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Coalition Letter Requests That Formal Public Participation and Major Revisions for DOH Review of HVHF Be Adopted

February 24, 2013

Honorable Andrew M. Cuomo
Governor of New York
The State Capitol
Albany, NY 12224

Dear Governor Cuomo:

We, the undersigned, write respectfully to request that you:

a) immediately put on-hold your Department of Health's (DOH) Public Health Review of High Volume Hydraulic Fracturing (HVHF) pending fulfillment of formal public participation requirements;

b) resolve the fundamental shortcomings of your Department of Environmental Conservation's (DEC) draft Supplemental Generic Environmental Impact Statement (SGEIS); and

c) withhold completion of the DOH Review pending review of the final results of three investigations that your Health Commissioner Dr. Nirav R. Shah called "...the first comprehensive studies of HVHF health impacts at either the state or federal level."

d) require all these critical concerns to be addressed openly and transparently before your DOH completes its Public Health Review and DEC adopts a Final SGEIS based on the findings and recommendations of that DOH Review.

DOH Commissioner States That HVHF Review Requires Additional Time to be Completed

On February 12, 2013, Dr. Shah wrote to your DEC Commissioner Joseph Martens and stated:

"In September, you asked me to initiate a Public Health Review of the Department of Environmental Conservation's (DEC) draft Supplemental Generic Environmental Impact Statement for High Volume Hydraulic Fracturing (HVHF)."

"The Department of Health review is considering whether the final draft SGEIS adequately identifies potential public health impacts of HVHF and whether additional mitigation measures are needed beyond those already proposed in the draft SGEIS."

"The decision to permit HVHF is important, and involves complex questions about the impact of the process on public health. The time to ensure the impacts on public health are properly considered is before a state permits drilling (emphasis in the original)."

Dr. Shah concluded: "the DOH Public Health Review will require additional time to complete based on the complexity of the issues."

You were quoted on February 13, 2013 that hydraulic fracturing is "too important to make a mistake (emphasis added)." You were also quoted that you would not rush Dr. Shah to meet an "arbitrary (emphasis added)" deadline for completing the DOH Review.

DOH Review Requires Public Participation and Major Revisions

We could not agree more with your sentiments. That is why we write to ask that you fulfill the following requests.

A. Above all, it is inconceivable that the critically important DOH Review is being conducted totally in secret without any opportunity for public input. That is completely contrary to the "open" and "transparent" government you promised your administration would provide.

We also believe that you are required to provide formal public participation for the DOH Public Health Review. State law and regulations are clear about the reason for environmental impact statements (EISs). New York has an "obligation to protect the environment for the use and enjoyment of this and all future generations." In defining the word "environment," "human health" is specifically noted. The statute on environmental impact statements also makes explicit the requirement to "solicit comment" for proposals "that may significantly affect the quality of the environment."

We request that you immediately:

1) Put on-hold the DOH Public Health Review of HVHF pending fulfillment of all requested public participation requirements;

2) Provide written public notice of the intent and scope of the DOH Public Health Review as well as how it is being undertaken and all other appropriate disclosures regarding the proceeding;

3) Hold at least one public hearing to allow Dr. Shah and the three outside experts to hear testimony from interested parties about how the DOH Public Health Review should be undertaken in order to fulfill its mandate; and

4) Require a minimum 30-day public review and comment period regarding the DOH Review.

B. The DOH Review must resolve the shortcomings of a draft SGEIS that fails to document: 1) the full spectrum of air, land and water pollutants generated by HVHF; 2) the environmental fate and transport of those HVHF contaminants; 3) if the public is exposed to HVHF contaminants and for how long and at what concentration; and 4) the potential health outcomes caused by those exposures.

A previously secret State Health Impact Assessment document was recently reported by the press. It reports:

"...human chemical exposures during normal HVHF operations will be prevented or reduced below levels of significant health concern. Thus, significant adverse impacts on human health are not expected from routine HVHF operations."

"When spills or accidents occur, the Department has identified numerous additional mitigation measures, including emergency-response planning, setbacks and buffers, so that significant exposures to people and resources on which they rely are unlikely."

These critical assertions are directly contradicted by extensive information that DEC deliberately excluded from earlier draft SGEISs, including hundreds of natural gas/oil fires, explosions, polluted water supply wells, uncontrolled drilling wastewater discharges, abandoned and unplugged wells, illegal brine pits and home evacuations due to gas intrusion. These hazards are documented in New York State by DEC and local health departments in Chautauqua, Cattaraugus and Allegany counties.

Many of these incidents caused public health impacts far beyond the setbacks and buffers proposed by DEC in its Revised Rulemaking proposal.

Given these concerns, we request that the DOH Review include a detailed analysis of all these documented incidents with regard to DEC's proposed mitigation measures.

See Appendix A: New York State Data Sources Requested to be Included in DOH Public Health Impact Review of High Volume Hydraulic Fracturing
Link: http://www.toxicstargeting.com/node/37736

C. We request that the DOH Review must not be completed until it includes an assessment of the final results of at least the three investigations referenced in Dr. Shah's letter to Commissioner Martens. He wrote that: "These are the first comprehensive studies of HVHF health impacts at either the state or federal level (emphasis added)." We believe "prudence dictates (emphasis added)" that the DOH Review must assess the final results of these "first comprehensive studies (emphasis added)."

Conclusion

You have repeatedly vowed that your final decision whether to allow HVHF Marcellus Shale gas extraction in New York would be based on "facts and information." With that goal in mind, we request that you require the actions specified in this letter to be fulfilled without regard to any "arbitrary" deadline.

We trust that you will find our request self-explanatory. Thank you for your consideration. We look forward to receiving your prompt reply.

Very truly yours,

Total Signatory Count: 2299

Sharon Walsh
78 Cherry St
Geneva, NY
Leila Durkin
1112 Co Hwy 50
Cherry Valley, NY
Evan Remash
70 S 1st Street
Brooklyn , NY
Wrexie Bardaglio
9748 Arden Road
Trumansburg, New York
George Kobas
2 Evergreen Lane
Ithaca, NY
Risa Sokolsky
302 Van Ostrand Rd.
Newfield, NY
Caroline Arthur
112 W Lincoln St
Ithaca, NY
Patricia Duncan
Po box 16,
Roseboom, New York
Tracey Chen
3626 South Court
Palo Alto, CA
lucinda knaus
po box 238
Bearsville, NY
Christine Bogdanowicz
Assistant Director for Academic Programs-Shoals Marine Lab
106A Kennedy Hall, Shoals Marine Laboratory, Cornell University
Ithaca, NY
Robert Jacobson
342 Dean St.
Brooklyn, NY
Judith Pierpont
111 Pleasant Hollow Rd.
Freeville, NY
Wendy Fillmore
305 Esty Street
Ithaca, NY
Jane Blake
507 Gabel Road
Callicoon, NY
Dave Walczak
19 Allen St.
Bath, New York
Goline Doremus
101 Kelly Road
Arkville, NY
R, Dunleavey
Executive Board Member
101 Kelly Road
Arkville, NY
clare grady
201 elm st
ithaca, ny
Carmine Pasquale
2033 Albany Rd.
Frankfort, NY
Kathy Dewart
333 ellis hollow creek rd.
Ithaca, NY
Jane Clement
344 Co. Rd 29
Norwich, NY
Matthew Peterson
250 Culver Road
Ithaca, NY
Randy Stoutz
6 Cornelia Drive Apt 7
Rochester, NY
Dena Barbara
587 County Highway 18
Mount Upton, NY
Samuel H. Shapiro
215 Barnes Hill Road
Newfield, NY
Ruth Hardinger
20 N Moore St
NYC, NY
David Bornstein
5800 Arlington Ave. 9T
bronx, NY
Teresa Grady
P.O. Box 726
Ithaca, New York
ronald palmer
p.O. Box 89
south Plymouth, ny
Cameron Brown
39 Rosman Road
Thiells, New York
Katherine Hanna
210 Eddy Street
Ithaca, NY
Helen Bigsby
1004 Giles st
Ithaca, NY
kim berg
489 east rd
cadyville, NY
Mary Loehr
133 Sheffield Rd.
Ithaca, NY
Simon Jaworski
PO Box 301 105 Prospect Rd.
Centerport, New York
Laura Branca
328 Pleasant St.
Ithaca, NY
Lindsay Groves
Interim Principal Cellist
1246 Minnow Cove
Skaneateles, NY
Anne Siegel
Co-founder
PO Box 170
Unadilla, NY
Ron Powell
Co-Chair
24 Melvin Ave.
Cortland, NY
Inge Alexander
80 Yaple Rd
Berkshire, NY
Alisa Roost
302 CONVENT AVE APT 67
NEW YORK, New York
Lynne Bursic
PO box 574 Windborne Way
Trumansburg, NY
Yvonne Tasker-Rothenberg
local organizer
5211 Hook Circle
Jamesville, NY
Charles Bremer
artist
498 County Hwy. 5
Otego, NY
Jennifer Clark
3734 Eminence Road
Long Eddy, NY
Thomas Marion
85 Mountain Top Lane
Deposit, NY
Josephine Girardin
27 Reilly Street
West Islip, NY
Kalika Stern
75 Timberhill Lane
S.Fallsburg, New York
sunil dehipawala
222-05 56th ave
Bayside, New york

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