Governor Andrew Cuomo
E-mail Form: http://www.governor.ny.gov/contact/GovernorContactForm.php
518-474-8390 (o)
If you send a letter to the governor please send a copy to us so that we may maintain a record of letters sent and include your letter below.
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07/08/2011 Dear Governor Cuomo, I am writing to ask that you reconsider the plan to exempt only the New York City and Syracuse watersheds from fracking. As a long-time upstate resident and owner with my husband of a small farm, I objective strenuously to your decision to have upstate bear the brunt of this exercise in madness. There is no case to be made on behalf of the new draft SGEIS. You must call a halt to this process unless and until all concerns of the citizenry are fully addressed. Please lead valiantly on this issue. Do not let our lovely state be forever scarred by the unremitting destruction and chaos that has been hydrofracking in other less fortunate states. An exemption for one must become an exemption for all. Respectfully yours, Suzanne M |
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07/08/2011 I am late to the fight……….but I have sent the Governor, Senator Libous, and the DEC Commissioner this letter. This DEC proposal is a rubber stamp on a potential disaster in the making and is a travesty of democracy on so many levels, I can’t begin to list them all. As a concerned citizen sitting on the sidelines, hoping the DEC would actually propose a workable and inclusive draft that would safeguard all that would be affected, if and when slick water drilling begins, all I saw was a proposal that is contradictive of itself and sets very few real stopgaps that are needed to insure that the industry does not only destroy water sources, but blatantly ignores air and noise pollution as though it doesn’t exist. Property value degradation is the icing on this toxic cake. Add me to any list or organization please that will stop this affront to public health and safety. Reading the latest proposal by the DEC and your statements, I have a couple of questions for you. Can anyone point out to me, where air and noise pollution is covered in the recommendations or even mentioned? I guess I’ll have to wait until the 8th to see the complete SGEIS. Also………..I find it quite interesting that the State has determined that slick water hydraulic fracturing poses enough of a threat to NYC and other public water supplies to prohibit the practice anywhere near those sites………but says a 500 foot buffer IS enough on private land. Can anyone see the hypocrisy in this recommendation? 210 possible well pads coming with 2100 wells in Tompkins County alone, where I live. I wonder what the regulatory enforcement budget will be, in managing proper compliance to whatever the State finally adopts, will be? This DEC proposal not only falls pitifully short of protecting my family’s health from known air pollutants, it also disregards any property devaluation that could and will occur to any properties surrounding well sites. Would you live next to one? I’m sure your honest answer would be NO. I know………public comment in August. Don F |
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07/08/2011 I have a Bachelor of Science in Chemical Engineering and have worked on helping to classify hazardous wastes, testing of a rotary kiln incinerator for hazardous waste disposal as well as filing of air emission permits at major corporations. I no longer work in the Chemical Engineering field but when I heard what the technique of hydraulic fracturing involved and that it was exempt from EPA regulations such as the Safe Drinking Water Act, the Clean Air Act, and that its waste was (improperly) classified as non-hazardous, I became very concerned. The more I find out about it, the more I wonder if this can be done safely with current techniques, especially with oversight left to budget-strained state regulatory agencies. I write to you today to request that you provide at least 30 days immediate public comment to identify additional issues that might be included in the forthcoming draft SGEIS scope for hydrofracking. Also, I request that you expand the scope of the draft SGEIS to include additional concerns, notably how to manage gas drilling wastewater. Furthermore, I ask that you establish Citizens and Technical Advisory Committees to help the DEC revise the draft SGEIS. Please require individual EIS reviews for horizontal hydrofracking permits, GA effluent limitations for hydrofracturing, deep well and wastewater treatment, as well as updating the DEC's 1992 draft GEIS which is now woefully out of date. It's not enough to comment on the previous regulations because they did not address air impact, cumulative impact, or health impacts of this type of gas drilling. The citizens of NYS need to see those studied EXTENSIVELY before releasing the SGEIS. The health and safety of the water, air, soil, environment, and most importantly, the citizens of this state depend on it. Thank you for your time. Sincerely, Valdi W |
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07/08/2011 Dear Governor Cuomo, As I’m sure you’ve read, the New York Times has just published a series of three articles about the irresponsible – and perhaps even illegal – accounting by both industry and government agencies of the risks of natural gas investments. According to the New York Times, industry has systematically over-stated its expected production outputs, basing its estimates on high-producing wells only. Industry also was given special treatment by government watch-dog agencies to base their estimates on a larger area surrounding producing wells than other industries must use, thus increasing production estimates while simultaneously decreasing production costs on accounting sheets. In other words, we already know about the lies industry has fed the public and our policymakers in terms of the environmental record of the entire process of fracking (i.e., including trucking, the drilling itself, pipeline construction, etc.) Now we also see industry has lied about its financial viability. And, as most people who live with fracking know, industry is also lying about local job growth, since most long-term jobs go to migrant workers from Texas, and fracking is a boom-and-bust industry, leaving an area desolate about ten years after its entrance. Please fulfill your mandate to protect the citizens of New York State. Until thorough cumulative environmental impact studies are completed, until a thorough analysis of job creation is made, and until the financial investment strategies within industry have been cleared of any wrong-doing, NY State must not allow fracking, pipeline construction, water-related withdrawals, or any other fracking-related activity to take place in the state. Please ban fracking, or at minimum, please extend the current moratorium. In addition, please designate fracking waste as hazardous material (which surely it is since it tends to be radioactive, include heavy metals and extremely toxic chemicals like benzene and other BTEX compounds, as well as and formaldehyde and sulfur compounds.) Please place an immediate halt to NY State’s acceptance of out-of-state fracking waste, especially waste from Pennsylvania. Currently NY State has zero water filtration plants equipped to filter this waste adequately. Sunday's NYTimes article (fracking is a ponzi scheme): http://www.nytimes.com/2011/06/26/us/26gas.html?_r=1&emc=eta1 Monday's NYTimes article (government investment regulators_improper procedures): Tuesday's NYTimes article (Lawmakers Seek Inquiry of Natural Gas Industry) Thank you. Alice Z |
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06/22/2011 Dear Commissioner Martens: Greetings from Cooperstown, New York. Otsego 2000 is a grassroots organization that has worked for more than 30 years to protect the unique historic, cultural, scenic, agricultural, and environmental assets ofthe Glimmerglass region and greater Otsego County. This region is home to the Baseball Hall of Fame, the Glimmerglass Festival, Glimmerglass Historic District, Glimmerglass State Park, the New York State Historical Association, the Fenimore Art Museum, and numerous other historic sites of state and national significance. We are located on the shores of Otsego Lake, which is the headwaters of the historic Susquehanna lliver, and the largest deep water lake in the Susquehanna River Basin. Otsego Lake supplies drinking water to more than 500,000 thousand visitors and residents each year. The region still reflects a highly integrated historic farming landscape because its assets have been protected from heavy industrialization for generations. Significant private and public investment has been made in preserving this environment and in building an economic base consistent with its historical roots. These include farming, educational institutions, museums, health care services and a strong second home market, which depends on recreational uses, such as hunting and fishing. Otsego 2000 is also a founding member of a strong local coalition know as the Citizens Against Unsafe Drilling, now numbering more than thirty community groups and representing literally thousands of citizens who are working together to protect our local economy from shale gas industrialization. The local Chamber of Commerce strongly opposes gas drilling in the region and is supported by more than 400 businesses that are also opposed, including Bassett Healthcare Network, The Baseball Hall of Fame, the New York State Historical Association, and Brewery Ommegang. As you know, New York law requires the Department to undertake environmental review before activities that may negatively impact the environment are approved. This includes the conduct of a full cumulative impacts analysis. The importance ofcumulative impacts analysis was recently highlighted by the New York State Attorney General Eric Schneiderman, who sued the United States Army Corps of Engineers and others for failing to conduct an independent study ofthe cumulative impacts of gas drilling in the Delaware River Basin. We urgently request that you expand the scope ofthe draft SGEIS to include a full cumulative impact analysis with respect to the entire life cycle of hydraulic fracturing in tight shale formations in both vertical and horizontal wells. This analysis must include scientific study of the anticipated cumulative impacts on human health, the environment, and the economy. It must also take the required "hard look" at all alternatives, including the alternative to prohibit these practices altogether, until better extraction technology is developed. You have said you will take the time necessary to do this right. You must now act on those words. Having studied the issue in depth, and being familiar with its potential to inflict severe negative impacts on our region, we urge you to consider the following points, which have become apparent since the public comment period closed, in any revision to the dSGEIS; 1) The New York State Department ofHealth (DOH) has recently conducted the first public hearings on the potential adverse health effects of gas extraction through fracturing with massive chemical injection. In light ofthese hearings, we believe the DOH should become a co-lead agency in this environmental review, and the full record ofits proceedings should be incorporated into the dSGEIS. There is growing evidence ofhealth impacts from around the country that warrants additional scientific studies on human and animal health before hydraulic fracturing with chemical injection is allowed to proceed. 2) The original 1992 GElS (which the dSGEIS purports to supplement) is seriously outdated. It was developed before the modem extraction process in tight shale was invented. New technologies that were not considered in the 1992 document, which have a potential negative impact on the environment, cannot be permitted under the generic provisions ofthe 1992 GElS. Thus, new practices can only be permitted on the basis of site-specific review. In fact, the 1992 GElS states that its generic provisions apply only to "standard" wells, defined as wells which do not require the use of "artificial stimulation" to facilitate the recovery ofhydro-carbons. Thus, extraction of gas from tight shale through hydraulic fracturing in vertical or horizontal wells was not considered in 1992. The current dSGEIS must be expanded to update the 1992 GElS in its entirety with respect to vertical and horizontal fracturing in tight shale (see attached memorandum regarding fracturing in vertical wells). These issues are also raised in the Petition for Declaratory Ruling submitted to the Department in May by Advocates for Cherry Valley. 3) The dSGEIS would permit a multi-well pad every square mile. This will fragment forests, farmland, and rural communities, and thus have a drastic negative impact on the environment. Recent studies prepared by land use experts document the irremediable damage that will be done. Please see, for example, the build-out analysis prepared by Ted Fink ofGreenplan, Inc. for Middlefield, the largest township in Otsego County. This is representative of what would occur in the whole region. The build-out analysis convincingly demonstrajs that there will be catastrophic loss of farm acreage should these extraction processes be allowed to proceed. We urge you to include the study ofthese impacts in a revised dSGEIS. 4) Several towns in our region have now adopted laws and ordinances that prohibit heavy industrial practices. The dSGEIS repeatedly informed the public that mitigation would be required with regard to local road use, noise, wetlands protection, flood plain protection, agricultural district protection, historic site protection, sensitive site protection, safety and emergency response and other issues. However, the dSGEIS was utterly silent with respect to enforcement procedures and did not clearly state that applications for drilling permits must be in compliance with all applicable local laws. This has led to considerable confusion abollt the rights oflocal governments to act to protect their citizens and communities. Any revised dSGEIS should specifically clarify that home rule will be respected in New York State and that permits will not be issued which are inconsistent with local zoning, police power, andlor land use laws. 5) The recent release ofdocuments by the New York Times also demands further study and the expansion ofthe scope ofthe dSGEIS. The documents disclosed by Mr. Ian Urbina in his series ofarticles published this spring reveal that neither New York nor neighboring states have facilities to treat the billions of gallons of hazardous wastewater containing radioactive materials and known human carcinogens that will flow back after a gas well is fracked. The facilities currently being used simply dilute the hazardous waste products before releasing them into rivers that are then used as a source for drinking water. How many billions ofgallons of such contamination can our water systems absorb before serious negative effects on health will be manifest, and what will the clean up costs be? The dSGEIS must be expanded to answer these questions before it is submitted for further public comment. 6) The dSGEIS was presented for public comment based on the assertion that a "generic" set of rules would apply throughout the State. After the public comment period closed, the Department, without notice to the public or any supporting data, reversed course and granted special protections for the New York City and Skaneateles watersheds. The public must be informed about why this change was made, must be given access to the scientific data on which this decision was based, and must be allowed a period of full public comment on this alteration. Further, any evidence that the New York City or Skaneateles watersheds can in fact be protected ifmassive fracturing is occurring just outside their borders must be included in any revised dSGEIS. 7) The dSGEIS contained another serious error that misled the public and tainted the entire public comment process. The draft, on its face, stated that there have been no incidents ofgroundwater contamination attributed to hydraulic fracturing anywhere where the process has been tried. These statements were made based on testimony from other states. However, they were inaccurately reported as they did not refer to the life cycle of the drilling process. See, for example, the attached comments Otsego 2000 submitted to the EPA in September 2010. Based on developing data, compiled since the public comment period closed, we now know that there are serious, documented claims ofcontamination ofdrinking water throughout the country where these practices have been used. The scope ofthe draft SGEIS must be formally expanded to analyze this data. 8) The scope ofthe draft SGEIS must also be expanded to address the actual projected economic impacts on the state. Evidence is mounting that the gas industry transforms the economy from existing economic uses to an extraction economy. If tourism, agricu~tural, and recreational uses ofthe land are destroyed, what economic impact will this have on the state? It has also recently come to our attention that gas drilling threatens the housing market because many banks will not underwrite loans if there is a gas lease on the land, or on adjoining parcels of land. Ifpeople cannot obtain mortgages and insurance because of gas drilling, how much will the state lose? Finally, the true costs offuture environmental clean-up and health care expenses must be factored in. Whatever instructions the Department may have received to complete the revised draft on a particular schedule, the truth is that the Department must be allowed to work on a schedule that is reasonable in light ofthe developing factual and scientific record. Any scientific endeavor must adjust its plans based on newly discovered facts and evidence. Please take immediate action to expand the scope ofthe dSGEIS, before releasing any further revision. Respectfully submitted, Nicole D |
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06/20/2011 Dear Governor Cuomo, I am not going to re write Mr Hang's letter to you. He expresses my concerns in detail and completely. I own a small home and 10 acres of land with wilderness views. It is 10 miles outside of Ithaca on a hill that is part of the rim of a Piedmont valley. With the exception of an occasional vehicle or falling tree limb, there is no sound on the hill but the wind in the leaves, and the birds. The air is clean and smells differently in all four seasons and with weather changes even throughout the day. I invite you to be my guest with your family and enjoy all the wildlife that can be seen on a regular basis from my new addition. There is a spring below the house and many species of local wild residents take the opportunity to drink there. I also invite you all to a big glass of sweet water from my well which is the only water supply. I will make the same offer if the hydrofracking changes my area, without my consent, coming like a thief underground and destroying my water supply, filling the air with fumes and killing the wildlife with the toxic waste. Which visit would you rather have? Which conditions would you rather live with? I bought that land in my early twenties with my mother's small life insurance policy in 1974. Regardless of my financial circumstances, I paid the taxes and have steadily built and made improvements on the house. That and my education (which is paid for) have been my major investments. What do you advise me to do if the water becomes flammable, as it has so close by in PA? When the rigs and the short term employment for out - of - towners are gone and I have poisoned water, poisoned land and poisoned air, what do you recommend I do? My property and the property around me will be worthless. The water shed goes to Cayuga Lake which will be toxic. The Fingerlakes tourism and agricultural economy will be gone and the only money being made will be for the gas companies. Please don't do that to Central New York. Watch the documentary Gasland, read the information and make the courageous choice. Wait until science (that will not profit financially) develops a technology is truly safe. Gas is not clean or cheap if it ruins the environment, neighborhoods, home owners and local economies. I wish the best for you and your family. The invitation to my small home is real. The water is great..... Very best regards. Esther H |
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04/22/2011 Dear Governor Cuomo, EPA REgional Administrator Enck, DEC Commissioner Martens, and Mayor Bloomberg, I am deeply concerned with the potentially catastrophic environmental damage that horizontal hydrofracturing could cause in New York State. I therefore urge you to: Provide at least 30 days public comment ASAP to identify additional issues that must be included in the draft SGEIS scope; Expand the scope of the draft SGEIS to include additional concerns, notably how to manage gas drilling wastewater; Establish Citizens and Technical Advisory Committees to help DEC revise the draft SGEIS; Require individual EIS reviews for horizontal hydrofracturing permits, "GA effluent limitations" for hydrofracturing, deep well injection and wastewater treatment as well as updating DEC's 1992 GEIS. Sincerely, Paul Z |
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04/13/2011 Please support: Expanding the scope of the draft SGEIS to include additional concerns, notably how to manage gas drilling wastewater; Establishing Citizens and Technical Advisory Committees to help DEC revise the draft SGEIS; Providing at least 30 days public comment to identify additional issues to be included in the draft SGEIS scope; Requiring individual EIS reviews for horizontal hydrofracturing permits, "GA effluent limitations" for hydrofracturing, deep well injection and wastewater treatment as well as updating DEC's 1992 GEIS. Thank you, John M |
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04/13/2011 I urge you and your staff to support expanding the scope of the draft SGEIS to include additional concerns, notably how to manage gas drilling wastewater. Also establishing citizens and technical advisory committees to help DEC revise the draft SGEIS. Provide at least 30 days public comment to identify additional issues to be included in the draft SGEIS scope. Require individual EIS reviews for horizontal hydrofracking permits, "GA effluent limitations" for hydrofracking, deepwell injections and wastewater treatment as well as updating DEC's 1992 GEIS. Thank you. |
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04/13/2011 Dear Mayor Bloomberg / Governor Cuomo / Ms Enck / Commissioner Martens -- I am so appalled that as a citizen I even need to ask the government to protect me from such an obvious toxic hazard to our drinking water and health as hydrofracturing. As s citizen of the state, I have always been proud of our impeccable water sources and the way they are protected. The federal government has completely sold us out to Dick Cheney's interests. Please make sure that the state acts to protect us. Demand that the state: Expand the scope of the draft SGEIS to include additional concerns, notably how to manage gas drilling wastewater, which has been shown to be radioactive; establish Citizens and Technical Advisory Committees to help DEC revise the draft SGEIS; provide at least 30 days public comment to identify additional issues to be included in the draft SGEIS scope; require individual EIS reviews for horizontal hydrofracturing permits, "GA effluent limitations" for hydrofracturing, deep well injection and wastewater treatment as well as updating DEC's 1992 GEIS. I also urge you to support investment in truly sustainable forms of energy, such as solar and wind. Thanks very much for listening, and please make sure our drinking water remains safe. Yours sincerely, Rachel W |