Concerned Citizens Around Murphy is an association of residents whose members are dedicated to revitalize St. Bernard Parish and renew the environment through public participation and resident advocacy.
From Our Neighbors and Friends upriver in St James Parish
As St Bernard Parish Council approves zoning changes to transform Florissant Highway to a heavy industrial corridor, it paves over paradise to accommodate requests for more methane pipelines and compressor stations, while still struggling to complete marsh and wetlands restoration in the same general areas. As the proliferation of methane extraction, processing, and export continues in Louisiana and Texas, we should at least try to understand that Methane is a potent greenhouse gas that has more than 80 times the power of carbon dioxide over a 20-year period. Methane currently makes up about 16% of all greenhouse gas emissions, it is responsible for between 20-30% of all global warming.
That is the legacy we are leaving our grandchildren with -- all in the name of exports and tax revenue.
CHEMICAL OF THE MONTH - Methane
By Caitlion O. Hunter, Esq.
A service program of RISE St. James; Caitlion O. Hunter, Esq.; Tim Schütz, PhD Researcher, Anthropology University of California, Irvine; and The Community Scientist (TCS) Research Team
At this year’s COP28, the United Nations’ annual climate conference, reducing methane emissions has been a hot topic of discussion for countries around the world. Fossil fuel companies pledged to reduce methane from pipeline leaks, using technology like satellites or drones to detect these rogue methane emissions. EPA announced new rules this month that also are estimated to stop methane from leaking into the atmosphere from leaks and flaring. In Louisiana alone, industrial facilities and oil and gas operations leaked and flared enough methane to power all the houses in Baton Rouge for one year! While stopping leaks is important, neither of these rules addresses the source of these methane emissions- mining, drilling, and burning fossil fuels. And neither the United States, by far the largest emitter of methane from oil and gas, nor China, by far the largest emitter of methane from coal, have meaningfully reduced their consumption or production of fossil fuels.
EPA Seeks Comment on Draft Policy for Public Participation in Agency Decision-Making Processes
The U.S. Environmental Protection Agency (EPA) announced the release of the draft policy, Achieving Health and Environmental Protection Through EPA’s Meaningful Involvement Policy, that outlines updates on how the Agency will engage with the public and provide meaningful public involvement in all of its programs and regions. This policy is grounded in the acknowledgment that EPA's actions further strengthen health and environmental protections when they are informed by individuals with lived experience.
This draft policy updates EPA’s 2003 Public Involvement Policy, and incorporates lessons learned over the past twenty years as it has worked to promote an agency-wide approach to providing meaningful involvement opportunities. EPA will apply the draft policy to all national program and regional actions that may benefit from public input. The draft policy describes 3 steps for meaningful involvement:
The draft policy will be available for a 60-day public comment period, ending on January 16, 2024.
Tribes may request consultation regarding this policy by January 5, 2024, by visiting EPA’s Tribal Consultation Tracking Opportunities System (TCOTS) website.
Comments can be submitted via:
Learn more: https://www.epa.gov/
Questions: Please contact MeaningfulInvolvementPolicy@
The draft policy advances the Biden-Harris Administration’s commitment for meaningful engagement with the people the Federal Government serves. Additionally, it builds on upon President Biden’s Executive Orders 13985, 13990, and 14008 to protect public health and tackle the climate crisis.
Background
In 1981, recognizing the requirements for meaningful public engagement in authorizing statutes and executive orders, EPA issued its Public Participation Policy, addressing public participation in decision-making, rulemaking, and program implementation by the Agency and entities carrying out EPA programs. In 2003, the Agency published its updated Public Involvement Policy, resulting from the multi-year effort of the cross-agency “Review of EPA Public Participation Policies” Workgroup established in 1999. EPA had success with hosting regular meetings of a cross-agency community of practice, building a web portal, developing training, publishing a newsletter, documenting case studies, and collecting information on customer satisfaction.
Although this document does not create new requirements or mandatory obligations for EPA, the recommendations finalized in the policy will provide the public with meaningful involvement opportunities for program and regional needs. EPA seeks to collaborate with all segments of the public on this policy.
This is a message from the EPA-EJ Listserve. This is a moderated listserve. Postings are done by the US EPA's Office of Environmental Justice. To send a message for posting, send it to environmental-justice-epa@epa.
The St Bernard Parish Registrar of Voters staff invite residents to come out and register to vote! Register to Vote any weekday 8am - 4:30pm at Registrar of Voters Office 8201 W Judge Perez Drive, Chalmette, LA
For the November 18 2023 Election
Candidate information: https://voterportal.sos.la.gov/candidateinquiry
For More Information Contact your local ROV in the Government Complex Building
Louisiana Elections Hotline Number is 1.800.883.2805
EPA's Dashboard Tools for Benzene fence line monitors are available HERE
Select Refinery Name for data.
Under EPA's "Refinery Rules" fence line monitoring data for benzene is reported to the EPA in two week averages for each monitor and also reported in facility wide annual rolling averages. There is no public access to real-time monitoring data and no requirement for community alerts.
On the EPA Dashboard website on the lower right, select the tool monitors for displays of the physical location of each monitor at the selected refinery. Switch to the tool to monitoring trend for display of the two week averages for each monitor at a facility.
For the 2nd Quarter 2023 at PBF Energy's refinery in Chalmette, Louisiana, the EPA monitoring trend tool indicates numerous two week averages benzene above the EPA "action level" of 9 ug/m3.
One monitor at PBF Energy Chalmette is displayed with 120 ug/m3 as a two week average for the time frame ending May 17 2023.
For more information on the EPA Benzene Fenceline Monitoring Program
PBF Energy's Chalmette Refining 2nd Quarter 2023 benzene report indicates further tank issues.
There have been no alerts to the surrounding community
see here for update: https://concernedcitizensaroundmurphy.blogspot.com/2023/04/benzene-levels-elevated-still.html
St Bernard Parish is growing and we invite others to come grow with us.
St Bernard is one of the fastest -- if not the fastest growing residential communities in Louisiana.
Businesses and industries in St Bernard are also growing.
In St Bernard we value our peaceful rural - suburban quality of life, and we seek to improve the environment and public health outcomes.
We want businesses and industries in St Bernard to be profitable, sustainable businesses.
But not at the expense of the peace and quiet of our residential communities, or at the expense of our air quality and human health.
We should be able to have economic development with growing businesses and growing family friendly neighborhoods -- it's not mutually exclusive.
St Bernard and adjoining Orleans Lower Ninth neighborhoods are already unjustly burdened with the non-attainment sulfur dioxide air quality mainly attributed to Rain CII Carbon, the recent high benzene fence line readings at PBF Energy's Chalmette refinery, and a high national percentile of diesel exhaust emissions.
Another part of the growing pains that further shift the balance towards industry stems from multiple industrial expansions recently permitted without consideration of rail traffic and night trains.
The recent schedule change from day time to night trains are the direct cause of significant adverse effects on public health and quality of life in communities along this single rail line, including minority and low income populations. It is another unjust burden on the families in our neighborhoods, and there seems to be no reason for night trains other than an unwillingness or inability to make the appropriate investments in rail infrastructure and adequate number of engines and crew members.
We're asking EPA Region 6, EPA's NEPA Program, USACE, and LDEQ to require a full rail traffic study in St Bernard Parish before issuing any more permits for expansions or new facilities, for the rail study to consider the lack of capacity for current industry and how rail service will accommodate growing business demands WITHOUT NIGHT TRAINS !!
Night trains are not an option in St Bernard Parish due to the close proximity of rail to housing and the numerous railroad crossings along the line from Braithwaite through Poydras, to Violet, Meraux, Chalmette, and literally meandering through neighborhoods in Arabi and then into Orleans Lower Ninth Ward neighborhoods. The vibrations of the engines physically rattle houses, and the horns along with the cling clanging on the rails wakeup households between the hours of 2AM and 4AM, 3 to 4 nights a week, sometimes more.
Our children can not grow and develop and learn at school with the sleep deprivation from night trains. In adults, sleep deprivation causes a number of negative pubic health outcomes, including increased thrombosis (blood clots) which causes strokes, heart attacks, and death.
Like so many other issues in our parish's environment, we are dependent on EPA and LDEQ to provide a livable human habitat. We implore EPA, EPA's NEPA Program, USACE, and LDEQ to consider rail traffic in all permitting decisions in St Bernard Parish.
We're asking the railway company to be a good a neighbor, to invest in the appropriate infrastructure, number of engines and crew members, and whatever else is required to prohibit night trains.
Public Participation
http://www.cleanwatershedcampaign.org/public-participation/
Over the years, this would be a familiar model of public participation. If
the panel was critical, its life was usually brief. Citizen oversight of one of
Michigan’s most powerful Fortune 500 companies would not be popular with
regulatory authorities, elected officials or more importantly, the Dow Chemical
Company......
Is this yet another exercise in futility or is it the finality so many of us
hope has arrived?
Do we participate in good faith? Eight years of Dow’s tactics of denial and
delay, eight years of frustration at the state’s impotence. Can the federal
government succeed? Can
the CAG succeed? Each individual active in this clean up will have to answer
these questions for themselves. I for one am not prepared to let any
opportunity to hold Dow and the EPA accountable slip away.
Terry Miller, Chairman Lone Tree Council
Thy Shalt Not Covet Thy Neighbors House
http://concernedcitizensaroundmurphy.blogspot.com/p/turner-v-murphy.html
Semi Annual Reports on Permit Exceedances
http://edms.deq.louisiana.gov/app/doc/view.aspx?doc=8255329&ob=yes&child=yes
http://edms.deq.louisiana.gov/app/doc/view.aspx?doc=8263650&ob=yes&child=yes
We want what any other St. Bernard Parish neighborhood would want; clean air, clean water, and uncontaminated soil; and for families and friends to live peaceful lives. As we restore our homes and revitalize our community we are preserving the integrity of our residential neighborhoods and improving our quality of life.
We join with our neighbors for neighborhoods to effect the ever changing decisions that empact our community by encouraging citizen particpation and providing advocacy for all residents who are committed to return, rebuild and remain in St Bernard Parish Louisiana