AGROAMB PRODALT, S.L.

AGROAMB

Our company works in the primary sector, offering agricultural services to farmers, producing fooder on our lands, and fertilizers based on biodegradable waste, mainly produced in the primary sector and agri-food industry.

Lobbying Activity

Response to Precipitated phosphate salts and derivates in EU fertilising products

22 Jan 2021

"CMC 12: PRECIPITATED PHOSPHATE SALTS AND DERIVATES 1. An EU fertilising product may contain precipitated phosphate salts obtained through precipitation exclusively from one or more of the following input materials: (a) wastewaters and sewage sludge from municipal wastewater treatment plants, other than animal by-products or derived products within the scope of Regulation (EC) No 1069/2009; (b) wastewaters from processing of foods, beverages, pet foods, animal feeds, or dairy products, other than animal by-products or derived products within the scope of Regulation (EC) No 1069/2009, unless processing steps involved contact with biocidal products within the meaning of point (a) of Article 3(1) of Regulation (EU) No 528/2012 of the European Parliament and of the Council (*) other than those defined as product-type 4 of main group 1 of Annex V to that Regulation; (a) I don't understand why sewage sludge (SS) from municipal wastewater treatment plants (WWTP) is included as input material, but SS from agrofood industry WWTPs is not. Above all, when SS from agrifood industry is much less polluted (e.g. heavy metals, POPs ) than SS from municipal WWTP. (b) Nor do why wastewaters from processing of foods (agrifood industry) are included, but sewage sludge obtained from these wastewaters is not included as input material.
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Response to Thermal oxidation materials and derivates in EU fertilising products

22 Jan 2021

“CMC 13: THERMAL OXIDATION MATERIALS OR DERIVATES 1. An EU fertilising product may contain thermal oxidation materials obtained through thermochemical conversion under non-oxygen-limiting conditions exclusively from one or more of the following input materials: (e) sewage sludge from municipal wastewater treatment plants, other than animal by-products or derived products within the scope of Regulation (EC) No 1069/2009" I don´t understand why sewage sludge (SS) from municipal wastewater treatment plants (WWTP) is included as input material, but SS from agrofood industry WWTPs is not. Above all, when SS from agrifood industry is much less polluted (e.g. heavy metals, POPs ) than SS from municipal WWTP.
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Response to Evaluation of the Sewage Sludge Directive 86/278/EEC

18 Aug 2020

Please, read my feedback with supporting documents in the attached file (pdf). If you have any issue with this file, don't hesitate to contact me. Best regards.
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