Getting Well Water Tested Carbon County Pennsylvania

The Carbon County Environmental Education Center, in conjunction with the Keystone Clean Water Team, is offering a low-cost well-water testing opportunity for area residents.

Test kits are available now for pick-up at CCEEC. Homeowners may collect water samples, then return them on Sunday, April 19, from 1:00 to 3:00 pm, where Environmental Consultant and Hydrogeologist Brian Oram will perform certain tests immediately. Other results will be mailed confidentially within two weeks.

Two testing options are available: a $50 test includes total coliform, pH, nitrate, nitrite, conductivity, and other parameters, and a more comprehensive test is available for $95.

Updated Pricing for 2018
Option 1: $ 65.00
Option 2: $ 110.00

Homeowners with private wells are encouraged to test their water at least once each year, and area residents whose property might be impacted by any future development should consider testing to establish a baseline of well water quality.

For more information on this program, call CCEEC at (570) 645-8597. The Center is located at the west end of Mauch Chunk Lake Park, just outside Jim Thorpe, at 151 E. White Bear Drive in Summit Hill.

The program is underwritten by the Organizations Sponsors – Your Company or Business Can Sponsor– https://www.youtube.com/watch?v=sJPOkLpWQo4

or Become an Individual Supporter – https://www.youtube.com/watch?v=zbOXE7HS7PE

Or we have a mail order program through our National Partner NTL (City Water Testing / Well Water Testing)

 

 

Schaumburg area Illinois Get Your Private Well Tested Trichloroethylene (TCE)

“Water in some private wells near Schaumburg might be contaminated and should be tested, according to the Illinois Department of Public Health.   Related Smoking around oxygen tank eyed as cause of fatal fire SCHAUMBURG AREA Smoking around oxygen tank eyed as cause of fatal fire.  During routine testing of Schaumburg’s water supply, the department officials discovered trichloroethylene and tetrachloroethylene might be present in private wells.  The wells that could be affected are in an area south of Algonquin Road, west of Salt Creek, north of Gold Road and east of Meacham Road. A second area located south of Briarwood Lane, north of Algonquin, east of Meacham and south of Westwood Lane could also be affected, according to the health department.

There were no violations of state or federal standards in Schaumburg’s community water supply, according to the public health department.

People in the areas potentially affected, and who get their water from private wells, are encouraged to have their well water tested for volatile organic compounds by a private laboratory.   Tetrachloroethylene (PERC) is a liquid often used in the textile industry and in aerosol dry-cleaning products, while trichloroethylene (TCE) is often used to remove grease from fabricated metal and to make some textiles, according to the Environmental Protection Agency.”  (article source)

More on Trichloroethylene

We recommend Test Kit

Take Action !
ATSDR on Tetrachloroethylene

Pipeline Panel Discussion Northeastern Pennsylvania

Wilkes University is hosting a panel discussion entitled “Gas Pipelines in Northeastern PA: Challenges and Solutions” on Thursday, 19 March between 7:30 P.M. – 9:30 P.M.  The session will be held in Stark Learning Center, Room 101.  The event is free.

The purpose of the session will be to offer the public a balanced perspective on natural gas pipeline development.  Regulatory, planning, and landowner issues to protect PAs citizens and its environment while allowing for infrastructure development will be explored.

Panelists will include Mike Mara (UGI Energy Services), Dave Horn (LIUNA), Davitt Woodwell (Pennsylvania Environmental Council), Paul Metro (Pennsylvania Utility Commission), Josh Longmore (Luzerne County Conservation District), State Senator John T. Yudichak, Kenneth Klemow (Wilkes University), and Brian Oram (BF Environmental Consultants Inc).

The anticipated format will involve panelists responding to a series of prepared questions, followed up by moderated questions from the audience.

Ken

 Directions to Campus

Campus Map (You want Stark Learning Center)

*****
Links

Online Training Courses Related to Natural Gas Development
Sustainability Training
Stream Restoration Courses

Gas pipelines in Northeastern PA: Challenges and Solutions

Gas pipelines in Northeastern PA: Challenges and Solutions

 

For the New or Future Water Well Owner Homebuyer in Pennsylvania

Welcome to Pennsylvania and Welcome to Managing Your Own Small Water Company

In Pennsylvania,  there are generally no specific construction standards for private wells and there is only some general guidance with respect to well placement and construction.  Further, private well water is not regulated by the EPA or PADEP and therefore it is up to YOU to check your water to ensure that the well produces good clean and adequate water.    This is only a short summary of the information.  If you are interested we offer a Private Well Owner Training Course that can be offered as a Workshop for Your Community, Association, or other Organization.

There are a number of steps to this process and well will break them down as follows:

Well Placement
Well Construction
Well Testing (Yield and Quality)
Well Maintenance
Annual Water Testing

Well Placement
In general, the primary guidance with to water well placement in Pennsylvania is that a water well should be 100 feet from a septic system (regulated), 50 feet from a septic tank (regulated), 10 feet from a sewer line under pressure (regulated), and 10 feet from a property line. To be honest, these isolation distance do not consider impacts from other natural conditions or activities.  In general, we  would recommend the following:

1. If possible, the private well owner should control all activities within a 50 to  100 foot radius of the wellhead, i.e.., top of the water well. These activities should include: use of pesticides and herbicides, storage of toxic or hazardous chemicals, storage or management of manure and other waste, diversion of surface water and runoff, overuse of the area by grazing animals, location of burrow pits, burn pipes, rubbish storage, or storage of used cars or other items that may contain antifreeze, oils, and greases.
2. Well casing should extend at least 12 inches above grade.
3. Well should be fitted with a sanitary well cap that has some form of venting.
4. The well should be located at least 10 feet from a property line.

Other suggested isolation distances

Delineated wetlands or floodplains (25 feet)- with top of casing 3 feet above flood elevation.
Surface waters (25 feet) Storm water Systems (25 feet)
BioInfiltration Stormwater Systems (50 feet +)
Spray Irrigation/ Septage Disposal (100 feet+)
Sinkholes and Closed Depressions (100 feet +)
Farm silos / manure storage (200 feet) Septic Systems (100 feet)
Septic Tanks/Holding Tanks (50 feet)
Chemical Storage/Preparation Area (300 feet)

Well Construction

1. Prefer the use of steel casing that extends at least 15 feet to 20 feet into firm bedrock or 60 feet below ground, whichever is greater.
2. Casing should be of  adequate wall thickness to deal with corrosion and stress – 19lb casing.
3. The base of the casing should contain a driveshoe on the bottom of the casing and casing centralized in the borehole.
4. Wells drilled by a licensed well driller using only potable water as the drilling fluid.
5. Casing should be double circumferential welded or threaded casing
6. Well caps should be sanitary well caps that are properly vented.
7. Annular space should have a grout layer that is at least 1.5 inches thick.
8. Pitless adapters should be used over well pits.

Well Testing (Yield and Quality)

After the well is drilled, the well should be developed using surging, air-lift, or pumping the well.  This is done to clean out the well cuttings and improve yield.  In some cases, this needs to be done to improve the efficiency of the borehole. If the well yield is low, some well drillers will hydrofrac the well. If you are going to hydrofrac a water well, we recommend zone hydraulic fracturing to isolate the deeper potential water-bearing zones.   After the well development has been completed, a shock wellbore disinfection should be conducted.  The well should be allowed to fully recover and a minimum 2-hour yield test is recommend.  After the yield testing, the well should be shock disinfected.  For information on shock disinfection – we recommend visiting Water-Research Center.   The well yield data should include the static water level (water level before pumping), maximum dynamic water level (maximum depth to water during pumping), pumping rate, and length of the pumping test.  This data should be included on the well log and the specific capacity of the well should be reported.  The specific capacity is the rate of yield or gallons per minute per foot of drawdown.  The drawdown is the difference between the static and dynamic water level measurement. 

Before the end of the yield testing, it is recommended that a general water quality analysis of the well be conducted.  This testing should include bacterial quality, general water quality, and specific parameters that are known problems for your region.  Do not rely on a free water analysis or a basic water quality screening down by the well driller.  This should be either information or certified testing conducted by a laboratory.  For information on this type of testing, please contact the Keystone Clean Water Team or the Water-Research Center.   The initial water quality testing data should be reviewed and evaluated.  The first well or city water quality test should be a comprehensive water quality check.  If you are want informational water testing, we would recommend either the Well Water Check or the City Water Check Option. This evaluation should include the need for any further action to improve the well security, continue with well development, or add equipment to improve well water quality.  In some cases, water treatment systems are installed as an additional barrier or layer of protection.  In many cases, the only type of additional treatment that is needed is a whole-house particle filter and a sanitary well cap.  For information on Do-it-Yourself Water Treatment Systems.

Well and System Maintenance

At a minimum, the well water system should go through an annual inspection.  This inspection could be associated with the annual water quality test or inspection of any water treatment systems.  During this evaluation, the aesthetic quality of the water should be evaluated and some basic field water quality screening should be conducted.   For the field water screening, it is possible this can be done using a number of low-cost meters or an informational water quality screening test.

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Annual Water Testing

Depending on the results of the initial evaluation, the results should be evaluated to determine what are the water quality parameters that should be monitored to help track the general water quality of the well.  If a water treatment system was installed, the annual water quality evaluation should include the performance of the water treatment system.  If you need help with determining what you need, WE can Help – Here is a partial listing of the informational water screening tests !  The Keystone Clean Water Team can provide guidance on the selection of water quality parameters, review water quality data, and make recommendations on the water quality parameters.  If you are interested, you may want to obtain a copy of our Educational Booklet and Brochure.

To Review a Number of our Case Studies – Common Private Well Problems and Fixes.

Everything we do began with an idea.

We have offered “Free” Assistance to this effort, but if you are a private well owner that needs assistance we are happy to help.

We realize your time is precious and the world is hectic. CCGG’s volunteers do only what they’re comfortable with. It can be a little or a lot.  Get YOUR WATER Tested – Discounted Screening Tests !

For more information, please go to CCGG’s About Page or contact us.  Follow us on Twitter 

Keystone Clean Water Team is a 501(c)(3) IRS approved nonprofit, volunteer organization and your donation is tax deductible to the extent allowed by law.    Unsolicited donations are appreciated (Helps us complete our mission), but we also do local educational workshops and local cellphone/small electronic recycling programs. If you would like to set up a program to help recycle cellphones at an event, business, or other organization.  Through our program we can recycle  cell phones, iPods, game systems, and small digital cameras.  If your interested, please contact us.

Help the Organization and Get Your Water Tested (Partner Site) or Order the Private Well Owner Guide (proceeds benefit This Organization). Water Science Basics!

Toxic Substances and Disease Registry (ATSDR) Centers for Disease Control (CDC) Northeast Pennsylvania Polycythemia Vera Investigation

Agency for Toxic Substances and Disease Registry (ATSDR)/Centers for Disease Control and Prevention (CDC) Northeast Pennsylvania Polycythemia Vera (PV) Investigation

Background 

In 2004, using state cancer registry records, the Pennsylvania Department of Health (PADOH) found a PV cluster in northeast Pennsylvania. PV is part of a disease group called myeloproliferative neoplasms (MPN), which is a group of slow-growing blood cancers where the bone marrow makes too many red blood cells, white blood cells, or platelets.

In 2006, ATSDR was asked to help study PV patterns in the area. From 2007-2008, ATSDR reviewed medical records, conducted genetic testing, and confirmed this PV cluster.

In 2009, Congress funded ATSDR to continue this investigation. ATSDR is overseeing 18 projects with PADOH, the Pennsylvania Department of Environmental Protection, and various universities and private organizations. These projects are based on recommendations from an expert panel. The panel identified four areas for investigation; epidemiology, genetics, toxicology, and environmental studies.

In 2014, the last of the contracts for the 18 different projects ended.

 

Status

The graphic with this email provides a summary of the status of each of the 18 projects as of October 2014.  I’ve attached this graphic both as a “snapshot” in the body of this email, as well as a pdf attachment.  Projects highlighted in “green” in the attached graphic have work complete and a final product available (if applicable).  Projects highlighted in “yellow” have final products in progress and undergoing clearance.  Projects highlighted in “red” have final products that are anticipated but not yet started.  The shapes of the projects in the graphics give you an idea of the category of work of that project, as described in the key on the graphic.

 

As of October 30, 2014, work is complete and a final product is available (if applicable) for 10 projects.  We are happy to announce that 3 new projects (#11, #13, and #18) moved from yellow to green since my April 2014 update:

  • #11:  “Comparative 4-County Study in South Central PA,” conducted by the University of Pittsburgh (Dr. Joel Weissfield) under contract with PADOH.  Final report received.  ATSDR/CDC summary factsheet on ATSDR website at:
    http://www.atsdr.cdc.gov/sites/polycythemia_vera/index.html
  • #13:  “Case Control Study,” conducted by Drexel University (Dr. Carolann Gross-Davis).  Drexel PhD dissertation completed.  Note, this was the one project out of the 18 that was funded via  via a directed appropriation to that university.  Please contact Dr. Gross-Davis regarding requests for further information about her report/dissertation via the contact information on her website at http://publichealth.drexel.edu/academics/faculty/Carol%20Ann%20Gross-Davis/.
  • #18: “Air/Water Exposure Assessment,” conducted by Equity Environmental Engineering.  Two final reports (one on water/hydrogeology and one on air) received.  Two ATSDR summary factsheets are on the ATSDR website at:
    http://www.atsdr.cdc.gov/sites/polycythemia_vera/index.html

 

Final products for another projects are in progress; this is an increase in one project moving from red to yellow (#14) since my August 2014 update.  A final product for 1 project (#6) is anticipated but not yet started.

 

For more information:

Visit ATSDR’s web page on PV: http://www.atsdr.cdc.gov/sites/polycythemia_vera/

Call ATSDR’s toll-free PV information line: 866-448-0242 or email jcx0@cdc, which will connect you to Dr. Elizabeth Irvin-Barnwell, ATSDR Division of Toxicology and Human Health Sciences.

Contact Lora Siegmann Werner, ATSDR Region 3, by phone at 215-814-3141 or by email at lkw9@cdc.gov.

 

Make a difference starting now!

Recycling cell phones helps the environment by saving energy and keeping useable and valuable materials out of landfills and incinerators. It also helps preserve important animal habitats by reducing the demand for Coltan. In addition to recycling cell phones and electronic waste it is critical that consumers demand conflict free electronic devices.   You can help the Keystone Clean Water Team and the Environment by recycling your cell phone.  ”

If you would like to set up a program to help recycle cellphones at an event, business, or other organization.  Through our program we can recycle  cell phones, iPods, game systems, and small digital cameras.  If your interested, please contact us.

Volunteer

We seek new people at all skill levels for a variety of programs. One thing that everyone can do is attend meetings to share ideas on improving the Program, enabling us to better understand and address the concerns of well owners.  We look for people that can forward solid articles, help coordinate local education efforts, and more.  Become part of the Keystone Clean Water Team!

Everything we do began with an idea.

We realize your time is precious and the world is hectic. CCGG’s volunteers do only what they’re comfortable with. It can be a little or a lot.  Get YOUR WATER Tested – Discounted Screening Tests !

For more information, please go to CCGG’s About Page or contact us.

Keystone Clean Water Team is a 501(c)(3) IRS approved nonprofit, volunteer organization and your donation is tax deductible to the extent allowed by law.    Unsolicited donations are appreciated (Helps us complete our mission).

Help the Organization and Get Your Water Tested or Order the Private Well Owner Guide (proceeds benefit This Organization). Water Science Basics!

DEP Releases File – 243 Cases Where Natural Gas Development Impact Private Wells Pennsylvania

This story was released on August 28, 2014 by the Associated Press.  The link to the story is “Online list IDs water wells harmed by drilling”  (Looks like article was removed- 9/28/2014).   First- I am not a fan of the title, but the list does provide insights into the number of private wells that the PADEP has concluded were directly influenced by oil and gas development in Pennsylvania during the period from 2008 to 2014-  Regional_Determination_Letters .   Also, this story was pre-dated by a very good story in the Sunday Times in May 19, 2013.

May 2013 Story

As of May 2013, the PADEP had determined that 161 private wells had been adversely impacted by oil and natural gas development in PA over the period from 2008 to 2o12. But during this period, over 1000 cases or problems with private wells were evaluated.   A quote from the article

“Inspectors declared the vast majority of complaints – 77 percent of 969 records – unfounded, lacking enough evidence to tie them definitively to drilling or caused by a different source than oil and gas exploration, like legacy pollution, natural conditions or mining.  One in six investigations across the roughly five-year period – 17 percent of the records – found that oil and gas activity disrupted water supplies either temporarily or seriously enough to require companies to replace the spoiled source.”

Question Number 1 – what caused or is causing 77% of the problem? – Is this NOT important?  Answer – NO one seems to be asking.
Question Number 2 – How many were temporary?

Statement 1: The 2013 and 2014 article proves what we have been saying since 2009.  Oil and gas development has the potential to adversely impact private wells.  The cause is most likely related or associated with drilling, methane migration associated with cementing / casing issues, spills, pipeline construction (shallow excavation) and the use of impoundments to store waste. We have been saying this since 2009 and so has the PADEP.   Also, we recommended baseline testing parameters based on the pathways that were cited and suspected.

Statement 2:  The common problems appear to be methane, Lower Explosion Limit, iron, manganese, aluminum, arsenic, and turbidity. We included these parameters in our baseline testing list, plus saline water indicates such as bromide and lithium well before PADEP, PSU, and others.

Statement 3: No credible source has ever said Oil and Gas Development could not adversely impact a private well.  What has been said – there is not evidence that that hydraulic fracturing portion of the development has caused a problem.  There has been many historic cases related to loss of circulation during drilling, mud migration, spills, surface disturbance, methane gas migration because of cement issues, spills, and releases from impoundments.

August 2014 Story

Statement 1:  After looking at the 2014 article and the individual determination letters from PADEP for the Eastern Portion of Pennsylvania  (excluding the first 19 because this is the Dimock Data- We Did a Well by Well Evaluation of the Dimock)- we found the following:

Eastern Data Set –

Stated Cause
Drilling – 84
Impoundment Leak – 1
Spill/ Surface Containment Issue – 1
LEL – > 10% LEL in wellhead – 4

Presumption – The Operator was presumed to be at fault – 20 %
Temporary Problem that resolved – 26 %  (but still a problem for a period of up to a year)

Methane at any level – 78 cases
Methane > 28 mg/L – 24 cases
Methane > 10 mg/L – 68 cases
Methane < 10 mg/L – 6 cases
Methane < 5 mg/L – 2 cases

Iron – 30 cases – 28 %
Manganese – 41 cases – 38 %
Aluminum – 15 cases – 14%
Barium – 3 cases – 2.8 %
Total Dissolved Solids -TDS – 4 cases – 3.7 %
Chloride – 2 cases – < 2 %
Zinc – 1 case – < 1 %

From a review of the letters of determination, it appears that the PADEP made the determination in less than 2 months.  I believe there is a regulatory requirement to make a determination in 45 days or less.

Other Interesting Notes

1. In one well the methane ranged from 0.29 to 148 mg/L
2. Two cases wellhead LEL was the determining factor and in one case the methane level in water was less than 2 mg/L – probably a venting issue.
3. Two springs were impacted.
4. Barium – two cases had pre-drill problems.
5. Only 1 case where organics were the issue – associated with a fire suppression activity because of loss of control at the wellhead.  Suppressant was used at the surface.

What this tells us:
1. Most of the problems appear to be related to iron and manganese – these makes it difficult because it is a common and intermittent water quality problem in the region.
2. Methane is another factor – but it is critical to document both methane and all other gas issues and LEL levels.
3. Other parameters of importance include aluminum (we recommend in 2009) and barium, chloride, total dissolved solids, and zinc.
4. The process seems to work, but it would be great to have access to the raw data.

Again – trying to provide a fact based review of the information and use wisely.  The main questions:
1. How many other wells reported a problem?
2. How many of these wells had a problem unrelated to oil and gas development?  What was the cause?
3. How many private wells were impacted by other permitted activities or road salting efforts over the period from 2008 to 2014?

Final Question – If we do not create private well construction standards and fix the poorly constructed private wells – Will we really Ever Control this Potential Pathway for Groundwater Contamination.

Action You can Take!

1. Get your Well Water Baseline Testing Completed.
2. Have the data reviewed.
3. Release the Data -Data Only to the Citizens Database
4. Learn the Facts and Monitor Your Well Water Quality – Work as a Community!
5. Support the Keystone Clean Water Team – Facebook, Twitter, and maybe a Donation?

Volunteer

We seek new people at all skill levels for a variety of programs. One thing that everyone can do is attend meetings to share ideas on improving KCWT/CCGG, enabling us to better understand and address the concerns of well owners.  We need individuals to provide copies of our brochure and information at local events, consider hosting a presentation, and sharing our facebook and twitter posts.

Everything we do began with an idea.

We realize your time is precious and the world is hectic. KCWT/ CCGG’s volunteers do only what they’re comfortable with. It can be a little or a lot.

For more information, please go to KCWT/CCGG’s About Page or contact us.

 

 

 

Clean Water Act Comments are Needed

by Peters Consultants, Inc.  100 Robbins Ave Berwick, PA  18603

The new rule, which was proposed by the Environmental Protection Agency and the U.S. Army Corps of Engineers, would codify their interpretation of the Clean Water Act after a 2006 Supreme Court ruling. In addition to navigable waterways, the rule provides EPA protection for certain wetlands and “seasonal and rain-dependent” streams.

The proposal would lead to stricter pollution controls on some of these areas and aims to resolve a long-running legal battle over how to apply the Clean Water Act to the nation’s intermittent and ephemeral streams and wetlands.

However, this rule could be a major intrusion for municipalities and landowners and a means to expand jurisdiction thereby regulating more property. Many of the new “definitions” are likely to cause more confusion instead of less. And, if enacted in its current form, the new rule could encompass lands that are wet and, in many cases, without beds and banks, as well as associated lowlands and transitional zones between open waters and upland areas.

Under these new definitions, almost any body of water, regardless of how small, could possibly be regulated. That means more projects and activities would be subject to permitting requirements, resulting in possible delays and significant additional costs.

The U.S. Environmental Protection Agency (EPA) announced that it would be extending the comment period for a regulatory proposal to expand the jurisdiction of the Clean Water Act. The 90-day comment period, which was set to end on July 21, was extended by an additional 91 days to October 20, following an outcry by a number of groups. The complexity of the proposed rule necessitated a lengthier comment period.

During the public comment period, municipalities, businesses, and citizens have the opportunity to express their concerns about the potential impact of the new proposed rule. So if you want to be heard and potentially sway the final wording of this proposed wide-sweeping rule, speak now. Comments must be received by October 20, 2014

If you are interested in participating in the EPA’s public comment period, contact your congressional representative or send an email to:

ow-docket@epa.gov

or mail comments to:

Water Docket, Environmental Protection Agency
Mail Code 2822T
1200 Pennsylvania Ave NW
Washington, DC 20460
Attention Docket ID No. EPA-HQ-OW-2011-0880

Original Article

Peters Consultants, Inc –

Peters Consultants, Inc. is a full service consulting engineering/design firm located in Berwick and Bloomsburg  Pennsylvania, and has provided professional consulting services in the engineering, environmental and land surveying disciplines to municipal, authorities, commercial, industrial and private clients since 1975.  We are a leading provider of engineering services in northeastern Pennsylvania by using sound and practical engineering judgment and skills when evaluating potential projects.

More Reading on Proposed Clean Water Act

Iowa State University – Proposed Regulations WOULD Greatly Expand Clean Water Act
Washington Post –
EPA Proposes Greater Protections
L
egal Review – Non-Jurisdictional Waters in the EPA’s Draft “waters of the US” Rule; Clean Water Act- “So here’s where the water really turns to mud on these non-jurisdictional waters. Can you and nine other people of normal but different intelligence and experience, exercising normal discernment, look at the same property and come to the exact same conclusion about which parts of the property are jurisdictional? And remember, the fine for being wrong could be a cool $75,000 per day. If not, then maybe there are some changes you could suggest to the EPA in the form of written comments to this rule.”
Energy Sector

 

 

Hydraulic Fracturing Defined Fracking Words Matter Debate on Energy, Environmental, Humans

The word fracking – First, I personally and professionally dislike the word for a number of reasons. First it is jargon and second it is industry slang.  The word lends itself to redefinition and misuse.

Definitions – We are defining slang terms?

1) frack·ing, noun \ˈfra-kiŋ\ the injection of fluid into shale beds at high pressure in order to free up petroleum resources (such as oil or natural gas)  (Source: http://grist.org/news/the-dictionary-finally-admits-fracking-is-here-to-stay/)

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My comments – not a bad definition – but the process is called hydraulic fracturing – they miss the issue of the use of chemicals to change the characteristics of water to reduce friction loss and prevent bacterial growth.  Also – there  is no Freeing up of a resource – the process creates an artificial pathway that causes the fuel to escape through the pipe or borehole rather than taking millions of years to migrate up through the rock strata.  Also – does not indicate that the process is regulate under the EPA UIC Program under special cases.

2) Fracking is the process by which the oil and gas industry undermines the public right to safe drinking water, clean air and healthy communities by using toxic chemicals and large volumes of water to extract unsustainable fossil fuels from the earth for profit.(Source: Food & Water Watch – http://www.foodandwaterwatch.org/blogs/fracking-shows-its-viral-nature)

*****
This is a great example of the lack of fact, but more about environmental spin doctors.  Now – this is not only an approach used by certain organizations.  Definition is more about a philsophical point than an actual definition that explains the process, but presents the potential things could happen.  The only part that is correct is “toxic chemicals are used”, “large volumes of water are used (but more is used to produce other sources of electricity), “extract fossil fuels”, “fossil fuels are not infinitely sustainable (but neither is any building or structure we build or even our cities), it does happen on earth, and it is done for a profit.  (Profit is not bad – non-profit organizations make a profit – they do not call it profit and this is a Capitalist society).   This definition tells you more about the Organization than the process.

3) Fracking – A slang term for hydraulic fracturing. Fracking refers to the procedure of creating fractures in rocks and rock formations by injecting fluid into cracks to force them further open. The larger fissures allow more oil and gas to flow out of the formation and into the wellbore, from where it can be extracted. (Source: http://www.investopedia.com/terms/f/fracking.asp)
****
Misses the mark related to the nature of the chemicals that are used and the use of a propent to hold the fractures open so the gas and oil can migrate out of the formation into the borehole or pipeline, i.e., the artificial low pressure point, and not up through thousands of feet of rock.  I do like they indicate it is a slang term and the proper term is hydraulic fracturing.  It is a procedure – it is part of a process – NOT the whole process.

4) Fracking is the process of drilling down into the earth before a high-pressure water mixture is directed at the rock to release the gas inside. Water, sand and chemicals are injected into the rock at high pressure which allows the gas to flow out to the head of the well.The process is carried out vertically or, more commonly, by drilling horizontally to the rock layer. The process can create new pathways to release gas or can be used to extend existing channels. (Source; http://www.bbc.com/news/uk-14432401)

****
It is a process Yes – no mention of the slang nature of the work and the correct term – hydraulic fracturing.  It is NOT a Drilling Process – this is JUST Wrong.  Yes – Water, sand and chemicals are injected.  Chemicals are toxic    The sentence starting – “the process …..”  Is Just Wrong !

5) Fracking, or hydraulic fracturing, is the process of extracting natural gas from shale rock layers deep within the earth. Fracking makes it possible to produce natural gas extraction in shale plays that were once unreachable with conventional technologies. Recent advancements in drilling technology have led to new man-made hydraulic fractures in shale plays that were once not available for exploration. In fact, three dimensional imaging helps scientists determine the precise locations for drilling. (Source: http://www.what-is-fracking.com/)

*****
No mention it is a slang term- statement is true, but does it create a definition?  I do like the mention of the word recent.  Because it is the recent improvements in the process that makes this feasible.

6) Hydraulic Fracturing – a method of mining in which cracks are created in a type of rock called shale in order to obtain gas, oil, or other substances that are inside it (Source: http://www.macmillandictionary.com/us/dictionary/american/fracking)

*****
Used the correct work – definition is clearly wrong.  The definition makes it sound like the old water mining techniques that were used in the 1800s to mine for gold by eroding mountains with high pressure water.

7)  fracking, fracking also spelled fracing or fraccing, also called hydrofracking, in full hydraulic fracturing,  in natural gas and petroleum production, the injection of a fluid at high pressure into an underground rock formation in order to open fissures and allow trapped gas or crude oil to flow through a pipe to a wellhead at the surface. Employed in combination with improved techniques for drilling horizontally through selected rock layers, hydraulic fracturing has opened up vast natural gas deposits in the United States. At the same time, the rapid rise of the practice, frequently in regions with no history of intensive oil and gas drilling, has raised concerns over its economic and environmental consequences.

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Not a bad definition – lacks clarity on the nature of the fluid, but then goes on to add the “positive spin” of the Industry.  I do like the closing sentence – “The Rapid Rise” of the practice in areas with “no historic knowledge of the process” has created concerns that are economic and environmental.

If you are going to allow a definition to present a point – then – it would be appropriate to add to this “definition” at the end. These same individuals or communities did not care or were not concerned when these activities that produced fossil fuels for their consumption occurred in other communities or countries and these same communities were happy to develop in a manner that made them dependent on other communities to sustain themselves, i.e., NIMBY.

8. hydraulic fracturing – Also referred to as hydrofracking, hydrofracturing, and fracking, is a well development process that involves injecting water under high pressure into a bedrock formation via the well. This is intended to increase the size and extent of existing bedrock fractures.  (Thanks USGS- http://energy.usgs.gov/GeneralInfo/HelpfulResources/EnergyGlossary.aspx#h)

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Not a great definition and the second sentence is misleading.

I do not like the term.  This term was the slang word used in the Batttlestar Galatica series as the “F” word – “Frac”.  This series was about an epic battle between man and machine.  NOW – it possible to view this change in energy production as a battle between big oil and humans- this is not the battle.  The battle is with us – We are the users, consumers, and wasters of this valuable resource that has been developed on this Earth over millions of years.  It is not renewable, but a high energy source that has powered the improvement of our health, safety, and welfare.  As our technology grows – we will develop new and more “renewable energy sources”, but we have to do our part to conserve energy and use it wisely.

My definition

1. Use the word – hydraulic fracturing and is one phase of an overall process.  The phases include drilling, installing protective casing, cementing, hydraulic fracturing, developing, and production.

2. Process that uses a slick water solution – This chemical solution is dangerous to handle and not suitable for consumption or direct contact without proper training and personal protective equipment.  The chemical solution is made up of 99.5 % water  that has been modified through the use of chemicals and other agents that prevent bacterial growth (i.e., biocide), dissolve carbonate scales (acids- HCL and citric acid), friction reduces (change the density of water – can be toxic- mineral oil, polyacrylamide (used in agriculture and soil stabilization potential health issue), corrosion inhibitors (n,n-dimethylformamide,  glycols (toxic)), surfactants (soaps/isopropanal),  gelling agents (gums/cellulose), crosslinkers (borate salts), breakers (ammonia persulfate), salts (KCL)  and propant (sand /ceramics)- Nice Image and Other Pdf.

An aside: The issue is not the chemicals used – but the potential for exposure – the primary exposure potential would be related to chemicals and releases in the environment during transport or surface storage and use.  The main defense would be controlling the movement of the chemicals into and through the community and the use of multiple containment systems for surface storage.  When the target formation is 3000 + feet below grade, the vertical migration of the fluid up to freshwater zones has an extremely low probability of occurrence.  Is it zero – NO, but the other pathways are more likely.

3. The fluid is injected under high pressure to overcome the weight of the material over the target formation.  Since the target formation is a shale, the shale has natural bedding plane fractures (looks like a book from the side), near vertical stress fractures, and curvilinear fractures associated with internal gas stress.  These fractures are not interconnected.  The hydraulic process aids in the parting of existing fractures, removing carbonate scales or coatings along bedding planes/fractures, and parting the formation enough to push sand or other proppant into this location to hold the fractures apart.  This stabilized pathway permits the gas and/or oil to escape at the lowest point of pressure, i.e., the casing and borehole that were constructed during the drilling phase.

This is a work in progress.  We would suggest viewing the following websites:

Private Well Owners Guide – http://www.private-well-owner.org
Links to presentations on water quality issues, movies/videos on well drilling, hydraulic fracturing, and gas production.   Movies and information about problems- Methane gas migration, loose of circulation, chemical changes, spills, and the need for changes in oil and gas law.

Volunteer

We seek new people at all skill levels for a variety of programs. One thing that everyone can do is attend meetings to share ideas on improving the Keystone Clean Water Team (CCGG Program), enabling us to better understand and address the concerns of well owners.  We look for people that can forward solid articles, help coordinate local education efforts, and more.  Become part of the Keystone Clean Water Team!.

Everything we do began with an idea.

We realize your time is precious and the world is hectic. CCGG’s volunteers do only what they’re comfortable with. It can be a little or a lot.  Get YOUR WATER Tested – Discounted Screening Tests !   Get educated on Drinking Water Quality in Pennsylvania.

For more information, please go to KCWT’s About Page, Brochure,  or contact us.

Keystone Clean Water Team /Carbon County Groundwater Guardians is a 501(c)(3) IRS approved nonprofit, volunteer organization and your donation is tax deductible to the extent allowed by law.  The IRS Officially Approved Name change to the Keystone Clean Water Team by the IRS.  Unsolicited donations are appreciated (Helps us complete our mission).

Help the Organization and Get Your Water Tested or Order the Private Well Owner Guide (proceeds benefit This Organization).

 

 

 

 

Environmental Monitoring Credibility and Social License to Monitor

Improving Reliability of Baseline Monitoring Using In-Situ.

“You need proven methods and reliable equipment to meet regulations and gain a “social license” to conduct hydraulic fracturing. Partner with a company that’s been working with mining professionals since 1976. Originally providing instrumentation for in-situ uranium mining, In-Situ ® Inc. understands groundwater —- from aquifer testing to groundwater sampling. ” (In-Situ, 2014)

1. Avoid Repeat Sampling Events

Establish baselines for regulatory compliance or background studies by implementing a defensible groundwater sampling program. The smarTROLL TM Low-Flow Sampling System simplifies routine monitoring of water quality changes in groundwater near hydraulic fracturing sites both pre-drill and post-completion.

Increase field productivity by using the smarTROLL Multiparameter Handheld and the smallest volume flow-through cell on the market. The smarTROLL MP Handheld measures up to 14 parameters and wirelessly transmits data to your iOS ® device. The iSitu ® App:

* Guides you through sampling setup, calibrations, and data collection
* Stores details of purge conditions including flow rate and field parameter stabilization to demonstrate representativeness of samples
* Logs data to your smartphone —- export to Excel
* Generates digital calibration and sample reports —- no more transcription errors
* Associates photos and GPS coordinates with sites

Watch the smarTROLL low-flow sampling tutorial and the smarTROLL MP Handheld system  or watch a video.

2. Measure Hydrologic Properties, Economically

Need to determine depth to water, hydraulic gradient, hydraulic conductivity, or potentiometric surface? In-Situ Inc.’s Rugged Water Level Tapes and Rugged TROLL Data Loggers perform reliably under tough field conditions.

3. Use Tools Provided by the Marcellus Shale Coalition TM

The Marcellus Shale Coalition published recommended practices for work at oil and gas sites. Download the guide on Pre-Drill Water Supply Surveys for information on establishing a baseline for groundwater conditions prior to oil and gas drilling activities. The guide provides details for the initial survey, water sampling, sample analyses, parameters, and reporting and also includes a site visit form and a summary of pre-drill maximum contaminant levels.

4. Call In-Situ Rentals

Need equipment for short-term projects? In-Situ Rentals delivers factory-maintained and calibrated equipment. Our knowledgeable team offers free consultations to ensure that you receive the right equipment for your project.

Contact us today for a free quotation. Or call 1-800-4IN-SITU (1-800-446-7488).

* To receive the 10% discount on Rugged Water Level Tapes, you must order online at In-Situ Inc.’s e-store, please mention you save this information at the Keystone Clean Water Team Blog -May 31, 2014. Domestic shipments only. Promo Code: tape2014

Get Training – Professionals – Learn about Baseline Water Quality Issues and Water Quality Problem in Pennsylvania and more about how to work with Private Well Owners – Contact Mr. Brian Oram, Professional geologist.   Learn about baseline groundwater quality in Pennsylvania. 

More:
Professional Education and Training
Career Training and Renewable Energy
Information on Groundwater Well Water Quality (Iron, Arsenic, Manganese, and More)

Volunteer

We seek new people at all skill levels for a variety of programs. One thing that everyone can do is attend meetings to share ideas on improving CCGG, enabling us to better understand and address the concerns of well owners.  We look for people that can forward solid articles, help coordinate local education efforts, and more.  Become part of the Keystone Clean Water Team!.

Everything we do began with an idea.

We realize your time is precious and the world is hectic. CCGG’s volunteers do only what they’re comfortable with. It can be a little or a lot.  Get YOUR WATER Tested – Discounted Screening Tests !

For more information, please go to CCGG’s About Page or contact us.

Carbon County Groundwater Guardians is a 501(c)(3) IRS approved nonprofit, volunteer organization and your donation is tax deductible to the extent allowed by law.  Waiting on Official Name change to the Keystone Clean Water Team by the IRS.  Unsolicited donations are appreciated.

Help the Organization and Get Your Water Tested or Order the Private Well Owner Guide (proceeds benefit This Organization).

 

Alternative and Renewable Energy Energy Options for Pennsylvania

The Academy is a S.T.E.M. (science, technology, engineering, and math) magnet school in the Hazleton Area School District. The academy offers a variety of learning opportunities in the sciences, including onsite college courses at reduced tuition rates, project-based learning, individual and group work, and many creative ways for students to demonstrate their knowledge.    Mr. Brian Oram of the Keystone Clean Water Team and the owner of B.F. Environmental Consultants Inc. conducted an education outreach effort as part of Earth Day.
During the presentation on April 22, 2014, Mr. Oram focused on:

The Importance of Conservation and Energy Efficiency
Need for the Use of Renewable Energy Where it Works Best
Need for State-wide Use Of Biomass and Groundsource Heating and Cooling
Regional/ National Wind and Solar Projects
Role of Nuclear Energy and
The Role of Fossil Fuels (Coal, Natural Gas, and Oil).

We learned that if we just recycle cellphones we could save the energy equivalent to 18,500 houses per year.

The presentation was fact based and highlighted the need for a State and National Energy Policy over a “Carbon” Plan.

Volunteer

We seek new people at all skill levels for a variety of programs. One thing that everyone can do is attend meetings to share ideas on improving CCGG, enabling us to better understand and address the concerns of well owners.  We look for people that can forward solid articles, help coordinate local education efforts, and more.  Become part of the Keystone Clean Water Team!.

Everything we do began with an idea.

We realize your time is precious and the world is hectic. CCGG’s volunteers do only what they’re comfortable with. It can be a little or a lot.  Get YOUR WATER Tested – Discounted Screening Tests !

For more information, please go to CCGG’s About Page or contact us.

Carbon County Groundwater Guardians is a 501(c)(3) IRS approved nonprofit, volunteer organization and your donation is tax deductible to the extent allowed by law.  Waiting on Official Name change to the Keystone Clean Water Team by the IRS.  Unsolicited donations are appreciated.

Help the Organization and Get Your Water Tested or Order the Private Well Owner Guide (proceeds benefit This Organization).