![]() Nitrogen oxides, compounds, GHGs, and hazardous air pollutants, and each of the three new compressor stations would require NORTON 816 Park AvenueaNW federal permit as major source emitters. Operation of the ACP would produce emissions of Knoxville, TN 37917 865.291.0083 ext.carbon 700 monoxide, particulate matter, sulfur dioxide, volatile organic While the DEIS does provide a rough calculation of GHG emissions resulting from enduse, it does not analyze upstream or fugitive emissions in a meaningful way. The DEIS does not analyze the greenhouse gas life cycle of a project 812 East High Street that enables 1.5 Bcf/day of a potent greenhouse gas (GHG) to be shipped and burned. It is impossible to conclude that impacts will not be significant without Boone, NC 28607 this information. The ACP would cross 1,989 streams or rivers and affect 786 acres of wetlands, yet several crossing plans and mitigation plans are missing BOONE 589 West King Street or incomplete. and Southern Appalachian Mountaincannot Region move forward until consultation Service with requested The EIS process with the U.S. The Applicants request an amendment to the George Washington National Forest plan that would convert 104 acres to a “utility corridor.” Yet the Applicants have not provided the U.S. It would fragment habitat for listed species and disrupt views from the Blue Ridge Parkway and Appalachian Trail. The project will adversely impact 6,800 acres of pristine forest, with 3,800 acres damaged permanently. The Draft Environmental Impact Statement (DEIS) issued by the Federal Energy Regulatory Commission (FERC) fails to provide adequate information for public comment and fully account for all of the environmental threats posed by the ACP. This is deeply concerning, given that a Certificate of Public Convenience and Necessity would allow the taking of private property for this project. Therefore, the primary beneficiaries of the pipeline will be private companies. Studies show that existing gas infrastructure is more than sufficient to meet regional energy needs for residents and industry. Not only will it create permanent adverse impacts on the local environment, it will also contribute to several more decades of global climate pollution. ![]() ![]() It poses very real threats to public health and safety across West Virginia, Virginia, and North Carolina. CP15-554-000, CP15-554-001, CP15-555-000, CP15-556 Comments on the Atlantic Coast Pipeline and Supply Header Project DEIS Dear Deputy Secretary Davis: Appalachian Voices and 3,253 supporters, whose names are attached below, respectfully submit the following comments on the Draft Environmental Impact Statement for the proposed Atlantic Coast Pipeline and Supply Header Project: The proposed Atlantic Coast Pipeline (ACP) is not in the public interest. ![]() Davis, Sr., Deputy Secretary Federal Energy Regulatory Commission 888 First Street NE, Room 1A Washington, DC 20426 RE: Docket Nos. 20170406-5257 FERC PDF (Unofficial) 11:42:08 AMĪppalachianVoices Protecting the Central and Southern Appalachian Mountain RegionīOONE 589 West King Street Boone, NC 28607 828.262.1500 CHARLOTTESVILLE 812 East High Street Charlottesville, VA 22902 434.293.6373 KNOXVILLE 2507 Mineral Springs Ave.
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