Guest Viewpoint: Home rule must protect from perils of fracking | Press & Sun-Bulletin | pressconnects.com
November 16, 2011
Gas Drilling Awareness for Cortland County
November 15, 2011
N.Y. has to really study gas drilling impact – Times Union.
By Robert Howarth and Larysa Dyrszka, Commentary
Updated 07:57 a.m., Tuesday, November 15, 2011
When Gov. Andrew Cuomo said he would let science and health concerns drive his decision about issuing permits for hydraulic fracturing natural gas wells, we were encouraged. When we read the draft Supplemental Generic Environmental Impact Statement prepared by the state Department of Environmental Conservation, however, that encouragement evaporated.
We are part of a group of physicians and scientists with expertise in public health, engineering and environmental risk assessment and a keen interest in hydrofracking. We have come together as Physicians, Scientists and Engineers for Healthy Energy (http://www.psehealthyenergy.org). From the many problems with the environmental impact statement — both with what it contains, and what is left out — there clearly is need for far greater study before the state begins issuing permits that can affect the long-term health and well-being of New Yorkers.
We are frankly stunned by the absence of any serious health impact assessment in the SGEIS. The state rejected a call by the federal Environmental Protection Agency that the Health Department be named a co-lead agency to ensure that human health implications of hydrofracking get their proper attention. It is not encouraging that Health Department officials told members of a special state advisory committee they had not performed specific public health impact analyses, and did not plan to do so until hydrofracking began.
To say that this is putting the cart before the horse is an understatement. As Dr. Thomas Schaeffer of the American Academy of Pediatrics District II office in Albany noted, “Children are far more susceptible to environmental toxins, since they absorb and metabolize toxins at a higher rate for their body mass.”
The SGEIS mentions many of the toxic chemicals used in hydrofracking, but makes no attempt to evaluate the kinds of health consequences that have already shown up in other states where shale gas drilling is taking place. It is an established scientific fact that exposure to these chemicals in early life, as well as the air pollution generated by hydrofracking, is associated with preterm birth, asthma and lowered IQ in children, and higher risks of heart attack, breast cancer and diabetes in adults.
How could the state even think of proceeding based on a document that does not consider these health impacts?
The state’s promise to exempt the New York City and Syracuse watersheds raises questions about whether this is a political rather than a science-based decision. The state argues that those two cities do not filter water supplies, while other municipal water systems do.
But the SGEIS does not analyze in any depth the ability of existing drinking water filtrations systems to process and remove the toxic effluent, or flowback, from hydrofracking processes. Current filtration systems, many based on a century-old design, are designed to remove pathogens and will not provide adequate protection against toxic substances that enter the watershed.
And the SGEIS recognizes that there will likely be accidents, and that hydrofracking can lead to water contamination with toxic substances.
If the risk from hydrofracking is too high for the watersheds of New York City and Syracuse, then it is too high for any watershed in the state.
We urge New Yorkers to attend the public hearings beginning Wednesday in Dansville and continuing later in Binghamton, Loch Sheldrake and New York City. Tell the DEC and the governor that the rush to issue permits before knowing the health implications cannot stand.
It is a matter of life and health.
Robert Howarth is the David R. Atkinson professor of ecology and environmental biology at Cornell University. Dr. Larysa Dyrszka is a pediatrician.
November 15, 2011
Hydrofracking opinions count – Times Union.
Hydrofracking opinions count
People are talking about hydrofracking. I hear snippets of conversation wherever I go. The fact that hydrofracking is on people’s minds is a good thing. That’s about the only good thing.
The Supplemental Generic Environmental Impact Statement on High Volume Horizontal Hydraulic Fracturing cannot protect New York from the negative environmental impacts of natural gas development. Here are a few flaws in the statement and original draft study:
(1.) The focus at this point has been on the effects of one well-pad. We need a full-out comprehensive study on the impacts of thousands of wells on our air, water, soil, ecosystems and communities.
(2.) The watersheds of New York City and Syracuse have been protected by a ban on drilling. What about all of the other New York residents whose water tables are at risk?
(3.) The statement fails to adequately address the anticipated disposal of millions of gallons of drilling waste.
(4.) Natural gas development cannot happen without the construction of a pipeline delivery system and compressor stations that can have long-term toxic air emissions.
(5.) Already stressed regulatory staffing and resources are not addressed.
We cannot allow hydraulic fracturing gas drilling to take place in our state. Many of us feel ineffective, but we can still make a difference. Read the impact statement at the Department of Environmental Conservation website (http://www.dec.ny.gov/). Submit comments there or send them in writing to: NYS DEC, 625 Broadway, Albany, NY 12233-6510, Attention: dsGEIS comments. Comments will be accepted until Dec. 12.
Virginia Boyle Traver
Chairwoman, Sierra Club Hudson-Mohawk Group
Albany
November 14, 2011
Municipal Tools re Gas Drilling. Tompkins Co. NY
November 14, 2011
Tompkins Weekly – Your Source for Local News and Events.
Gas Leases Pose Conflicts with Mortgages–Tompkins Weekly Nov. 12, 2011
November 11, 2011
Deputy Commissioner Leff takes the position that the best way to
proceed with HVHF in New York State is to make a firm commitment to
minimizing all exposures to harmful chemical substances released into
the environment by shale gas exploitation. I argued that considering
the history of shale gas exploitation throughout the United States and
the limited ability of the DEC to enforce laws and regulations already
in existence it would not be possible for DEC to act in a sufficiently
substantial manner upon any commitment to minimization of exposures.
There are many pollutant carcinogen exposures associated with shale
gas exploitation that have not been addressed in those areas where
this activity exists, including: (1) benzene, formaldehyde,
polycyclic aromatic hydrocarbons (PAHs) and soot particulates
emissions of diesel trucks and compressors; (2) chemical carcinogens
present in fracturing fluid and disposed of so as to contaminate
surface and ground waters; (3) chemical carcinogens evaporating into
the outdoor atmosphere from holding tanks utilized at gas well sites;
(4) chemical carcinogens evaporating from HVHF waste water and
entering the outdoor atmosphere; and (5) radioactive nuclides brought
to the surface of the Earth in HVHF waste water.
Shale gas exploitation is not currently possible without imposing a
relatively large quantity of exposure to pollutant carcinogens upon
New York State residents. At a time when cancer incidence is already
far above an acceptable level as a result of exposures to pollutant
carcinogens released into the environment by past and current
polluting activities, shale gas exploitation is not acceptable. Our
organization advocates for a ban on shale gas exploitation throughout
the United States.
Cancer Action NY is a member organization of the New York State Cancer
Consortium (CC). The CC is currently producing an environmental
exposure section for the 2011-2016 New York State Comprehensive Cancer
Control Plan (CCCP). Cancer Action NY advocates for the inclusion of a
prohibition against HVHF in the CCCP. Organizations with an interest in
expressing support for the inclusion of such a prohibition in the CCCP can
contact the CC via email at: <nycccp@cancer.org>.
Donald L. Hassig, Director
Cancer Action NY
Cancer Action News Network
P O Box 340
Colton, NY USA 13625
315.262.2456
www.canceractionny.org
November 10, 2011
Gas Drilling Tools for Municipalities. Tompkins Co. Planning
Click on “Municipal Tools” for a comprehensive list of measures that municipalities need to take to address impacts of shale gas drilling.
Municipal Tools for Addressing Potential Gas Drilling ImpactsThe information presented here is the result of a yearlong collaboration between the Tompkins County Council of Governments (TCCOG) and Tompkins County Planning Department. The TCCOG Gas Drilling Task Force has met regularly since May 2010 and has been discussing how municipalities can address issues related to gas drilling. An additional planner position, supported by Park Foundation funding, was added to the Planning Department staff to assist with this effort. Even though NYSDEC regulates the well pads and drilling processes, there are a number of other uses that could only be regulated by municipalities including such uses as truck terminals that may cause traffic congestion, dust, and so on. Municipalities can require such uses to be located only in industrially zoned areas or use the site plan review process to ensure compatibility with adjacent uses. In order to begin to understand the potential impacts that natural gas extraction and ancillary uses might have on communities, we encourage municipalities to take the following steps:
Scroll through the Municipal Tools and you’ll find these topics:
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November 10, 2011
Go to Google maps and Insert 42°43’29.13″N 75°38’48.14″W
Note open waste pits.
November 10, 2011
Letter: Drilling in residential areas may be possible | Press & Sun-Bulletin | pressconnects.com.
Recent Guest Viewpoints by Binghamton Mayor Matthew T. Ryan and Victor Furman spoke about gas drilling in city or residential areas.
It appears to me that drilling under residential areas could readily occur without permission of residents. Here is how:
A typical Marcellus drilling unit will be two miles long and one-half mile wide.
Drilling from a leased well pad outside a residential area and going more than three-quarters of a mile under residences could easily occur without permission of those landowners using the eminent domain-like legal procedure of Compulsory Integration.
It would only be necessary for the driller to have leased 60 percent of the land outside the residential area.
According to New York environmental conservation law, permission for the rest of the drilling unit can be acquired simply on the request of the driller.
Stanley R. Scobie
Binghamton