Examination (IEE), Categorical Exclusion (CE), Environmental Assessment (EA), Programmatic Environmental Assessment (PEA), or Environmental Impact Statement (EIS) recommendations, conditionalities or mitigative measures. They also must modify or end activities that are not in compliance with provisions and conditions of approved environmental documents. An Operating Unit and each AO Team must ensure that its Activity Managers or COR/AORs have adequate time, staff, authority, and money to implement these responsibilities. (See activity planning in ADS 201.)
Completing Scoping Statements and their EAs, PEAs or EISs (if required) at the earliest point in the design process when sufficient information is known or being developed to undertake these analyses;BEO, for review and either written concurrence for CEs and IEEs, or written approval for Scoping Statements, EAs, or PEAs, through the Mission Director or USAID Representative, if the activity is field-based, or the senior manager equivalent who authorizes the funding, if the activity is Washington-based. Allow a reasonable amount of time for the BEO’s review and concurrence or approval;
Completing an IEE
or a proposed determination with justification for a Categorical Exclusion (under 22 CFR 216.2(c)), or Exemption (under 22 CFR 216.2(b) (2)), for each program or activity at the earliest point in the planning and design process when sufficient information is known about the program or activity to permit a meaningful environmental threshold determination. It is essential that this review be done as early as possible in the design process in order to allow adequate time for more detailed subsequent environmental review and concurrence, as well as integrating environmental mitigations into the design process, should this be required; environmental review when undertaken in this way rarely delays the process of designing and approving activities and programs while it typically adds greatly to the development results achieved;
Providing reasonable notification
to the affected public and, as feasible, encouraging civil society public participation, review, and comment on Scoping Statements and their related EAs or EISs. The public is defined for EAs to include directly affected people in the host country and host country governments. It is USAID's policy that relevant U.S. parties must also be included when they request or when the Activity Manager or COR/AOR, Team or BEO believes there would be a value to inviting their participation. For EISs, including the U.S. public is a legal requirement and GC, the BEO, and the AEC should be consulted as to the correct procedures. Final IEEs, Scoping Statements, Determinations, and Declarations are available to the public under the Freedom of Information Act consistent with 22 CFR 216.10, and also will be posted on the internet when required by Agency procedures.
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Products are widely used in metallurgy, petroleum, glass, aluminum manufacturing, petrochemical industry, coal mine, papermaking, printing, textile printing and dyeing, machinery, electronics, automobile manufacturing, tobacco, plastics machinery, electric power, water conservancy, water treatment/environmental protection, municipal engineering, boiler heating, energy, power transmission and distribution and so on.