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,
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Joseph Lawrence
107 West Falls Street
Ithaca, NY |
Catherine Cicero
352 Ruggle Road
Gansevoort, NY |
Sara Schaffzin
313 Utica Street
Ithaca, New York |
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Carol O'Brien
8415 Garlinghouse Rd
Naples, New York |
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New York, New York |
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mrs
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Rochester, NY |
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Daniel Sternglass
President and CEO, Feather Labs, Inc.
Feather labs, Inc.
403 Highgate Road
Ithaca, NY |
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Gary Cox
Documentary writer, producer, director
Finger Lakes Museum and Aquarium
4881 Stone House Dr.
Geneseo, NY |
Sue Rapp
248 Noyes Road
Vestal, New York (NY) |
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631 Crescent Ave.
Buffalo, NY |
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5244 Perry City Rd.
Trumansburg, NY |
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Catskill Heritage Alliance
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Arkville, NY |
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Trout Unlimited
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Ithaca, NY |
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Brooklyn, NY |
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PO Box 752
Hammondsport, New York |
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Cuba, NY |
Donald Gardon
9768 Partridge Rd
Colden, New York |
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Madison, OH |
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Gary Nickerson
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New York, New York |
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Brooklyn, NY |
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New York, N.Y. |
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NEWFIELD, NY |
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Vestal, New York |
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280 Nevins Street
Brooklyn, New York |
Patricia Aakre
6 Varick St. 8B
New York, NY |
Donald Recklies
420 4th Avenue #1
Brooklyn, NY |
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Luther Peterson
19 Margaret St
Oswego, NY |
Mary Lee Martens
Board President
Moving in Congregations Acting in Hope
4356 cosmos Hill Rd.
Cortland, NY |
Lewis Ward
246 Smith Rd.
Newfield, NY |
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Megan Parry
5250 Jenkins Henry Road
Hartsville, New York |
Greg Papa
Year
1005 Glenwood Rd.
Vestal, New York |
sally norman
47 Tremaine Avenue
Kenmore, ny |
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Pat Duquette
Smith Pond Rd
Avoca, NY |
Michael O'Reilly
5745 federal Road
Conesus, New York |
Matt Frisch
20 Kelly Rd.
Arkville, New York |
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504 Winton Rd N
Rochester, New York |
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Groton, NY |
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Eureka, CA |
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Producer/Reporter/Editor
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New York, Ny |