Change description : 2026-01-08 14:58:00: Changes to the introduction to reflect leaving the EU and clarified the use of the cross-cutting guidance. [Guidance and regulation]
‘Best available techniques’ (BAT) means the available techniques which are the best for preventing or minimising emissions and impacts on the environment. You need to useuse BAT if ifyour operation is an installation (for example a facility that carries out an industrial process like a refinery, food factory or intensive farm).
‘Techniques’ include both the technology used and the way your installation is designed, built, maintained, operated and decommissioned.
For example, there’s aa BREF for forintensive agriculture which containsincludes BAT for forhousing for pig rearing units and aa BREF for forthe textilesfood, industrydrink whichand containsmilk sector which includes BAT for forminimising selectingwater materialsfortextilemanufacture.consumption.
The European Commission ishas updatingalso BREFpublished ‘BAT conclusions’(BATC) notesdocuments andwhich theare updatedlegal versionsrequirements alsothat includeyour ‘BAToperation must meet. From 1 January 2020, UK BATC documents conclusionstarted documents’.to be produced – see UK BATC. These containwill emissionhave limitsthe associatedsame withlegal status as the EU BATC. BATC contain a description of BAT and associated emission limits (‘BAT-AELs’) which you must becomply compliedwith unless withunlessthe Environment Agency agrees you’ve met certain criteria. – see ‘how to propose an alternative technique’.
The guide for your activity will include a link to thethe BREF note noteorBATor BATC conclusiondocumentfor each activity (if there’s one available).
The UK regulators have agreed cross-cutting BATC interpretation guidance for the implementation of BAT and interpreting common issues arising in the interpretation of BREFs and BATC. You can request this guidance from your regulator.
How to follow BAT
Your permit conditions may tell you whatwhat BAT you youmust use, or they may set emission limit values (ELV)(ELVs) or other environmental outcomes based onon BAT.
Youmay have to decide which BAT to use yourself if your permit does not tell you which BAT to use.
You may also need to take additional measures to meet the conditions in your permit.
BAT in your permit application
When you apply for an environmental permit you must state whetherhow you’re going to follow each BAT that applies to your activity, or propose an alternative.
You need to do this in the ‘operating techniques’ section of the application form.
For BAT that you’re proposing to follow, you must explain how you’re going to either:
follow the BATBATC conclusionsand meet the BAT-associated emissions level (for BAT that are contained in BATBATCconclusions))
follow the BREF note and the technical guidance for activities that do not have BATBATCconclusions
For any BAT you’re not going to follow, you must propose an alternative technique.
How to propose an alternative technique
If your alternative technique will provide a level of environmental protection that’s equivalent to thethe BAT, you need to explain how it will do so in the operating techniques section of the application form.
If your technique will not provide equivalent environmental protection, but you want to make a case that it’s justified on cost benefit grounds, you’ll need to provide a justification in the operating techniques section of the form and through your risk assessment and cost benefit analysis.
You will only be granted a permit for activities which do not comply withwith BAT-associated emissions levels (AELs) if you can show that the costs of achieving thethe BAT AELs are aredisproportionately high compared to the environmental benefits, for a particular reason. The reason must be either:
the geographical or local environmental conditions of the site
the technical characteristics of the site (for example, the effect of reducing excess emissions on other emissions, leading to an increase in water use or waste from your site)
Making this kind of proposal is called ‘applying for a derogation’.
In section 'How to follow BAT' added: If a particular process is not covered in guidance, the UK regulators have agreed cross-cutting BAT conclusions interpretation guidance you can use. You can request this guidance from your regulator.