We, the undersigned, respectfully write to request that you immediately require your Department of Environmental Conservation (DEC) to prohibit the use of "gelled propane," Liquified Petroleum Gas (LPG) and all other so-called "'environmentally friendly' or 'green' alternatives" hydraulic fracturing methods that have never been the subject of an Environmental Impact Analysis conducted pursuant to the State Environmental Quality Review Act (SEQR).
The use of propane, LPG and other hydraulic fracturing methods that do not involve water is referenced, but not comprehensively analyzed, in Section 9.3 of the Final SGEIS (Supplemental Generic Environmental Impact Statement): “'Green' or Non-Chemical Fracturing Technologies and Additives."
See: http://www.toxicstargeting.com/MS/2015-07-16/FSGEIS/Chapter-9/LPG
DEC concluded in its Final SGEIS:
"It is important to note that use of 'environmentally friendly' or 'green' alternatives may reduce, but not entirely eliminate, adverse environmental impacts."
DEC's Final SGEIS Findings Statement specifically rejects the use of an "environmentally-friendly chemical approach" for the same reasons that water-based high-volume hydraulic fracturing has been prohibited on a statewide basis:
"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).
The Department rejects the other available alternatives (the 'phased-permitting approach,' the 'environmentally-friendly chemical approach (emphasis added),' and the 'Special Places' alternative) because they all fail to limit unavoidable adverse environmental impacts and fail to address the risks and uncertainties of high-volume hydraulic fracturing (emphasis added)."
Nevertheless, DEC inexplicably failed to include gelled propane, LPG and all other "'environmentally friendly' or 'green' alternatives" within the definition of high-volume hydraulic fracturing adopted by the Final SGEIS Findings Statement.
DEC's high-volume hydraulic fracturing definition is limited only to "300,000 gallons or more of water:"
"1 High-volume hydraulic fracturing is defined as 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. The 300,000-gallon threshold is the sum of all water (emphasis added), fresh and recycled, used for all stages in a well completion. Well stimulation requiring less than 300,000 gallons of water (emphasis added) as the base fluid for hydraulic fracturing for all stages 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."
Conclusion
We request that you immediately require your DEC to prohibit the use of gelled propane, LPG and all other "'environmentally friendly' or 'green' alternatives" hydraulic fracturing methods that have never been the subject of an environmental impact analysis conducted pursuant to SEQR.
In addition, we request that New York adopt a high-volume hydraulic fracturing prohibition definition that includes all available "'environmentally friendly' or 'green' alternatives" for the same reasons that high-volume hydraulic fracturing using water has been barred on a statewide basis.
Finally, unless and until gelled propane, LPG and all other available "'environmentally friendly' or 'green' alternatives" non-water fracking methods are the subject of an environmental impact analysis conducted pursuant to SEQR, we request that their use not be permitted in New York either for conventional vertical gas or oil extraction wells or horizontal wells involving high-volume hydraulic fracturing.
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 address.
Thank you for your consideration.
Always respectfully,
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Mario Hernandez
163 Ridge Road, Apt. 2
Lansing, NY |
Stephen Singer
445 Ferguson Rd
Freeville, NY |
Penny Baron
445 Ferguson Road
Freeville, NY |
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Jane Fasullo
Old Field Rd.
Setauket, NY |
Jerry Ravnitzky
Mr.
124 Hill Street
Mahopac, NY |
patricia wood
Executive Director
Grassroots Environmental Education
52 Main Street
Port Washington, New York 11050 |
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Anne Lazarus
Ms
524 East 20t St. 2G
New York, New York |
Kristopher Hussmann
135 Simmons St.
Athens, GA |
Alicia Pagano
12562 County Highway 23, box 313
Unadilla, NY |
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angela manno
42 Commerce St
NY, NY |
Thomas Fredericks
379 Elston Hill Rd.
Van Etten, NY |
Geniene Wilson
physician
17 North Franklin Street
Athens, NY |
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Gloria Foster
Master Social Worker -retired
3906 Chatham Ln
Canandaigua, NY |
Catherine Hill
Retired
None
3513 Golf St
Nashville, TN |
Thomas Gorman
476 Poplar Hill Road
Unadilla, NY |
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Marcy Chamblin
Ms.
P.O. Box 185132
Hamden, CT |
John Patterson
255 Park Settlement Rd.
Owego, NY |
Edward Zyskowski II
136 Juneberry Rd
Vestal, NY |
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Frederick Bauman
Mr.
106 Rupp Rd
Monticello, NY |
janine palazzo
172 hilltop drive
afton, New York |
sara t. quick
41 marsh rd.
ithaca, New York |
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Joan Ross
36 Madison Avenue East
New Baltimore, NY |
Christopher Reed
59 Main Street
Philmont, New York |
Rebecca Smyth
216 First Street
Ithaca, New York |
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Heriberto Rodriguez
C-Care
533 County Highway 18
Mount Upton, New York |
Ann Clune
89 Pine St
Binghamton, ny |
marcia sykes
143
SCOTIA, New York |
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Ken Hollander
80 Lewis Hollow Rd.
Woodstock, NY |
Lawrence and Karen Stein
7426 State Route 17C
Endicott, NY |
Joan Koster
Coordinator
Concerned Citizens of Rural Broome
Whitney Point, New York |
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Dia Iannarelli
20 Tatomuck Road
Pound Ridge, NY |
Gerard Cook
member
Sierra Club, Preserve the Hudson Vally, Stopthe CPV plant
36 Ridge Drive
Mount Hope, New York |
Patricia A. Witten
151 Wood Rd.
Freeville, NY |
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Christa Cadorette
786 Jones Road
Vestal, NY |
Carole Maner
1245 Oak hill Road
Franklin, NY |
Goline Doremus
Execuctive Board Member
Catskill Heritage Alliance
101 Kelly Road
Arkville, NY |
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R. Dunleavey
Secretary, Executive Board Member
Catskill Heritage Alliance
101 Kelly Road
Arkville, NY |
John Cadorette
786 Jones Road
Vestal, NY |
John Jongen
Convener
Citizen's Alliance for a Pristine Perinton (CAPP)
164 West Church Street
Fairport, New York |
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Lindsay Speer
Director
Creating Change Consulting
220 Hayts Rd
Ithaca, NY |
Cathleen Cummings
77 Beam Hill Rd.
Dryden, NY |
Esther Lerman
Ms.
17 W Main St Apt D
Bainbridge, NY |
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William Volcko
803 Crow Hill Rd
Skaneateles, NY |
Mona Perrotti
67 Utica Street
Clinton, NY |
Rose Mary Hooper
5 Mechanic St.
Naples, NY |
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Bruce Clark
8264 Interlaken Beach Road
Interlaken, New York |
Betty Carlisle
MD
muskrat bay rd
Brewerton, ny |
Meg Doherty
Build a better future
778 sheffield rd
enfield, ny |
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Howard Weinblatt
2684 Kenyonville Rd.
Albion, NY |
Deborah Jones
Board Member
Community Science Institute
3166 Perry City Rd
Trumansburg, New York |