FERC says they do not need to do a Health Impact Assessment. We disagree. Read why here and on the Risks & Issues page.
Click to view full report: Health Impact Assessment
FERC says they do not need to do a Health Impact Assessment. We disagree. Read why here and on the Risks & Issues page.
Click to view full report: Health Impact Assessment
NESE PROPOSED COMPRESSOR STATION 206:
Chemical Emissions & FERC’s Claim That There’s No Need To Do A Health Impact Assessment In The Area
Update of Concerns & Issues
after FERC published the Draft Environmental Impact Statement (DEIS) on March 23, 2018
FERC’s claims and conclusions in the DEIS:
However:
NOTE: Ozone is not directly emitted into the atmosphere from an emissions source; it develops as a result of a chemical reaction between NOx and VOC in the presence of sunlight. Therefore, NOx and VOCs are often referred to as ozone precursors and are regulated to control the potential for ozone formation. VOCs are defined as any compound of carbon which participates in atmospheric photochemical reactions; however, VOCs do not include CO and CO2, nor methane and ethane (among other organic compounds), which have been determined to have negligible photochemical reactivity (40 CFR Part 51.100(s)(1)). VOCs associated with transmission-quality natural gas are limited to butane, propane, pentane, and hexane. (DEIS, page 4-277)
CO = 56.86tpy NOx = 22.74tpy VOC = 8.35tpy; PM10 = 18.94tpy
PM2.5 = 18.94tpy SO2 = 3.07tpy GHG (natural gas) = 132,720tpy
Annual: 10.1 microgram/m3 (EPA-NAAQS threshold: 12 microgram/m3 )
24-hour 32.1 microgram/m3 (EPA-NAAQS threshold: 35 microgram/m3 )
SOME STUDIES OF HEALTH HAZARDS OF EMISSIONS FROM NATURAL GAS-FIRED COMPRESSOR STATIONS
Bowe, B., Xie, Y., Li, T., Yan, Y., Xian, H. & Al-Aly, Z. (2017, September 21). Particulate matter air pollution and the risk of incident CKD and progression to ESRD. Journal of American Society of Nephrology, 29: 218-230. Retrieved from http://jasn.asnjournals.org/content/29/1/218.full.pdf+html
Compendium of scientific, medical, and media findings demonstrating risks and harms of fracking (unconventional gas and oil extraction) (5th ed.) (2018, March). Concerned Health Professionals of New York & Physicians for Social Responsibility. Retrieved from http://concernedhealthny.org/compendium/
Kloczko, N. (2015, November). A brief review of compressor stations. Southwest Pennsylvania Environmental Health Project. Retrieved from http://www.environmentalhealthproject.org/files/A%20Brief%20Review%20of%20Compressor%20Stations%2011.2015.pdf
NY Compressor Station Report. Retrieved from http://www.environmentalhealthproject-ny.org/
Russo, P.N. & Carpenter, D.O. (2017, October 12). Health effects associated with stack chemical emissions from NYS natural gas compressor stations: 2008-2014. Institute for Health and the Environment – A Pan American Health Organization / World Health Organization Collaborating Centre in Environmental Health, University at Albany.
Retrieved from https://www.albany.edu/about/assets/Complete_report.pdf
Summary of Minisink Monitoring Results.
Retrieved from http://www.environmentalhealthproject.org/resources/10/click/5
Summary on compressor stations and health impacts. (2015, February 24). Southwestern Environmental Health Project. Retrieved from http://www.environmentalhealthproject.org/files/Summary%20Compressor-station-emissions-and-health-impacts-02.24.2015.pdf
The hazards of a compressor station: A town wakes up to the realities of corporate deception. (2015,
November). Retrieved from http://350ma-berkshires.org/the-hazards-of-a-compressor-station-a-town-wakes-up-to-the-realities-of-corporate-deception/
RISKS OF CHEMICALS THAT WILL BE EMITTED FROM THE PROPOSED COMPRESSOR STATION 206
AMMONIA
CS206 emission 29,580 lbs per year |
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FORMALDEHYDE
CS206 emission 660 lbs per year |
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RISKS OF CHEMICALS THAT WILL BE EMITTED FROM THE PROPOSED COMPRESSOR STATION 206
BENZENE
CS206 emission |
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ETHYLBENZENE
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RISKS OF CHEMICALS THAT WILL BE EMITTED FROM THE PROPOSED COMPRESSOR STATION 206
ACETALDEHYDE
CS206 emission 44 lbs per year |
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NAPHTHALENE
CS206 emission 2 lbs per year |
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RISKS OF CHEMICALS THAT WILL BE EMITTED FROM THE PROPOSED COMPRESSOR STATION 206
TOLUENE
CS206 emission 142 lbs per year |
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XYLENE
CS206 emission 70 lbs per year |
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FERC has posted the Notice of Schedule for DEIS, FEIS and Authorization Deadline.
FERC update: https://elibrary.ferc.gov/idmws/common/OpenNat.asp?fileID=14789824
FERC notes that “This schedule is predicated on Transco demonstrating a feasible and timely method for addressing general conformity, such that the final General Conformity Determination can be issued with the final EIS. If a schedule change becomes necessary for the final EIS, an additional notice will be provided so that the relevant agencies are kept informed of the Project’s progress.”
What this update means
What can you do?
If you do oppose this project and recognize the dangers it poses to your family, neighborhood and environment; then now is an impacting time to raise your voice to FERC, NJDEP, EPA and elected officials.
The more people and elected officials that get involved, the more likely FERC will listen and follow our raised issues. Additionally, the recent 12/29/2017 data dump has many flaws in the data and inconsistent with the summary data.
December 29, Transco posted two files to FERC in the link below. If FERC is down, we can provide you the files. Just let us know.
https://elibrary.ferc.gov/idmws/file_list.asp?accession_num=20171229-5010
In this update, there are two files:
1. Transco_NESE_Supplemental_Information_2017-1228.PDF
2. Appendix_D_MOVES2014a_Output_Files.PDF -Raw Data Dump
Transco did not follow FERC’s instructions to break it out into Year 1 and Year 2. Instead Transco displayed all the construction as if it were to occur in 2 months (January and July) during 2018. Obviously, since the DEIS is not issued yet, these dates do not reflect any real timeline.
Transco often provides data that does not meet the requirements from FERC. The key question is, will enough public and elected officials ‘tell’ FERC to not accept this inferior data? Without public and elected officials comments, FERC will move ahead and accept this data.
How can you ‘tell’ FERC this is not acceptable? There are 2 ways.
1. On Twitter.com – Tweeting to @CoryBooker @SenBooker @SenatorBobSmith @NJDEP @EPA asking their support to tell @FERC @FERChatterjee @CLaFleurFERC @FERCRPowelson that the Construction emissions data from Transco for CP17-101 is insufficient and does not follow the requirements from FERC and requires FERC to ensure data is fully met prior to issuing the DEIS (Draft Environmental Impact Statement). People can also tweet about the other gaps that we have identified that are not included in preparation for the DEIS.
2. Comment to FERC as a registered intervenor updating FERC the construction emissions data does not meet FERC’s requirements and that FERC must ensure data is fully provided as a mandatory requirement prior to the DEIS. Additionally outlining the gaps in data and analysis not performed to fully analyze environmental impact of the proposed project. Note: if you need email addresses for elected officials, EPA and NJDEP to forward your FERC comment, please email us at stopftcompressor (at) yahoo (dot) com.
On www.scrap-nese.org there are instructions how to register as an intervenor and how to submit a comment. Please bare with our website, we are working to update and improve it to keep it inline with the progress. As a small group, the Steering Committee is still new to website editing.
Any questions, please feel free to email us at stopftcompressor (at) yahoo (dot) com.
FERC issued an update regarding meeting with Transco along with Agencies EPA and NJDEP.
Click here to read the 12/22/2017 FERC Meeting note with Transco, EPA & NJDEP
Despite the Transco update, included below the meeting notes, does not address all of the stated FERC requirements, FERC has decided it will move forward with issuing the schedule soon for the DEIS. FERC decided to decouple the General Conformity requirement from issuance of the DEIS.
What this means is that FERC does not want to bother waiting for details and specifications of the construction emissions in order to provide a more accurate environmental impact statement. FERC is choosing to wing the DEIS instead of demanding more details from Transco.
Missing data for proposed Compressor 206
Included in Transco March 27 Application to FERC are the estimates that the proposed compressor will emit 29,580 lbs of Ammonia, 320 lbs of HCHO3, 44 lbs of Acetaldehyde, 6 lbs of Acrolein, 14 lbs of Benzene, 34 lbs of Ethylbenzene, 32 lbs of Propylene Oxide, 142 lbs of Toluene and 70 lbs of Xylenes per year continually on a year over year basis.
These toxic chemicals have known impact on environment and human health. Additionally, these are estimates from Transco with no independent validation from existing Transco Compressor stations that already have MARS 100 compressors such as STA 515, STA517 and STA520 (in PA).
What can you do today? Send a note to EPA, NJDEP and FERC to let them know it is unacceptable to proceed with an environmental impact statement without the details and analysis to perform an accurate environmental impact statement. Without this data and analysis, DEIS is not legitimate. Need more information? Contact stopftcompressor(at)yahoo(dot)com.
Our latest FERC Sample Submissions
– Compressor missing details
– Raritan Bay Missing details and analysis
Thank you Senator Bob Smith for writing this important letter to the acting Chairman of FERC and expressing your concerns.
Goal of Williams/Transco for the Northeast Supply Enhancement Project (NESE):
In Pennsylvania, they plan to add:
Raritan Bay Loop Pipeline |
Madison Loop Pipeline |
23.49-mile, 26-inch loop (0.16 mile onshore and 23.33 miles offshore) of Transco’s Lower New York Bay Lateral from Mile Post 12.00, southwest of the Morgan Meter & Regulator (M&R) Station in Sayreville, NJ to the Rockaway Transfer Point in New York State waters | 3.43-mile, 26-inch loop of Transco’s Lower New York Bay Lateral from Compressor Station 207 at Mile Post 8.57 to Mile Post 12.00, southwest of the Morgan M&R Station |
Compressor Station 206 Franklin Township (Somerset County) |
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new compressor station near Transco’s mainline, |
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Two 50-foot smokestacks where:
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Williams/Transco:
Transcontinental Gas Pipe Line Co. LLC (Transco) is a wholly-owned subsidiary of Williams Partners Operating LLC, which is a subsidiary of Williams Partners L.P., which is a subsidiary of the Williams Companies, Inc.
Learn more, read the information packet from the South Brunswick Informational Meeting held by Food and Water Watch.