Saturday, September 24, 2022

NEPA reform harmful to communities

 How in the world would you go home and explain it? 

"Even if your project doesn’t meet environmental reviews, even if it’s not fiscally responsible, even if it’s not going to meet any standard of economic development, you still might get it through" IF you can convince Congress to fast track permitting.

Congress seeks to attach reforms to NEPA in its annual budget vote this month.

The proposed NEPA reforms do not protect the environment, do not protect the affected communities, and do not increase domestic supply. The majority of the energy sector projects expecting full congressional favor from the proposed bill are for exports

This so called Energy Independence and Security Act makes oil and gas and other energy companies independent of existing regulations that currently require comprehensive environmental review. This handshake deal for pet projects in certain States would allow a fast tracking permit process for a West Virginia pipeline for EXPORTS. As utilities move beyond coal to natural gas, the Republicans in Congress were successful in lifting the ban on oil and gas exports. And as Rick Perry described in 2015, the way to teach Russia a lesson is to flood the European market with LNG. The growing profits in the international market spurred the rush for Mountain Valley to secure a permit for the West Virginia section of its pipeline. Without the permit, MV is not able to finalize contracts with international shippers (based on reporting by Bloomberg Law). More recently, Putin's War in Ukraine and Russian sanctions have caused global spikes in prices for natural gas. As the US exports more, prices rise State-side.

"The 91-page bill would set a two-year target for National Environmental Policy Act, or NEPA, reviews for major energy and natural resource projects that require a full environmental impact statement and reviews from more than one federal agency. The target would drop to one year for projects that require a less thorough environmental assessment, with the issuance of all other permits due within 180 days of finishing the NEPA process."  -- Molly Christian, Zack Hale, Maya Weber  S&P Global Manchin Releases Long Awaited Bill

This is not good for any of us to allow Congress to decide which projects can avoid full NEPA reviews, and which jurisdiction would hear motions to oppose and or appeals for a specific project. 

TARA HOUSKA: "It, to me, says you’ve got a project that has not passed environmental review. It’s a project that funders and investors are very concerned about. It’s a project that’s bad all the way around and just cannot get momentum and get it going. And here you see Congress just deciding, “Oh, you know what? We’re going to give it a pass,” and specifically this project, so, setting this precedent of, well, even if your project doesn’t meet environmental reviews, even if it’s not fiscally responsible, even if it’s not going to meet any standard of economic development, you still might get it through. That’s what this precedent is saying."  -- -From a recent interview with Democracy Now   .

Monday, September 19, 2022

Save Lake Maurepas

 

Concerns linger in the air as company moves forward to store CO2 under Lake Maurepas

By Katie Easte WBRZ - TV Baton Rouge

Air Products, an industrial gas supplier, seeks to conduct seismic surveys of Lake Maurepas in Livingston Parish before dredging and tearing up the lake's bottom in preparation for CO2 storage. Air Products intends to meet clean air act requirements for the criteria pollutant, CO2, by storing the gas in injection wells under Lake Maurepas, rather than releasing the Greenhouse Gas into the atmosphere. GHGs are compound gases that trap heat or longwave radiation in the atmosphere. Sunlight or shortwave radiation easily passes through these types of gases and the atmosphere, making the Earth's surface warmer. Earth is an amazing planet and will cool itself with more frequent and more intense weather events, such as heavy rains and typhoons and hurricanes. The planet will survive; it remains to be seen how various species of life on Earth will be able to adapt to the changing climate patterns from warming temperatures, including the human species. 

The Livingston Parish Council recently passed a moratorium banning injection wells from being installed under the lake. It remains unclear how this new technology for CO2 will affect the lake's ecosystem and the quality of life for residents.   

Air Products' Blue Energy LLC (Air Products) is proposed for construction and operation in Darrow, Louisiana. Its initial Title V Part 70 air operating permit application indicates the complex includes production facilities, pipelines, and "pore space for the permanent sequestration of carbon dioxide." Air Products lists on page 9 and recaps on page 20 of the application the proposed pollutants to be emitted, noting "the proposed Darrow Blue Energy facility emissions include no criteria pollutants greater than the Title V Part 70" thresholds that would classify the project as a Major Source. Therefore, under the Clean Air Act 40 CFR Part 70 Operating Permit Program, "the facility is classified as a minor source."

LDEQ does not typically public notice nor conduct public hearings to receive public comments for a minor source. Although public comments can always be sent to the state agency at
 DEQ.PUBLICNOTICES@la.gov 
REFERENCE AI 233211 PER20220001


The permit application is available in LDEQ's EDMS document 13210585 dated 3/21/2022

Based on reporting by Katie Easte at WBRZ - TV, the seismic survey's permits may be through the LDNR.








Sunday, September 4, 2022

We need EPA to step in to clear the air

Louisiana Department of Environmental Quality has failed to meet EPA deadlines for State Implementation Plans (SIPs) to improve air quality, including the State's Regional Haze plan and the State's plan for sulfur dioxide. St Bernard Parish is designated nonattainment sulfur dioxide air quality and several residential areas of the community are in the very high percentiles for NATA Diesel particulate matter (PM2.5), according to EPA's EJScreen Tools. Residents are concerned about public health, lack of action by EPA, and the growing number of proposed economic development projects that will result in further air quality degradation. 

The Louisiana SIP for Regional Haze plan should address and restrict emissions of nitrogen oxides and sulfur dioxide, including emissions from "electric power plants, refineries, and chemical plants" to improve visibility in national parks and wilderness areas. Louisiana SIP for Regional Haze has been delayed since 2018 and the State missed a July 2021 deadline for an EPA approved SIP. According to environmental journalist Mark Schleifstein, pollution from Louisiana plants adversely affect air quality at two federal areas: The Breton National Wildlife Refuge [BNWR], including the Breton Sound and Chandeleur islands of St Bernard & Plaquemines Parishes, Louisiana, and the Caney Creek and Upper Buffalo wilderness areas in Arkansas. In August 2022 "Kemp's ridley sea turtle hatchlings were found on Chandeleur islands for first time in at least 75 years," and the closure of the MR-GO has contributed to improved conditions for the BNWR. 

Louisiana DEQ and EPA need to step up and do their part to be part of the solution.

The State SIP for sulfur dioxide in St Bernard Parish should address and restrict all sources of sulfur dioxide emissions to lower ambient air levels below the one-hour health limit of 75 parts per billion SO2. Louisiana & EPA have delayed a St Bernard Parish SIP for sulfur dioxide. Regulators continue to address an air operating permit at Rain CII Carbon Chalmette calcining. Efforts continue to focus on the challenges at Rain CII in meeting the public health standard. The challenges seem to vary as much as the plant's various operating scenarios and as noted in 2018 public comments: "On April 20 2018 the EPA published in the Federal Register [...] a notice to approve the February 2 2018 Rain AOC as a source specific SIP revision to make it permanent and federally enforceable. Rain considers this proposed rule to be extremely problematic since it simply cannot operate its facility subject to the AOC limits."  

Meanwhile, lung health is at risk. A recent study by the University of Massachusetts Political Economy Research ranks neighboring Chalmette Elementary School as low as the Third National Percentile for air quality, and nearby Dr. Martin Luther King, Jr Pre-4 - 12th Grade Charter School for Science and Technology in Orleans Parish Lower 9th Ward in the 10th National Percentile for air quality. 

Our children deserve better. Improvements to both State SIPs would greatly improve air quality, public health outcomes, and quality of life, especially for residents who reside on the other side of the fence from the polluting plants.

According to research reporting at ProPublica, Chalmette Louisiana residents in the neighborhoods near the PBF Energy Chalmette refinery and the Rain Carbon CII Chalmette calciner have "an estimated excess lifetime cancer risk from industrial sources of about 1 in 17,000."  "Over the five years ProPublica analyzed, the excess risk here has ranged from as low as 1 in 28,000 to as high as 1 in 12,000. In 2018, the risk was 1 in 12,000."







The Most Detailed Map of Cancer Causing Industrial Air Pollution in the U.S.  by Al Shaw and Lylla Younes, additional reporting by Ava Kofman  November 2 2021 Updated March 15 2022


https://projects.propublica.org/toxmap/

Wednesday, August 10, 2022

not good for any of us

NEPA Reviews proposed to be limited and streamlined by Congress

Agreement with Manchin includes the rolling back of NEPA to streamline bedrock environmental processes to avoid NEPA reviews on Congress' selected projects.

This is not good for any of us to allow Congress to decide which projects can avoid full NEPA reviews, and which jurisdiction would hear motions to oppose and or appeals for a specific project. 

TARA HOUSKA: "It, to me, says you’ve got a project that has not passed environmental review. It’s a project that funders and investors are very concerned about. It’s a project that’s bad all the way around and just cannot get momentum and get it going. And here you see Congress just deciding, “Oh, you know what? We’re going to give it a pass,” and specifically this project, so, setting this precedent of, well, even if your project doesn’t meet environmental reviews, even if it’s not fiscally responsible, even if it’s not going to meet any standard of economic development, you still might get it through. That’s what this precedent is saying."  -- -From a recent interview with Democracy Now   .


According to -- Tara Houska, Indigenous lawyer and founder of Giniw Collective  it seems the Congressional agreement with Senator Manchin to pass the recent Reconciliation Bill in the Senate is "Like, this is a handshake agreement about the permitting provisions, the rolling back of NEPA, the, quote-unquote, “streamlining” of bedrock environmental processes and designation of 25 different projects to avoid these reviews." .... “Black and Brown people continue to disparately experience the effects of extractive industry,” she adds. Bishop William Barber, co-chair of the Poor People's Campaign , says the bill contains too much compromise. “Part of the bill was putting a pipeline that Black and white and Brown and poor people in frontline communities are fighting right now,” he says.  

From a recent interview with Democracy Now  

JUAN GONZÁLEZ [Democracy Now]: The Inflation Reduction Act provides over $6 billion in funding for environmental justice priorities, something Rob Weissman mentioned earlier. Tara, was anyone in the environmental justice movement that you know involved in helping to craft this provision?

TARA HOUSKA: No. There’s been some pretty serious pushback regarding the lack of representation in the drafting of this bill, specifically on the pieces that affect our communities directly. You know, from my perspective, it doesn’t really work to throw money at us if we don’t have habitable places to live. So, if our communities are underwater or if our air is poisoned and we’ve got pipelines and mines and all the things that are destroying our lands actively, how is some investments in block grants supposed to help us? You know, those are really serious questions that this bill is lacking.

And to that one piece that was just said, too, about, like, where we’re at in terms of blocking the bill, you know, there is this side deal that Manchin has mentioned and that they promised him, right? Like, this is a handshake agreement about the permitting provisions, the rolling back of NEPA, the, quote-unquote, “streamlining” of bedrock environmental processes and designation of 25 different projects to avoid these reviews. That’s going back to the House, and they’re going to try to attach it to appropriations. So there still is something that can be done at the congressional level. 


In order to pass the recent Reconciliation Bill in the Senate, according to ProPublica article  : Contributed by Ken Ward Jr. (Mountain State Spotlight) to ProPublica’s Local Reporting Network    there is this Congressional agreement in order to " ... accommodate the West Virginia senator, Democratic leadership agreed to legislation streamlining permits for the often-stalled Mountain Valley Pipeline [MVP] and removing jurisdiction from a court that keeps ruling against the project." .... "The White House and congressional leaders have agreed to step in and ensure final approval of all permits that the Mountain Valley Pipeline needs, according to a summary released by Manchin’s office Monday evening."



https://www.documentcloud.org/documents/22125418-2022_08_02_manchin-energy-permitting


Energy Permitting Provisions

Designate and prioritize projects of strategic national importance. 

 Direct the President to designate and periodically update a list of at least 25 high-priority energy infrastructure projects and prioritize permitting for these projects. 

 Require a balanced list of project types, including: critical minerals, nuclear, hydrogen, fossil fuels, electric transmission, renewables, and carbon capture, sequestration, storage, and removal. 

 Criteria for selecting designated projects includes: reducing consumer energy costs, improving energy reliability, decarbonization potential, and promoting energy trade with our allies. 

Set maximum timelines for permitting reviews, including two years for NEPA reviews for major projects and one year for lower-impact projects. 

 Require a single inter-agency environmental review document and concurrent agency review processes. 

 Designate a lead agency to coordinate inter-agency review. 

 Expand eligibility for the Federal Permitting Improvement Steering Council (FPISC) streamlining and transparency programs to ensure smaller energy projects, critical minerals and mining, and other key programs can benefit from FPISC. Provide FPISC funds to accelerate permitting. 

 Improve the process for developing categorical exclusions under NEPA. 

Improve Section 401 of the Clean Water Act by incorporating improvements from both the Trump and Biden administrations. 

 Require one of four final actions within one year of certification requests: grant, grant with conditions, deny, or waive certification. 

 Clarify that the basis of review is water quality impacts from the permitted activity, based on federal, State, and Tribal standards. 

 Require certification applications to include available information on potential water quality impacts. 

 Prohibit State or Tribal agencies from requesting project applicants to withdraw applications to stop/pause/restart the certification clock. 

 Require States and Tribes to publish clear requirements for water quality certification requests, or else default to federal requirements. 

Address excessive litigation delays. 

 Set statute of limitations for court challenges. 

 Require that if a federal court remands or vacates a permit for energy infrastructure, the court must set and enforce a reasonable schedule and deadline, not to exceed 180 days, for the agency to act on remand. 

 Require random assignment of judges for all federal circuit courts. 

Clarify FERC jurisdiction regarding the regulation of interstate hydrogen pipeline, storage, import, and export facilities. 

Enhance federal government permitting authority for interstate electric transmission facilities that have been determined by the Secretary of Energy to be in the national interest. 

 Replace DOE’s national interest electric transmission corridor process with a national interest determination by the Secretary of Energy that allows FERC to issue a construction permit. 

 Require FERC to ensure costs for transmission projects are allocated to customers that benefit. 

 Allow FERC to approve payments from utilities to jurisdictions impacted by a transmission project. 

Complete the Mountain Valley Pipeline. Require the relevant agencies to take all necessary actions to permit the construction and operation of the Mountain Valley Pipeline and give the DC Circuit jurisdiction over any further litigation.



Tuesday, July 5, 2022

no update available on diesel fuel spill

 Given no update at this time on the diesel fuel spill in our community canal, here's some suggested reading on the clean water act and what every resident and community partner can do to be part of the solution.  

According to Louisiana Land CAN [Conservation Assistance Network] The State of "Louisiana determined that agriculture, forestry, urban runoff, home sewage systems, sand and gravel mining, construction and hydromodification all contribute to nonpoint source pollution problems across the state. Nonpoint source pollution is the largest remaining type of water pollution that needs to be addressed within Louisiana and across the nation in order to restore the designated uses (i.e. fishing and swimming) to the impaired water bodies."

https://www.louisianalandcan.org/local-resources/Louisianas-Nonpoint-Source-Pollution-Unit--LDEQ/32467#:~:text=Louisiana%20Land%20Conservation%20Assistance%20Network,-Toggle%20navigation&text=Nonpoint%20source%20pollution%20is%20a,is%20generated%20during%20rainfall%20events.


https://www.waterboards.ca.gov/water_issues/programs/swamp/docs/cwt/guidance/112a1.pdf


The June 2022 discovery of diesel in our community's canals should give us all pause to consider how fuel and motor oil and other chemicals migrate into the surrounding wetlands, not only from industrial facilities but also from our residential driveways and local businesses. Rain waters carry chemicals from facilities and driveways alike into the wetlands via storm water canals. The canals are discharged into the sensitive estuaries of the central wetlands, including Bayou Bienvenue. 

According to LDEQ, just one gallon of motor oil from the change of a vehicle will pollute a million gallons of water. Let's all do our part to be part of the solution and not dump wastes into municipal storm drains and storm water canals. 

Tuesday, June 28, 2022

It's hurricane season, is your refinery ready?

 

The recent discovery of diesel in our community's canals should give us all pause to consider how fuel and motor oil and other chemicals migrate into the surrounding wetlands, not only from industrial facilities but also from our residential driveways. Rain waters carry chemicals from facilities and driveways alike into the wetlands via storm water canals. The canals are discharged into the sensitive estuaries of the central wetlands, including Bayou Bienvenue. 

According to LDEQ, just one gallon of motor oil from the change of a vehicle will pollute a million gallons of water. Let's all do our part to be part of the solution and not dump wastes into municipal storm drains and canals. Additionally, storage tanks should comply with the clean water act and have a surrounding containment area capable of containing the full contents of the tank. Spills and leaks should be promptly reported to prevent human health risks. Mitigation and clean-up should begin as soon as the incident is known. Spill and leak prevention, including routine inspections and other countermeasures should already be in place to keep our wetlands from contamination. 

The recent discovery of diesel in our community's canals also highlights how ill prepared nearby facilities, including our own drainage pumps and waste water treatment plant, may be for hurricanes, tropical rain storms, and other rain events. Crude oil, diesel, and other chemicals stored in tanks are subject to EPA's spill prevention, control, and countermeasure regulations [SPCC] (40 CFR Part 112). Owners and operators of a SPCC qualified facility are required to ensure there is adequate secondary containment to prevent oil and chemical leaks and spills from reaching waterways. 

Many residents fish or kayak and otherwise enjoy the 40 arpent canal or the canal's bicycle and walking paths, and the district councilmember has requested SBPG place temporary signs to alert the public of the ongoing fuel discharge incident and to not fish these waters until further notice.

On the June 2022 diesel spill/leak incident, the silence from LDEQ and other protection agencies is deafening. It's hurricane season, are the refineries ready? In 2005, a nearby tank farm had more than one tank with serious issues known long before the storms. Lessons learned should be implemented and not ignored, swept under the rug, or allowed to wash out into the sea. We all have the right to clean air, clean water, and uncontaminated soil. Let's all do our part to be part of the solution.


Friday, June 24, 2022

Title V Air Permits

 If you are like most people, you are unsure of how to find out whether an industrial facility that pollutes the air in your community (such as a factory, power plant, or municipal waste incinerator) is complying with the Clean Air Act. Air quality requirements are numerous and complex. What requirements apply to the facility that you are concerned about? How do you find out if the facility is obeying the requirements?

This handbook will help you ensure that a Title V permit issued to a facility in your community is as protective of human health and the environment as possible.  [Keri Powell, New York Public Interest Research Group (New York, NY)]

The Proof is in the Permit

updated 2020


http://www.cacwny.org/docs/Title%20V%20-%20The%20proof%20is%20in%20the%20permit.PDF





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