Recycle Revival – March 27th
A Request Denied
The following letter was sent to the New Hanover County Commissioners. The request was denied out of hand with not a single commissioner willing to put the matter on the agenda.
Not one.
Make of that what you will.
Sirs,
On behalf of Cape Fear River Watch, North Carolina Coastal Federation, Cape Fear Group of the North Carolina Sierra Club, Friends of the Lower Cape Fear, Pender Watch and Audubon North Carolina, I am requesting that the New Hanover County Board of Commissioners formally ask the Secretary of the State Department of Natural Resources (DENR) to review and regulate the proposed Carolinas Cement plant along the Northeast Cape Fear River under the State Environmental Policy Act (SEPA.) I am further requesting a minimum of 45 minutes at the April 6th, 2009 Commissioners‘ Meeting for myself and representatives of other groups to present their rationale as to why they believe the Commissioners should make this request.
When the Commissioners approved the incentive package to invite Titan America to our county it did so with the understanding that any new mining or manufacturing operation along this beautiful stretch of the river would be subject to complete, thorough and rigorous scrutiny from the state and federal regulating agencies. The most relevant standards are those of SEPA. Holding a company to a less rigorous standard, or allowing a company to bypass the most relevant standard, is contrary to the promises made by the Commissioners at the time Titan was formally invited into the community and is frankly an insult to the voters of New Hanover County.
It is appropriate for DENR to regulate Carolinas Cement under SEPA and it is certainly appropriate for the Board to request that the Secretary invoke his authority.
“An environmental document is required when the Secretary determines that”:
(1) Proposed activity may have a potential for significant adverse effects on wetlands; surface waters such as rivers, streams and estuaries; parklands; game lands; prime agricultural or forest lands; or areas of local, state or federally recognized scenic, recreational, archaeological, ecological, scientific research or historical value, including secondary impacts; or would threaten a species identified on the Department of Interior’s or the state’s threatened and endangered species lists; or
(2) the proposed activity could cause changes in industrial, commercial, residential, agricultural, or silvicultural land use concentrations or distributions which would be expected to create adverse water quality, in stream flow, air quality, or ground water impacts; or affect long -term recreational benefits, fish, wildlife, or their natural habitats; or
(3) the proposed activity has secondary impacts, or is part of cumulative impacts, not generally covered in the approval process for state action, and that may result in a potential risk to human health or the environment;
I look forward to speaking before you on the 6th as you consider this matter. If you require any additional information, background or action from me, feel free to contact me at 910-602-3862 or by e-mail at dspringer@cfrw.us.
Sincerely,
Doug Springer,
Riverkeeper
The Cry of the LULU – Universal Battle Plan for the Big Polluters
This has been circulating among the green crowd for a few years now. Just because it’s on the internet doesn’t mean it isn’t true. See how many of these tactics have been used by a certain mammoth Greek Cement company
Community Selection:
Find a place where you will run into the least opposition ~ target a “Cerrell” community. (21 years ago the California Waste Management Board paid Cerrell Associates half a million dollars to define communities that won’t resist siting of LULUs [ Local Undesirable Land Use]. Cerrell provides important proof that siting is 99% politics and 1% science)
The Cerrell study says:
Least Likely to Resist:
Southern/Midwestern
Rural
Open to promises of economic benefits
Conservative
Above middle age
High school or less education
Low income
Catholics
Not involved in social issues
Old-time residents (20 years +)
“Nature exploitive occupations” (farming, ranching, mining)
Most Likely to Resist:
Northeastern, western, California
Urban
Don’t care or benefits are minor concern
Liberal, welfare state
Young and middle aged
College educated
Middle and upper income
Activist
Residents for 5 – 20 years
Professional occupations
Scope out the opposition:
__ monitor news media to identify community activists
__ assess potential opponents past behavior
__ determine their self-interests and vulnerabilities
__ keep good, up to date files on opponents
__ determine their sources of funding, if any
__ find out who their friends are
Don’t’ waste time or money trying to win over the NIMBYs:
__ follow all of the steps in #2, scoping out the opposition, plus:
__ involve them in the process, painlessly and ineffectively, through devices like Citizens Advisory Committees.
__ take them on trips to see “models” on which our LULU will be based.
__ find out what they need (or would like) and promise it (jobs, money for schools, public services, free trash service, direct grants to the community, increased tax base, donations for community projects, museums, the arts, etc.) Don’t worry about delivery.
__ determine what benefits they will get from the LULU and make sure they understand what’s in it for them.
__ find backers who have “name appeal”, who will sway others.
__ get opinion-shapers and community leaders bought in by offering them shares in the project either at reduced cost or for free, or promise them jobs or business for their companies or economic benefits for the community in general.
Let our allies take on the NIMBYs for us.
Use sophisticated public relations methods:
__ use “quality” public relations materials, the slicker the better.
__ use our greater resources by use of the media through paid ads in local newspapers, television and radio.
__ have good, well-trained people representing us. Recruit tired, disgruntled staff from environmental groups who are tired of working for public interest wages.
__ use quality audio-visual materials (videos, slides, tape, displays, movies.)
__ prepare and distribute quality materials for the children and donate them to local schools. Cartoon or coloring books are an excellent tool.
Keep the debate focused on our agenda and make the NIMBYs react:
__ create a sense of the inevitable with remarks like, “it’s got to go somewhere.”
__ speed up the process, or at least create the impression the process is moving along rapidly to keep the NIMBYs on edge.
__ emphasize every single step of the process so NIMBYs see each stage as a life-or-death situation.
__ bring in and keep in the forefront an array of “bi-lingual” technical experts (who can speak plainly when appropriate, but are good at scientific double talk.)
__ only do battle with the NIMBYs in forums that are either friendly (e.g. government-run public hearings) or controlled by us.
__ have hearings and meetings held in rooms that are much, much larger than the anticipated crowd, it makes it look like not many people are concerned.
__ do all we can to subtly avoid meeting the NIMBYS on their turf, but without running the risk of seeming cowardly.
__ if we must meet the NIMBYs, try to select who and how many of them we meet.
__ make NIMBYs feel they must answer our technical arguments, point by point, by stressing rules of government procedure that require decisions to be made on the legal and technical merits, discounting public sentiments and politics.
__ make arrangements with government hearing officers so our technical experts make
their presentations first. Have our technical experts take their time.
__ dismiss NIMBYs during and after encounters as “emotional, hysterical, selfish, unfactual, irrelevant, selfishly motivated, anti-jobs, tree huggers, socialists (or worse), unrealistic, ignorant, hypocritical” (by focusing on household toxics use and other consumer behavior.)
__ try “sand-bagging” (it’s fun) Get hearing dates changed at the last minute, sinceNIMBYs have little money or access to technical experts and changing a hearing date will make them panic
__ try to get hearings scheduled during the daytime on a working day or during the Thanksgiving to Christmas period.
Use “state of the art” language:
__ start with “state of the art”
__ “acceptable risk” – what our experts, not to mention our accountant, feels would be ok for the turkeys in this community
__ best available technology
__ best available European technology
__ use poly-syllable, hyphenated terms derived from Latin or Greek or explanations like, “the hydro-geological characteristics of these soil strata indicate a excellent permeability co-efficient of ten to the minus 7, meaning that compounds such as VOCs will leach at the rate of less than 1 ug per milliliter per meter per year, but that’s not a problem since our state of the art leachate collection system will capture any ambient discharge that
escapes our double-lined 60-mil polyethylene liner, which as you all know, is the height of the science of such technologies.” Ok?
__ only talk about what we want to talk about, in terms we want to use. If NIMBYs don’t use our language, treat them as ignorant and unworthy of respect, talking down to them is the best way to do this.
Carefully monitor the NIMBYs’ activities:
__ Monitor the media. Keep a good clippings file. Record any television coverage.
__ Have a representative at their meetings. They need not identify themselves, though there could be backlash if discovered. If our rep does identify him or herself, it could have a useful chilling effect on the group or could make the representative a “lightning rod” for anger (which isn’t so bad, since s/he isn’t a policy maker).
__ listen to what people are saying on the street, on radio talk shows, in the letters to the editor column, etc.
Be prepared to get tough with the NIMBYs:
__ When the NIMBYs hold a public meeting, it’s perfectly legal for us to invite our supporters, including employees, to attend in force and speak their minds.
__ if NIMBYs make uncomfortable accusations about us, don’t be bashful about having our lawyer send them a letter warning them of the consequences of breaching libel orslander laws (even if there’s no such breach evident).
__ If, heaven forbid, a member of the NIMBYs works or does business for us, take all necessary steps to remind him/her about basic loyalty and self-interest
__ if the NIMBYs sue us, we’re well without our rights to counter-sue
__ if the NIMBYS sue us, make sure our counsel wages an aggressive defense. Don’t hold back in tactical use of the deposition, interrogatories, etc.
__ use higher authorities. If the NIMBYs block us through local government, see if a higher authority (state, federal or the courts) can override that local decision
__ everybody’s got their price. Determine the price of key NIMBY leaders and be prepared to pay it
__ rough stuff, like getting physical, isn’t nice and could backfire in a real serious way. But be prepared to do damage control should one of our employees view our frustration with the NIMBYs as a signal we want them “dealt with”
Have a back up site in mind, or a Plan B if we fail to defeat the NIMBYs.
CFRW’s Position on Titan
Cape Fear River Watch
Position Statement Summary
Cape Fear River Watch (CFRW) is a non-profit organization dedicated to the protection and improvement the water quality of the Lower Cape Fear River Basin through education, advocacy, and action. With this mission in mind, we have carefully considered and evaluated the potential impacts associated with Carolina Cement Company’s (Titan America) plans to develop a cement plant and mining operation here in New Hanover County. Unfortunately we have learned that this proposed industry, which would be situated along the banks of the Northeast Cape Fear, would undoubtedly cause irreplaceable harm to the important natural resources in and around the plant. Therefore, CFRW has taken a position strongly against the development of this project as it is proposed.
The natural communities in and around the Northeast Cape Fear River in proximity to the proposed cement production facility are widely considered to be pristine. These communities include vast wetlands, habitats for threatened species, and prime fishing and recreation areas. CFRW is specifically concerned about the following environmental impacts that would be encountered if this plant to be built:
· The destruction of up to 600 acres of pristine wetlands, which the Department of the Interior’s U.S. Fish & Wildlife has referred to as a “Resource of National Importance” in their initial comments to the Corp of Engineers. They have agreed with our position that these wetlands aren non-replaceable by indicating that the “impact to these resources may be unmitigable.”
· The contamination of air and water quality due to emissions of high levels of mercury, Chromium-VI, and other pollutants into waters that are already declared mercury impaired on the Federal 303d list.
· Dewatering and depletion of the aquifer due to the mining of limestone and the potential to contaminate the aquifers through salt water intrusion or the quarrying process.
· The direct discharge of sediment and contaminants into the Northeast Cape Fear River.
We have developed the enclosed in-depth statement that outlines in great detail the concerns we have with the development of the Titan America plant. It is extremely important that we do not allow Titan America to bring the pollution and destruction of natural resources associated with their industry to the banks of the Northeast Cape Fear River.
Thank you for your interest in this matter. Feel free to contact me to discuss further.
Sincerely,
Doug Springer
Cape Fear River Watch Executive Director
RiverKeeper
Click HERE for the full position statement
Everybody’s Talking Titan
Concern about the planned Titan America Cement Plant and Limestone Quarry on the Northeast Cape Fear River is spreading. If you haven’t already seen/read/heard the following stories are recommended:
Mercury Rising by Keith Barber in the September 2008 issue of Wrightsville Beach Magazine
Titan Site Tagged Aquatic Resource of National Importance by Marina Giovannelli on WHQR
Titan No Show, Forum Goes On by Keith Barber in Lumina News
Cement Company Eyes Pender by Amanda Hutcheson in Topsail Voice
Unmitigable
What’s the big, fat, hairy deal about Island Creek, anyway? We’ve got lots of creeks. What difference does it make if some cement giant strip mines half of it and paves the rest?
Following is CFRW’s comments on the matter as submitted to the US Army Corps of Engineers as part of the preparation of an Environmental Impact Statement. But first – and even better – have a look at the comments submitted by the US Fish and Wildlife Service. A few excerpts:
“These forests are regularly to irregularly flooded with freshwater lunar or wind tides and there is little or no salinity in the water. Tidal flooding brings seawater-derived nutrients and varying amounts of sediment into the community which probably makes the tidal forests more productive than the non-tidal blackwater subtype of cypress gum swamp.” (page 5)
“Because of the juxtaposition of oceanic saline, mesohaline and oligohaline conditions coupled with the highest diurnal tidal range of any North Carolina estuary, the Cape Fear River estuary, including the tidal portion of the Northeast Cape Fear River, has a high fish species diversity, with in excess of 250 species documented, from 88 families . . . An ecosystem with so many distinct ecological features merits the highest level of conservation measures to ensure its future sustainability.” (page 8 )
and my favorite:
“Given the uniqueness of the fish and wildlife resources at the Castle Hayne site, it is likely that careful analysis will reveal that these anticipated impacts are unmitigable.” (pp. 13-14)
It’s a real SAT word, but now that the US Fish and Wildlife service has broken the ice the word becomes one I’m looking forward to dropping into casual conversation. Say it out loud: “unmitigable”
And now, with no further ado, CFRW’s own comment letter to the Corps:
July 15, 2008
Re: Corps seeks comments on proposed Carolina Cement Company’s (Titan America) proposal to construct a cement manufacturing facility and quarry
Dear Mr. Wicker,
Cape Fear River Watch (CFRW) has reviewed the US Army Corps of Engineers (USACE) Public Notice (PN) ID# SAW-2007-00073 for the application of Carolina Cement Company’s proposal to construct a cement manufacturing facility adjacent to the Northeast Cape Fear River and near Castle Hayne in New Hanover County, North Carolina. CFRW is an established non-profit environmental organization with a mission: To Protect and Improve the Water Quality of the Lower Cape Fear River Basin through Education, Advocacy and Action. With this mission in mind, CFRW will respectfully submit the following comments based on review of the USACE PN:
- The proposed project, based on information provided in the PN, describes the proposed impacts to surface waters and wetlands. The proposed quarrying action will impact an estimated 600 acres of wetlands. Of that total, 214 acres of CAMA jurisdictional wetlands will be impacted. These wetlands reside in a unique and highly sensitive ecological environment home to a diverse array of flora and fauna. Specifically, the area surrounding Island Creek is of important ecological value for its pristine condition and remote location. Destruction of these important wetlands will impede the capability of this habitat to perform its primary function to provide refuge for faunal species and to act as a natural filter from contaminant-laden runoff.
- CFRW has serious concerns regarding the impact this proposed project will have on the water quality of the Northeast Cape Fear River and the Cape Fear River near Wilmington, only several miles downstream. The PN states that hydrogeologic investigations have been or will be conducted to assess the amount of water discharged from the proposed quarry pits. There is concern as to the nature of the constituents of the effluent released from this facility. Aquatic organisms are extremely sensitive to alterations to their physical environment and could be negatively impacted by contaminants or pollutants entering the wetlands and river. Historical water quality data collected by the Aquatic Ecology Laboratory at the University of North Carolina at Wilmington should be utilized to determine baseline water quality conditions. Any anticipated deviation from these baseline conditions may result in fundamental changes to the local biota adjacent to and downstream of the Northeast Cape Fear River.
- The potential impacts of dewatering on groundwater resource areas are also of concern to the CFRW. The Castle Hayne and the Pee Dee aquifers provide the primary source of drinking water supply for many citizens of both New Hanover and Pender Counties. The proposed mining operation may threaten the integrity of the water quality within these two aquifers and thereby may threaten the source of drinking water for thousands of private citizens. CFRW respectfully asks the applicant to describe in great detail within the EIS how the mining operations at the Carolinas Cement quarry will be done to ensure that the quality and quantity of the water resource within these aquifers will not be impacted by the proposed activities stated in the PN.
- The applicant will address air quality within the EIS, as stated in the PN. Measures to reduce emissions of mercury, chromium VI and other dangerous contaminants need to be discussed in great detail in the EIS. Contaminants such as these are highly toxic and detrimental to the fauna found in the aquatic environment. Furthermore, the unique environmental conditions found within the estuarine and riverine benthic habitats promote the conversion of mercury to the transferable and highly toxic form of methyl-mercury. The short-nose sturgeon is a federally endangered species which historically utilized the Cape Fear River as a conduit to its spawning grounds upstream. Any additional pollutant and contaminant input to the system will impact the recovery of this important species. Humans may also be significantly impacted by the deposition of mercury into the waterways which poses a significant health risk to humans who ingest fish containing methyl-mercury.
- Atmospheric deposition of mercury is a nonpoint source of water pollution and must be controlled to protect existing and designated uses of state waterways. The Environmental Protection Administration (EPA) also recognizes atmospheric deposition of mercury as a Clean Water Act nonpoint source of pollution. In response to fish consumption advisories due to elevated findings of methyl mercury, a Total Maximum Daily Load (TMDL) process was initiated to determine the measures necessary to protect human health. In order to establish adequate TMDLs, the EPA looked to the mercury concentration in fish tissue and both the point source and nonpoint source loads of mercury to the environment. Noting that the majority of mercury in the environment is derived from coal-fired power plants and air pollution, the EPA determined that most reductions to achieve water quality standards would need to be implemented through Clean Air Act regulations. Where just 1/70th of a teaspoon, or a single gram, of mercury can contaminate a 25-acre lake, the emission of potentially hundreds of pounds of mercury per year as proposed by the applicant will have an increasing impact on already burdened waterways. Clearly, the North Carolina antidegradation regulations do not allow for addition sources of mercury, either from direct point sources or nonpoint sources such as atmospheric deposition, where uses of waterways are not maintained and Water Quality Standards are not being met.
The Northeast Cape Fear River is classified as being mercury impaired on the Federal 303D list. In fact, the boundary of the mercury impaired waters range from Highway 210 to Prince George Creek. The site of the old cement plant is almost exactly in the center of these contaminated waters. This leads one to suspect strongly the source of the mercury may have been from the previous cement plant. It is our opinion that a TDML must be developed for the Northeast and Cape Fear River basin before any additional mercury can be introduced into these waters by the applicant. A plan to develop the TMDL along with a timeline must be clearly defined in the EIS.
- During and after hurricanes and flood conditions Island Creek floods the surrounding wetlands to depths well above 10 to 15 feet above flood stage. Over a period of time potentially spanning weeks, these flood waters are slowly released into the Northeast Cape Fear River. The pristine wetlands in this area naturally buffer, filter, and help control flooding of inhabited and other areas downstream. How the loss of this buffer as a natural means to control downstream flooding will be mitigated to protect the personal loss of property or the life of humans, fauna, or downstream riparian ecosystems must be clearly described in the EIS.
- Anadromous fish in the Cape Fear River basin are threatened due to the loss of habitat, access to their spawning grounds and nursery areas, pollution, siltation and other pressures. The dynamics of the river are changing due to such things as the intrusion of saltwater and climate change. This has caused the migration, feeding and spawning behavior of anadromous fish include Stripped Bass, shad, herring and the Short Nosed Sturgeon to change as they attempt to adapt. National Marine Fisheries estimates that the restoration of this fishery will yield over five (5) million dollars per year in revenues to North Carolina. Island Creek is unique in its geography and habitat. This resource must be evaluated and assessed so that we understand the criticality of the potential destruction of and the diminishment of its water quality or any component of the ecosystem it provides currently or may play in the restoration of the fishery as a whole. Fish stocks and all components to supporting their existence, ability to spawn and reproduce must be extensively studied and reported upon. This may require a multiple year study to not only establish a baseline of what exist today, but a clear understanding of the dynamics of the ecosystem as a whole and its role in the potential restoration of the Cape Fear River anadromous fishery.
- The Northeast Cape Fear River provides excellent recreational fishing opportunities. The applicant must describe in the EIS the impact to this economic activity within the region. Additionally, the Northeast Cape Fear River provides a living to those who have invested into the development of ecotourism businesses. The future development of this industry must be considered in any evaluation for its potential impact to North Carolina and the local economy. The public uses the river for fishing, swimming, birding, and hunting. Some just like to breathe its clean air or enjoy its natural state. The introduction of a cement kiln, strip mine, and the destruction of miles of wetlands bordering the Northeast Cape Fear River and Island Creek must be evaluated in the EIS as to its current and even more so future impact to restricting its use to an industrial area that is not suitable or safe for public use.
- The applicant has indicated that they may use the river to transport both fly ash, coal, and other toxic hazardous materials by barge to and from the proposed site. The impacts of a potential accident involving a barge carrying these materials should be studied and included in the EIS. The area for study should include the Northeast Cape Fear River in proximity to the proposed cement facility, the main stem of the Cape Fear River from the mouth to the confluence of the Northeast Cape Fear River, and the Northwest branch of the Cape Fear River to the Sutton Power plant. Special consideration should be given to areas of dense population as exist such as in the downtown Wilmington area, endangered species of fish, fauna and mammals and other sensitive ecosystems on and bordering the river.
- Island Creek provides habitat for a varity of migratory birds. It is well known for its population of wood ducks, osprey and owls. Bald eagles have been observed feeding and remaining in the area for extended periods of time in their migrations. Island Creek primary habitat classification is bottomland hardwood forest. Bottomland hardwood forests are primary nesting grounds for a variety of Neo-tropical migrant birds. Neo-tropical birds migrate long distances from the tropical latitudes in winter to temperate latitudes in summer to facilitate their breeding biology. Most notably, the prothonary warbler is one out of 32 species of warbler that only nests in cavities of trees. prothonotary warbler has been deemed by U.S. Fish and wildlife as a species of concern due to its breeding specialization. Our senior naturalist with CFRW has concerns about the lack of bird survey work that has been performed in proximity to the proposed cement factory site. During a preliminary bird count conducted by CFRW, 8 prothonotary warbler breeding males were observed on a mile stretch of island creek site. Any change in the forest matrix could negatively impact the abundance and breeding success of warbler and other bird species. In addition, avian research has proven a direct relationship between forest fragmentation and a decline in neo-tropical species. Development at the proposed level would create an edge effect. These edge effects will concentrate song bird breeding into smaller areas making them more vulnerable to predators and kleptoparasites. We recommend that a full year comprehensive bird survey should be conducted to truly understand the bird diversity inhabiting the Island creek complex. The applicant is requested to provide an inventory and assessment of all migratory birds that inhabit Island Creek and the associated areas of the Northeast Cape Fear River and quantify the impact to them through the destruction of habitat, reduction in air or water quality. Particular sensitivity must be provide for the need to provide the appropriate buffer size for habitat functions dependent upon the resident species, the life-history characteristics of the species, the condition of the wetland and the wetland buffer, the intensity of the surrounding land use, and the function the buffer is to provide.
- Cement Plants are typically lighted in a manner that introduces an extremely high amount of light pollution. We a concerned as to how this will adversely impact the feeding, breeding and survival of nocturnal mammals, birds and reptiles. American Alligator and specific bats that are on the endangered species list that reside on the applicant’s property or reside within close proximity to the area should be given special consideration in the applicant’s review.
- The historical significance of the property needs to be extensively investigated. As an example the Civil War encampment of J. W. Johnson was located on this property. Early maps also show the earliest of bridges crossing Island Creek on the Gilmer maps of 1818 (University of North Carolina at Chapel Hill. Library. Southern Historical Collection.
Thank you for your time and consideration of these comments. CFRW appreciates the opportunity to continue to participate in the discussions and developments of this project. Please feel free to contact me anytime regarding these comments or any other issue pertaining to the proposed Carolina Cement Company’s (Titan America) proposal to construct a cement manufacturing facility and quarry.
Sincerely,
Doug Springer
Earthjustice Report on Cement Kilns and Mercury
Those of you interested in learning more about the connections between cement kilns and mercury emissions will want to read a new report out by Earthjustice, “Cementing a Toxic Legacy.” In addition to the report, the Earthjustice website contains a wealth of additional information on cement kilns. The report is here.
The report is in 6 parts that are easily downloaded.
