Understanding Ballast Water Management LR Guide PDF
Understanding Ballast Water Management LR Guide PDF
Understanding Ballast Water Management LR Guide PDF
Understanding ballast
water management
Guidance for shipowners and operators
Contents
1 Introduction 3
2 Regulation 4
2.1 The BWM Convention 4
2.2 The United States Coast Guard (USCG) regulations 5
2.3 European Union regulations 6
2.4 Other regulations 6
2.5 Ballast water treatment standards 6
2.6 Approval 7
2.7 Ballast Water Management Plans 8
2.8 Sampling and analysis 8
2.9 Port state control 8
3 How to comply 9
3.1 Planning for compliance 9
3.2 Achieving compliance in service 10
3.3 Alternative methods of compliance 10
4 Treatment processes 12
4.1 Overview 12
9 Listing by supplier 24
11 Consultancy capability 26
www.lr.org/bwm 1
Cover image: A coloured scanning electron micrograph (SEM) of marine diatoms (blue).
Lloyd’s Register Group Limited, its affiliates and subsidiaries and their respective officers, employees or agents are, individually and
collectively, referred to in this clause as ‘Lloyd’s Register’. Lloyd’s Register assumes no responsibility and shall not be liable to any person for
any loss, damage or expense caused by reliance on the information or advice in this document or howsoever provided, unless that person has
signed a contract with the relevant Lloyd’s Register entity for the provision of this information or advice and in that case any responsibility or
liability is exclusively on the terms and conditions set out in that contract.
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1. Introduction
Shipping moves over 80% of the world’s commodities and transfers approximately three to five billion tonnes of ballast
water internationally every year. Ballast water is essential to the safe and efficient operation of shipping, but it also poses a
serious ecological, economic and health threat through the transfer of invasive aquatic species inadvertently carried in it.
Ballast water contains a variety of organisms including bacteria and viruses and the adult and larval stages of the many
marine and coastal plants and animals. While the vast majority of such organisms will not survive to the point when the
ballast is discharged, some may survive and thrive in their new environment. These ‘non-native species’, if they become
established, can have a serious ecological, economic and public health impact on the receiving environment.
The transfer of invasive marine species into new environments via ballast water has been identified as one of the major
threats to the world’s oceans. In response, the United Nations Conference on Environment and Development (UNCED) held
in Rio de Janeiro in 1992, in its Agenda 21, called on the International Maritime Organization (IMO) and other international
bodies to take action to address the problem.
By this time, the IMO had been seeking a solution for over 10 years. In 1991, it published Guidelines for Preventing the
Introduction of Unwanted Organisms and Pathogens from Ship’s Ballast Waters and Sediment Discharges. These were
updated in 1993. In 1997, the IMO published Guidelines for Control and Management of Ships’ Ballast Water to Minimize
the Transfer of Harmful Aquatic Organisms and Pathogens (Resolution A.868(20)).
In February 2004, the IMO adopted the International Convention for the Control and Management of Ships’ Ballast Water
and Sediments (the Ballast Water Management or BWM Convention) to regulate discharges of ballast water and reduce
the risk of introducing non-native species from ships’ ballast water. To complement the BWM Convention, the IMO adopted
over 15 sets of guidelines and other documents contained in its Marine Environmental Protection Committee (MEPC)
resolutions and circulars.
The BWM Convention imposes a challenging ballast water discharge standard. In response to this, a number of technologies
have been developed and commercialised by different vendors. Many have their origins in land-based applications for
municipal and industrial water and effluent treatment, and have been adapted to meet the requirements of the BWM
Convention and shipboard operation. These systems must be tested and approved in accordance with the relevant IMO
Guidelines.
In addition to the IMO, other national bodies have introduced regulations in response to national concerns. The most
influential of these is the United States Coast Guard (USCG) which has established both regulations and guidelines to
prevent the introduction and spread of aquatic nuisance species. The USCG’s final rule was published on 23 March 2012 in
the Federal Register, and became effective on 21 June, 2012.
This publication gives an overview of the BWM Convention requirements and guidance on preparing for its
implementation, including what you need to consider when selecting, procuring and installing a ballast water treatment
system. There is also a frequently asked questions section together with a list of useful reference documents and websites
which provide further information and guidance.
This publication also provides updated information on suppliers, and indicates the status of systems in relation to the
approval process. An outline description of water treatment processes and an appraisal of commercially available and
developing technologies for ballast water treatment are also provided, along with information relating to operation of the
systems as the technologies become more widely used.
The continued assistance of the technology suppliers who contributed much of the information it contains is gratefully
acknowledged.
www.lr.org/bwm 3
2. Regulation
Compliance schedule
The BWM Convention will enter into force 12 months after ratification by 30 States, representing 35 percent of the
world’s merchant shipping tonnage. For the current status of the BWM Convention please visit the IMO’s website at
www.imo.org/About/Conventions/StatusOfConventions
Once the BWM Convention has entered into force, all ships will be required to manage their ballast water on every voyage
by either exchanging or treating it using an approved ballast water treatment system. The compliance schedule for when a
ship can only use treatment is shown in Table 1.
Existing Ships
Existing ships Existing Ships
Ballast capacity Constructed in or after
Constructed before 2009 Constructed in or after 2012
2009 but before 2012
Between 1,500m3
Compliance by first IOPP renewal survey after EIF
and 5,000m3
* Entry into force refers to entry into force of the BWM Convention. This will occur 12 months after ratification by 30 states, representing 35
percent of the world’s merchant shipping tonnage
** The IOPP renewal survey refers to the renewal survey associated with the IOPP Certificate required under MARPOL Annex I
Once the BWM Convention has entered into force all ships of 400 gross tonnes (gt) and above will be required to have on
board an approved Ballast Water Management Plan and a Ballast Water Record Book, and to be surveyed and issued with
an International Ballast Water Management Certificate. For ships whose flag administration has not ratified the BWM
Convention a certificate or statement of compliance can be issued.
Prototype technologies
Ships participating in a programme approved by the administration may use a prototype technology for up to five years
before being required to install an approved treatment system in accordance with the compliance schedule in Table 1.
A prototype system is a system under test and evaluation for meeting or exceeding the requirements of regulation D-2.
4
Surveys and certification
All ships over 400 gt are subject to surveys and certification. Ships below 400 gt will be subject to national survey and
certification regimes.
The survey and certification scheme under the BWM Convention is similar to those under all other IMO Conventions.
On completion of an initial survey, an International Ballast Water Certificate will be issued for a ship whose flag has ratified
the BWM Convention; for other ships, a Ballast Water Management Certificate of Compliance will be issued. Both the
Certificates and the Statement will be valid for five years subject to annual, intermediate and renewal surveys.
The IMO has published Interim Survey Guidelines (contained in the Circular, BWM.2/Circ.7) and it is expected that these will
be incorporated into the IMO’s Harmonised System of Survey and Certification Guidelines (Resolution A.997(25)) once the
BWM Convention enters into force.
Exemptions
An exemption may be granted to a ship or ships on a voyage or voyages between specified ports or locations, or to a ship
which operates exclusively between specified ports or locations. An example of a ship that would qualify for this exemption
would be a ferry trading solely between one or more ports.
Any exemption granted is valid for a maximum of five years subject to an intermediate review and provided the ship does
not mix ballast water or sediments other than between the ports or locations specified in the exemption. However it should
be noted that the exemptions can be withdrawn at any time by the issuing administrations.
To be eligible for an exemption a risk assessment must be carried out in accordance with IMO Resolution MEPC.162(56) –
Guidelines for Risk Assessment under Regulation A-4 of the BWM Convention.
For further details on exemptions, you should contact the flag administration.
Compliance schedule
Table 2 indicates the compliance dates by which ships discharging ballast water in US or Canadian waters are required to
have a treatment system installed.
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Exemptions
The following vessels are exempt from ballast water management requirements, reporting requirements, and record-
keeping requirements:
–– crude oil tankers engaged in coastwise trade; and
–– vessels which operate exclusively within one ‘Captain of the Port’ (COTP) zone.
The following vessels are exempt only from ballast water management requirements:
–– seagoing vessels that operate in more than one COTP Zone, do not operate outside of the Exclusive Economic Zone (EEZ),
and are less than or equal to 1,600 gross register tons or less than or equal to 3,000 gross tons (International Convention
on Tonnage Measurement of Ships, 1969).
–– non-seagoing vessels
–– vessels that take on and discharge ballast water exclusively in one COTP zone.
Extensions
If the options given by the USCG are not practicably available despite all efforts, vessel owners can request an extension
from the USCG to the implementation schedule. The availability of an Alternate Management System (AMS) (see section
2.5) does not prohibit a vessel owner from receiving an extension. The USCG regulations provide the process for requesting
these extensions and when it can be documented. Extension requests must be submitted to the Coast Guard no later than
12 months before the scheduled implementation date.
The proposal is for three types of interventions: prevention; early warning and rapid response; and management.
In summary, the proposal states that a large proportion of invasive alien species are introduced unintentionally into
the Union; therefore it is crucial to manage these pathways. Action in this area needs to be gradual and should include
voluntary measures, such as the actions proposed by the BWM Convention, and mandatory measures which should build on
the experience gained in the Union and in member states in managing certain pathways, including measures established
through the BWM Convention.
The full details of the Regulation of the European Parliament and of the Council on the prevention and management
of the introduction and spread of invasive alien species can be found at http://ec.europa.eu/environment/nature/
invasivealien/docs/proposal/en.pdf
It should be noted that the USCG treatment discharge standard is the same as the IMO BWM Convention D-2 Standard.
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Organism category Regulation
2.6 Approval
The BWM Convention
Technologies developed for ballast water treatment are subject to approval through specific IMO processes and testing
guidelines. These are designed to ensure that such technologies meet the relevant IMO standards, are sufficiently robust,
have minimal adverse environmental impact and are suitable for use in the specific shipboard environment.
Ballast water treatment systems are required to be tested against the following IMO guidelines:
All systems:
–– Guidelines for Approval of Ballast Water Management Systems (referred to as the ‘G8 Guidelines’). IMO resolution
MEPC.174(58) which revokes MEPC.125(53).
In addition, for systems employing active substances:
–– Procedure for Approval of Ballast Water Management Systems that make use of Active Substances (referred to as the
‘G9 Guidelines’). IMO resolution MEPC.169(57) which revokes MEPC.126(53).
Approval consists of both shore-based testing of a production model, to confirm that the D-2 discharge standards are met;
and shipboard testing, to confirm that the system works in service.
USCG regulations
The USCG requires that ballast water must be treated with a USCG type approved ballast water treatment system, in
accordance with the schedule in Table 2. Recognising that there are currently no USCG type approved systems, the USCG
has provided guidance on how to apply for an extension which would allow ships to operate in US waters without treating
ballast water for up to five years after the compliance date in Table 2.
In addition, to avoid penalising ships that have already fitted a treatment system approved by another flag administration,
the USCG has introduced the Alternate Management System (AMS). Some important facts about AMS are given below:
–– AMS are ballast water treatment systems which have been accepted for use in US or Canadian waters by the USCG
–– AMS is a temporary solution until the USCG type approved systems are available
–– AMS approval does not necessarily mean that the system will achieve the USCG type approval
–– A ship with an AMS installed can only use this system for a period of five years beyond the date when the ship would
otherwise be required to comply with the USCG discharge standard
–– The list of AMS approved systems can be found through US Department of Homeland Security’s website at
http://homeport.uscg.mil/ballastwater
www.lr.org/bwm 7
2.7 Ballast Water Management Plans
All ships of 400 gt and above will be required to have on board an approved Ballast Water Management Plan and a Ballast
Water Record Book to comply with the BWM Convention. The Ballast Water Management Plan is required to:
–– assist the ship in complying with international regulations to minimise the risk of the transfer of harmful aquatic
organisms and pathogens in ships’ ballast water and associated sediments
–– identify the ship’s Ballast Water Management Officer
–– consider ship safety elements, provide information to PSC officers on the ship’s ballast handling system and confirm that
ballast water management can be effectively planned
–– include training on BWM operational practices
–– be written in the working language of the ship. If this language is not English, French or Spanish a translation into one of
these languages must be included.
Sampling and analysis for compliance testing is a complex issue. According to the guidelines, testing for compliance can
be performed in two steps. An indicative analysis of ballast water discharge may be undertaken as a first step to establish
whether a ship is potentially in compliance with the BWM Convention prior to a detailed analysis.
When testing for compliance, the sampling protocol used should result in a representative sample of the whole discharge of
the ballast water from any single tank or any combination of tanks being discharged.
USCG regulations
The USCG assesses compliance as part of its regular vessel inspections. This compliance approach follows a similar regime in
place for all other equipment inspections. In general, a Coast Guard inspector would review documentation including the
type approval certificate and AMS acceptance letter; and verify the crew’s knowledge regarding use of equipment and its
condition. If the results of this inspection are not satisfactory, the USCG would take samples of the ballast water discharge
to test that the system is working effectively. It should be noted that the USCG continues to develop more rapid and
accurate methods for sampling and analysis.
In addition, the USCG and the Environment Protection Agency (EPA) signed a Memorandum of Understanding in 2011
regarding the EPA’s Vessel General Permit (VGP) program which becomes effective in December 2013. The Memorandum
allows USCG and EPA to combine compliance efforts and share information. The VGP requires ship operators to self-monitor
ballast water treatment systems. This includes functional tests, and analysis of ballast water samples to confirm biological
performance and that concentrations of residual chemicals are within limits.
For more information on the USCG’s generic protocol for the verification of ballast water treatment technology, go to
http://www.uscg.mil/hq/cg5/cg522/cg5224/docs/600r10146.pdf
USCG regulations
A report is required to be submitted to the USCG COTP 24 hours before arriving at a US or Canadian port. The ship must
provide the COTP with access to the vessel in order to take samples of ballast water and sediment; examine documents;
and make other enquiries to assess compliance with USCG requirements.
8
3. How to comply
Follow the steps in this chapter to help you plan for compliance and achieve compliance in service.
5. Develop training for ships’ staff and ensure they are adequately trained in BWM operations
A suitable staff training scheme will need to be developed and included in the Ballast Water Management Plan. Staff will
need to be trained in their obligations under the BWM Convention, the ballast operations on board the ship, the operation
and maintenance of the ballast water treatment system, and any safety risks and mitigation measures associated with the
ballasting operations or treatment system.
6. Develop a final Ballast Water Management Plan and submit for approval
Develop a final version of the Ballast Water Management Plan, get any required internal approvals and submit the Plan for
approval to class or flag as appropriate. It should be submitted in good time to avoid delays.
One other method which the USCG accepts for ballast water management is to use potable water (from the North
American municipal system). However, the ballast tanks must be cleaned of any sediments before this application.
The USCG also requires: a Ballast Water Management Plan (this does not need to be approved); clean ballast tanks free from
sediments; and a report which is to be submitted to the US Authorities 24 hours before arriving at a US or Canadian port.
www.lr.org/bwm 9
3.2 Achieving compliance in service
1. Manage ballast water and sediments in accordance with the Ballast Water Management Plan
Ensure that all discharges of ballast and sediments are managed in accordance with the requirements of the BWM
Convention and in accordance with the procedures in the approved Ballast Water Management Plan. Make sure that
records of ballasting operations and sediment management are properly recorded in the Ballast Water Record Book.
2. Keep the Ballast Water Management Plan and Ballast Water Record Book up to date
Carry out periodic reviews of the Ballast Water Management Plan and update it as necessary. Arrange for amendments to
be approved if required.
3. Ensure required surveys are carried out within the permitted range dates
Arrange for the required annual, intermediate and renewal surveys in good time and ensure they are carried out within the
permitted range dates.
Having the system serviced and checked by the manufacturer on a regular basis and having biological efficacy checks
carried out periodically will also help ensure the system continues to function as designed and certified.
6. Manage ballast water and sediments in accordance with USCG requirements if they apply to you
Ensure that all discharges of ballast and sediments are managed in accordance with the requirements of the USCG and in
accordance with the procedures in the approved Ballast Water Management Plan. Make sure that records of ballasting
operations and sediment management are properly recorded in the Ballast Water Record Book.
The BWM Convention considers the role of alternative methods of compliance as follows:
“Alternatives” – BWMC Regulation B3-6: “The requirements of this regulation (i.e. D-1 or D-2 compliance) do not apply
to ships that discharge ballast water to a reception facility designed taking into account the guidelines developed by the
organization for such facilities.”
“Other methods” – BWMC Regulation B3-7: “Other methods of ballast water management may also be accepted as
alternatives to the ballast water exchange standard and ballast water performance standard, provided that such methods
ensure at least the same level of protection to the environment, human health, property of resources, and are approved in
principle by IMO’s Marine Environment Protection Committee.”
10
Ballast water “Other
“Alternatives” No discharge
treatment methods”
BWMS on Sealed
Fixed route
another ship ballast
Same
location
It should be noted that the USCG only accepts municipal water from North American supplies. However, this is not
currently accepted under the BWM Convention, although it is under discussion.
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4. Treatment processes
4.1 Overview
The technologies used for treating ballast water are generally derived from municipal and other industrial applications.
However, their use is constrained by key factors such as space, cost and efficacy (with respect to the IMO discharged ballast
water standards).
There are two generic types of process technology used in ballast water treatment:
–– solid-liquid separation, and
–– disinfection.
Solid-liquid separation is simply the separation of suspended solid material, including the larger suspended micro-
organisms, from the ballast water, either by sedimentation (allowing the solids to settle out by virtue of their own weight)
or by surface filtration (removal by straining; i.e. by virtue of the pores in the filtering material being smaller than the size
of the particle or organism). All solid-liquid separation processes produce a waste stream containing the suspended solids.
This waste stream comprises the backwash water from filtering operations or the underflow from hydrocyclone separation.
These waste streams require appropriate management and during ballasting they can be safely discharged at the point
where they were taken up. On deballasting, the solid-liquid separation operation is generally bypassed.
Disinfection removes and/or inactivates micro-organisms using one or more of the following methods:
–– chemical inactivation of the micro-organisms through either:
• oxidising biocides – general disinfectants which act by destroying organic structures, such as cell membranes
or nucleic acids; or
• non-oxidising biocides – these interfere with reproductive, neural, or metabolic functions of the organisms.
–– physicochemical inactivation of the micro-organisms through processes such as UV light, heat or cavitation
–– asphyxiation of the micro-organisms through deoxygenation.
All of these disinfection methods have been applied to ballast water treatment, with different products employing
different unit processes (see Table 4). Most commercial systems comprise two or more stages of treatment with a solid-liquid
separation stage being followed by disinfection (Figure 2).
Physical Disinfection
solid-liquid
separation
Chemical treatment: Residual control:
]
• Chlorination • Chemical reduction
• Electrochlorination (sulphite/bisulphite)
or electrolysis
Treatment: • Ozonation
• Hydrocyclone • Peracetic acid Physical
• Surface • SeaKleen enhancement:
filtration • Chlorine dioxide • Ultrasonic
treatment
OR • Cavitation
Physical:
• UV irradiation
Chemical • UV + TiO 2
enhancement: • Deoxygenation
• Coagulation/ • Gas injection
flocculation
• Ultrasonic treatment
• Cavitation
• Heat
• Pressure vacuum
disinfection
12
While disinfection by-products are an issue, and central to the approval of ballast water management systems that make
use of active substances, suppliers are confident that the levels generated are unlikely to be problematic. There is a large
amount of scientific and technical information on the formation of disinfection by-products that is likely to support this.
Where chemicals are used as part of the treatment process, they are typically provided as concentrated solids or liquids, so
that they may be easily stored on board a ship.
Commercial systems differ mainly in the choice of disinfection technology and the overall system configuration (i.e., the
coupling of the disinfection part with solid-liquid separation, where the latter is used). Almost all have their basis in land-
based systems employed for municipal and industrial water and wastewater and thus can be expected to be effective for
the treatment of ballast water, albeit subject to constraints in the precise design arising from space and cost limitations.
www.lr.org/bwm 13
Process Method Benefit Considerations Comments
Solid-liquid separation
Filtration Generally using discs Effective for larger particles Maintaining flow with minimum Mesh sizes are proportional to size of
or fixed screens with and organisms pressure drop requires backwashing. organism filtered (e.g., larger organisms
automatic backwashing Low membrane permeability means such as plankton require mesh between
surface filtration of smaller micro- 10 and 50 μm)
organisms is not practical.
Hydrocyclone High velocity centrifugal Alternative to filtration and Effective only for Effectiveness depends on density of
rotation of water to can be more effective larger particles particle and surrounding water, particle
separate particles size, speed of rotation
and time
Coagulation Optional pre-treatment Increasing size of particles May require additional tank space to Ballasted flocculation uses ancillary
before separation to increases efficiency of store water which has been treated powder (e.g., magnetite or sand) to help
aggregate particles to filtration or hydrocyclone due to long residence time for process generate flocs which settle more quickly
increase their size separation to be effective
Chlorination Classed as an oxidising Well established and Virtually ineffective against cysts Efficiency of these processes varies
biocide that, when diluted used in municipal and unless concentration of at least 2 according to conditions of the water such
in water, destroys cell walls industrial water disinfection mg/l used. May lead to by-products as pH, temperature and type of organism
of micro-organisms applications (e.g., chlorinated hydrocarbons/
trihalomethanes
Electro- Creates oxidising solution As chlorination As chlorination. Brine, needed to Upstream pre-treatment of the water is
chlorination by employing direct current produce the chlorine, can be stored desirable to reduce the ‘demand’ on the
into water which creates on board the vessel as feedstock for chlorination process
electrolytic reaction the system
Ozonation Ozone gas (1–2 mg/l) is Especially effective at killing Not as effective at killing larger Systems in which chemicals are added
bubbled into the water micro-organisms organisms. Produces bromate as a normally need to be neutralised before
which decomposes and by-product. Ozonate generators discharge to avoid environmental damage
reacts with other chemicals are required in order to treat large in the ballast water area of discharge. Most
to kill micro-organisms volumes of ballast water. These may ozone and chlorine systems are neutralised
be expensive and require sufficient but some are not.
installation space
Chlorine As chlorination Effective on all micro- Reagents used can be chemically Chlorine dioxide has a half life in the
dioxide organisms as well as hazardous region of 6–12 hours, according to
bacteria and other suppliers, but at the concentrations at
pathogens. It is also which it is typically employed it can be
effective in high turbidity safely discharged after a maximum of 24
waters as it does not hours.
combine with organics.
Menadione Menadione is toxic to Natural product often used Treated water will typically require
/Vitamin K invertebrates in catfish farming neutralising before discharge
but produced synthetically
for commercial use.
Safe to handle.
Physical disinfection
Ultraviolet (UV) Amalgam lamps surrounded Well established, used Relies on good UV transmission Can be enhanced by combining with
irradiation by quartz sleeves produce extensively in municipal and through the water. Hence, needs clear other reagents such as ozone, hydrogen
UV light which denatures industrial water treatment water and unfouled quartz sleeves to peroxide or titanium dioxide
the micro-organism’s applications. Effective be effective
DNA and prevents it from against wide range of
reproducing micro-organisms
Deoxygenation Reduces pressure of oxygen Removal of oxygen may Typically, the time required for Process has been developed specifically
in space above the water result in a decrease in organisms to be asphyxiated is for ballast water treatment whereby
with inert gas injection or corrosion propensity. If between one and four days the de-aerated water is stored in sealed
by means of a vacuum to an inert gas generator ballast tanks
asphyxiate the micro- is already installed on
organisms the ship, deoxygenation
plant would take up little
additional space.
Pressure/ The majority of organisms Easy installation with a Must be used in conjunction with
vacuum are eliminated with a small footprint as the additional treatment process to kill
low temperature boiling process does not require bacteria. Sediment build up must be
condition. However, the filters, chemicals and managed as the process does not use
process does not eliminate neutralisers. filter.
all of the bacteria.
14
5. Selecting, installing and operating
a ballast water treatment system
Piping connections should also be fitted to ballast systems in preparation for retrofitting of the selected treatment equipment.
Note: Although equipment manufacturers will have to obtain flag state certification for the type approval of systems, they
may not be fully conversant with all the maritime regulations and codes of practice that need to be considered during their
installation and operation (such as those relating to chemical hazards and confined space safety considerations). Owners’
representatives should therefore carry out a review to ensure that regulations and codes of practice are not compromised.
www.lr.org/bwm 15
–– certification requirements
–– details of the ballast tank coatings.
Ship operators should expect suppliers to include the following information in their offer:
–– confirmation that their system has sufficient capacity to meet the ship’s maximum ballast flow rates
–– the system’s power consumption (excluding the ship’s fitted ballast pumps) and any other electrical requirements
–– the types of technology employed in the system
–– the chemicals required and their consumption rates
–– health and safety considerations in terms of working environment, handling and storage of chemicals
–– protection systems for normal and emergency operation
–– training requirements for system operation, calibration, monitoring and health and safety
–– the work plan for supply to ship, installation, commissioning and test
–– a statement of the effect that the treated ballast water will have on ballast tank coatings, including copies of relevant
studies that support such claims
–– an estimate of the reduction in the vessel’s ballasting/deballasting rate following installation of the treatment system
and a description of any mitigation measures (this should include details of pressure drops and the effect that the
introduction of the treatment equipment will have on ballast pump suction and delivery performance).
Additional considerations
After technical data has been received from the suppliers, operators should carry out the following engineering checks:
–– Ensure that existing auxiliary generators and control systems can cope with the additional power requirements. (For some
systems it may be necessary to upgrade generators.)
–– Check that treatment equipment can be easily integrated into existing ballast systems.
–– Check the suitability of control requirements, including alarms and protective devices.
–– Conduct a review of local versus remote operating systems and ease of integration with existing machinery controls.
–– Assess ease of maintenance, calibration and ballast water sampling.
–– Assess the need for venting or other measures for compartments where active substances (chemical or otherwise) are
stored or at risk of escape.
–– Review manufacturers’ maintenance requirements to confirm which activities the ship’s staff are required to perform,
what spares and consumables would need to be carried, and what service requirements, if any, would have to be
undertaken by the original equipment manufacturer.
–– Assess how sediments will be managed.
–– Ensure ballast tank gauging will not be affected by the ballast water treatment system. (Pneumatic tank gauges may be
affected by inerting of ballast tanks.)
–– Ensure that the ballast water treatment system arrangements maintain the separation of ballast tanks located within ‘gas
safe’ and ‘gas dangerous’ zones. In some cases, separate ballast water systems may be required for each zone. Typically,
this applies to oil and chemical tankers.
16
Hazards and safety considerations and hazardous chemical storage and handling
A number of different chemicals or chemical processes are employed in the ballast water treatment systems available,
including: chlorination; electrochlorination; ozonation; chlorine dioxide; peracetic acid; hydrogen peroxide; menadine/
vitamin K and perchloric acid.
Some systems generate chemicals during the treatment process; for others, chemicals are required to be stored on board. If
chemicals are stored on board, the crew will require training on their use and handling. Suitable storage space for chemicals
and proper ventilation are of paramount importance. The Material Safety Data Sheets for chemicals to be stored on board
need to be consulted and where necessary the appropriate fire protection and extinction arrangements will need to be
installed. Additional Information on the safety precautions for chemicals is provided in Section 6.
In the case of systems that generate chemicals during the treatment process, the crew will require training on the hazards
associated with them.
Advice on the storage and handling of chemicals is contained in the IMO Circular, BWM.2/Circ.20 – Guidance to Ensure Safe
Handling and Storage of Chemicals and Preparations Used to Treat Ballast Water and the Development of Safety Procedures
for Risks to the Ship and Crew Resulting from the Treatment Process.
In general, the installation of the system must comply with Lloyd’s Registers Rules and Regulations for the Classification of
Ships (the LR Rules and Regulations) and the relevant statutory regulations such as the BWM Convention and SOLAS.
The system should have a type approval certificate issued by, or on behalf of, a national administration in accordance with
regulation D-3 of the BWM Convention and, if operating in US or Canadian waters, an AMS acceptance.
To ensure that the ship’s sea water ballast system remains operational in the event of a ballast water treatment system
failure or emergency, a suitable by-pass which can be remotely and manually controlled is to be installed.
Operation of the by-pass valve is to activate an audible and visual alarm in all stations from which the ballast water
operations are controlled. Alarms are to be recorded by the control equipment.
Safety procedures are to be developed for managing and minimising risks in the design and operation of the treatment unit.
www.lr.org/bwm 17
For existing ships (those already in service) and ships under construction, installation of ballast water treatment systems
within the cargo pump room is to be avoided if practical. For ships under construction, an alternative location for the
treatment system is to be considered at the design stage.
Technologies
The key technical features of the systems with respect to available ballast water treatment technologies are summarised
in Section 9. The table lists the general processes each system employs, but does not compare their specific details. It is
worth noting that all of the products for which information is available, other than those based on gas injection, are
either modular or can be made modular. Also, where systems are quoted as operating in fresh water, care should be taken
to ascertain whether additional services are required (as highlighted in the table) such as addition of salt into the system
through a brine. The figures provided in Section 9 are the maximum quoted by the manufacturers.
Flow capacity
Most systems are largely modular in design (other than the gas injection type) so there is no technical limit to the upper
flow rate other than that imposed by size and/or cost. The list of available systems shown in Section 9 also refers to the
pressure drop for each system.
In a number of cases, system manufacturers can provide reports on the effect of their systems on coatings.
The Group of Experts on the Scientific Aspects of Marine Environmental Protection “Ballast Water Working Group on Active
Substances” (GESAMP–BWWG or WG 34) was established in November 2005 to review any proposals submitted to IMO
in preparation for approval of ballast water treatment systems that use active substances. NACE International and IPPIC
developed a standard for determining the effect of active substances on ballast tank coatings. This was recently accepted by
GESAMP – BWWG and it is expected that GESAMP will apply this standard in future.
Costs
The biggest operating cost for most systems is power, and for large power consumers (electrolytic, UV and advanced
oxidation processes) availability of shipboard power will be a factor. For chemical dosing systems, required power is very
low and chemical costs are the major factor.
Cost data is not provided within this guide. However, when selecting a system, care should be taken in interpreting the cost
information since there may be variation in the way underlying costs are calculated between suppliers. In general (except
for the few technologies that use stored chemicals and the gas injection units that use fossil fuel) opex should be based on
the power required to operate the process (e.g., UV irradiation, electrolysis or ozonation).
18
Initial key aspects
Vessel type and characteristics.
Trading pattern.
Ballast capacity and flow rate requirements.
Treatment options
Combination filtration and treatment.
Chemical options such as chlorination, ozone,
deoxygenation and peracetic acid.
Mechanical means such as cavitation.
UV radiation.
Ultrasonic.
Installation planning
At sea or dry docking considerations for existing ships.
Inclusion in build specifications for new builds.
www.lr.org/bwm 19
6. Active substances – hazards
and safety precautions
Some treatment systems use or generate one or more active substances which are used in the treatment process. In
addition, some systems require a neutraliser to be used to ensure that on discharge of ballast any residues of the active
substance used in the treatment process are made safe.
The Materials Safety Data Sheet and manufacturer’s recommendations should also be obtained for:
–– handling and storage of chemicals
–– crew safety and emergency procedures in the event of a spill, fire or explosion, and
–– appropriate first aid measures in the event of chemicals coming into contact with the skin or being inhaled.
In addition, crews should be instructed in safe handling of chemicals. In some circumstances, further safety precautions may
be necessary, including placing special personal protective equipment close to working areas, such as:
–– full-face gas respirators or full body protection for dealing with leakages;
–– eye wash stations;
–– drenching showers; and
–– appropriate fire fighting equipment relevant to the hazard.
Some chemical spills may require special cleaning procedures and separate storage facilities should be made available for
the removal and temporary storage of clean-up residues.
In other systems an active substance is generated as part of the ballast water treatment process. Advice should be obtained
from the system manufacturer on the active substance produced and the associated requirements for crew safety and
emergency procedures in the event of a spill, fire or explosion.
20
7. Frequently asked questions
Q Hopper dredgers: is the water in the hoppers considered to be ballast and does it therefore need to be treated in
accordance with the BWM Convention?
A At MEPC 62, the IMO agreed that water in the hopper area of hopper dredgers is not considered as ballast and issued
BWM.2/Circ.32 – Applicability of the Ballast Water Management Convention – which clarifies the matter.
Q Can I be issued with a ballast water management certificate for my ship before the BWM Convention enters into force?
A Lloyd’s Register can issue on request a certificate of compliance or statement of compliance with the BWM Convention at
any time before entry into force.
At MEPC 63, the IMO agreed that once the date of entry into force of the BWM Convention is known, administrations
and recognised organisations may issue International Ballast Water Management Certificates endorsed to state they are
valid from the entry into force date.
Q All my ballast is discharged to a shore reception facility. Am I compliant with the BWM Convention?
A Yes. Ballast discharge ashore does comply with the BWM Convention but the ship will still require an International Ballast
Water Management Certificate or Certificate /Statement of Compliance with the BWM Convention, a Ballast Water
Management Plan and a Ballast Water Record Book.
Q Can I use fresh water as ballast and if I do will my ship be in compliance with the BWM Convention?
A Yes, but only if it is treated. The IMO decided at MEPC 59 that fresh water (even if generated on board) is ballast, as
defined by the BWM Convention. Therefore, fresh water used as ballast is to be treated by an approved treatment
system and must meet the D-2 standard.
www.lr.org/bwm 21
Q Is there a template to help me prepare my Ballast Water Management Plan?
A Yes. Lloyd’s Register has produced a Model Ballast Water Management Plan that can be used as a template to develop a
Plan for any ship. Download it at www.lr.org/bwm
Q The BWM Convention entry into force date is known but I will not get my Ballast Water Management Plan approved in
time – what can I do?
A At MEPC 63 the IMO agreed that provided the Ballast Water Management Plan has been submitted for approval and the
administration or a recognised organisation has issued a statement confirming receipt, the ship can trade for no more
than three (3) months with an un-approved Plan onboard.
Q I have a Ballast Water Management Plan approved to Res. A868(20), but not to IMO Resolution MEPC 127(53). What do I
need to do?
A The IMO at MEPC 63 agreed that a Ballast Water Management Plan approved in accordance with A.868(20) will remain
valid until the Plan is required to be updated. When a Plan does require updating, for example when a treatment system
is installed, then it will need to be amended in accordance with Resolution MEPC 127(53) and be re-approved.
Q Will port state control (PSC) authorities sample and test ballast?
A Yes. PSC will have the right to sample and analyse the ballast being discharged to ensure that it has been exchanged (a
salinity test) or treated to meet the regulation D-2 standard.
22
8. Useful references
BWM.2/Circ.20 – Guidance to ensure safe handling and storage of chemicals and preparations used to treat ballast water
and the development of safety procedures for risks to the ship and crew resulting from the treatment process.
BWM.2/Circ.29 rev 1 – Clarification Regarding the Application Dates Contained in Regulation B-3.1 of the BWM Convention
Globallast Partnerships
Information on the IMO, Global Environment Facility (GEF),and United Nations Development Programme (UNDP) Global
Ballast Water Management Programme – http://globallast.imo.org/
www.lr.org/bwm 23
9. Listing by supplier
Note: to print this page, choose ‘File, Print, Current Page, Poster’.
Aqua Eng. Co., Ltd. www.aquaeng.kr KOMERI Oct-10 Oct-11 Yes Jul-10 Mar-12 Jun-12 May-13 In progress 4 3 2 2 0.2 5 3.3 12.4 1.1 2.1 16-22 165-220 Air <0.5 >10PSU NaClO 9g/m3 Yes 2.2 Electrolytic disinfectant Uptake X X X
AquaStarTM
25
atg UV Technology www.atguv.com NIVA Apr-10 Jul-11 No N/A N/A 1 >10 125 (for 1,000m3) None >10PSU None N/A No active substance X X
(for 200m3)
BioSea BWT Solutions www.ballast-water- 128 (poor quality Filt and medium Uptake and discharge
DHI Nov-11 Feb-13 No N/A N/A Jun-13 Sep-13 In progress 5 2 2 2 0.075 2 4.07-5.75 – 2.4 – _ Air and water <0.7 2.6-35PSU None N/A No N/A 1 hr No active substance X X
BIO-UV treatment.com water) pressure UV (filtration on uptake only)
DESMI Ocean Guard A/S In-situ generated Filt, low pressure UV &
www.desmioceanguard.com DHI Aug-11 Apr-12 Yes Mar-10 Oct-12 Nov-12 May-13 Oct-13 1 1 0 1 0.075 3 4.2 45.6 2.48 3.59 45.6-62.4 456-582 Air < 0.5 All salinities O3 No N/A Immediate Uptake and discharge X X X
OxyClean active substance O3 injection
In-situ generated
Erma First SA www.ermafirst.com NIOZ Jun-10 Aug-11 Yes Jul-11 Mar-12 May-12 May-13 In progress 25 5 3 3 0.05 3 4 – 3 – 15-20 – Air <1.2 >0.5PSU Yes 10 ~2hr Chemical disinfection Uptake X X X
active substance
Marine (freshwater and brackish
GEA Westfalia In-situ generated
BallastMaster EcoP www.westfalia-separator.com Yes Jul-11 In progress 1 >10 15 (for 1000m3) 0.5 are suitable if saltwater is available active substance X X X4
on board)
GEA Westfalia 1.6 (for All salinities (water quality >45% UV In-situ generated Immediate Filt and low pressure
www.westfalia-separator.com NIOZ May-10 Jan-11 Yes May-09 In progress Dec-11 Jul-13 21 17 7 5 0.25 0.5 – 1.8 – 63 – Freshwater <0.8 No N/A Uptake and discharge X X
BallastMaster UltraV 250m3) transmittance) active substance to 1hr UV
Marine (freshwater and brackish
Hanla IMS Co. Ltd. In-situ generated
www.hanlaims.com Tongyoung Jul-12 In progress Yes Mar-12 Apr-13 3 1 1 1 0.125 6 6 2.3 24 (@30PSU) 240 (@30PSU) Air and water <0.6 are suitable if saltwater is available NaClO Yes 8000 >2 days Filt and EL Uptake X X X
EcoGuardianTM active substance
on board)
Headway Technology Co. Ltd. Optional Advanced electro-
OceanGuard www.headwaytech.com NIVA Jul-09 Dec-09 Yes Mar-10 Oct-10 Mar-11 Jul-12 Apr-13 249 49 4 39 0.05 9 3.5 8.4 2.33 3.33 8.5 85 None 0.6 All salinities OH• 2g/m3 (not always 2 Immediate catalysis oxidation Uptake X X3 X OH•
needed) process
Hyde Marine Inc. www.hydemarine.com NIOZ Apr-08 Apr-08 No N/A N/A Apr-09 Jul-12 Apr-13 >250 >100 >20 >100 0.06 6 Modular 40-50 350-450 Air 0.3-1.0 All salinities None N/A No N/A Immediate Medium pressure UV No active substance Uptake and discharge X X
Hyde GUARDIAN®
Hyundai Heavy Industries www.hhi.co.kr KOMERI 2008 2009 Yes Jul-09 Mar-10 Mar-11 33 16 0 9 0.15 2.88 3.5 9.7 2.1 2.1 77 770 None 0.5 All salinities No N/A Immediate Filt and UV Uptake and discharge X X
EcoBallastTM
Marine (freshwater and brackish
Hyundai Heavy Industries ~1.8g/m based on
3
www.hhi.co.kr KOMERI 2010 2011 Yes Mar-10 Jul-11 Nov-11 Jan-13 Jun-13 125 20 2 13 0.075 8 4.6 11 2.3 2.8 <25 <250 0.5 are suitable if saltwater is available NaClO < 9g/m3 based on TRO Yes ~3hrs Filt and EL Uptake X X X
HiBallastTM sodium thiosulfate
on board)
JFE Engineering Corporation Yes, if TRO is Filt and chemical
www.jfe-eng.co.jp JAPAN Mar-09 Sep-09 Yes Oct-08 Mar-10 Mar-11 Jun-13 Oct-13 300 ~30 8 13 0.2 4.5 ~5 ~21 ~1.8 ~2.7 6.2 13.4 None 0.5 All salinities NaClO 25ml/m3 25 Uptake X X (NaClO) X
JFE BallastAce® >0.2g/m3 treatment
4 (for
Knutsen Ballastvann AS – KBAL www.knutsenoas.com NIVA Sep-10 Aug-11 No N/A N/A Nov-12 4 3 1 (for 200m3) 80 (for 1,000m3) None 2 None N/A No N/A No active substance X X
2,000m3)
1.165 (for
Marenco Technology Group Inc. www.marencogroup.com MLML 2007 2007 No N/A N/A 3 60 (for 1,000m3) None None N/A No active substance X X
200m3)
2-4hrs
www.mhsystemscorp.com bubbling inert Diffusion of inert gas Anticipated
MH Systems Inc. www.ballastwatersolution.com CMA No N/A N/A 0 0 0 0 Unlimited Unlimited 2.25 9 1.5 2 35 350 None All salinities None N/A No N/A gas then 24hr by bubbling beneficial effect During voyage X X5 X
resident time
~10secs and
NEI Treatment Systems LLC Anticipated
www.nei-marine.com MERC 2004 2005 No N/A N/A Oct-07 Jul-13 In progress 42 22 0 6 0.25 Unlimited 2.7 12.48 2.1 3.53 22 195 Cooling water 0 All salinities None N/A No N/A requires 48hrs Deox and Cav Uptake X X X
VOS beneficial effect
to fully treat
Hypochlorite,
Oceansaver AS Air, fresh water, hypobromite, In-situ generated Filtration and Anticipated
www.oceansaver.com NIVA Nov-07 Sep-08 Yes Apr-08 Oct-08 Apr-09 21 21 12 5 9.2 11 23 1 59 382 1PSU Yes 1 Uptake X X X X OH•
(MKI) heat or steam hypochlorous acid and active substance electrodialysis beneficial effect
hypobromous acid
Optimarin AS www.optimarin.com NIVA May-08 Jan-09 No N/A N/A Nov-09 Jun-13 265 100 13 100 0.08 5.4 3.0 12.45 1.8 3.7 58 360 Air 0.5 All salinities None N/A No N/A Filtration and UV No active substance Uptake and discharge X X
In-situ
treatment.
An additional
Saltwater for Indirect electrolysis EC on uptake and
Samsung Heavy Industries Hypochlorous acid and disinfection in
www.shi.samsung.co.kr Busan Sep-11 Mar-11 Yes Oct-10 Jul-11 Oct-11 Jun-13 In progress 99 10 1 10 0.25 6.5 5.8 13.1 2.43 2.43 14 76 freshwater 0.2 All salinities 3g/m3 Yes (EC, side stream neutralisation on X X X
PurimarTM hypobromous acid ballast tank
operation injection) discharge
occurs due
to residual
chlorine
Made in solution
2009 (low when required
salinity),
Siemens 25 (for 2.45 Yes, if voyage is at 5g/m3 (no
www.siemens.com/seacure CMA 2010 May-13 Yes Mar-10 Mar-12 1 1 1 1 0.5 4 14 2.45 48 383 (for 2x2500m3) Air and water < 0.5 All salinities NaClO Up to 6g/m3 24hrs Filtration and EC Uptake X X
SeaCURE™ 4,000m3) (for 4000m3) <5 days dechlorination
(high required for long
salinity) journey times)
www.lr.org/bwm 24
10. Glossary of symbols, terms and abbreviations
AO Advanced oxidation
Capex Capital expenditure
Cav Cavitation
Cl Chlorination
Cl2 Chlorine
ClO2 Chlorine dioxide
Coag Coagulant (with magnetic particles)
Deox Deoxygenation
EL/EC Electrolysis/electrochlorination
Filt Filtration
H2O2 Hydrogen peroxide
HC Hydrocyclone
N/A Not applicable
N/R Not required
NaClO Sodium hypochlorite
O3 Ozonation
OH• Hydroxyl radical
Opex Operating expenditure
P/V Pressure / Vacuum
PSU Practical Salinity Unit
Res Residual (chemical reduction)
TRO Total Residual Oxidant
US Ultrasonic treatment
UV Ultraviolet treatment
Test standards
ASTM American Society for Testing and Materials
BSH Bundesamt für Seeschifffahrt und Hydrographie
ETV Environmental Technology Verification
GESAMP Group of Experts on the Scientific Aspects of Marine Environmental Protection
ISO International Organization for Standardization
PSPC Performance Standard for Protective Coatings (IMO)
25
11. Consultancy capability
When the BWM Convention enters into force it will impose a number of requirements on ship owners and operators.
More recently, the USCG has also introduced regulations. For many ships the most practical way to comply with these new
regulations will be to install a ballast water treatment system. However, other alternative compliance options may be
suitable for certain ship types and trades. Our consultancy services can help you understand the regulations and support
you in deciding how best to respond, with bespoke solutions to suit you.
How to comply with the BWM Convention and the USCG requirements
Deciding when and how to comply with upcoming ballast water legislation is critical to the well-being of most ship owners
and operators. Making these decisions requires a detailed understanding of the regulations, the compliance options, and
the associated technical and commercial risks. Lloyd’s Register can help you develop a robust compliance plan for your fleet
that identifies the best technology for each ship and a schedule for its implementation.
www.lr.org/bwm 26
Lloyd’s Register EMEA
Mountbatten House, 1 Grosvenor Square
Southampton SO15 2JU
United Kingdom
E marine-environment@lr.org
www.lr.org/bwm
www.lr.org/bwm
February 2014
Lloyd’s Register and variants of it are trading names of Lloyd’s Register Group Limited, its subsidiaries and affiliates.
Copyright © Lloyd’s Register Group Limited. 2014. A member of the Lloyd’s Register group.