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August 9, 2011
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August 9, 2011
Natural Capital Project – InVEST.
InVEST is a family of tools to map and value the goods and services from nature which are essential for sustaining and fulfilling human life.
*UPDATE* Now includes models for COASTAL and MARINE ecosystem services.
If properly managed, ecosystems yield a flow of services that are vital to humanity, including the production of goods (e.g., food), life support processes (e.g., water purification), and life fulfilling conditions (e.g., beauty, recreation opportunities), and the conservation of options (e.g., genetic diversity for future use).
Despite its importance, this natural capital is poorly understood, scarcely monitored, and, in many cases, undergoing rapid degradation and depletion.
InVEST enables decision-makers to assess the tradeoffs associated with alternative choices and to identify areas where investment in natural capital can enhance human development and conservation in terrestrial, freshwater, and marine ecosystems.
How will a new coastal management plan impact seafood harvest, renewable energy production, and protection from storms?
Conservation organizations can use InVEST to align their missions to protect biodiversity with activities that improve human livelihoods.
Where would reforestation or protection achieve the greatest downstream water quality benefits?
Corporations, such as bottling plants, timber companies, and water utilities, can use InVEST to decide how and where to make investments to protect their supply chains.
Which parts of a watershed provide the greatest carbon sequestration, biodiversity, and tourism values?
Government agencies can use InVEST to help determine how to manage lands and waters to provide an optimal mix of benefits to people or to help design permitting and mitigation programs that sustain nature’s benefits to society.
For further information on tool development, the InVEST user forum, and to register for InVEST updates, go to: http://invest.ecoinformatics.org
Governments, non-profits, and corporations manage natural resources for multiple uses and inevitably must evaluate trade-offs among these uses; InVEST’s multi-service, modular design provides an effective tool for evaluating these trade-offs.

InVEST is most effectively used within a decision-making process that starts with stakeholder consultations.
Through discussion, questions of interest, management choices, and/or policy options are identified.

Stakeholders develop spatial “scenarios” to show, for example, several alternative areas where fishing might be prohibited, where agricultural land might be converted to residential development, or where climate change is expected to affect precipitation and temperature patterns.
Scenarios typically include maps of potential future land use/land cover and/or marine habitats and ocean uses. These are critical inputs in all InVEST models.
Following stakeholder consultations and scenario development, InVEST can estimate how the current location, amount, delivery, and value of relevant services are likely to change in the future.
InVEST models are spatially-explicit, using maps as information sources and producing maps as outputs. InVEST returns results in either biophysical terms (e.g., tons of carbon sequestered) or economic terms (e.g., net present value of that sequestered carbon).
The spatial resolution of analyses is also flexible, allowing users to address questions at the local, regional or global scales.

InVEST results can be shared with the stakeholders and decision-makers who created the scenarios to inform upcoming decisions. Using InVEST in an iterative process, these stakeholders may choose to create new scenarios based on the information revealed by the models until suitable solutions are identified.
InVEST models are based on production functions that define how an ecosystem’s structure and function affect the flows and values of ecosystem services. The models account for both service supply (e.g. living habitats as buffers for storm waves) and the location and activities of people who benefit from services (e.g. location of people and infrastructure potentially affected by coastal storms).
Since data are often scarce, the initial versions of InVEST offer relatively simple models with few input requirements. These models are best suited for identifying patterns in the provision and value of ecosystem services. With validation, these models can also provide useful estimates of the magnitude and value of services provided.
Currently, InVEST models run as script tools in the ArcGIS ArcToolBox environment. To run InVEST, you must have ESRI’s ArcGIS software. You will also need an ArcInfo level license to run one of the hydrology modules. Running InVEST effectively does not require knowledge of Python programming, but it does require basic to intermediate skills in ArcGIS.

The tool is modular in the sense that you do not have to model all the ecosystem services listed, but rather can select only those of interest.
The User’s Guide steps you through installing and running the tools, provides some of the theory behind each model and describes the input data requirements and how to interpret output results. A set of sample data is also supplied so that you can use to get to know the models and how they work.
For further information on tool development, the InVEST user forum, and to register for InVEST updates, go to: http://invest.ecoinformatics.org
August 9, 2011
Winkler_Valuation.pdf (application/pdf Object).
Valuation of ecosystem goods and services
Part 1: An integrated dynamic approach
Ralph Winkler ⁎
School of Politics, International Relations and the Environment, Keele University, Keele, Staffordshire ST5 5BG, United Kingdom
Research Center for Environmental Economics, University of Heidelberg, Germany
A R T I C L E I N F O A B S T R A C T
Article history:
Received 28 April 2005
Received in revised form
11 October 2005
Accepted 11 October 2005
Available online 22 November 2005
This is the first part of a two-part paper which offers a new approach to the valuation of
ecosystem goods and services. The existing literature on environmental valuation is based
on two distinct foundations. The ecological valuation methods derive values by a cost-ofproduction
approach. Their common characteristic is the neglect of consumer preferences.
The economic valuation methods focus on the exchange value of ecosystem services. Their
common characteristic is that they are finally based on consumer preferences, and do not
adequately take account of the complex internal structure of ecosystems.
As the existing methods for the valuation of ecosystem services emphasize either the
economic system or the ecosystem, the main objective of part 1 is to provide the conceptual
foundations for a new method of valuation of ecosystem services, which deals
simultaneously with the ecosystem, the economic system and society in a balanced way.
Within a simple pre-industrial model it is shown how the interdependencies between the
three subsystems influence values, and how values change over time.
© 2005 Elsev
August 9, 2011
Farber_et_al.pdf (application/pdf Object).
SPECIAL ISSUE: The Dynamics and Value of Ecosystem Services: Integrating
Economic and Ecological Perspectives
Economic and ecological concepts for valuing ecosystem
services
Stephen C. Farber a,*, Robert Costanza b,1,3, Matthew A. Wilson c,2,3
a Graduate School of Public and International Affaris, Uniersity of Pittsburgh, Pittsburgh, PA 15260, USA
b Center for Enironmental Science and Department of Biology, Institute for Ecological Economics, Uniersity of Maryland,
Box 38, 1 Williams St., Solomons, MD 20688 -0038, USA
c Institute For Ecological Economics, Uniersity of Maryland, 0216 Symons Hall, College Park, MD 20742 -5585, USA
Abstract
The purpose of this special issue is to elucidate concepts of value and methods of valuation that will assist in guiding
human decisions vis-a`-vis ecosystems. The concept of ecosystem service value can be a useful guide when distinguishing
and measuring where trade-offs between society and the rest of nature are possible and where they can be made to
enhance humanwelfare in a sustainable manner. While win-win opportunities for human activities within the environment
may exist, they also appear to be increasingly scarce in a ‘full’ global ecological–economic system. This makes valuation
all the more essential for guiding future human activity. This paper provides some history, background, and context
for many of the issues addressed by the remaining papers in this special issue. Its purpose is to place both economic
and ecological meanings of value, and their respective valuation methods, in a comparative context, highlighting strengths,
weakness and addressing questions that arise from their integration. © 2002 Elsevier Science B.V. All rights reserved.
Keywords: Economic valuation; ecological valuation; ecological services; valuation
This article is also available online at:
http://www.elsevier.com/locate/ecolecon
1. Definitions
The terms ‘value system,’ ‘value’, and ‘valuation’
have a range of meanings in different disciplines.
In this paper, we provide a practical
synthesis of these concepts in order to address the
issue of valuation of ecosystem services. We want
to be clear about how we use these terms throughout
our analysis. ‘Value systems’ refer to intrapsychic
constellations of norms and precepts that
guide human judgment and action. They refer to
the normative and moral frameworks people use
to assign importance and necessity to their beliefs
and actions. Because ‘value systems’ frame how
people assign rights to things and activities, they
also imply practical objectives and actions. We
use the term ‘value’ to mean the contribution of
an action or object to user-specified goals, objectives
or conditions (Costanza, 2000). A specific
value of that action or object
August 9, 2011
Here’s an Easy $100 Billion Cut – NYTimes.com.
If the Republicans are truly determined to slash the budget and end government waste, they will start with two obvious and long overdue cuts: ending the web of tax breaks enjoyed by the rolling-in-dough oil industry and terminating the ethanol subsidy. Together these cuts would save up to $100 billion over 10 years, without hurting the poor and middle class or slowing the economy.
August 9, 2011
N.Y. Enviro Commissioner Expects Little From EPA Fracking Study – ProPublica.
New York State Department of Environmental Conservation Commissioner Joe Martens points to a slide during a presentation at a news conference in Albany, N.Y., in July. (Mike Groll/AP Photo)
When Joe Martens became commissioner for New York’s Department of Environmental Conservation in March, he expected an unusual challenge. The department oversees everything environmental in the state, from managing 4.5 million acres of lands to regulating ship ballast water in the Great Lakes. But no contemporary issue is more dominant
—or more controversial—than whether and how to allow energy companies to drill for natural gas in New York using hydraulic fracturing, or fracking.
Drilling in New York could access vast resources of gas, boosting local economies. However, across the country, drilling and fracturing have been linked to complaints about water contamination, air pollution and health problems. New York halted in-state drilling development in 2008, after an investigation by ProPublica revealed that the state was not prepared to handle the waste from the process or the chemicals that would be injected underground. New York launched an in-depth environmental analysis of the risks of drilling, with the goal of setting new standards for how drilling would be permitted if it goes forward in the state.
Now that environmental review is close to completion, and it will fall to Martens—formerly president of a land conservation group called the Open Space Institute—to decide how the drilling will be governed and how quickly it might progress. It is expected that the state could begin issuing permits to drill early next year. I spoke with Joe Martens on Aug. 3. The following questions and responses have been edited for length.
Q: Fracking has become a national issue. By circumstance, New York is at the center of it. What extra responsibility does this put on the DEC, and what should New York’s role be in that national debate?
I don’t think New York has faced an issue like this in a long period of time. It’s a huge environmental issue, one of the biggest of my day.
I think we are setting the national standard, and that is the responsibility that I am comfortable with. The proposed requirements in our SGEIS (the generic environmental impact statement that will dictate drilling conditions) are the most stringent in the country. We have taken a very cautionary approach. We have set aggressive setbacks from water supplies, we have taken state land off the table, we are recommending prohibiting drilling in the New York City watershed.
Q: The Environmental Protection Agency is in the midst of its own national study of the risks of hydraulic fracturing, but the results won’t be known until after New York’s review is finished. What if the federal government’s findings contradict New York’s?
We obviously look at everything that is going on, and the EPA is an important player. If they find something that we have missed, absolutely we will incorporate it into our program. We don’t have blinders on.
Q: Why not wait a few more months to see what they determine?
EPA is coming at this a bit later than we are. I think DEC is ahead of the game. I think we looked at the very things that EPA is looking at and we think that we have incorporated the problems that have occurred around the country. You can always wait for new information, but I don’t expect the EPA study will add measurably.
Q: One of the greatest environmental fears around fracking is that pressures exerted deep underground will allow chemicals used in the process to migrate into drinking water supplies. Has New York evaluated this risk, and how is it being addressed?
There is no evidence that we found that fracking fluids can migrate through that … distance and those zones. That is not to say that there aren’t shallow migration problems. We just don’t see any risk from the deep horizontal well that is very far underground and migration up to the lowest level of fresh water.
Obviously lots of technically competent people are looking at this. I think they looked at virtually everything that is out there.
Q: Our investigations have identified a number of cases where deep underground migration may have caused well water contamination, and just last week Environmental Working Group reported on an old EPA study of a case in West Virginia. Are these cases of concern?
The case studies are inconclusive. DEC has reviewed the EPA contractor’s 1987 report and additional information regarding the West Virginia incident where a gel contaminated a drinking water well. The report gave no explanation of how the gel found in the water well got there. Our counterpart agency in West Virginia in fact concluded that the most likely cause was not fracking but rather the use of gel at relatively shallow depths in drilling the gas well in the first place and completing or cleaning it out for operation.
One theory that has been discussed is that abandoned wells in the area were not properly plugged and may have allowed gel used in fracturing to migrate upward. Our revised draft SGEIS assessed this type of potential problem and would require drilling companies to survey the land generally within one mile of the proposed well location. If an unplugged deep well is found, the Department would require the operator to properly plug and abandon it before fracturing begins.
The draft SGEIS does address the risks associated with underground gas migration through stringent well construction requirements and other protections.
In addition, the revised SGEIS would require hydraulic fracturing pumping operations to be monitored for pressure and flow during pumping and an immediate suspension of fracturing if any anomalous pressure occurs.
Q: How did the DEC arrive at its various buffer measures—one safe distance from an aquifer, another different distance from a watershed boundary?
We didn’t have a formula. In general I’d say we erred on the side of caution for increased setbacks.
The Department considered the nature of the potential environmental impact under the circumstances posed at each type of aquifer or water supply. For example, the risk of surface spills in the New York City and Syracuse watersheds include the potential loss of an EPA Filtration Avoidance Determination and the resulting crushing potential cost to those two cities of filtering their drinking water.
Where the wetlands law might have proposed a 100-foot setback, we increased it in some cases by an order of magnitude just out of caution. Other states don’t have nearly as generous setbacks as we do.
Q: And what is the primary purpose of the setbacks then?
A: It was basically to keep any activity sufficiently away from the area around the two watersheds (the New York City and Syracuse public water supplies) and a variety of other natural resources. It is surface activity, not the drilling 5,000 feet underground that we are concerned about, but the trucks carrying chemicals on the surface. We don’t believe there is any risk of migration from the well bore to the underground aquifer above it.
Q: Health complaints are emerging in drilling areas, and health impacts are both a growing concern and represent a significant scientific gap in the study of drilling’s impacts. Pennsylvania is considering a health registry to track related complaints. What steps is New York taking?
We are not planning to have a health registry. The main approach of the SGEIS is to prevent exposure of the public and any resulting health impacts. We are also requiring that private drinking water wells be monitored. DEC and DOH (Department of Health) have been coordinating in assessing public health risks associated with the drilling and gas extraction activities. In the unlikely event that contamination of groundwater occurred, the State and County Health Departments would first determine whether the public has been or might likely be exposed. Those agencies are also fully equipped to conduct epidemiological studies of exposed populations.
Q: In 2008 ProPublica reported that New York State was not prepared to handle the wastewater that would be produced from drilling. Then later we wrote that drilling waste was likely to be dangerously radioactive. Originally New York planned to permit water treatment plants to accept the waste. Where do things stand today?
Currently, no wastewater treatment plants in New York are equipped to treat or permitted to accept wastewater with the range of contaminants expected to be in fluids produced from high-volume hydraulic fracturing. These plants would need to make modifications or additions to the treatment systems at their facilities. These plants would need a SPDES (environmental discharge) permit from New York state. … The plants would be required to perform a “headworks analysis” demonstrating they can safely treat the waste before DEC would grant or modify the permit. It is possible that these plans could include exporting waste to Ohio.
Q: As more drillers recycle their wastewater, more of those fluids are left permanently underground in the well. Will New York have any requirements limiting how much fluid can be discarded underground before the drilling is considered “underground injection,” a process extensively regulated by the federal government?
DEC is currently examining this issue as part of its environmental and rule-making process. There should be more details once the draft SGEIS and accompanying regulations are finalized.
Q: Can you explain the recent controversy about “lifting New York’s ban” that was reported in the national press? I never knew about a ban on fracking in New York.
A moratorium certainly hadn’t been lifted because a moratorium hadn’t been in place. I think of a moratorium as an act of the legislature that says a state can’t do something for a period of time, by law. Nothing about the situation changed other than we revised the draft. The revised draft was expected all along. And we are required by law not to consider applications to drill until the [environmental review] is completed. Everybody knew this was just another revision that had been promised for months.
I took exception to the way the New York Times reported the story when they heard we were coming out with our revised draft. It was a very misleading headline … that the governor was trying to slip one by on people.
Q: The DEC has a multitude of responsibilities and has faced severe budget and staff restraints. Will the drilling issue define the department and consume the state’s environmental regulatory resources?
We still have a large staff that deals with mining (which oversees drilling), and it is not going to dwarf any of the other functions of the agency. But we will need to be properly staffed. We are going to need the people to properly oversee it. I don’t think this will ever dominate the agency’s mission or focus.
Q: Speaking of staff, New York has just 14 gasfield inspectors and has cut its staff by more than 20 percent since 2003. By comparison, Pennsylvania—which continues to be challenged by environmental problems from drilling—has doubled its inspection staff to more than 200. Your predecessor at the DEC was fired after warning that cuts would interfere with drilling oversight. How does New York now expect to be able to oversee drilling in the state?
I’ve put together an advisory panel that’s going to meet in August. One of the main focuses will be to look at the resource issues. They will look at Pennsylvania and how they have staffed it and how we have staffed. The advisory panel’s work will flow into a budget process here in New York.
I’m not just talking about the mineral division, I’m talking about the water division, staff in lands and forests, it’s across divisions that we will need additional resources to address issues around high volume hydraulic fracturing.
If we don’t get those resources, we will only review applications that we have the capacity to review at any given point in time. We are not going to approve permits just because we have lots of them.
Q: The country appears on the verge of a second recession, and drilling could bring revenue. How do today’s economic troubles affect New York’s decision about whether to allow Marcellus Shale drilling?
The fact that the economy is in recession is one factor, but it’s certainly not the most important factor for the DEC. It hasn’t affected the environmental review process. Our primary objective is to figure out how this can be done in an environmentally protective way.
Q: What preferences have the governor and others outside the DEC expressed?
I can say categorically that no one has exerted any pressure on me. There is a provision in the environmental conservation law that requires us to promote the efficient use of the state’s oil and gas resources, so we have a legal obligation to try to use these resources efficiently. At the same time, we have air, water and solid waste laws that make sure things are done in a way that meets national and state environmental standards. So, it is a balancing act, but the objective is to see if they can be simultaneously met and we have concluded that they can.
Q: New York drilling regulations say that state authority usurps municipal authority when it comes to regulating drilling, yet a number of communities are considering local bans or limits of their own. How will New York address these conflicts and is it prepared to fight them in court?
It is likely that the courts will need to decide these issues in a lawsuit between the town and the drilling company, not the state.
August 9, 2011
Joining Karina onstage will be Colleen Kattau, Katerina Korolov (Katfish),
—
August 8, 2011
CANADIAN, Texas – In a muddy pile of sand where a pond once flowed in the Texas Panhandle, dead fish, their flesh already decayed and feasted on by maggots, lie with their mouths open.
August 8, 2011
Waterfront project seeks input from residents | Press & Sun-Bulletin | pressconnects.com.
Those who have an opinion about the recreational use of area rivers are invited to participate in a survey that will be used for future planning of the region’s waterways.
The online survey is part of the Broome County Intermunicipal Waterfront Project, which seeks input on recreation use along the Chenango, Delaware, Susquehanna, and Tioughnioga rivers. The survey was developed by the BU Center for Applied Community Research & Development, according to Project Administrator Ruth Lewis.
The survey will be posted throughout the month of August and can be accessed at either the Town of Vestal Parks
Department website — Four Rivers Recreational Survey– or at www.surveymonkey.com/s/XXXG7HT.
The survey was developed as a result of the demographic data provided by the project consulting firm, Lewis said.
“By conducting this survey,” she said, “we are hoping to collect current information that applies specifically to the people of Broome County and the Southern Tier, rather than to a census-based population group that Broome County falls into. We are hoping that if a sufficient number of people participate in the survey, we’ll have a more accurate picture of local outdoor recreational practices and preferences.”
The more accurate and comprehensive the data collection, Lewis said, the better able planners will be able to develop long-range plans that are responsive to the needs and wants of the public.
“Thus, we are encouraging everyone to spend a few minutes taking the survey and sharing their views,” she said.
The Broome County Intermunicipal Waterfront Project is funded by a grant from the state’s Local Waterfront Revitalization Program. Twenty-two municipalities on four rivers are participating in the project, which is an economic development endeavor. The Town of Vestal, working in conjunction with Broome County, is lead agency for the project.
For questions about the waterfront project or the survey, contact Lewis at 748-1514, ext. 388, at 749-4541 or at rlewis@vestalny.com.
by Abrahm Lustgarten
ProPublica, Aug. 9, 2011, 1:49 p.m.