OEFA Report · Tibecocha Estate 2025
Environmental compliance verified by OEFA at the Tibecocha estate — 2024 special supervision
Official identification
| Official title | Final Environmental Supervision Report N° 00016-2025-OEFA/DSAP-CAGR, approved by Order N° 0049-2025-OEFA/DSAP |
|---|---|
| Type | Final Environmental Supervision Report — Special environmental enforcement action |
| Issuing authority | Environmental Assessment and Enforcement Agency (OEFA) — Directorate of Environmental Supervision in Productive Activities (DSAP) |
| Date | January 2025 · On-site supervision: November 5 to 7, 2024 |
| Official number / code | Report N° 00016-2025-OEFA/DSAP-CAGR · Order N° 0049-2025-OEFA/DSAP · File N° 0269-2024-DSAP-CAGR |
| Original language | Spanish |
Document content
In January 2025, OEFA's Directorate of Environmental Supervision in Productive Activities issued Final Supervision Report N° 00016-2025-OEFA/DSAP-CAGR, corresponding to the special on-site supervision carried out from November 5 to 7, 2024, at the Tibecocha estate, an enforceable unit of Ocho Sur P S.A.C. dedicated to oleaginous fruit cultivation. The supervisory action was scheduled in response to information requests channeled by national and supranational authorities and prioritized verification of compliance with obligations relating to agrochemical application controls, domestic effluent management, organic waste management, and final solid waste disposal. The report determines that the company is within the environmental adjustment period established by the Environmental Management Regulation for the Agriculture and Irrigation Sector (Supreme Decree N° 006-2024-MIDAGRI), under which it must submit an Environmental Adjustment and Management Program (PAMA). The supervision verified compliance with all prioritized obligations evaluated: seven compliant activities and one compliant component, with no non-compliant activities or components. Through Order N° 0049-2025-OEFA/DSAP, the Directorate ordered the closure of File N° 0269-2024-DSAP-CAGR.