Bradford County PA Wells Drilled Animation

Bradford County Wells Drilled Animation

One of the regular users, John Detwiler, recently took the mapping application that is part of the platform to an even greater level. He exported wells drilled data by year into Google Earth to create an animation of the shale gas wells drilled from 2007-11 in Bradford County, PA. Check it out:

Violations per Well by Operator, Part 2: Bad Actors

Recently, I conducted an analysis of the legacy of each Marcellus Shale operator’s violations over time, normalized by the number of wells each company has drilled, in a metric that I call Violations per Well, or VpW. While that analysis was cumulative, I’ve had FracTracker readers ask if the VpW from one year predicts the VpW for the following year, particularly among the bad actors. To help answer that question, I’ve taken the same raw data from the previous post, and recompiled it to help address that.

I’ve been looking at violations per well for some time, on the theory that it can be used to help score a company’s compliance history with regards to the Pennsylvania Department of Environmental Protection, which issues them. All of these wells and violations are Marcellus Shale specific, and come from sources posted on the DEP website.

For ease of use, I’ve color coded the results, with bright green being the best scores, and bright red being the worst. Companies without wells for a given year are indicated in pale blue. They may either indicate drilling operators that were inactive in a given year, or midstream companies that haven’t drilled any well. Here’s the color coded key:

And here are the results:

To look at the bad actors from 2010, I selected all of the entries that were colored burgundy or bright red for that year’s VpW score. How have they fared so far in 2011?

To be fair, I should point out that operators with very few wells can get obnoxious VpW scores in a hurry. On the other hand, there were 14 Marcellus Shale operators with at least one well drilled in 2010 that didn’t get any violations that year. Therefore, in this instance, I’ve included all operators with a VpW of 1.00 or greater, and will leave questions about sample size up to the reader.

Five of the operators with VpW scores of 1.00 or higher haven’t drilled any wells at all in 2011 so far. In fact, all of them had VpW scores of at least 2.50. There may be a variety of reason for their absence in 2011, but honestly, their lack of compliance isn’t missed.

Nine operators improved from 2010 to 2011, four of which improved all the way into green categories. This is the result that we want to see, where companies appear to be responsive to violations issued by the DEP. Notable among this group is Citrus Energy, which had a huge amount of violations compared to one drilled well in 2010, to a VpW score under 0.50 so far in 2011. Also, PA Gen Energy is an operator with a significant number of wells that went from a red to a green category, which is encouraging to see. Cabot, on the other hand, barely budged, and remains over 2.00 violations per well.

There are also three operators from 2010 with VpW scores of 1.00 or greater that actually got worse in 2011. And keep in mind, the data used includes almost two more months of drilled wells than violations, so inclusion in this group is especially dubious. They include Rice Drilling B, whose VpW more than duobled to 2.13; XTO, which went from awful to horrific since becoming a subsidiary of ExxonMobil; and Ultra Resources, whose performance has been nothing short of ghastly in 2011. Luckily, Ultra has been leaving the Keystone State alone since January–let’s hope it stays that way.

I maintain that since so many operators–big and small–are able to keep their violations to wells ratio at less than 1:2, all of the operators that operate in Pennsylvania’s Marcellus Shale should try to reach that standard.  Those that show a continued disregard for our laws protecting our environment should face stiff fines for their complacency, while those operators that average more than two violations per well drilled over a prolonged period of time need to be banned.

Community Foundation for the Alleghenies Announces Director for its New FracTracker Fund

Community Foundation for the Alleghenies logo

The Community Foundation for the Alleghenies has named a former state Department of Conservation and Natural Resources official to manage its newest fund, FracTracker.org, effective this week.

Brook Lenker, who served as manager of education and outreach in the department for nearly eight years, will manage FracTracker.org staffing and operations; expand the website capabilities; coordinate and develop content; publicize and expand use of the website by journalists and other users; broaden community and academic outreach; and undertake additional strategic initiatives.

“We are pleased to be able to engage a talented and committed environmental leader such as Brook and to work with donors such as The Heinz Endowments, whose generosity can be put to use through important community tools like the FracTracker.org Fund,” Angie Berzonski, program & communications officer for the Community Foundation for the Alleghenies, said in making the announcement today (Friday, December 9, 2011).

“FracTracker is an invaluable resource to all who care about our future and the complex challenges associated with the shale gas industry,” said Lenker. “I’m honored to lead it and hope to expand its utilization, grow its capabilities, and build powerful partnerships that enhance its effectiveness.”

In his previous work, Lenker had extensive experience collaborating with groups as diverse as conservationists, businesses and hunting-fishing interests. “It was my responsibility to help lead a program to engage all Pennsylvanians in better environmental stewardship practices,” he said, “and I look at my work with the diverse stakeholders connected to FracTracker in the same way.”

The FracTracker website is hosted by the Foundation for Pennsylvania Watersheds. The web portal is a combination data and blog tool that allows users to interact with, upload, analyze and visualize data that have been located geographically in relation to gas extraction activities in the Marcellus Shale region and oil and gas extraction nationally. The portal is also a hypothesis generating tool for academics; a storytelling device for journalists; and a resource for industry and government agencies. The hub serves as a center of data aggregation so that impact can be viewed and understood at scale and, through analysis and exposure, informs all levels of society and social discourse.

“We are looking forward to Brook’s leadership in the future development and use of FracTracker.org.,” said Caren Glotfelty, director of  The Heinz Endowments’  Environment Program, which has provided nearly $1.5 million for the project since it began two years ago. “The website has become an important, independent, fact-based source of information on the effects of Marcellus Shale natural gas production, and we expect it will become even more useful under Brook’s management.”

Additional support for various aspects of the FracTracker project comes from the Philadelphia-based William Penn Foundation, which has awarded a $300,000 grant.

The Community Foundation for the Alleghenies is a nonprofit public foundation. Through the charitable giving of its donors, it builds professionally managed assets to support the communities it serves. Grants typically are advised by donors or are entrusted to the Foundation to use its community knowledge and engagement to place their giving toward greatest needs, emerging issues or to best leverage additional support. The Foundation is overseen by an active volunteer board and committees. The Foundation is also among those community foundations achieving compliance with national standards as established by the Council on Foundations.

For information about grantmaking or to inquire how to establish your own charitable fund at the Foundation, please contact the Foundation at 814-536-7741 or visit its website, www.cfalleghenies.org.

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Samantha Malone and Matthew Kelso welcome Brook Lenker into the FracTracker.org team. They are excited about the experience and passion he brings to the table and look forward to working with him in making FracTracker.org a key player into the shale gas world.

Map of Pavilion WY

EPA: Fracking and Groundwater Contamination

Map of Pavillion, WY

Pavillion, WY

The Internet is alive today after the U.S. Environmental Protection Agency released a report that indicates hydraulic fracturing (used when drilling for natural gas in tight shale formations) can contaminate groundwater. Residents of Pavillion, WY have been complaining about the state of their groundwater for some time now. The draft EPA report lends credibility to their claims with the finding that chemicals associated with the process were found in some deep water aquifers in the area. And when you look at all of the evidence around this issue – outside of the EPA’s study – the results are even more ‘ground-breaking.’

Having said that, there are a few questions regarding the EPA report/research. No field study could ever account for all of the potential confounders and variables – especially given the amount of resources the EPA had at its disposal to conduct this work. However, some of the most significant questions that I would like to see answered before this draft is finalized include:

  1. How representative is the data from the two monitoring wells in relation to residents’  drinking water wells?
  2. Has the potential for surface contamination of the monitoring wells been ruled out?
  3. Why weren’t the duplicate samples that were analyzed by separate labs also able to detect 2-BE?

These questions (and surely more) are exactly why this is only a draft report. According to the EPA, it will be available for a 45-day public comment period. A subsequent 30-day peer-review process will be led by a panel of independent scientists to ensure that the results that stay on the records are accurate.

Gas leases in Dryden NY

Gas Lease Review by the New York Times

Gas leases in the southeastern corner of the Town of Dryden (approximately).

Example lease map. Source: LivinginDryden.org

 

The New York Times has collected more than 111,000 oil and gas leases and related documents through open records requests. Over 100,000 of the documents in the archive are from Tarrant County, Tex., roughly 3,200 are from New York, and the remainder are from states including MarylandOhioPennsylvania and West Virginia.

To see all of the leases that have been collected by the New York Times, click here.

 

Some quick tidbits about what they found:

  • Fewer than half the leases require companies to compensate landowners for water contamination after drilling begins. And only about half the documents have language that lawyers suggest should be included to require payment for damages to livestock or crops.
  • Most leases grant gas companies broad rights to decide where they can cut down trees, store chemicals, build roads and drill. Companies are also permitted to operate generators and spotlights through the night near homes during drilling.
  • In the leases, drilling companies rarely describe to landowners the potential environmental and other risks that federal laws require them to disclose in filings to investors.
  • Most leases are for three or five years, but at least two-thirds of those reviewed by The Times allow extensions without additional approval from landowners.

Data.FracTracker User Survey

As FracTracker’s manager, the Center for Healthy Environments and Communities of the University of Pittsburgh Graduate School of Public Health has created a brief online SurveyMonkey questionnaire (approximately 10 minutes). The purpose of this research is to determine whether and how people are using Data.FracTracker.org to make decisions surrounding natural gas drilling. If you are willing to participate, the survey will ask about your utilization of FracTracker’s features (e.g. data mapping component), whether you have used the system to help you make decisions about natural gas drilling, whether you believe that the decisions you made impacted your health or those around you, and your demographics (e.g. sex, age, race, education, and residence).

There are no foreseeable risks associated with filling out this survey, nor are there any direct benefits. There is no compensation for completing the survey. All responses are confidential, and results will be kept within University of Pittsburgh computers. Aggregated responses will be used for the purposes of writing an academic paper on the utilization of FracTracker for decision-making. Your participation is voluntary, and you may stop participating at any time.

To participate in the online survey, follow this link.

– Contact Information –
PI: Samantha Malone, MPH, CPH
Center for Healthy Environments & Communities
slm75@pitt.edu

Drilled Marcellus Shale Wells per Month

The following chart takes a look at the number of drilled Marcellus Shale wells in Pennsylvania, from 2006 through November, 2011. The accompanying trend line is included, not so much to predict December’s total, but to show the relatively decent R2 value.  That is to say, despite the occasional peaks (e.g., September 2010) and troughs (e.g., November 2010), the number of Marcellus Shale wells drilled per month has been increasing in a fairly orderly manner over the past 4 years and 8 months.

Actually, the best Excel trendline was a sixth order polynomial, with an R2 value of .087, but that’s getting fairly silly relative to my purposes here.

However, when you use the same data but only look at the last 24 months, the results are far more erratic. Once again, the highest R2 value was from a polynomial trendline. But that value wasn’t very high at all:

Once again, I don’t think the equation itself is that important, but the 0.18 R2 value is pretty low. Even the sixth order polynomial, with three peaks and three troughs, has an R2 value of only 0.34.

While the first chart shows an industry that is steadily accelerating, the second one shows…I don’t know.  I’m hesitant to offer interpretations.  My sense is that even though the R2 value is surprisingly low compared to the first chart, it doesn’t actually mean that much. Visually assessing the chart, it doesn’t seem to be a seasonal fluctuation, but there are mini-clusters of months with higher amounts of drilling activity, and those with lower amounts as well.  Certainly, the trendline is higher this month that it was two years ago, but not dramatically so.

Violations per Well by Operator Over Time

The following chart contains all operators that have either drilled a Marcellus Shale well in Pennsylvania from March 6, 2006 to November 27, 2011, or have been issued a Marcellus Shale related violation by the Pennsylvania Department of Environmental Protection between January 1, 2008 and September 30, 2011. Results are cumulative, thereby reflecting each company’s legacy with the Marcellus Shale, rather than their performances for any given year. The Violations per Well (VpW) score has been color coded for easy reference, with the following scale:

Most companies that are issued violations are well operators, although there do seem to be some midstream companies on the violation list. This might account for some of the blue “No wells” below, but mostly they reflect operators that were not yet active. For example, Antero Resource’s first well was in 2010, so entries for 2008 and 2009 read as “No wells”.

Whenever we look at Marcellus operators over time, the changes in companies has to be dealt with in some way. In this case, I took a minimalist approach: while East Resources, Inc. and East Resources, Llc. were combined, I did not merge name changes that were more substantial than that. For example, even though CNX Gas and Consol Gas are both owned by Consol, I did not merge the two. Another example is St. Mary Land and Exploration changed its name to SM Energy, and those two entries were left unchanged. Because of all of the changes within the industry, I have included the most recent drill date, so that viewers can determine if the drillers are still active.

Summary: GSPH Shale Gas Conference 2011

2nd Annual Health Effects of Shale Gas Extraction Conference
Hosted by: University of Pittsburgh Graduate School of Public Health
November 18, 2011 – Pittsburgh, PA

Presentation Summaries (in presentation order below) | Conference Website | Presentation Videos | Photos (coming soon)

Bernard D. Goldstein, MD 
Emeritus Professor, University of Pittsburgh, Graduate School of Public Health, Environmental and Occupational Health department

“Public Health, Sustainability and the Marcellus Shale”

Goldstein works in the areas of sustainability and Marcellus shale issues, where he sees much overlap. However, in his sustainability work he sees hope for the future – and in his Marcellus shale work he worries that we have not learned from our past.

There is confusion around Marcellus Shale gas extraction. Most of this confusion centers around two keys issues: what do people mean when they say ‘fracking’, and how old is this technology. Fracking can be narrowly defined as just the fracturing of shale with highly pressurized fluid, or meant more widely as the entire process from pad creation to the production of natural gas. The technology used to extract gas from the Marcellus shale is a new twist on an old technology. This lack of definition and clear communication leads to mistrust.

When communities and individuals who are against Marcellus shale drilling are asked about the source(s) of their concern, health is high on their list. However, health professionals are rarely on local, state, or national advisory committees on the subject. Public health professionals must be at the table when talking about Marcellus shale issues.

According to Goldstein, there are three certainties in moving forward with the Marcellus Shale: surprises, disease clusters, and less pollution over time. A prospective study now would be preferable to a retrospective study after the disease clusters appear. Therefore, resources must be spent now on gathering data and conducting research to develop evidence-based recommendations.

Sustainability has much in common with the public health goal of prevention. Therefore, we must look to lessons in sustainability when thinking about and solving Marcellus shale problems.

Robert Jackson, PhD 
Nicholas Professor of Global Change, Duke University, Nicholas School of the Environment

“Shale Gas, the Environment, and Human Health”

Jackson’s presentation focused on the need for cooperation and interaction of state regulatory agencies with university researchers and also his own research on groundwater analyses and contamination. He began with a background of the pros and cons of the issue, asking, “Why might we want natural gas to power the world?” There are many incentives, especially when considering legacy pollution caused by the coal industry with mountain top mining and acid mine drainage.

Jackson explained that the geology and density of people in Pennsylvania and Texas are different from Wyoming’s tight sand shales, and in PA the drilling setback limit is 250 feet. The density of wells within PA also differs among areas. Whereas the legacy of conventional gas wells is mostly located in western PA, the majority of Marcellus Shale gas wells are located in Northeast PA, so this is where his researched has been conducted.

He posed the research question, “If you are near a natural gas well is your water quality different?” To try to answer the question he used three methods: stray gas forensics (methane, ethane, and propane), isotopic composition, and tracking the fate of hydraulic fracturing fluid. He began by establishing geochemical and isotopic tools for tracing gases and fluids from produced water. His team took samples and conducted field readings but most analytical work was done in the lab. The team analyzed well water samples for isotopes of Carbon, Hydrogen, Oxygen, Boron, Strontium, as well as analyses of other elements and radionuclides. Isotopic ratios can to be used as fingerprints, since they are different depending on the geological source of the sample, i.e. surface water or from deep underground.

Their findings indicated no evidence of hydraulic fracturing fluids or produced water in wells, but did suggest a relationship between distance to a wellhead and concentration of methane, ethane, and propane in homeowners’ drinking water. The gas was identified as thermogenically created, with a different isotopic signature than most “surface methanes.”  Jackson also noted that most homeowners do not typically have problems.  “What is the cause of this difference?” The issue is something that can be addressed first by fixing the most likely mechanism for the leaks – poorly constructed wells.

Jackson then went on to discuss some of the new regulatory changes to well construction and cementing in PA. There is not a consensus on the possibility of an intermediary fracture that connects with a fissure that leads to the surface and groundwater, and most agree this pathway is less likely than issues with well construction. Faulty casing and cementing is the likely to be the most common source of groundwater contamination.

Jackson discussed the state of future unconventional drilling in his home state of North Carolina, if NC legalizes horizontal drilling and hydraulic fracturing. His recommendations for NC included to collect generous pre-drilling data, have aggressive zone and setbacks to protect property, to plan for water disposal, to require full disclosure of chemicals, have fees to cover monitoring, and provide landowners with better information as there are not any oil and gas lawyers in NC.

Other work that Jackson and researchers at Duke are pursuing includes using isotopic ratios to investigate sources of methane seeps. The surface seeps do not appear to look like Marcellus Shale deep methane. Using a mobile air monitor, methane leaks and losses from pipelines have also been mapped with colleagues at Boston University by driving the monitor around city blocks. In Boston there were hundreds of leaks identified that need to be fixed. Air quality is also being researched as methane extraction leads to the release of precursors of ozone.

Jackson finished his presentation with recommendations. There are certain data needs that should be filled, including: identifying mechanism for migration (such as well casing failures), making more data publically available, gas isotope data, chemical and isotopic profiles with depth, data disclosure (including “frac” fluid constituents). Health studies still need to be conducted, including the following studies: chronic, low-level exposure to methane have not to his knowledge been completed; air quality effects, including VOC’s; longitudinal health studies; and green-house gas accounting. There also needs to be better collaboration among industry, universities, and regulators.

Allen Robinson, PhD
Professor, Carnegie Mellon University, Engineering and Public Policy and Mechanical Engineering, Center for Atmospheric Particle Studies

“Regional air pollution emissions from the development and production of Marcellus Shale”

There is a lot of attention on water quality impacts from Marcellus, and rightly so, however, we also need to consider the impacts on air quality from the natural gas boom especially when considering our already pollutant saturated region. There are certainly end-use benefits to natural gas usage over coal and other fuel sources, and these benefits must be considered into the prudence of energy production types. There are many sources of emissions throughout the complete cycle of unconventional gas drilling to production and those sources are distributed all over Pennsylvania. Impacts can be localized to nearby communities, but also air pollution can travel and mix with other sources across larger spatial scales. “The emissions are all interconnected in a way, whether its distance or a functional connection such as a pipeline, regardless there are good reasons for emissions to be aggregated,” says Robinson. The emissions are also distributed across a very large area, so we also need to consider the contribution to other areas such as Philadelphia, New York, etc. The pollutants of concern with oil and gas development are:

    • Criteria Pollutants
      • Ozone
      • PM2.5
    • Hazardous Air Pollutants/ Air Toxics
      • Diesel particulate matter
      • Benzene, toluene, ethylbenzene, xylenes
      • Formaldehyde, acrolein
    • Climate Change
      • Methane
      • Black Carbon

Unconventional gas drilling has occurred in other areas of the US, and significant research has occurred in the last 10 years on the impacts in these areas. NOx and VOC emissions in the Barnett Shale region in the Dallas-Fort Worth area are a large source of pollution once the sources are aggregated. The combined emissions of NOx and VOCs for the aggregate emissions in the areas of shale development are comparable to the mobile emissions from cars and trucks in the metro area of Dallas-Fort Worth (Armendariz, 2009). The synergy between meteorology (weather) and emissions plays a major role in ozone concentrations in general. This synergy was apparent in the Jonah-Pinedale Anticline in Wyoming where for the first time, ozone levels in the winter were above the health-based NAAQS, putting this area in non-attainment for 8-hour ozone concentrations (Pinto, 2009). Some of the rural areas around some of these operations are experiencing elevated levels of benzene for example. These levels are not incredibly high, but in some of these areas it is 4-5 times higher than it should be. Living in Grand Junction, CO is therefore somewhat comparable to living next to Neville Island.

To estimate the relative contribution of emissions from natural gas operations in Pennsylvania, emissions inventories for all the sources, their activities and respective emissions factors must be calculated, estimated, and averaged. Once these estimations are verified, computer model simulations can predict the relative contribution or perturbations of pollutants concentrations in the air to their respective sources. The majority of the emissions of NOx are related to drilling activities as calculated in 2009, but emissions in 2020 is predicted to be caused more by production activities such as compressor stations. The regional median NOx emissions increase was estimated to be about 5% attributable to Marcellus Shale drilling operations in 2009. In 2020, the median increase is predicted to be around 17.5% current NOx emissions. In developing a state implementation plan (SIP), these contributing sources must certainly be taken into account.

Adam Law, MD
Owner, IthacaMed; Clinical Assistant Professor, Weill Cornell Medical College; Founding board member, Physicians, Scientists and Engineers for Healthy Energy

“Endocrine and Metabolic Disruption”

As a clinical endocrinologist, Law treats many chronic diseases of the endocrine system. The endocrine system consists of the pituitary, thyroid, and adrenal glands as well as the ovaries and testes. Law is concerned with Endocrine Disrupting Chemicals (EDC) in the environment which can interfere with the body’s natural estrogen, androgen, and thyroid hormone production and functionality.

Law is concerned that some gas companies are less than forthright with revealing all chemicals in their proprietary fracking fluid. This limits the ability of scientists to determine effects of these chemicals in our environment. There are three chemicals in hydrofracking fluid that are known EDCs: cadmium, arsenic, and thiourea. Cadmium causes prostate cancer in rats; arsenic interacts with seven hormone receptors and has been linked to Type II diabetes; and thiourea reduces production of the thyroid hormone, as well as causing adverse pregnancy outcomes.

EDCs are also of great concern because of their non-linear dose-response curves and their ability to bioaccumulate in fat deposits. A non-linear dose-response curve means that a small dose of these chemicals has unusually large effects on the body. Accumulation in fat deposits leads to these chemicals being released again into the body when fat is used for energy – namely during pregnancy, breast feeding, and during illnesses. Additionally, there likely are unknown synergistic effects of many of these chemicals acting together.

In light of this information, Law would like to see industry disclose all of the chemicals in their fracking fluid. This would allow scientists to further study, identify, and restrict the EDCs being released into our environment.

Charles Werntz, DO, MPH
Associate Professor, Clinical Emphasis, West Virginia University, School of Medicine, Community Medicine & the Institute of Occupational & Environmental Health department

“Worker Health Concerns in Marcellus Shale Work”

In his presentation, Werntz from the Institute for Occupational and Environmental Health (IOEH) at the University of West Virginia considered the health impacts of a group that is significantly affected by the Marcellus Shale but not often discussed: the people who work on the well sites themselves. Werntz’ occupational health data comes from people who have come into the IOEH seeking medical attention from a variety of afflictions, from events occurring throughout the entire life cycle of the well from the development of the well pad through post production activities.

Common health issues include injuries from slips and falls, traumatic accidents related to heavy equipment and ATV usage, and skin and respiratory ailments due to chemical exposures. Werntz indicates that there has been some progress in this last category, as the industry has trended away from hand mixing of hazardous chemicals for the hydraulic fracturing process of well stimulation. According to Werntz, it was common for workers to mix these chemicals by hand, protected only with surgical style latex gloves, whereas now such tasks are completed in enclosed mechanical mixers. The IOEH hasn’t had a hand mixing injury in two years, he said, reflected improved practices in the field.

Werntz also asserted that in an environment such as an active drilling site, the nature of injuries cannot always be predicted. To exemplify this point, he discussed the so-called sparkly cloud incident, in which three of six workers on site were hospitalized after being exposed to a cloud that is thought to have occurred from an exploding lithium battery. Two years after the incident, two of the three hospitalized workers still cannot work on drill sites without triggering chemical asthma.

Many steps can be taken to improve the health and safety of workers on the job site. And while not all chemical exposure injuries can be prevented, Werntz indicates that treatments can be dramatically improved by fully disclosing the chemicals used for each hydraulic fracturing action, so that physicians do not have to sift through the potential reactions of hundreds of different chemicals on the approved list of hydraulic fracturing chemicals.

William Burket, CFPS
Regulatory Affairs Manager, EOG Resources, Inc.

“Industry Safety Initiatives and Community Emergency Preparedness”

Burket outlined multiple elements of the Marcellus Shale Coalition’s Industry Safety Initiative in his remarks. Burket prefaced this discussion with a quick summary of the regulations already in place at the upstream (well development), midstream (gas production), and downstream (delivery to homes and businesses for use) phases of natural gas production. He then explained that the Marcellus Shale Coalition is an organization with includes 260 companies, about 40 of which are producers, and the rest of which are contractors which provide services to producers.

The Coalition participates as a state chapter of the national STEPS (Service, Transmission, Exploration, Production, Safety Network). Its members are asked to adopt best management practices that have been developed in the industry. Burket provided illustrations of these best practices, which typically exceed regulatory requirements, in each area of activity. For example, transportation regulations specify speed limits, hours during which headlight use is required, and requirements for logging hours worked for long-distance drivers. The STEPS best practice standard calls for lower speed limits in inclement weather, use of headlights whenever in transit, and logging requirements for local and well as long-distance drivers.

Burket explained that the industry is seeking “green chemistry” to use in the drilling mud and hydro-stimulation processes. He also noted that while flaring will continue to be used in emergency situations, the industry is working toward the development of “green completions.” Finally, Burket summarized the efforts the Coalition has made in the area of emergency preparedness. In the last 3 years, in collaboration with the State Fire Academy and State Fire Chief, the Coalition has helped to facilitate the training of 2200 county-based emergency responders from 42 counties and has worked on other community preparedness measures.

Simona Perry, PhD 
Research Scientist, Rensselaer Polytechnic Institute

” ‘It’s like we’re losing our love’: Documenting and Evaluating Social Change in Bradford County, PA during the Marcellus Shale Gas Boom (2009-2011)”

Perry presented on the ongoing ethnographic research she began in July 2009 in Bradford County, PA. Perry seeks to explore the relationship that the marginalized residents of Bradford County have with the Susquehanna River and surrounding area. The timing of her study is propitious in that it began at roughly the same time as the Marcellus Shale gas drilling boom. Over the last 2 years, the county has been virtually “occupied” by the natural gas industry, changing both the landscape and the lives of those interviewed one-on-one and in focus groups conducted by Perry.

Bradford County is a rural community. It has a history of land-based and extractive industries (agriculture, lumber, and mining), racial homogeneity, and a population whose families had lived in the community for generations (with declining population in recent decades). Their ties to the land and the value they placed on clean air and water, fertile soil, and a rural way of life were well-established prior to the arrival of the gas drilling activities in 2009. Initially residents believed that local government would be able to regulate the increase in traffic and out-of-town workers, and light and noise pollution resulting from around-the-clock drilling, and that the industry would improve the local economy. Residents even saw it as their patriotic duty to welcome the industry which promised to make the country energy independent.

Within the next year, their experiences with traffic, destruction of roads, noise, toxic chemical releases in water and air, and destruction of the landscape created such stress among residents that Perry characterizes their impact as similar to the trauma suffered by domestic abuse on the individual level, and collectively like the trauma observed in communities experiencing significant natural disasters. She has observed that the cycle of abuse observed in intimate relations – tension building, leading to an incident, followed by reconciliation, the a calm period followed again by tension building – is evident in the community at large in her field notes over the last 2 years. Perry concludes that the residents who have chosen or have no choice but to remain in the community need the assistance of mental health and environmental professionals who can help them protect their rights and prepare them for future impacts.

Kathy Brasier, PhD
Associate Professor of Rural Sociology, Pennsylvania State University, Agricultural Economics and Rural Sociology department

“Community Impacts of Natural Gas Development in the Marcellus Shale: A Research Summary”

Over the last 2 years, Brasier has worked with a team of researchers in her institution to study community impacts of Marcellus Shale drilling using mixed qualitative and quantitative methods. She has a particular interest in community risk perception and trust in social institutions. Brasier’s research team is seeking to conduct longitudinal research in communities across Pennsylvania starting with “pre- or early state-Marcellus Shale boom period” forward. The team is using the “boom town” literature developed in the 1970s and 80s in the western US, although it recognizes that its applicability to the East may be limited.

Using case studies conducted in 6 counties and a geographically broader household survey, the research explores the social disruption caused by stress on infrastructure and social relations in areas of Marcellus Shale activity. Results from both types of investigation indicate that the deterioration of roads, increased traffic, housing shortages and concern about the future environmental and community impacts are greatest community concerns. Changes in the population – more and different kinds of people with a different connection to place – are both changing relationships in the community and increasing stress on local human service systems.

The economic impacts are viewed as favorable insofar as the drilling boom has brought jobs and income to previously depressed communities. The opportunities for young people to remain in their home communities upon completing their education are improving. Yet there is also evidence that the gas industry’s higher wages have bid skilled workers away from existing employers creating shortages in some places. Additionally, it is not clear whether existing struggling industries, such as dairy farming, will survive. While some farmers use income acquired from leasing mineral rights to revive their farms, others use it to get out the business and/or community completely. The future of tourism is likewise uncertain, depending upon the impact of drilling on the quality of the environment.

The survey data collected thus far indicates that respondents’ assessments of the impact of Marcellus Shale drilling depend on location. Considerations of access to a metro area, the history of extractive industries, whether the community is a hub for company headquarters or drilling activity all influence perceptions. Overall, about twice as many people have a positive attitude toward the industry compared to a negative assessment (45% vs. 21%). But Brasier notes that this leaves one-third of the sample undecided about their perception, and that responses to this question differ regionally as well. The research will continue to explore whether the industry, regulators, and other institutional players are viewed as competent to manage risks and predictable in how they do so. These factors contribute to institutional trust which is critical to the future of the industry.

Tom Biksey, MPH
Director Risk Assessment, EHS Support, Inc.; Doctorate Candidate, University of Pittsburgh, Graduate School of Public Health, Environmental and Occupational Health department

“A Risk Assessment of Fracing Fluid Flowback Water from an Operation in an Asian Pacific Setting”

Biksey presented a risk assessment model of exposure pathways from a Marcellus Shale well pad. He began the presentation with an explanation of the Risk Assessment paradigm and the importance of risk assessment for regulatory processes. The model was based on the conservative assumption that a drill rig can be placed next to a residence. It was also assumed that the residence had potable groundwater source, as well as a surface water, or stream, adjacent to the site, to include pathways including surface water contamination. Multiple scenarios were tested. They included dermal contact by a trespasser exposed to the surface water, workers repairing lines, and the impact on livestock and native fauna, such as cattle drinking from the surface water source. Two phases of exposure were modeled. First, a mass balance was calculated for the hydraulic fracturing chemicals returning to the surface as flowback . At that point the water quality monitoring program was not yet established for sampling sources of the water. Material safety data sheets (MSDS) and other specifications of chemical risks were used to derive a cumulative risk., Next, modeling was designed to track the fate and transport of the chemicals in the flowback to determine where they go and at what concentration.

Three scenarios with different flowback fluids of differing contaminant concentrations were included in the model. One exemplified flowback fluid prior to any type of treatment, the second a blended mixture of wastewater streams, and the third flowback water after reverse osmosis. Biksey presented a diagram of the model to show exposure source locations. The five modeled receptors included a trespasser, worker, livestock, wildlife (medium sized such as a deer), wildlife (small mammal), each with their own exposure time frame and dermal contact (exposure route).

There is a necessity for transparency of these evaluations due to the many variables. The EPA has an approved worksheet for presentation of the data. All the data for a receptor goes into an intake equation all info in gives you dose and what type of exposure. An unknown variable was the amount of mass that would be recovered/returned from the well, so both 20% and 80% return were included. Inputs included an empirical list of detected chemicals of particular concern (COPCs) including constituents from the formation materials. The only poly-aromatic hydrocarbon was naphthalene. For certain COPC’s, oral RfD’s for the Toxicity Assessment had to be derived.

For the risk characterization, a cumulative carcinogenic risk was evaluated. A risk of less than 1×10-6 was considered acceptable. A risk of less than 1×10-4 requires a best practice control measure for reduction, and a risk of greater than 1×10-4 is unacceptable. The maximum carcinogenic risk determined from the model with maximum exposure was 3.7×10-5 from surface water. This theoretical showed a limited risk for maximum exposures at the well-site but there is room for improvement with the model.

Myron Arnowitt, MPH
PA State Director, Clean Water Action

“Review of the Citizens Marcellus Shale Commission board report”

Arnowitt is the Pennsylvania director for Clean Water Action. His presentation took a look at the efforts of the Citizens Marcellus Shale Commission board report and discussed the reason for its formation. The 16-member commission was set up by numerous nonprofit organizations, and is co-chaired by two former state representatives, Dan Surra (D-Clearfield and Elk Counties) and Carole Rubley (R-Chester and Mongomery Counties).

The Citizens Marcellus Shale Commission was set up to provide an independent perspective and provide an opportunity for the public to participate in the review process, features that were notably lacking from the process for Governor Corbett’s Marcellus Shale Advisory Commission. To this end, the commission conducted 5 public hearings, attracting over 400 participants from 48 counties in Pennsylvania, according to Mr. Arnowitt.

Largely based on this public participation, the Commission have put forth a number of recommendations on their report, including air quality issues, the handling of public lands, ground and surface water contamination, economic issues and health issues. Arnowitt says that much of the report can be summarized by the phrase “slow it down”. This applies both to the expedited permitting process as well as the frenetic pace of the industry in general.

Summary Writers

  • Kyle Ferrar, MPH
  • Matt Kelso, BA
  • Jill Kriesky, PhD
  • Lynne Marshall, MS
  • Drew Michanowicz, MPH, CPH

Study Offers 7 Safeguards For Hydraulic Fracturing

Duke University Press Release

A new report by Duke University researchers offers several health and environmental measures for North Carolina lawmakers to consider as they debate legalizing horizontal drilling and hydraulic fracturing for natural gas.

The study, which has been accepted for publication in the journal Duke Environmental Law and Policy Forum, looks at potential environmental hazards and how lawmakers in other states are factoring health and environmental risks into regulatory approaches targeting the natural gas extraction method.

”If North Carolina legalizes shale gas extraction, we need to consider what’s worked best in other states and avoid what hasn’t,” said Rob Jackson, Nicholas professor of global environmental change at the Nicholas School of the Environment. “That’s the only way to get it right.”

Legislation passed earlier this year has moved North Carolina closer to producing shale gas, and is directing the Department of Environment and Natural Resources to complete a study on the effects of hydraulic fracturing, often called “fracking,” by May, 2012.

Authors of Duke’s own study say if North Carolina legislators allow natural gas production through hydraulic fracturing, they should consider seven measures to help avoid and mitigate any possible negative effects. These include:

  1. Securing baseline data on groundwater prior to shale gas production and at each stage of the drilling process;
  2. Funding for regulatory programs and an agency to carry them out;
  3. Planning for withdrawals from area water supplies related to the production;
  4. Minimizing the risks of spills and contamination caused by equipment failure and human error by implementing safety requirements;
  5. Thinking through options for the disposal and treatment of wastewater resulting from the hydraulic fracturing process;
  6. Assessing the impacts on air quality and assure attainment of federal ground-level ozone standards; and
  7. Requiring some degree of disclosure regarding the chemicals used in fracturing fluid.

“Lawmakers have the unique opportunity to decide whether or not hydraulic fracturing is appropriate for the state,” said Jonas Monast, director of the climate and energy program for the Nicholas Institute for Environmental Policy Solutions. “Before making a decision, we need to understand the full range of potential economic, environmental, and health impacts.”

The paper “Considering Shale Gas Extraction in North Carolina: Lessons Learned in Other States,” is written by Sarah Plikunas, Brooks Rainey Pearson and Jonas Monast of Duke’s Nicholas Institute for Environmental Policy Solutions and Rob Jackson and Avner Vengosh of the Nicholas School of the Environment. To read it, click here.