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Governor Cuomo: Please disclose how the findings and recommendations of your Dept. of Health's Public Health Review of Shale Fracking will be translated into public policy

March 14, 2015

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

Dear Governor Cuomo:

We, the undersigned, respectfully request that you publicly disclose how the findings and recommendations of your Department of Health's A Public Health Review of High Volume Hydraulic Fracturing (HVHF) For Shale Gas Development will be translated into public policy.

We further request that you address the detailed concerns presented below before adopting any Final Supplemental Generic Environmental Impact Statement (SGEIS).

Key Public Health Review Conclusion

The Public Health Review's key conclusion is:

"Until the science provides sufficient information to determine the level of risk to public health from HVHF to all New Yorkers and whether the risks can be adequately managed, DOH recommends that HVHF should not proceed in New York State."

See page one at: https://www.health.ny.gov/press/reports/docs/high_volume_hydraulic_fracturing.pdf

Request for Public Disclosure as well as Open and Transparent Decision Making Process

While we applaud your administration's landmark Public Health Review conclusion, it is unclear how it will be translated into public policy. We write today to request that you clarify this matter.

First, please make clear whether your administration plans to ban permanently all high volume hydraulic fracturing of Marcellus Shale in New York through a legally-binding prohibition or adopt some other form of shale fracking prohibition.

Second, it is our understanding that your Department of Environmental Conservation (DEC) will implement the Public Health Review's findings and recommendations by adopting a Final SGEIS and issuing a Findings Statement to conclude the proceeding.

Even though you stated on 12/17/14 that those actions would be "self-executing," we respectfully request that you reveal the scope of the Final SGEIS before any final action is taken on the matter.

The original purpose of the SGEIS was to provide permit guidelines for shale gas extraction. That is implicit in the SGEIS title: "Well Permit Issuance for Horizontal Drilling and High-Volume Hydraulic Fracturing in the Marcellus Shale and Other Low-Permeability Gas Reservoirs."

We are concerned that a Final SGEIS might permit HVHF in the future without any further public review or comment and despite the prohibition recommended in the Public Health Review.

We also believe it would be premature to adopt HVHF permit guidelines before resolving the shortcomings documented in the Public Health Review and otherwise brought to your attention.

Given these concerns, we respectfully request that you: a) immediately provide written public notice regarding the scope of the proposed Final SGEIS proceeding, b) hold public hearings about the proceeding and c) accept public comments to resolve questions about this critical matter openly, transparently and with full formal public participation before adopting a Final SGEIS.

Please Address Fundamental Shortcomings Documented in the Public Health Review

The Public Health Review states: "Based on this review, it is apparent that the science surrounding HVHF activity is limited, only just beginning to emerge, and largely suggests only hypotheses about potential public health impacts that need further evaluation (emphasis added)."

The Public Health Review also notes: "many of the published reports investigating both environmental impacts that could result in human exposures and health implications of HVHF activities are preliminary or exploratory in nature (emphasis added)."

The Public Health Review cautions: "Furthermore, the public health impacts from HVHF activities could be significantly broader than just those geographic locations where the activity actually occurs, thus expanding the potential risk to a large population of New Yorkers (emphasis added)."

See pages one and two at: https://www.health.ny.gov/press/reports/docs/high_volume_hydraulic_fracturing.pdf

Please Address "Significant Uncertainties" Documented in the Public Health Review

We also respectfully request that you disclose how DEC and DOH propose to address the "significant uncertainties" referenced in the Public Health Review regarding:

"the kinds of adverse health outcomes that may be associated with HVHF,"

"the likelihood of the occurrence of adverse health outcomes," and

"the effectiveness of some of the mitigation measures in reducing or preventing environmental impacts which could adversely affect public health."

See page two at: https://www.health.ny.gov/press/reports/docs/high_volume_hydraulic_fracturing.pdf

Please Address the Most Important Decision Specified by the Public Health Review

We request that you disclose how New York State will decide when:

"the science provides sufficient information to determine the level of risk to public health from HVHF to all New Yorkers and whether the risks can be adequately managed..."

All these Public Health Review procedural matters are critical to determining if HVHF will ever be allowed to proceed in New York. That is why it is imperative that you address these matters without delay.

Draft SGEIS Shortcomings Also Must Be Resolved Before Final SGEIS is Adopted

Tens of thousands of concerned citizens, legislators, academic researchers, business owners, religious leaders and health professionals have respectfully written you to document grave concerns about the Final Revised Draft SGEIS' numerous technical shortcomings as well as that it is indisputably outdated and lacks current information.

See: http://www.toxicstargeting.com/MarcellusShale/cuomo/coalition_letter/2011

http://www.toxicstargeting.com/MarcellusShale/letters/2014/6/23/coalition-letter-withdraw-sgeis

Conclusion

We trust that you will find our requests self-explanatory, but please do not hesitate to contact us if we can clarify our concerns. We look forward to receiving your prompt reply.

In conclusion, we wish to thank you, Commissioners Joe Martens and Dr. Howard Zucker, as well as all your DEC and DOH colleagues for their dedicated work performed under challenging circumstances to safeguard the public health of "all New Yorkers" as well as the environment of our state from shale fracking hazards. We commend your public service.

Always very respectfully,

Total Signatory Count: 1228

Roger Horning
3801 south falls road
Hector, New york
Courtenay O'Hara
CCO
PO Box 185
Otego, New York
John Back
Mr.
self
7 Harder Road
Barryville, NY
Sheila Ann Dean
2010 Ellis Hollow Road
Ithacs, NY
susan gateley
12025 delling
wolcott, ny
Heather Roman
3453 Shingle Valley Rd.
Genoa, NY
Stuart Anderson
Mr.
238 Main Street
Otego, NY
Antonia Shouse-Salpeter
116 Westbourne Lane
Ithaca, NY
Larri Richmond
1139 Ellis Hollow Rd.
Ithaca, NY
Nicole Dillingham
Board President
Otsego 2000, Inc.
PO Box 101
Springfield Center, New York
Jim Armstrong
Founder/Creative Director
Factivist
25 Washington Street
Trumansburg, NY
Eugenia Siracusa
Director
Owasco Flats Nature Reserve
35 Charles Street
Auburn, NY
Marsha Lipshitz
428 East 77 Street, #4A
New York, NY
Cynthia Bowman
1041 Comfort Road
Spencer, NY
Cathrine Abbate
11 Foley PLace
Huntington Station, New York
Lynn Thor
member
N. E. Organic Farming Association of New York
632 Tunnel Rd.
Tunnel, New York
Charles F. Pierce
Mr.
8 Medallion Drive
Otego, New York
Bonnie Gale
412 County Road 31
Norwich, NY
William Feldman
Creator
REALNYS
401 Highland Rd
Andes, NY
Brewster Chase
President
NOWN
252 ETNA RD
ITHACA, New York
Amy Trompetter
founder
Redwing Blackbird Theater
PO Box 518
Rosendale, NY
Teri Lanciault
125 Merchant St
Guilford, NY
Tom Noonan
Front St.
Hancock, New York
Me aureen Dill
Facilitator
Advocates for Morris
3221 State Highway 51
Morris, New York
Myra Rappoport
PO Box 88
Yulan, New York
Mina Takahashi
founding member
Concerned Residents of Oxford
PO BOX 631
Oxford, NY
Ann Kozak
Member
NYRAD
219 Pennsylvania Ave
Hancock, New York
Kelly Branigan
Founding member
Middlefield Neighbors
467 Springfield Hill Rd.
Cooperstown, New York
Steven Ellsworth
Mr.
Sustainable McDonough
850 Hammerle Rd.
Oxford, New York
Mindy Yanish
Rev.
44 Lily pond ln
Katonah, Ny
Susan Bishop
24 Church Street
Deposit, NY
Suzanne Thorpe
353 Winter St. Ext.
Troy, New York
Donald Mintz
Professor emeritus
Montclair State University
29 Whig Street
Trumansburg, NY
Donald W Argus jr
2411 E Calhoun St
Seattle, WA
Christina Countryman
Abac' Drafting
15 Rast Rd
Shokan, NY - New York
Patricia Ross
Ms.
12 Foxwin Ln.
Elmira, NY
Gundula Lee
RD #1
Newfield, NY
Michael Maxwell
97 Fir Tree Point Road
Rock Stream , NY
Anne Pyterek
Blue Bus Books
PO Box 942
Crestone, CO
cenie cafarelli
56 Rand Place
Pittsford, NY
Bruce Medanich
109 Lord Lane
S. New Berlin , New York
Cynthia Brock
Alderperson, First Ward
City of Ithaca
409 Campbell Ave
Ithaca, NY
Laurie Roe
108 West Buffalo Street
Ithaca, NY
Ross M. Horowitz
820 W King Rd.
Ithaca, NY 14850
Cynthia R. Thomas
28 Brodhead Road
West Shokan, NY
Judy Smith
Ms.
400 County Road 31
Norwich, New York
Cris McConkey
Member
First Unitarian Society of Ithaca
402 Aiken Road
Trumansburg, NY
Judith Hyman
Enfield Neighbors for Safe Air and Water
632 Bostwick Road
Ithaca, NY
Sandra Salisbury
151 Sherwood Hill Rd.
Brewster, NY
Frances King
Human
1941
250 Baca Grant Way
Crestone, CO

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