Methane in Groundwater in Pennsylvania – Published Report
http://www.ngwa.org/Media-Center/press/2013/Pages/2013-05-24-groundwater-.aspx
If you are in Pennsylvania, you can contribute to the Citizen Groundwater Database and help track change for FREE and if you would like to learn about our Natural Gas Related Information, please visit us at http://www.private-well-owner.org.
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.
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.
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.
PA House Committee Amends the Private Water Well Construction Standards Bill
http://www.legis.state.pa.us/cfdocs/billinfo/BillInfo.cfm?syear=2013&sind=0&body=H&type=B&bn=343
If you are in Pennsylvania, you can contribute to the Citizen Groundwater Database and help track change for FREE and if you would like to learn about our Natural Gas Related Information, please visit us at http://www.private-well-owner.org.
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.
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.
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.
Private Well Owner Assistance Well Water Testing Trying to Make a Difference
Carbonwaters.org- Website Dedicated to Information and Free Resources for Private Well Owners, Evaluation of Water and Wastewater Treatment Systems, Private Well Water Testingand Education/Outreach Programs – We Need Your Help to Spread the Word!
The main reason is that most private wells and small water systems are not regulated by the EPA or the DEP in a given state and in Pennsylvania about 50% of private wells produce water that does not meet a primary health standard, i.e., Could Make the Well Owner Sick. Therefore, it is up to the individual private well owner to ensure that the water is safe.
In Pennsylvania, we have found that typically at least 10 % of private well have one or more of these problems:
a. Low pH / corrosive water
b. Elevated Iron and/or Manganese
c. Elevated Bacteria (Actually it is 40 % to 50% for this parameter)
Less than 5 % of private wells have problems with methane gas, barium, alpha/beta, and other contaminants that would suggest a saline water source. In the middle, we have found about 5 to 10% may have problems with copper, lead, arsenic, and plasticizers.
Note- There are over 1 million private wells in Pennsylvania. Assume 3 citizens per household and 50 % of households having contaminated water, this means that 1.5 million citizens of the Commonwealth are Drinking Water that could make the SICK – This is a Health Crisis. It is time to ACT.
We know this information because of the hundreds of private well owners that have released their information to the Citizen Groundwater Database and we have assisted private well owners with low cost water testing options and education programs.
To Act, we recommend the following:
1. Get Educated and Informed.
2. Get Your Water Tested
3. Work as a Community to Develop Local and State Solutions
If you are in Pennsylvania, you can contribute to the Citizen Groundwater Database and help track change for FREE and if you would like to learn about our Natural Gas Related Information, please visit us at http://www.private-well-owner.org.
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.
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.
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.
HB 343 ESTABLISH STATEWIDE PRIVATE WATER WELL CONSTRUCTION STANDARDS (former HB 1855)
The bill authorizes the Environmental Quality Board to establish water well construction standards through the adoption of rules and regulations of the DEP that are generally consistent with the National Groundwater Association construction standards.
Specifically, the legislation would establish construction standards, including the decommissioning of abandoned wells, to be followed by water well drillers and owners. Nothing in this legislation requires the metering of homeowner wells.
p. Ron Miller (R-York) serves as Majority Chair of the Committee and Rep. Greg Vitali (D-Delaware) serves as Minority Chair.
Website Provided for Educational Purpose.
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.
Join the PA Water Forum on Facebook
Private Well Owner Outreach Program
Launch of National Mapping Project Designed to Show Possible Impacts of Oil and Gas Drilling on Well Water
FOR IMMEDIATE RELEASE
US Map of Suspected Well Water Impacts
Contacts: Brook Lenker, Executive Director, FracTracker Alliance, (717) 303-0403; and Samantha Malone, Manager of Science and Communications, FracTracker Alliance, (412) 802-0273
May 1, 2013 – The US Map of Suspected Well Water Impacts is a project that will attempt to piece together recent complaints of well water quality impacts that people believe are attributed to unconventional gas and oil operations. Research has demonstrated potential risks to ground and drinking water posed by faulty well casings, surface spills, and hydraulic fracturing. From across the country, in areas where gas and oil development is occurring, accounts of possible well water contamination have been reported but not been collected all in one place – yet. The FracTracker Alliance and cooperating organizations are providing that opportunity.
Inspired by other “crowd-sourced” data and mapping projects, this project aims to collect ongoing stories, narratives, and data from individual homeowners living on well water near drilling operations and map the general location of these reports online. The first version of the dynamic map (shown below) is available at www.fractracker.org/usmap.
Once received, submissions will be reviewed to the extent possible by cooperating researchers and organizations. Not all reported cases of water contamination, however, have been or will be able to be substantiated. According to Brook Lenker, Executive Director of FracTracker Alliance:
The reports we are collecting are not necessarily indisputable evidence that drilling has contaminated drinking water sources. Some accounts are irrefutable. Others remain unsubstantiated, but that doesn’t mean the well owner isn’t experiencing serious problems. Even where proof may be elusive, perception of risk can tell us much about an issue and the level of concern by the community. This information will likely help to identify pre-existing problems or conditions that were not previously well known. Such outreach is needed to permit citizens, local agencies, and others to work together to address pre-existing concerns, improve local regulations or standards, conduct proper baseline testing and monitoring, and make informed decisions.
As unconventional natural gas and oil extraction expands internationally, an Internet-based project like the US Map of Suspected Well Water Impacts can help to share on a global scale how people in the U.S. view – and may be impacted by – unconventional drilling. If everyone contributed their stories, the public’s understanding of gas and oil extraction’s impacts on well water could expand dramatically.
Anyone wishing to submit their story should visit www.fractracker.org/usmap or call (202) 639-6426. A complete list of current project partners is available on the website.
Website Provided for Educational Purpose.
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.
Join the PA Water Forum on Facebook
Private Well Owner Outreach Program
Getting the Waters Tested Our Educational Series (WV)
New Line of Courses on the Topic of Hydraulic Fracturing
DCNR Agrees to Discuss Drilling in the Loyalsock State Forest
On Friday, DCNR announced it’s planning to hold a public meeting. It will also have its own experts participating in a web-based information session next week about plans to drill in the forest.
“DCNR has heard from numerous individuals and organizations on this issue through letters, phone calls and in a meeting this month with local stakeholders,” DCNR Secretary Richard Allan said through a release. “This webinar gives us an additional opportunity to exchange information and respond to questions about potential gas development in the Loyalsock, where the state does not own the subsurface gas rights.”
The key issues
1. The state does not own the mineral rights to 25,000 acres of state land. We only have surface rights.
2. Anadarko Petroleum owns about 50 percent of those rights.
3. Based on court decisions, DCNR has no say over what happens on 7,000 acres. Reportedly this area is the most ecologically sensitive (not sure what that means specifically).
“When we don’t own the mineral rights,” says Novak, “we do always attempt to talk with companies because it helps us protect a resource and it also helps them, by providing some certainty related to their development plans.”
For more information an a schedule of the Webinar and Public Meeting (no time set).
Harrisburg – Department of Conservation and Natural Resources officials will participate in a free, web-based seminar offered by Penn State Extension on Marcellus Shale issues in the Loyalsock State Forest, Lycoming County, on Thursday, April 25.
The session eventually will be archived and available on the Penn State Extension natural-gas website at http://extension.psu.edu/naturalgas.
Other resources
1. DCNR- Oil and Gas in PA
2.Do I have any say as to what oil and gas operators do on my land if I’m only a surface property owner?
Yes. Even if you do not own the oil and gas rights to your property, you should retain legal counsel and work with the operator to ensure that your property (including private water supplies, if applicable) is not adversely damaged by access to and drilling at the well site. For more information, consult “Landowners and Oil and Gas Leases in Pennsylvania” fact sheet or visit one of the online oil and gas leasing forums.
Additional Resource(s):
http://www.portal.state.pa.us/portal/server.pt/community/office_of_oil_and_gas_management/20291
http://www.naturalgasforums.com/index.php
Source – Article by Susan Phillips (4/19/2013)
Website Provided for Educational Purpose.
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.
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.
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.
High Arsenic Levels Well Water Testing Found in 8 Percent of Groundwater Wells Studied in Pennsylvania
The Need for Well Water Testing In Pennsylvania and other states
NEW CUMBERLAND, Pa. – Eight percent of more than 5,000 wells tested across Pennsylvania contain groundwater with levels of arsenic at or above federal standards set for public drinking water, while an additional 12 percent – though not exceeding standards – show elevated levels of arsenic.
These findings, along with maps depicting areas in the state most likely to have elevated levels of arsenic in groundwater, are part of a recently released U.S. Geological Survey study done in cooperation with the Pennsylvania Departments of Health and Environmental Protection.
The results highlight the importance of private well owners testing and potentially treating their water. While public water supplies are treated to ensure that water reaching the tap of households meets federal drinking water standards, private wells are unregulated in Pennsylvania, and owners are responsible for testing and treating their own water.
For this study, USGS scientists compiled data collected between 1969 and 2007 from industrial, public, and private wells. Arsenic levels, along with other groundwater quality and environmental factors, were used to generate statewide and regional maps that predict the probability of elevated arsenic. The study examined groundwater from carbonate, crystalline, and shale/sandstone bedrock aquifers, and from shallow glacial sediment aquifers. Similar maps have been produced for other states.
“This research is not intended to predict arsenic levels for individual wells; its purpose is to predict the probability of elevated levels of arsenic in groundwater to help public health efforts in Pennsylvania,” said USGS scientist Eliza Gross, who led the study. “The study results and associated probability maps provide water-resource managers and health officials with useful data as they consider management actions in areas where groundwater is most likely to contain elevated levels of arsenic.”
For more details go here (Some mapping available)
The Pennsylvania Department of Health plans to use the maps as an educational tool to inform health professionals and citizens of the Commonwealth about the possibility of elevated arsenic in drinking water wells and to help improve the health of residents, particularly in rural communities. Please consider forward you certified testing data to the Citizens Groundwater Database.
Private well owners can find testing and other information on Pennsylvania Department of Environmental Protection Arsenic in Drinking Water website.
or Check out the Arsenic Outreach Program here – Has links to treatment options and low cost informational water testing.
Website Provided for Educational Purpose.
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.
Pennsylvania May Use Coal Mine Water for Hydraulic Fracturing Senate Bill 411
INTRODUCED BY KASUNIC, YUDICHAK, SOLOBAY, WOZNIAK, BREWSTER, ARGALL, WHITE, BAKER, HUTCHINSON, ERICKSON, VULAKOVICH, VOGEL, FERLO, BOSCOLA, ALLOWAY AND DINNIMAN, FEBRUARY 4, 2013
SENATOR YAW, ENVIRONMENTAL RESOURCES AND ENERGY, AS AMENDED, FEBRUARY 12, 2013
Mine water for beneficial uses.–Notwithstanding any other provision of this chapter, landowners, mine operators and water pollution abatement project operators that are involved in treating mine drainage or mine pool water from a permitted mining activity site or water pollution abatement project shall not be deemed to assume legal responsibility for or to incur liability with respect to a cost, injury or damage that arises out of or occurs in connection with the use of mine drainage, mine pool water or treated mine water in connection with the hydraulic fracturing process or other development of a gas well, industrial or other water supply or other beneficial use of the water
****
Comments by Brian Oram
1. This may have some conflicting language when compared to the Oil and Gas Law and the assume liability that is associated with natural gas development. I may have missed this section, but it would be nice if the law clearly stated this did not resend current provisions and assumed liability related to exiting Oil and Gas Law.
It does appears the assumed liability provision is limited to only the “Project Operators”- so that once the mine water leaves the site (i.e., the site where the mine water is collected or initially treated) – they, the Project Operators are no longer assumed liable for other uses beyond their control, i.e., liable for the use of the water by the Gas Company for Hydrofracturing. (Clarification is needed)
Therefore
A. Land-owner has mine drainage on the property- they or a third party – treat the mine water and then sell or give away to a water company.
B. The water is transported to a site.
C. Industry uses the water for hydraulic fracturing.
Think the the limit of liability is intended to only extend to A related to conyence by B and the use by C This type of liability provision is needed because many of the parties that fit the role of A are either 501 c3, watershed groups or public private partnerships that have nothing to do with the gas company.
2. This may require baseline testing be done in these regions to include additional parameters specific to the source and around treatment project sites.
3. It is possible this may result in decreased streamflows downgradient of withdrawal points – I am not sure how the river basin commissions will evaluate and if they may consider the need for a water withdrawal permit and consumption use fees, but I would assume a consumptive water use docket with provisions for treatment and by-pass flow maybe needed.
4. I like the provisions and hopefully this will more forward the use of degraded waters for hydraulic fracturing and help clean up impacted waterways in PA.
5. I do like the provisions, but for some streams baseflow associated with mine drainage may be a significant portion of the flow and it maybe necessary to maintain some by-pass flow with treatment.
6. Hope this encourages public private partnerships to address Acid mine drainage and mine drainage.
7. Would be nice if this program could be applied indirectly to the Northern Fields –No Gas Development, but it would be great to treat and clean the mine drainage and then issue some type of credit.
8. The law looks like it could be applied to discharges and releases of brine water associated with historic oil and gas development and not just mine drainage? (Clarification is needed)
9. I am not sure of the eligible land provision? Unless this relates to building some type of treatment structure, etc (Water pollution abatement project operator). (Clarification is needed)
10. The exemptions near the end of the document seem reasonable – I would assume this came from Senator Yaw – Very Nice.
11. I would recommend the Senators that support this document make the necessary clarifications of the intent, but this is something that is needed. I think this would have been a better approach then all the press releases on the topic. The goal should be to fix issues and get them resolved.
Additional Comments
Mine Drainage and/ or Acid Mine Drainage is the result of natural discharges and legacy issues related to the mining of the anthracite and bituminous fields in Pennsylvania.
Over 4,000 miles of streams in Pennsylvania are adversely impacted by mine and/or acid mine drainage. The most cost effective treatment approaches of these problems tend to be a mixture of land-reclamation and passive treatment systems. Many watershed groups and other organizations in Pennsylvania have been active in attempting to minimize the adverse impacts of mine drainage. One main limitation to the effective management and control of these discharges is the significant capital investment to implement the reclamation process and install the passive or semi-passive remediation system, but the largest hurdle is typically the long-term cost of maintaining these systems and liability that is associated with the operations and maintenance of these systems. The Senate Bill creates an opportunity for public and private partnerships to cover the initial cost for the installation of a more rapid and active treatment system and there is then the opportunity to put in place long-term funding for a passive treatment approach.
The Senate Bill has some key liability provisions. These provisions appear to be:
1. Provisions granted to the landowners and operators of the treatment system so they are no liable for the conveyance and ultimate use of the water. This is critical, because a watershed group or small business that is treating the water only and not hauling should not be liable for the conveyance and final use. This liability should rest with the individuals and companies that are transporting and using this water.
2. The proposed bill provides limits of liability associated with downgradient stream conditions. This provision is needed because it is possible that augmenting the flow of the stream by removing mine drainage will likely decrease water levels and flow volumes, but should eliminate the long-term pollution source. Even though it is not stated in this Senate Bill, it is likely that the river basin commission would play a significant role in reviewing consumptive use permits and may require a baseflow of treated water to maintain stream temperature and flow.
Some missing parts
The bill does require more context and specific language; because it appears the bill will extend to historic oil and natural gas development areas. Therefore, it is possible that some of the sites are releasing water that contains a mixture of brine, heavy oil residues, and other fugitive emission.
The bill may not address the status of the “sludge” generated by the remediation efforts. Does this sludge have a beneficial use or is it classified as a solid waste?
The bill does not address the issue of the need for a water withdrawal permit if the water is used for a consumptive water use
There needs to be a balance on the amount of withdrawal because in special cases excess water withdrawal may induce significant surface and subsurface impacts, such as subsidence and mine fire propagation.
This activity should not be conducted in combination with efforts to produce coal-bed methane gas.
Missing provisions for bonding.
http://www.bfenvironmental.com
http://www.water-research.net/Watershed/
Support Groundwater Education in Pennsylvania and Consider Scheduling an Education Workshop for Your Community – just email bfenviro@ptd.net
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.
National Water Quality Monitoring Council Web Seminar
National Water Quality Monitoring Council Web Seminar:
Would a State or Regional Partnership, Alliance and/or Council Serve Your Needs?
Featuring a presentation by Barb Horn, Water Resource Specialist, Colorado Parks & Wildlife, Durango, CO
The webinar will be offered on Tuesday, April 23, 2013 at 12:00 a.m. EDT (9:00 a.m. PDT)
Please login 10 minutes early see instructions below to join the webinar
Webex Link: https://doilearn.webex.com/doilearn/tc (hint: may need to copy and paste link into browser)
Click on “join” next to: NWQMC Webinar: Inventory of Councils
Password: council
Call in number: 1-866-299-3188
Access code: 5661187#
The webinar is free and no pre-registration is required
For additional details, see attached flyer.
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.
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