We, the undersigned, write respectfully to request that your Department of Environmental Conservation issue a Supplemental Findings Statement to revise its definition of high-volume hydraulic fracturing (HVHF) to prohibit all forms of shale fracking in New York, not just HVHF based on "300,000 or more gallons of water."
Our request is critically important because DEC received a gas well permit application on April 24, 2015 to frack Marcellus shale using gelled propane instead of water in Tioga County. Since then, there have been many exchanges between DEC and the applicant.
Your administration clearly knew that its HVHF definition was inadequate to implement the No-Action decision in the Findings Statement issued on June 29, 2015.
Given that shortcoming, we request that you take immediate action to fulfill the shale fracking prohibition specified in the Findings Statement:
"Based on unavoidable adverse environmental impacts and uncertainty regarding the science surrounding high-volume hydraulic fracturing and its potential impacts to public health and the environment, the Department finds that the best course of action is to select the No Action alternative. Selection of the No Action alternative means that the Department will not establish a high-volume hydraulic fracturing permitting program; that no individual or site-specific permit applications for wells using high-volume hydraulic fracturing will be processed; and that high-volume hydraulic fracturing will be prohibited in New York State (emphasis added)."
See PDF page 42 at: http://www.dec.ny.gov/docs/materials_minerals_pdf/findingstatehvhf62015.pdf
DEC's No-Action decision reflects a determination that non-water HVHF associated with the “environmentally-friendly chemical approach," including "Liquid CO2," "Nitrogen-based foam" and " Liquefied Petroleum Gas (LPG)," "all fail to limit unavoidable adverse environmental impacts and fail to address the risks and uncertainties of high-volume hydraulic fracturing."
Yet, the Findings Statement's HVHF definition excludes those fracking methods because it is limited to:
"the stimulation of a well using 300,000 or more gallons of water (emphasis added) as the base fluid for hydraulic fracturing for all stages in a well completion, regardless of whether the well is vertical or directional, including horizontal."
We request that the definition of HVHF prohibit the use of gelled propane proposed in Tioga County by specifically barring the use of "water or any other substances" as the base fluid for hydraulic fracking proposed for Marcellus Shale in New York.
We also request that the definition of "high-volume" hydraulic fracking be revised from 300,000 or more gallons for all stages of a well completion to 5,000 or more gallons for any stage of a well completion.
Given those concerns, New York's definition of HVHF should be:
"High-volume hydraulic fracturing is defined as the stimulation of a well using 5,000 [300,000] or more gallons of water or any other substances as the base fluid for hydraulic fracturing for any [all] stage[s]in a well completion, regardless of whether the well is vertical or directional, including horizontal, in Marcellus Shale and other low-permeability gas reservoirs. The 5,000 [300,000]-gallon threshold is the sum of all water or any other substances, fresh and recycled, used for any [all] stage[s] in a well completion. Well stimulation requiring less than 5,000 [300,000] gallons of water or any other substances as the base fluid for hydraulic fracturing for any [all] stage[s] in a well completion is not considered high-volume, and will continue to be reviewed and permitted pursuant to the 1992 GEIS, and 1992 and 1993 Findings Statements, but not for Marcellus Shale and other low-permeability gas reservoirs."
Adopting this revised definition is critical to implementing your administration's final conclusion regarding HVHF:
"Consistent with the social, economic and other essential considerations from among the reasonable alternatives available, the No-Action alternative avoids adverse environmental impacts to the maximum extent practicable; including impacts disclosed in the supplemental environmental impact statement..."
We trust that you will find our request self-explanatory, but please do not hesitate to contact us if you have any questions that we might be able to answer.
Thank you very much for your consideration.
Very respectfully yours,
|
Dru Wheelin
Ms
1028 Ellis Hollow Rd
Ithaca, NY |
James Rauch
73 Koster Row
Snyder, NY |
Andrew Slusar
160 Midline Rd
Slaterville Springs, NY |
|
Gail Flanery
1137 Hedgewood ane
Niskayuna, NY |
ed mues
greenville road
sundown, ny |
Chelsea Zantay
SAVE Burden Lake/Stop New York Fracked Gas Pipeline
35 Blue Heron Drive
Averill Park, New York |
|
Elizabeth MacFarland
Ms.
568 Hervey Susie Rd.
Cornwallville, NY |
Theodore Burger
3370 Woodbridge Cir.
Bethlehem, PA |
Barry Klein
568 Hervery Sunside Rd
Cornwallville, ny |
|
Michelle E. Wright
Trumansburg, New York |
Jeffrey Juran
800 S Plain St Apt 806
Ithaca, NY 14850 |
Anita Gehrke
17 Clove Valley Rd.
High Falls, NY |
|
Celia Bowers
1406 Trumansburg Road
Ithaca, NY |
Melinda Terpening McKnight
CEO
Energy Conservation Specialists, LLC
60 Holland Drive
West Hurley, NY |
William Wakefield
P. O. Box 393
DeRuyter, New York |
|
M Jane Kribs
Ms.
25 Eggleston St
Corinth, NY |
Gerald Gerrard
Proprietor
Gerrards' Prancing Pony Pfarm
RR Box 119 North ain St. Rd.
Black River, NY |
Nancy Morone
3 Schuyler Ct
Wynantskill, NY |
|
Dena Barbara
587 County Highway 18
Mount Upton, NY |
Matthew F. Carney III
201 Walnut Street, Apt. No. 102
Corning, New York |
Jennifer Williams
119 Catalpa Drive
Horseheads, NY |
|
Roseann Marrero
121Blueberry Drive
Deposit, New York |
Henrietta Wise
Mrs.
208 Krumville Road
Olivebridge, New York |
Barbara Hebert
Kingston, NY |
|
Cornelia Dedona
586 Hickory Bush Rd
Kingston, New York |
Kathleen Ruiz
Professor
Rensselaer Polytechnic Institute
Olivebridge, N.Y. |
Laurence Kirby
woodstock, ny |
|
Lucienne Tompkins
39 Lower Creek Rd
Ithaca, NY |
Wade Leftwich
122 Valley View Rd
Ithaca, NY |
David Bruner
Kingston Transition
50 Hudson St
Kingston, NY |
|
Marybeth Carlberg
MD
783 Franklin St
Skaneateles, NY |
Amy Anderson
30 Sycamore Street
Kingston, New York |
michael frys
member
sierra club
conklin rd
conklin, ny |
|
Sara Victoria
Ms.
80 Seaman Ave. 6E
New York, New York |
Maureen Black
15 Hi View Road
Wappingers Falls, NY |
Chuck Tauck
Owner
Sheldrake Point Winery
1359 Taughannock Blvd
Ithaca, NY |
|
CM Gormly
650 Old Boston Rd
Batavia, OH |
Gail Neely
190 Millard Hill Road, Apt. A
Newfield, NY |
William Vought
po box 1225
Woodstock , NY |
|
rena turner
256 e 10th st
ny, ny |
Kathleen Mandeville
477 FDR dr.
NYC, NY |
Anne Rhodes
91 Ed Hill Rd.
Freeville, NY |
|
Rachel Thiesmeyer
2370 W 21st Ave
Eugene, OR |
susannah reese
211 Brink Rd
candor, NY |
Deborah Joyce
n.a.
west saugerties
Saugerties, NY |
|
Patricia Harlow
Mrs.
1967
70 Old State Rd
Binghamton, NY |
Micaela Karlsen
332 Aiken Rd
Trumansburg, NY |
Susan Attia |
|
Nell Tomassen Reboh
New Paradigm MDT Ambassador of Love
New Paradigm Americas Association
552 Buckhorn Lake Rd
Unadilla, NY |
John O'Connor
Associate Director and Recording Vice President
Associated Musicians of Greater New York, Local 802 AFM
4999 E Handsome Brook Rd
Franklin, NY |