Question & AnswerQ&A (PAB Resolution NO. 03, S. 2004)
The main purpose is to require firms with pending PAB cases to submit monthly Self-Monitoring Reports (SMR) in accordance with the Procedural and Reference Manual for DAO 2003-27.
Department Administrative Order No. 2003-27 amended the format required for the Pollution Control Officer's report.
The reports are now referred to as Self-Monitoring Reports (SMRs).
It repealed PAB Resolution No. 02, Series of 2001.
One-time submission of General Information Sheet (Module 0), submission of General Information (Module 1) if changes occur, monthly SMR for water pollution cases (Module 3), monthly SMR for air pollution cases (Module 4), and submission of undertakings/events in Module 6 as needed.
The SMRs must be signed under oath by the firm's managing head and its Pollution Control Officer (PCO).
All submitted SMRs must be duly received by the Regional Office of the EMB.
All Regional Offices shall furnish the Board semi-annually a list of all companies that complied with the submission of SMRs.
Monthly SMRs are required for firms with pending cases involving violations of P.D. 984 (water pollution) and R.A. 8749 (air pollution).
No, DAO No. 2003-27 does not impair or restrain the PAB from requiring the monthly submission of SMRs.