 p.e. plants, one WWTP causes
about 0.81 t TP pollution load per year. Nationally water permit limits
the concentration of TP generally for WWTPs more than 500 p.e. [33, 38].
The phosphorus removal will also be required in the future for WWTPs
between 300 and 500 p.e. [18]. For WWTPs below 500 p.e., TP load
distribution is presented in Fig. 7.
For WWTPs less than 500 p.e., effluent pollution load is comparable
with the WWTPs of the size between 500 and 2000 p.e. The TP actual
pollution load per one WWTP for WWTPs less than 500 p.e. is 0.01 t/y,
considering the number of these plants, the total pollution load is 0.65
t/y. To compare the effluent pollutant load of WWTPs less than 2000 p.e.
with those of more than 2000 p.e., the load from smaller than 2000 p.e.
plants is very small. However, taking into account the amount of TP,
given in Figs 4 and 7, and socioeconomic impact by implementing stricter
requirements for phosphorus removal and also recipients sensitivity of
phosphorus, it is expedient to impose the TP limit concentration of 2
mg/l for WWTPs between 300 and 2000 p.e. Also the distribution of the TP
load between different sizes of WWTPs is taken into account, according
to which more than 2000 p.e. WWTPs effluent load is 80% of TP load and
less than 2000 p.e. effluent form only 20% of the total pollution load.
Accordingly, the TP reduction requirement is reasonable for WWTPs with
the pollution load more than 300 p.e., but by assessing the amount of
phosphorus pollution load the limit concentration for TP should not be
stricter than 2 mg/l for WWTPs between 300 and 2000 p.e. Based upon the
above analysis, new wastewater discharge standards, developed during
this study, are given in Table 8.
6. CONCLUSIONS
In Estonia, no national limit values for the effluent of WWTPs with
pollution load less than 2000 p.e. are fixed. In this study, pollution
load reduction is assessed according to its capital requirements and
socio-economic impacts. The main conclusions of this study are the
following.
1. Wastewater criteria of nutrients, found during this study, are
needed. The national standards for WWTPs with the pollution load less
than 2000 p.e. have to be established.
2. Given the origin of pollution and the level of investment
required, WWTPs bigger than 2000 p.e. have to be improved to achieve
existing standards. The pollution load bigger than 2000 p.e. WWTPs
discharge to the receiving water bodies about 80% of the total pollution
load.
3. The WWTPs effluent TN requirement of 35 mgN/l is not appropriate
for WWTPs below 500 p.e., taking into account the amount of investments
and TN pollution load reduction after investments. For WWTPs with the
pollution load less than 500 p.e., the TN reduction and the amount of
investments are not comparable. The WWTPs less than 500 p.e. discharge
to the receiving water body about 4 t TN per year, of which 1.6 t come
from Vaatsa landfill; 3.5 millions of EUR investment will reduce it to
only 2.5 t TN per year. Therefore we found that this requirement would
be infeasible considering economical and environmental aspects.
Implementation of [C.sub.TN] of 35 mg/l for WWTPs with the pollution
load less than 500 p.e., the water service cost will rise between 0.35
and 0.54 EUR/[m.sup.3] while, at the same time, a smaller quantity of TN
reaching the water body has a marginal importance comparing it to the TN
total pollution load reaching the water body.
4. Taking into account the socioeconomic analysis results, the
stricter phosphorus requirements do not lead to very high investment
needs. Total investments need is approximately 78 000 EUR in Jarva
county and after these investments the TP pollution load discharged to
the environment will reduce about 2 t/y. Investment need was estimated
during this study by assuming that WWTPs with pollution load less than
2000 p.e. have no chemical and biological phosphorus removal. If WWTP
has chemical phosphorus removal already today, the additional
investments may not be necessary.
5. Implementing stricter wastewater treatment requirements means
higher water service cost for population. At the same time, the study
shows that to limit eutrophication, the reduction of nitrogen and
phosphorus content in effluent discharged into a recipient must attain.
Nutrient effluent standards for WWTPs with the pollution load more than
300 p.e. are needed for environmentally and economically reasons. More
stringent requirements than is reflected in this study would not be
proportionate to the environment effect and does not guarantee
comparable pollution load reduction to the investments for WWTPs with
less than 300 p.e. Also stricter wastewater treatment requirements than
is given in this study may cause the problems of accessibility of water
service due to high water price.
doi: 10.3176/eng.2013.2.05
REFERENCES
[1.] Pachel, K. Water Resources, Sustainable Use and Integrated
Management in Estonia. PhD Thesis, TUT Press, Tallinn, 2010.
[2.] Beck, M. B. Vulnerability of water quality in intensively
developing urban watersheds. Environ. Model. Softw., 2005, 20, 381-100.
[3.] Peter, J. Law and sustainability: The impact of the Hungarian
legal structure on the sustain ability of the water services. Util.
Policy, 2007, 15, 121-133.
[4.] Starkl, M., Brunner, N., Flogl, W. and Wimmer, J. Design of an
institutional decision-making process: The case of urban water
management. J. Environ. Manage., 2009, 90, 1030-1042.
[5.] Xenarios, S. and Bithas, K. Extrapolating the benefits arising
from the compliance of urban wastewater systems with the Water Framework
Directive. Desalination, 2007, 211, 200-211
[6.] Zabel, T., Milne, I. and Mckay, G. Approaches adopted by the
European Union and selected member states for the control of urban
pollution. Urban Water, 2001, 3, 25-32.
[7.] European Community. Directive of the European Parliament and
of the Council 2000/60/EC establishing a framework for community action
in the field of water policy. Official J. Europ. Commun., L327, 2000,
1-73.
[8.] European Community. Directive of the European Council
91/271/EEC concerning urban waste-water treatment. Official J. Europ.
Commun., L135, 1991, 40-52.
[9.] UWWTD-REP working group. Terms and Definitions of the Urban
Waste Water Treatment Directive (91/271/EEC). Brussels, 2007.
[10.] Guidance for the Analysis of Pressures and Impacts in
Accordance with the Water Framework Directive. Common Implementation
Strategy Working Group 2.1, Office for Official Publications of the
European Communities, 2002.
[11.] Eipre, T. Eesti pinnaveed, nende ratsionaalne kasutamine ja
kaitse. In Eesti NSV Pinnavee kasutamine ja kaitse. Valgus, Tallinn,
1980, 9-32.
[12.] Eesti jogede ja jarvede seisund. Water Pollution and Quality
in Estonia. Environment Data Centre (EDC), National Board of Waters and
Environment, Environmental Report 7. Finland, Helsinki, 1993, 5-10.
[13.] Dauknys, R., Vaboliene, G., Valentukeviciene, M. and Rimeika,
M. Influence of substrate on biological removal of phosphorus.
Ekologija, 2009, 55, 220-225.
[14.] Vaboliene, G., Matuzevicius, A. and Valentukeviciene, M.
Effect of nitrogen on phosphate reduction in biological phosphorus
removal from wastewater. Ekologija, 2007, 53, 80-88.
[15.] Mazeikiene, A., Valentukeviciene, M., and Rimeika, M. The use
of a zeolite filter media for the removal of ammonium ions from
wastewater by filtration. In Proc. 7th International Conference
"Environmental Engineering". Vilnius, Lithuania, 2008, vol. 2,
619-624.
[16.] Kirjanova, A. and Dauknys, R. Low-cost wastewater treatment
system with nutrient removal for decentralized wastewater treatment. In
Proc. 14th International Conference of Postgraduate Students Juniorstav
2012. Brno, Czech Republic, Brno University of Technology, 2012
[17.] HELCOM. Helcom Baltic Sea Action Plan. HELCOM Ministerial
Meeting Krakow, Poland, 2007
[18.] HELCOM. HELCOM Recommendation 28E/5. Municipal Wastewater
Treatment. 2007.
[19.] HELCOM. HELCOM Recommendation 28E/6. On-site Wastewater
Treatment of Single Family Homes, Small Businesses and Settlements up to
300p.e. 2007.
[20.] Ministry of the Environment, Estonia. The Directive No 1080,
02/07/2009, 2009.
[21.] Government of Estonia. Regulation No. 269, 31 July 2001
"Requirements for discharge of waste water into surface water and
soil", Riigi Teataja I, 2001, 69, 424.
[22.] Jarvekulg, A. Trophy of the water of Estonian rivers and
nutrients limiting the primary production. In Eesti jogede ja jarvede
seisund. Water Pollution and Quality in Estonia. Environment Data Centre
(EDC), National Board of Waters and Environment, Environmental Report 7,
Finland, Helsinki, 1993, 29-34.
[23.] Humborg, C., Morth, C.-M., Sundbom, M. and Wulf, F. Riverine transport of biogenic elements to the Baltic sea--past and possible
future perspectives. Hydrol. Earth Syst. Sci. Discuss., 2007, 4,
1095-1131.
[24.] Smayda, T. J. Complexity in the eutrophication-harmful algal
bloom relationship, with comment on the importance of grazing. Harmful
Algae, 2008, 8, 140-151.
[25.] Kotta, J., Kotta, I., Simm, M. and Pollupuu, M. Separate and
interactive effects of eutrophication and climate variables on the
ecosystem elements of the Gulf of Riga. Estuar. Coast. Shelf Sci., 2009,
84, 509-518.
[26.] Bryhn, A. C. Sustainable phosphorus loadings from effective
and cost-effective phosphorus management around the Baltic Sea. PLOS
ONE, 2009, 4; doi:10.1371/ journal.pone.0005417.
[27.] Iital, A., Pachel, K., Loigu, E., Pihlak, M. and Leisk, U.
Recent trends in nutrient concentrations in Estonian rivers as a
response to large-scale changes in land-use intensity and life-styles.
J. Environ. Monit., 2010, 12, 178-188.
[28.] Elofsson, K. Cost-effectiveness of the Baltic Sea Action
Plan. Marine Policy, 2010, 34, 1043-1050
[29.] Lenhart, H. J., Mills, D. K, Baretta-Bekker, H., van Leeuwen,
S. M., van der Molen, J., Baretta, J. W., Blaas, M., Desmit, X., Kuhn,
W., Lacroix, G. et al. Predicting the consequences of nutrient reduction
on the eutrophication status of the North Sea. J. Marine Syst., 2010,
81, 148-170.
[30.] OECD. Managing Water for All: An OECD Perspective on Pricing
and Financing. Paris, 2009.
[31.] Ministry of the Environment, Estonia. The Directive No 1079,
02/07/2009, 2009.
[32.] European Community. Directive of the European Council
91/676/EEC concerning the protection of waters against pollution caused
by nitrates from agricultural sources. Official J. Europ. Commun., L375,
1991, 1-8.
[33.] Ministry of the Environment, Estonia. Environmental
Information Database EELIS, 2009 (visited 05.01.2009).
[34.] Alkranel, L. L. C. The impact of stricter wastewater
treatment requirements for water companies and other water users.
Project Report, Tartu, 2009.
[35.] Molder, H. Reovete puhastusseadmed III. Tallinna
Tehnikaulikool, Tallinn, 1978.
[36.] Wang, X. J., Xia, S. Q., Chen, L., Zhao, J. F., Renault, N.
J. and Chovelon, J. M. Nutrients removal from municipal wastewater by
chemical precipitation in a moving bed biofilm reactor. Process
Biochemistry, 2006, 41, 824-828.
[37.] Duenas, J. F., Alonso, J. R., Rey, A. F. and Ferrer, A. S.
Characterisation of phosphorous forms in wastewater treatment plants. J.
Hazard. Mater., 2003, B97, 193-205.
[38.] Ministry of the Environment, Estonia. Environmental permits
information system; http://klis.envir.ee/klis/ (visited 05.06.2009).
(1) Population equivalent (p.e.) is a conventional unit of mean
daily water pollution, caused by one person. The value of one population
equivalent expressed by biochemical oxygen demand (BOD7) is 60 g of
oxygen per day.
(2) EE and EU do not establish common standards. These standards
are developed taking into account the aim of directives and requirements
given in the permits of water special use.
Raili Niine (a), Enn Loigu (a) and Walter Z. Tang (b)
(a) Department of Environmental Engineering, Tallinn University of
Technology, Ehitajate tee 5, 19086 Tallinn, Estonia;
raili.niine@student.ttu.ee, enn.loigu@ttu.ee
(b) Department of Civil and Environmental Engineering, Florida
International University, Miami, Florida 33199, USA;
walterztang@gmail.com
Received 12 November 2012, in revised form 5 February 2013
Table 1. Estonian National (EE), European Union (EU) and
Helsinki Commission (HE) wastewater discharge criteria
Legislation [BOD.sub.7], COD, SS,
mg[O.sub.2]/l mg[O.sub.2]/l mg/l
[greater than or
equal to] 100 000
p.e.
EE 15 125 15
EU 25 125 35
HE 15 -- --
10 000-99 999 p.e.
EE 15 125 15
EU 25 125 35
HE 15 -- --
2 000-9 999 p.e.
EE 15 125 25
EU 25 125 35
HE 15 -- --
500-1 999 p.e. (2)
EE 25 125 25
EU 25 125 35
HE* 25 -- --
< 500 p.e. (2)
EE 25 125 25
EU 25 125 35
HE **
Legislation TP, TN,
mgP/l mgN/l
[greater than or
equal to] 100 000
p.e.
EE 1 10
EU 1 10
HE 0.5 10
10 000-99 999 p.e.
EE 1 15
EU 2 15
HE 0.5 15
2 000-9 999 p.e.
EE 1.5 --
EU -- --
HE 1 0.3
500-1 999 p.e. (2)
EE 2 --
EU -- --
HE* 2 35
< 500 p.e. (2)
EE -- --
EU -- --
HE **
Alternative 1: the requirements based on emissions per capita
need not apply where it can be shown that an on-site WWTP
results in at most a concentration of [BOD.sub.5] of 20 mg/l,
[P.sub.tot] 5 mg/l and [TN.sub.t] 25 mg/l in the effluent of
the WWTP.
Alternative 2: the requirements based on emissions per capita
need not apply where it can be shown that an on-site WWTP using
the Best Available Technology (BAT) is installed and operated
so that the treatment results in a concentration of [BOD.sub.5] of
at most 40 mg/l and 150 mg/l COD in the effluent of the WWTP.
* 300-2000 p.e.
** Less than 300 p.e.
Table 2. Average TN concentrations of WWTPs influent
and TN limit values for WWTPs effluent using 30%
reduction
Pollution Average C Removal TN limit
load of the of TN in proportion, values in
WWTP, p.e. influent % effluent
of the of the
WWTP, mg/l WWTP, mg/l
2000-9999 60 30 42
150-1999 86 30 60
< 150 106 30 74
Table 3. The additional expenditure for implementing TN concentration
of 35 mg/l bargain for existent technologies
Size of WWTP, Exploitation Investment Total additional
p.e. cost for TN cost for TN cost for
removal, EUR/y removal, EUR nitrogen removal,
EUR/y
[greater than 0 0 0
or equal to]
100 000
10 000-99 999 0 0 0
2 000-9 999 3 800-12 800 128000 2000-8600
500-1 999 960-3 800 43500 2000-7000
300-499 700-960 222000 4500-7000
150-299 320-700 146000 2300-4500
50-149 130-320 74800 1100-2300
10-49 30-130 34500 260-1100
< 10 30 8700 260
Table 4. The socio-economic impact of implementing TN limit
concentration of 35 mg/l
Pollution No. Actual TN [C.sub.TN] [C.sub.TN]
load of of pollution in influent, in effluent,
WWTP, p.e. WWTP load of mg/l mg/l
effluent,
t/y
[greater than 0 0 61 10
or equal to]
100 000
10 000-99 999 2 11.3 61 15
2 000-9 999 2 5.18 61 35
500-1 999 6 1.25 86 35
300-499 5 0.42 86 35
150-299 10 0.72 86 35
< 150 22 2.92 * 106 35
Pollution Reduction Additional Additional TN pollution
load of rate of exploitation cost in load of
WWTP, p.e. TN, % cost per water effluent
WWTP for TN price, EUR/ after
removal, [m.sup.3] investments,
EUR/y t/y
[greater than 84 0 0 0
or equal to]
100 000
10 000-99 999 75 0 0 11.3
2 000-9 999 43 5300 0.021 2.95
500-1 999 59 4500 0.025 0.51
300-499 59 5800 0.35 0.17
150-299 59 3500 0.38 0.29
< 150 67 1300 0.54 1.05
* Pollution load contains also the load of Vaatsa landfill,
which is 1.6 t of TN per year.
Table 5. Phosphorus discharge
standards according to HELCOM
recommendations
Pollution load TP, mgP/l
of WWTP, p.e.
[greater than 0.5
or equal to]
100 000
10 000-99 999 0.5
2 000-9 999 1
300-1 999 2
< 300 2
Table 6. The additional expenditure for implementing stricter
requirements for TP for existent technologies
Size of WWTP, p.e. Exploitation Investment Total
cost for TP cost for TP additional
removal, EUR/y removal, EUR cost for TP
removal,
EUR/y
[greater than 1500-6800 9000 5800-9600
or equal to]
100 000
10 000-99 999 150-1500 6100 1900-5800
2 000-9 999 50-150 450 1900-2500
500-1 999 960-4000 3200 1300-2500
150-499 260-960 2400 1100-1300
< 150 20-260 450 160-1100
Table 7. Socio-economic impact of implementing stricter phosphorus
discharge standards
Pollution load No. Actual TP Influent Effluent
of WWTP, p.e. of load of [C.sub.TP] [C.sub.TP]
WWTP effluent, mgP/l mgP/l
t/y
[greater than 0 0 13.8 0.5
or equal to]
100 000
10 000-99 999 2 2.76 13.8 0.5
2 000-9 999 2 0.48 13.8 1
500-1 999 6 0.38 19.6 2
300-499 5 0.15 19.6 2
150-299 10 0.18 19.6 2
< 150 22 0.31 22.5 2
Pollution load Additional Additional TP load of
of WWTP, p.e. cost per cost in effluent
WWTP for TP water after
removal, price, investments,
EUR/y EUR/ t/y
[m.sup.3]
[greater than 7700 0 0
or equal to]
100 000
10 000-99 999 3900 0.006 1.38
2 000-9 999 2200 0.04 0.32
500-1 999 1900 0.1 0.25
300-499 770 0.11 0.07
150-299 450 0.27 0.09
< 150 130 0.43 0.16
Table 8. New wastewater discharge standards; limit
concentration, mg/l
Pollution WWTP size, p.e.
indicator
< 300 300-499 500-1999
[BOD.sub.7] 25 25 25
COD 125 125 125
SS 25 25 25
TP N/A 2 2
TN N/A 60 35
Pollution WWTP size, p.e.
indicator
2 000-9 999 10 000-99 000 [greater than
or equal to]
100 000
[BOD.sub.7] 15 15 15
COD 125 125 125
SS 25 15 15
TP 1 0.5 0.5
TN 35 15 10
Fig. 1. Point source pollution load in Jarva county in 2008, t/y.
SS [BOD.sub.7] TN TP COD
Actual pollution load 24.98 36.38 21.79 4.27 128.64
Permissible pollution 32.92 30.42 47.38 2.36 231.17
load
Note: Table made from bar graph.
Fig. 4. Actual and permissible TP pollution loads, and effluent
TP load using HE requirements for different size WWTPs in Jarva
county in 2008.
[greater than 500-1999 p.e. < 500 p.e.
or equal to]
2000 p.e.
Pollution load 0.92 0.24 0.29
using HE
requirement,
t/y
Permissible 1.71 0.24 0.41
pollution
load, t'y
Actual 3.24 0.36 0.65
pollution
load, t/y
Average 0.81 0.06 0.01
pollution
load per
WWTP, t/y
Note: Table made from bar graph.
Fig. 5. Actual and permissible BOD7 pollution load and
effluent BOD7 load using HE requirements for different
size WWTP's in Jarva county in 2008.
[greater than 500-1999 p.e < 500 p.e.
or equal to]
2OO0p.e.
Pollution load 23.8 3.00 3.04
using HE
requirement,
t/y
Permissible 23.8 3.00 3.62
pollution
load, t'y
Actual 29.77 2.13 4.47
pollution
load, t/y
Average 7.44 0.36 0.12
pollution
load per
WWTP, t/y
Note: Table made from bar graph.
Fig. 6. Actual and permissible TN pollution load and effluent
TN load using HE requirements for different size WWTP's in
Jarva county in 2008.
[greater than 500-1999 p.e. < 500 p.e.
or equal to]
2000 p.e.
Pollution load 30.55 4.19 3.91
using HE
requirement,
t/y
Permissible in. 55 7.19 9.64
pollution
load, t'y
Actual 10.48 1.25 4.0S
pollution
load, t/y
Average 4.12 0.21 0.11
pollution
loud per
WWTP, t/y
Note: Table made from bar graph.
Fig. 7. TP load distribution between different
size of WWTPs below 500 p.e.
300-499 p.e. < 30O p.e.
Pollution load 0.06 0.23
using HE
requirement,
t/y
Permissible 0.06 0.35
pollution
load, t'y
Actual 0.15 0.5
pollution
load, t/y
Note: Table made from bar graph.