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LicenseDespite Ban, New York Permits Pennsylvania to Dump
Radioative Fracking Waste Inside Our Bordersto
Dump
Environmental Advocates of New York has many people,
partners and organizations to thank for making this
report possible – in particular, we extend our appreciation
to the Park Foundation whose generous support fostered
this research.
We thank Christopher Amato, staff attorney at Earthjustice,
and Gary Abraham, attorney-at-law, for reviewing drafts of
this report and for providing crucial documents and data.
We also thank Roger Downs, chapter conservation director,
and Kevin Smith, intern at Sierra Club-Atlantic Chapter, as
well as Nadia Steinzor, eastern program coordinator at
Earthworks, and Bill Hughes, West Virginia community
liason at FracTracker Alliance, for reviewing data, vetting
information, and providing consultation during the writing
of this report.
About Environmental Advocates
For more than 45 years, Environmental Advocates of New
York has been at the center of every major environmental
debate and cause in Albany.
As your green government watchdog, we advocate for strong
environmental policies and protections, educate the public
and media about critical issues, and hold decision-makers
accountable. Our advocacy network is currently more than
40,000 New Yorkers strong, and growing.
Environmental Advocates is a 501(c) (3), and the New York
affiliate of the National Wildlife Federation.
Sign up to become an Environmental Advocate at
www.eany.org, and join the conversation online!
Author: Elizabeth Moran
Editors: Lindsay Goldberg, Kristin Legere, Peter
Iwanowicz, Nicholas Moore, Max Oppen, Travis Proulx
Graphic Design and Layout: Travis Proulx
Copyright Environmental Advocates of New York, 2015
Acknowledgements
Join the Movement
2Cover photo credit to USGS.
GLOSSARY
3
Executive Summary
Recommendations
What is Fracking Waste?
Hazardous Waste Loopholes
Radiation/DEC Inconsistencies
Reference Guide
4
8
10
14
16
22
www.EANY.org
Stats to remember
Waste coming into New York
Where does it go
Case study: Chemung County Landfill
Ignoring federal TENORM
Inconsistent permitting and testing
A radioactive mess
Conclusion 20
EXECUTIVE SUMMARY
The Pennsylvania Department of Environmental Protection (DEP) reports
that drillers have sent at least 23,000 barrels of liquid and 460,000 tons of
solid fracking waste to New York landfills. Media analyses have indicated
that DEP figures grossly underrepresent the true amount of fracking waste
making its way into New York landfills. Comparatively speaking, the DEC
and some state lawmakers falsely allege it’s not happening at all.
It is clear that DEC’s engagement on the issue of fracking waste has fallen
far short of the strong public health safeguards that guided Dr. Zucker’s own
fracking health review.
Fracking waste brings with it many public health concerns, chief among
them the prevalence of radioactive material.
New York’s ban on high-volume hydraulic fracturing
(“fracking”) must apply to other states’ fracking waste
being dumped in our landfills.
When Governor Andrew Cuomo announced the fracking ban, it was a
move welcomed by medical professionals, advocates, and the vast majority
of New Yorkers. The Cuomo Administration consistently stated throughout
their health review that a decision on fracking would be contingent on the
science and that if it was determined to be unsafe, it would not be permitted.
Ultimately, the state Department of Health (DOH) Commissioner Dr. How-
ard Zucker declared that “the potential risks [of fracking] are too great.” Un-
fortunately, the state Department of Environmental Conservation (DEC)
has not taken similar precaution related to regulating fracking waste. In-
stead, New York has allowed fracking states to landfill their waste inside our
borders, with little oversight, consistency, or public access to data. In fact,
information concerning fracking waste provided to the public is often in-
complete or inaccurate.
4
“New York State landfills have not accepted
and do not accept waste created by high-
volume hydraulic fracturing.” –
DEC [in a Freedom of Information Law request]
June 13, 2014
1
2
3
5
Environmental Advocates’ research uncovered incomplete data rife with question-
able accuracy. In one notable instance, Pennsylvania reported that fracking waste
triggered radiation detectors more than 1,000 times in 2013, while at least one New
York-based landfill accepting Pennsylvania fracking waste did not report a single
trigger during that same period (meaning that basic intentional testing, or “calibra-
tion” of the equipment, failed to occur – a concern confirmed by DEC).
Meanwhile, reporting from The New York Times indicates that radioactivity levels of
Marcellus Shale waste “has sometimes been hundreds or thousands of times the maxi-
mum allowed by the federal standard for drinking water.”
At this time, New York State lacks regulations that require landfills to notify the
DEC once they decide to accept fracking waste. Because DEC considers fracking
waste to be classified as “construction debris”, any landfill permitted to accept con-
struction wastes may accept fracking waste.
Before proceeding with our findings, Environmental Advocates wishes to make
clear that DEC staff are committed, dedicated individuals doing the best they can
under increasingly challenging circumstances. However, a lack of existing DEC
regulation, further inhibited by damaging staffing level reductions, have forced the
agency to rely on industries to self-regulate, with little
oversight or penalty which creates a dangerous
situation for New Yorkers.
Photo credit to D.Walczak.
4
5
6
7
0
statstoremember
1,600Number of years that
radium takes to
break down
Number of New York landfills that
have accepted fracking waste
from other states
460,000
23,000
Tons of solid fracking
waste dumped in New
York to date
Barrels of liquid
fracking waste dumped in
New York to date
1,000+Radiation alarms triggered by
fracking waste in Pennsylvania
Radiation alarms triggered by
fracking waste in New York
7
Speaking on fracking waste being dumped in New
York’s landfills while chairing the Senate’s Environ-
mental Conservation Committee. April 29, 2014
“I’m not
actually sure that
this is actually
taking place.”
– Senator Mark Grisanti
6
RECOMMENDATIONS
8
Governor Cuomo cannot keep his promise to protect public health from
the dangers of fracking if he does not direct his administration to si-
multaneously ban fracking waste.
Our research confirmed five ways in which state government can act
immediately – administratively or legislatively – to protect against the
concerns outlined in this report:
Close both the hazardous waste and radioactive waste loopholes. Before
waste from drilling sites is sent for disposal at landfills, it should be test-
ed for its toxicity. Hazardous waste should be treated as hazardous and
radioactive waste, and should not go to municipal landfills (see Page 14).
Incorporate U.S. Environmental Protection Agency’s (EPA) definitions of
Technologically Enhanced NORM (TENORM) into state law to ensure
fracking waste is treated as radioactive waste (see Page 16).
Require monthly testing of leachate for radioactivity, as well as the instal-
lation of radiation monitors for all landfills, including those that do not
currently accept fracking waste. Regulations for radiation monitors must
be added that include standardized maintenance procedures, a uniform
radioactivity level at which monitor alarms are sounded and uniform
levels for acceptance and rejection of waste, and protocol for what to do
with the waste when it has been rejected (see Page 16-18).
Prohibit leachate from being disposed of at wastewater treatment facil-
ities if radioactivity exceeds 5 picocuries (the standard measurement of
radioactivity) per liter (pCi/L). If leachate is radioactive it needs to be
disposed of in a facility equipped to properly treat it (see page 18).
Publicly disclose the names and locations of all landfills in New York
State which have ever accepted any oil and/or natural gas waste, includ-
ing whether leachate testing has occurred.
1.
2.
3.
4.
5.
9
Photo credit to Office of Governor Cuomo.
WHAT IS FRACKING WASTE?
Waste from high- and low-volume fracking operations comes in two forms: liquids from
the process, and solids commonly known as drill cuttings.
Waste contains heavy metals, salts, and chemicals, many of which are known or suspect-
ed carcinogens, as well as significant amounts of naturally occurring radioactive material
(NORM).
Solid: drill cuttings are pieces of shale that come up during the drilling of the well;
drilling sludge is the mud that is used to lubricate the drill bits. The biggest concern with
these wastes is the radioactive nature of Marcellus Shale. Cuttings that are improperly
disposed of could expose the public to radon, radium-226, and radium-228- known hu-
man carcinogens.
There are also concerns that drill cuttings at some well sites are being cross contaminated
with liquid wastes by disposing of them in the same waste pits as the liquid wastes.
Liquid: wastes from hydraulic fracturing include drilling fluid; the sludge to lubricate
and cool the drill bits; flow-back fluid; water and additives that come back up during the
initial fracking of the well; and produced fluid (i.e. the water and additives that come up
throughout the life of the well).
Wastewater from fracking can contain up to 300 distinct chemicals. These include
known and potential carcinogens such as benzene, formaldehyde, etholene glycol, and
xylene. Not only laden with toxic chemicals, wastewaters also have exceptionally high
levels of NORM. A 2011 study by the U.S Geological Survey (USGS) found levels of radi-
um-226 in fracking wastewater samples as high as 16,000 pCi/L.
By the time fracking waste gets to landfills it has been “solidified.” The definition of so-
lidified in this case should be interpreted loosely, because what goes to landfills is most
accurately described as a slurry.
According to an engineer based in DEC Region 8, Industry practice is as follows:
“The ground-up rock cuttings emerge from the boring in a slurry containing the rocks plus
carrier fluids added during drilling… After recovery, the majority of the fluid is extracted
from the drill cuttings for reuse, and cuttings are ‘bulked-up’ with cement kiln dust, saw-
dust, or lime to bring the solids content up to levels acceptable for handling and disposal.”
Were it not for irresponsibly lax state and federal stan-
dards, these toxic wastes would be appropriately treated
as hazardous materials.
10
7
8
9
10
11
Waste Coming Into New York
Data obtained from Pennsylvania’s Department of Environmental Protection (DEP) indi-
cates that New York has accepted approximately 460,000 tons of fracking waste to date. To
put that into context, if the fracking waste was measured in the weight of a typical car, it
would amount to 230,000 four-door passenger cars.
While conducting our research, we had to rely on data from Pennsylvania’s DEP Oil and
Gas Reporting website because, unlike Pennsylvania, New York does not have any web-
site, database or reporting mechanism available to the public that shows which landfills
are receiving fracking waste, or how much and of what kind they are accepting. While
Pennsylvania does at least offer some information, like New York, their information also
reflects a negligent lack of oversight. In 2013, the Associated Press found that one fracking
company reported sending “21 tons of drill cuttings from Marcellus shale wells to area land-
fills in 2013. But landfills in southwestern Pennsylvania told a different story. Six facilities…
reported receiving nearly 95,000 tons of drill cuttings and fracking fluid.”
There is every reason to believe that New York landfills have accepted far more waste than
what has been reported by the DEP’s Oil and Gas database. Data reported on the DEP Oil
and Gas Reporting website also only dates back as far as 2010 for unconventional fracking
wells, rendering it unclear how long wastes from Pennsylvania have been disposed of in
New York.
Where In New York Does It Go?
According to reports from 2010 until June of 2014, New York landfills have accepted at
least 22,628 barrels and 456,393 tons of waste from fracking sites in Pennsylvania.
Despite contention by DEC that no landfills in New York have accepted wastewater from
fracking sites, reporting from Pennsylvania indicates that several landfills have accepted
this kind of fracking waste.
Fracking waste being solidified. Photo credit to USGS.11
12
13
Since 2010, seven different landfills at various points in time have accepted this
waste:
	1) Seneca Meadows Landfill, Waterloo, NY (2010 through 2011)
	2) Allied Waste Systems, Niagara Falls, NY (2011 through 2013)
	3) Hyland Facility Association, Angelica, NY (2010 through 2013)
	4) Casella Waste Systems, Painted Post, NY	 (2010 through 2011)
	5) Hakes Landfill, Painted Post, NY (2010 through 2012)
	6) Hakes C&D Landfill, Painted Post, NY (2010 to present)
	7) Chemung County Landfill, Lowman, NY (2010 to present)
Among the seven landfills that have accepted fracking waste, Chemung County
Landfill (“Chemung”) has by far accepted the most solid waste (192,896 tons) –
nearly three times that which has been accepted by the second largest recipient,
Allied Waste Systems (“Allied”).
At 21,762.58 barrels, Allied has accepted far more liquid fracking waste than any
other landfill in the state. A single barrel is equivalent to 31.5 gallons, which means
Allied has accepted 685,521 gallons of fracking waste. For comparison, the average
residential swimming pool takes 18,000 to 20,000 gallons to fill.
There appears to be no intention to halt this practice. In fact, at least two landfills,
Chemung and Hyland, proposed permit modifications, for which they have re-
ceived approval from the DEC, to increase the amount of waste that can be accept-
ed annually.
2. 1.
3.
4.
5.
6.
7.
Landfills Accepting Fracking Waste
Numbers correspond to information below
12
14 15
Chemung County Landfill: A Case Study
13
Chemung County Landfill has accepted an exceptionally large amount of fracking waste,
specifically drill cuttings. In 2010, when the landfill applied for a modification of their
permit so they could increase the volume of waste they were accepting, residents took
action.
Residents for the Protection of Lowman and Chemung (RFPLC) petitioned the DEC to
challenge the legality of the disposal of fracking wastes in the landfill due to the high lev-
els of radioactivity. The DEC Commissioner dismissed their petition asserting that, not
only is the disposal of drill cuttings permissible at landfills, but also that the radioactivity
of drill cuttings is not relevant to Chemung’s permit modification. This was determined
despite the fact that with this permit modification, more drill cuttings could be accepted
by the landfill. However, Commissioner Martens directed DEC staff to investigate safety
measures for the acceptance of drill cuttings.
Gary Abraham, the lawyer that represented RFPLC, stated in his summary of the peti-
tion: “Although DEC has yet to finalize its analysis of the environmental impacts of Marcel-
lus shale gas development, including the impacts associated with managing drilling wastes
from such development, in January 2010 regional DEC Staff approved disposal of Marcellus
shale gas drilling wastes in the landfill, without any analysis of its radioactivity or the man-
ner in which the waste is generated. Months before the approval, Casella began accepting
such wastes at three New York landfills it operates…”
In response to the Commissioner’s ruling, DEC staff was directed to assess the adequacy
of the radiation alarm set points and how to determine whether a waste load should be
investigated or rejected.
In a letter from Lisa Schwartz, Assistant Regional Attorney of DEC Region 8 as part of
the RFPLC petition to DEC Administrative Judge Buhrmaster, DEC makes the claim that
drill cuttings would not be a threat to the environment or public health even if they were
left on the ground. This stance is highly questionable given that Pennsylvania, despite
rampant reporting problems, still regulates all fracking wastes much more stringently
than New York.
New York hasn’t erred to the side of caution at all in the acceptance of fracking waste, and
the case of Chemung County Landfill continues to be an example of that. On January 12,
2015, the Chemung County Legislature unanimously approved the Final Environmental
Impact Statement (FEIS) for Chemung Landfill to expand the overall size of the landfill,
and the expansion is now on track for approval. Despite numerous comments from com-
munity residents expressing concern about the increased amount of drill cuttings that
could be accepted with this proposed expansion, none were taken into account with the
approval of the FEIS.
16
17
18
19
HAZARDOUS WASTE LOOPHOLES
Despite the radioactive nature of fracking waste, time and again
New York State has condoned the acceptance of this waste through
numerous exemptions in state law and regulation due to unchecked
loopholes and sloppy inconsistencies. There are two ways of closing
loopholes (within state hazardous waste and radioactive waste regu-
lations) to ban the proliferation of fracking waste in New York.
Why do these loopholes matter? NYCRR part 360 series regulations
(solid waste) cover the landfills where fracking wastes currently go.
A search for the words “natural gas” comes up blank, confirming
that there are no regulations for the acceptance of natural gas frack-
ing wastes in the series.
Loophole #1 (hazardous waste)
Commonly referred to as the “Hazardous Waste Loophole,” natural gas waste is
exempt from laws governing hazardous waste transport and disposal, despite the
fact that most fracking waste meets the definition of hazardous waste.
NYCRR part 371.1 (e) (2) (v) states: “The following solid wastes are not hazardous
wastes ... (v) drilling fluids, produced waters, and other wastes associated with the ex-
ploration, development, or production of crude oil, natural gas or geothermal energy.”
Advocates have urged the DEC to close the hazardous waste loophole since at least
2010. In the wake of agency inaction, legislative efforts gained steam but stalled in
the state Senate, where a bipartisan effort supported by 34 senators (32 votes are
required for passage) was stifled by pro-fracking leaders in the Senate, including
Majority Leader Dean Skelos (R-Rockville Centre) and Deputy Leader Tom Libous
(R-Binghamton).
Loophole #2 (radioactive)
DEC states that the only type of fracking waste New York landfills are permitted
to accept is drill cuttings, even though data from Pennsylvania reveals New York
landfills have accepted other types of toxic fracking wastes as well.
Because the origin of the drill cuttings, the Marcellus Shale, contains large quan-
tities of naturally occurring radioactive material (NORM), the drill cuttings, too,
would contain uranium, radium-226, and radium-228.
14
20
21
15
Despite this, DEC has determined that drill cuttings are not to be regulated as ra-
dioactive wastes. NYCRR §380-1.2 (e) states, “this Part does not apply to NORM or
materials containing NORM unless processed and concentrated.” DEC does not con-
sider drill cuttings to be “processed and concentrated” thus exempting the waste
from the 6 NYCRR part 380 series that regulates low-level radioactive waste. This
determination was last updated in 2011 and is insufficiently protective of public
health and the environment.
By subjecting fracking waste to part 380 regulations (since all fracking waste is
radioactive) this would bar landfills from accepting them and impose strict safety
regulations by the DEC: “Under the State LLRW [Low Level Radioactive Waste]
Management Act of 1986, DEC was charged with permitting and regulating LLRW
disposal facilities. 6 NYCRR Part 382 contains requirements for site and method se-
lection. 6 NYCRR Part 383 applies to facility design, construction, operation, closure,
post-closure, and institutional control. These regulations include requirements for
financial assurance, site monitoring, and emergency response planning. Currently,
there are no LLRW disposal facilities operating in New York State.”
Because there are no disposal facilities in New York that are permit-
ted to accept low-level radioactive wastes, banning fracking waste
by closing the hazardous waste and radioactive waste loopholes
would effectively end Pennsylvania’s practice of dumping their ra-
dioactive material within our borders.
22
23 24
An example of a landfill radiation detector. Photo credit to Matt Richmond as per The Allegheny Front.
RADIATION/DEC INCONSISTENCIES
Ignoring Federal TENORM
There are a variety of disconcerting inconsistencies in DEC’s oversight and enforcement of
its practices relating to fracking waste, much of which stem from the fact that across-the-
board, DEC does not recognize the EPA definition of TENORM.
Comparatively, Pennsylvania classifies fracking waste as TENORM, and therefore has
more regulations that apply to handling this waste stream. New York State does not have
an official definition of TENORM and does not consider fracking waste to be radioactive,
because, for reasons unclear, they do not consider it to be processed and concentrated.
However, according to the EPA, a process that exposes NORM to the public (such as in
the case of fracking waste) would classify it as TENORM.
Inconsistent Permitting
Of all the landfills that have accepted fracking waste, Chemung’s permit is the only one
that states what kind of Marcellus waste can and cannot be accepted. From the Chemu-
ng County Landfill Commissioner Decision, DEC Commissioner Martens says: “During
the course of this proceeding, Department staff circulated a special condition stating that,
with respect to Marcellus Shale wastes, only drill cuttings may be accepted for disposal. This
special condition reflects Department staff’s earlier approval of drill cutting disposal at the
landfill, and is to be incorporated into the revised landfill permit.”
Bypassing DEC’s “Drill Cuttings Only” Rule
DEC states (see Chemung case study section) that the only acceptable fracking waste for
disposal in New York is drill cuttings. However, as per Part 360, waste headed to landfills
must only be 20 percent solid to meet “levels acceptable for handling and disposal.”
The nature of this waste confirms firsthand accounts from residents living near the land-
fills who describe fracking waste as “wet and dripping, like chocolate pudding.”
A Radioactive Mess
With proper regulations in place, the first step in assuring that radioactive waste doesn’t
get into water is to properly dispose of the waste from the start, not dump it into landfills.
Properly calibrated “drive through” radiation detectors at the entrances of landfills are our
first line of defense to prevent radioactive contamination.
DEC does not require all landfills to have radiation detectors. While those that have been
accepting fracking waste do have radiation detectors at this time (Allied, Chemung, Hakes
C&D, and Hyland), in the cases of Chemung, Hakes C&D, and Hyland, it appears they
were installed after the fact and only required by the landfills respective operating pro-
cedures, not by New York state regulations. Therefore, radioactive waste was more than
likely accepted prior to the installationof radiation detectors.
16
This allows vast amounts of liquid waste to slip through and
means that 80 percent of fracking wastes being brought to
New York may be contaminated liquids.
25
26
28
27
Without clear standards in state regulations, additional landfills that are permitted to ac-
cept construction debris waste could begin accepting fracking waste without first install-
ing radiation detectors.
Inconsistent Testing
An examination of the Operation and Maintenance manuals for each of the landfills that
have accepted fracking waste within the past two years found that Chemung, Hakes C&D,
and Hyland all monitor radiation in the same fashion. However, there are inconsistencies
in practice which likely allow radiation into our state at much higher levels than should be
permitted.
For instance, while accepting fracking waste in 2013, Allied’s operation and maintenance
manual contained no information dedicated to radiation monitoring.
Additionally, a recent letter from DEC regarding operations at Chemung indicates that the
landfill has not been following the protocol prescribed in the operation and maintenance
manual for proper correlation of the detectors. The letter goes on to note that the moni-
tors at the landfill have not once been triggered.
This is particularly worrisome because in Pennsylvania, fracking waste loads triggered
radiation detectors over 1,000 times in 2013 alone. Certain loads that triggered detectors
are comprised of drill cuttings, which are the fracking waste most commonly accepted by
New York landfills. It therefore seems likely that alarms would be triggered at New York
landfills if they were properly calibrated.
Radiation detector alarms are set to trigger at no higher than 5 times background radia-
tion levels (i.e. levels people are exposed to on a daily basis). Background radiation varies
depending on location and altitude. For all three landfills, 5 times background level was
determined to be 15 (pCi/grams).
If the waste exceeds 50 pCi/g, the waste is to be rejected; if the waste falls in between 15
pCi/g and 50 pCi/g, and the waste content is not considered processed and concentrated,
it can be disposed of in the landfill. If the detectors are not properly calibrated and tested,
highly radioactive waste will slip through the gates.
17
29
30
31
18
Wastewater treatment facilities in New York are not capable of treating any level of radi-
ation, which means the discharges from these facilities could potentially pollute streams,
rivers, and drinking water with irreversible radioactive contamination.
Radiation Passing Through New York’s Wastewater Treatment Plants
Chemicals, NORM or other contaminants at landfills – due to rainfall and natural
decomposition of the waste – eventually collect in leachate pools. The contents of
the leachate pools are brought to municipal wastewater treatment facilities and, af-
ter treatment, the effluent is then discharged into nearby water bodies, which may
or may not serve as drinking water supplies for communities. Inadequately treated
leachate may be a pathway to long-term health maladies.
Ingestion of radium, which is soluble in water, can cause lymphoma, bone can-
cer, and leukemia. Radium does not simply go away; radium-226 (a derivative of
uranium) remains in the environment for 1,600 years. Additionally, radium can
be bioaccumulated in plants and animals over time, and the radium can be trans-
ferred up the food chain to humans.
Testing the leachate for radionuclides, Radium-226, Radium-228 and total Urani-
um is required at Chemung, Hakes C&D landfill and the Hyland landfill.
For reasons unclear, other landfills that have accepted fracking waste, such as
Allied, do not have requirements to test their leachate for radionuclides.
The Environmental Monitoring Plans for the landfills, modified between the years
of 2011 and 2013, state that for three years leachate will be analyzed for radioactiv-
ity twice per year. At the end of that period, the frequency of the testing would be
revisited.
Limited Testing Delivers Limited Results
For Chemung, the leachate testing period was to end in June 2014. However, it
was determined by DEC that the frequency of testing would continue indefinitely.
DEC came to this conclusion because the available data set, as they required, is too
small and does not yet show a clear pattern.
Testing from Chemung shows that on several occasions, radium-226 and radi-
um-228 levels have exceeded 5 pCi/L, which is the EPA’s Maximum Contaminant
Level for drinking water. There have also been slight increases with each round
of testing. In January of 2012, radium-226 measured at 2.43 pCi/L. In June of 2013,
radium measured at 9.43 pCi/L. This is cause for concern for residents of Chemu-
ng County; leachate from Chemung is sent to the Chemung County Sewer Dis-
trict, which discharges into the Chemung River after treatment.
In 2013, the Chemung River provided 63.7% of the Elmira Water Board’s water
supply. The Elmira Water Board distributes water for the 65,000 residents of Elmi-
ra, Horseheads, and surrounding communities.
It has not been determined if testing will continue for Hyland and Hakes C&D, but
33
34
32
35 36 37
38
39
40 41
42
43
44
45
test results for radium have been exceptionally high on numerous occasions. In February
of 2014, a sample from Hyland’s leachate showed radium-226 levels as high as 120 pCi/L.
In 2013, radium levels were as high as 25 pCi/L in Hyland’s leachate. Surpassing Hyland,
radium-226 levels in Hakes C&D’s leachate were as high as 180 pCi/L in 2013, which is
36 times above what is considered safe for drinking water. In 2012, Hakes C&D’s leachate
measured as high as 37 pCi/L.
Testing for all three landfills shows that, over time, levels of radium in leachate have been
increasing. Because leachate testing did not begin at these landfills until after they began
accepting fracking waste, we do not know what earlier levels of radium have been in the
leachate. However, it is likely that the source of the high levels of radium is oil and gas
waste because there are few other wastes disposed of in landfills that contain radium.
Findings in Pennsylvania’s recently released TENORM study also suggest that fracking
waste is the source of the high levels of radium found in the leachate. Leachate sampled at
Pennsylvania landfills had a maximum radium-226 level of 416 pCi/L, a minimum of 54
pCi/L, and an average of 112 pCi/L. The radium-226 levels found in Hyland and Hakes
C&D’s leachate fit well within Pennsylvania’s dataset. This could also indicate that the
fracking waste stream being accepted at New York landfills does not differ from the waste
stream going to Pennsylvania landfills.
Continued leachate testing may reveal more instances of high radioactivity levels. It is
disconcerting that other landfills that have accepted fracking waste do not have to test for
radioactivity in their leachate. Allied has accepted some of the most radioactive fracking
wastes. The levels of radium in Allied’s leachate could be exceptionally high, but without
testing results it remains unknown to the public. Leachate testing for radioactivity should
be mandated for all landfills.
These high levels of radium in the leachate could be an indication that rejection levels at
landfills are too high or that the radiation detectors at landfills aren’t working properly.
RADIATION/DEC INCONSISTENCIES
19
49
50
51
In January of 2013, then Pennsylvania Governor Tom Corbett directed the DEP to study “radioactivity levels in flowback
waters, treatment solids and drill cuttings, as well as transportation, storage and disposal of drilling wastes.” On January 15,
2015, this study was finally released and reveals unsubstantiated conclusions.
The data included in the report is startling, but the conclusions of the study do not remotely reflect this. For example, the
study states, “there is little potential for radiological exposure to workers and members of the public from leachate at land-
fills,” yet the study provides no context for this conclusion. Levels of radium-226 in leachate at Pennsylvania landfills were
as high as 416 pCi/L, and the average for all of the landfills sampled was 112 pCi/L. These numbers do not, by any means,
justify the conclusion that leachate from landfills accepting fracking wastes is safe for the public.
Pennsylvania’s TENORM report does not contain reliable conclusions. To protect the public from radioactive water
contamination, much more weight must be given to the high levels of radioactivity in fracking wastes than Pennsylvania’s
report cares to give.
Pennsylvania’s Disappointing “Study”
46
47
48
52
CONCLUSION
New York has inadequate regulations in place to protect New York-
ers from the harmful effects of hazardous fracking waste coming
from other states.
Governor Cuomo’s Administration came to the conclusion that it would
be unsafe to proceed with fracking. If fracking isn’t safe for New York-
ers, then waste from other states’ fracking operations isn’t safe for New
Yorkers, and the DEC should close the hazardous waste loophole as
part of the Supplemental Generic Environmental Impact Statement
(SGEIS) process which will ban fracking based on its negative public
health and environmental impacts.
Environmental Advocates five actionable recommendations can
happen immediately and will ensure that Governor Cuomo’s goal of
protecting New Yorkers from the dangers of fracking occurs.
Exposing our water, environment and com-
munities to radium has lasting, irreversible
impacts.
20Hyland Landfill. Photo credit to Roger Downs. 20
21
Close hazardous waste and radioactive
waste loopholes to ban dangerous fracking
waste
Acknowledge and incorporate federal
TENORM standards into state regulations
Require monthly leachate testing for
radioactivity, and the installation of radiation
monitors at all landfills
Prohibit leachate >5pCi/L from being
disposed of at wastewater treatment facilities
Disclose publicly all past and
ongoing details surrounding landfills
accepting oil and gas waste
21
1. Thomas Kaplan, “Citing Health Risks, Cuomo Bans Fracking in New York State,” New York Times, December 17, 2014.
2. Ruth Earl, Ruth Earl to Ms. Sarah Eckel, Albany, NY, June 13, 2014.
3. “Waste Reports by Waste Facility,” PA DEP Oil and Gas Reporting Website, accessed October 16, 2014, https://www.paoilandgasreporting.
state.pa.us/publicreports/Modules/Waste/WasteByWasteFacility.aspx.
4. Ian Urbina, “Regulation Lax as Gas Wells’ Tainted Water Hits Rivers,” New York Times, February 26, 2011, http://www.nytimes.
com/2011/02/27/us/27gas.html?ref=drillingdown.
5. See #2.
6. New York State Senate, Environmental Conservation Committee Hearing, April 29, 2014, http://www.nysenate.gov/event/2014/apr/29/
environmental-conservation-meeting.
7. Katherine Nadeau, “Out of Site, Out of Mind,” Environmental Advocates of New York, pg. 3-4, May 2012.
8. Sperger, Courtney, Kristin Cook, and Kenneth Klemow. “Does Marcellus Shale Pose a Radioactivity Risk?” Wilkes. August 1, 2012. Ac-
cessed October 30, 2014. http://energy.wilkes.edu/pages/184.asp
9. See #7.
10. E.L. Rowan, M.A. Engle, C.S. Kirby, and T.F. Kraemer, “Radium Content of Oil- and Gas-Field Produced Waters in the Northern Appala-
chian Basic (USA): Summary and Discussion Data,” USGS, pg. 26, 2011.
11. Gary Abraham, “Chemung County Landfill,” Gary A. Abraham, Esq., last modified March 17th, 2014, http://www.garyabraham.com/
ChemungLF.html.
12. “Marcellus Drillers Underreported Waste,” Construction Equipment Guide, September 17, 2014, http://www.constructionequipment-
guide.com/Marcellus-Shale-Drillers-Underreported-Waste/23614/.
13. Marc Gertsman, Marc Gerstman to Assemblymen Maisel, Colton, and Englebright, Albany, NY, September 28, 2011.
14. See #9.
15. Gary Abraham, “Hyland Landfill,” Gary A. Abraham, Esq., modified February 5th, 2014, http://www.garyabraham.com/Hyland.html.
16. Joseph Martens, Chemung County Landfill-Commissioner Decision, DEC, August 4, 2011, http://www.dec.ny.gov/hearings/76112.html.
17. Gary Abraham. Gary Abraham to Lawmakers, Allegany, NY, September 8, 2010, http://www.garyabraham.com/files/gas_drilling/
NEWSNY_in_Chemung/summary5.pdf.
18. Lisa Schwartz, Lisa Schwartz to Commissioner Joseph Martens, October 19, 2011, http://www.garyabraham.com/files/Chemung_Co/
Staff_response_10-19-11_OCR.pdf.
19. Lisa Schwartz, Lisa Schwartz to Judge Buhrmaster, Avon, NY, May 18, 2010. http://www.garyabraham.com/files/gas_drilling/NEWSNY_
in_Chemung/DEC_ltr_to_ALJ_5-18-10.pdf.
20. Scott Foti, Scott Foti to Mr. Vincent Spagnoletti, Avon, NY, January 14, 2011.
21. Sperger, Courtney, Kristin Cook, and Kenneth Klemow. “Does Marcellus Shale Pose a Radioactivity Risk?” Wilkes. August 1, 2012. Ac-
cessed October 30, 2014. http://energy.wilkes.edu/pages/184.asp.
22. Scott Foti, Scott Foti to Mr. Vincent Spagnoletti, Avon, NY, January 14, 2011.
23. NYCRR § 360-1.5 (b) Prohibited Disposal.
24. “Radiation,” DEC, accessed December 30, 2014, http://www.dec.ny.gov/chemical/296.html.
25. “Technologically-Enhanced, Naturally-Occurring Radioactive Materials,” U.S EPA, last modified on July 16, 2013, http://www.epa.gov/
radiation/tenorm/.
REFERENCES
22
26. Joseph Martens, Chemung County Landfill - Commissioner Decision, DEC, August 4, 2011, http://www.dec.ny.gov/hearings/76112.
html.
27. Bette Ek (Chemung County resident in disussion with the author), August, 2014.
28. Ruth Earl, Ruth Earl to Saraj Eckel, Albany, June 13, 2014.
29. Gary Maslanka, Gary Maslanka to Mr. Larry Schilling, Avon, NY, June 23, 2014.
30. Anya Litvak, “Marcellus Shale Waste Trips More Radioactivity Alarms Than Other Products Left at Landfills,” Post-Gazette, August 22,
2013.
31. “Background Radiation,” Wikipedia, accessed January 5, 2015, http://en.wikipedia.org/wiki/Background_radiation
32. “Radium,” U.S EPA, last modified March 6, 2012, http://www.epa.gov/radiation/radionuclides/radium.html.
33. Ibid.
34. “Toxic Profile for Radium,” U.S EPA, pg. 45, December, 1990, http://www.atsdr.cdc.gov/toxprofiles/tp144.pdf.
35. Lisa Schwartz, Lisa Schwartz to Joseph Martens, October 19, 2011.
36. Hakes C&D Environmental Monitoring Plan, Section 2.6.3 Leachate.
37. Hyland Environmental Monitoring Plan, Section 2.5.3 Leachate.
38. Gary Maslanka, Gary Maslanka to Mr. Larry Schilling, June 23, 2014.
39. Ibid.
40. Chemung County Radionuclide Leachate Data Results, January 2012 through June 2013.
41. “Radium,” U.S EPA, last modified March 6, 2012, http://www.epa.gov/radiation/radionuclides/radium.html.
42. Chemung County Landfill Radionuclide Leachate Data Results, June 2013.
43. Gary Abraham, Gary Abraham to Ms. Linda Palmer, pg. 4, March 4, 2014.
44. “Annual Drinking Water Quality Report 2013,” Elmira Water Board, issued February, 2014, http://www.elmirawaterboard.org/pdf/awqr.
pdf.
45. “The 2004 Chemung River Basin Waterbody Inventory and Priority Waterbodies List,” DEC, pg. 6, May, 2007, http://www.dec.ny.gov/
docs/water_pdf/pwlchmg07.pdf.
46. “DEP Study Shows There is Little Potential for Radiation Exposure from Oil and Gas Development.” Commonwealth of Penn-
sylvania Dept. of Environmental Protection, January 15th, 2015, http://www.portal.state.pa.us/portal/server.pt/community/news-
room/14287?id=20677&typeid=1.
47. “PA DEP TENORM Study Report”, Commonwealth of Pennsylvania Dept. of Environmental Protection, Section 9.1.3, page 9-8, January,
2015 http://www.elibrary.dep.state.pa.us/dsweb/Get/Document-105822/PA-DEP-TENORM-Study_Report_Rev._0_01-15-2015.pdf.
48. “PA DEP TENORM Study Report”, Commonwealth of Pennsylvania Dept. of Environmental Protection, Table 5-1, page 5-8, January,
2015 http://www.elibrary.dep.state.pa.us/dsweb/Get/Document-105822/PA-DEP-TENORM-Study_Report_Rev._0_01-15-2015.pdf
49. Hyland Radionuclide Testing, March 2014.
50. Hyland Radionuclide Testing, November 2013.
51. Hakes C&D Painted Post 4th Quarter 2013 Radiological Test Results.
52. “PA DEP TENORM Study Report”, Commonwealth of Pennsylvania Dept. of Environmental Protection, Table 5-1, page 5-8, January,
2015 http://www.elibrary.dep.state.pa.us/dsweb/Get/Document-105822/PA-DEP-TENORM-Study_Report_Rev._0_01-15-2015.pdf.
23
353 Hamilton Street, Albany, NY 12210 518-462-5526 www.eany.org info@eany.org. . .
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License to Dump (February 2015)

  • 1. LicenseDespite Ban, New York Permits Pennsylvania to Dump Radioative Fracking Waste Inside Our Bordersto Dump
  • 2. Environmental Advocates of New York has many people, partners and organizations to thank for making this report possible – in particular, we extend our appreciation to the Park Foundation whose generous support fostered this research. We thank Christopher Amato, staff attorney at Earthjustice, and Gary Abraham, attorney-at-law, for reviewing drafts of this report and for providing crucial documents and data. We also thank Roger Downs, chapter conservation director, and Kevin Smith, intern at Sierra Club-Atlantic Chapter, as well as Nadia Steinzor, eastern program coordinator at Earthworks, and Bill Hughes, West Virginia community liason at FracTracker Alliance, for reviewing data, vetting information, and providing consultation during the writing of this report. About Environmental Advocates For more than 45 years, Environmental Advocates of New York has been at the center of every major environmental debate and cause in Albany. As your green government watchdog, we advocate for strong environmental policies and protections, educate the public and media about critical issues, and hold decision-makers accountable. Our advocacy network is currently more than 40,000 New Yorkers strong, and growing. Environmental Advocates is a 501(c) (3), and the New York affiliate of the National Wildlife Federation. Sign up to become an Environmental Advocate at www.eany.org, and join the conversation online! Author: Elizabeth Moran Editors: Lindsay Goldberg, Kristin Legere, Peter Iwanowicz, Nicholas Moore, Max Oppen, Travis Proulx Graphic Design and Layout: Travis Proulx Copyright Environmental Advocates of New York, 2015 Acknowledgements Join the Movement 2Cover photo credit to USGS.
  • 3. GLOSSARY 3 Executive Summary Recommendations What is Fracking Waste? Hazardous Waste Loopholes Radiation/DEC Inconsistencies Reference Guide 4 8 10 14 16 22 www.EANY.org Stats to remember Waste coming into New York Where does it go Case study: Chemung County Landfill Ignoring federal TENORM Inconsistent permitting and testing A radioactive mess Conclusion 20
  • 4. EXECUTIVE SUMMARY The Pennsylvania Department of Environmental Protection (DEP) reports that drillers have sent at least 23,000 barrels of liquid and 460,000 tons of solid fracking waste to New York landfills. Media analyses have indicated that DEP figures grossly underrepresent the true amount of fracking waste making its way into New York landfills. Comparatively speaking, the DEC and some state lawmakers falsely allege it’s not happening at all. It is clear that DEC’s engagement on the issue of fracking waste has fallen far short of the strong public health safeguards that guided Dr. Zucker’s own fracking health review. Fracking waste brings with it many public health concerns, chief among them the prevalence of radioactive material. New York’s ban on high-volume hydraulic fracturing (“fracking”) must apply to other states’ fracking waste being dumped in our landfills. When Governor Andrew Cuomo announced the fracking ban, it was a move welcomed by medical professionals, advocates, and the vast majority of New Yorkers. The Cuomo Administration consistently stated throughout their health review that a decision on fracking would be contingent on the science and that if it was determined to be unsafe, it would not be permitted. Ultimately, the state Department of Health (DOH) Commissioner Dr. How- ard Zucker declared that “the potential risks [of fracking] are too great.” Un- fortunately, the state Department of Environmental Conservation (DEC) has not taken similar precaution related to regulating fracking waste. In- stead, New York has allowed fracking states to landfill their waste inside our borders, with little oversight, consistency, or public access to data. In fact, information concerning fracking waste provided to the public is often in- complete or inaccurate. 4 “New York State landfills have not accepted and do not accept waste created by high- volume hydraulic fracturing.” – DEC [in a Freedom of Information Law request] June 13, 2014 1 2 3
  • 5. 5 Environmental Advocates’ research uncovered incomplete data rife with question- able accuracy. In one notable instance, Pennsylvania reported that fracking waste triggered radiation detectors more than 1,000 times in 2013, while at least one New York-based landfill accepting Pennsylvania fracking waste did not report a single trigger during that same period (meaning that basic intentional testing, or “calibra- tion” of the equipment, failed to occur – a concern confirmed by DEC). Meanwhile, reporting from The New York Times indicates that radioactivity levels of Marcellus Shale waste “has sometimes been hundreds or thousands of times the maxi- mum allowed by the federal standard for drinking water.” At this time, New York State lacks regulations that require landfills to notify the DEC once they decide to accept fracking waste. Because DEC considers fracking waste to be classified as “construction debris”, any landfill permitted to accept con- struction wastes may accept fracking waste. Before proceeding with our findings, Environmental Advocates wishes to make clear that DEC staff are committed, dedicated individuals doing the best they can under increasingly challenging circumstances. However, a lack of existing DEC regulation, further inhibited by damaging staffing level reductions, have forced the agency to rely on industries to self-regulate, with little oversight or penalty which creates a dangerous situation for New Yorkers. Photo credit to D.Walczak. 4 5
  • 6. 6 7 0 statstoremember 1,600Number of years that radium takes to break down Number of New York landfills that have accepted fracking waste from other states 460,000 23,000 Tons of solid fracking waste dumped in New York to date Barrels of liquid fracking waste dumped in New York to date 1,000+Radiation alarms triggered by fracking waste in Pennsylvania Radiation alarms triggered by fracking waste in New York
  • 7. 7 Speaking on fracking waste being dumped in New York’s landfills while chairing the Senate’s Environ- mental Conservation Committee. April 29, 2014 “I’m not actually sure that this is actually taking place.” – Senator Mark Grisanti 6
  • 8. RECOMMENDATIONS 8 Governor Cuomo cannot keep his promise to protect public health from the dangers of fracking if he does not direct his administration to si- multaneously ban fracking waste. Our research confirmed five ways in which state government can act immediately – administratively or legislatively – to protect against the concerns outlined in this report: Close both the hazardous waste and radioactive waste loopholes. Before waste from drilling sites is sent for disposal at landfills, it should be test- ed for its toxicity. Hazardous waste should be treated as hazardous and radioactive waste, and should not go to municipal landfills (see Page 14). Incorporate U.S. Environmental Protection Agency’s (EPA) definitions of Technologically Enhanced NORM (TENORM) into state law to ensure fracking waste is treated as radioactive waste (see Page 16). Require monthly testing of leachate for radioactivity, as well as the instal- lation of radiation monitors for all landfills, including those that do not currently accept fracking waste. Regulations for radiation monitors must be added that include standardized maintenance procedures, a uniform radioactivity level at which monitor alarms are sounded and uniform levels for acceptance and rejection of waste, and protocol for what to do with the waste when it has been rejected (see Page 16-18). Prohibit leachate from being disposed of at wastewater treatment facil- ities if radioactivity exceeds 5 picocuries (the standard measurement of radioactivity) per liter (pCi/L). If leachate is radioactive it needs to be disposed of in a facility equipped to properly treat it (see page 18). Publicly disclose the names and locations of all landfills in New York State which have ever accepted any oil and/or natural gas waste, includ- ing whether leachate testing has occurred. 1. 2. 3. 4. 5.
  • 9. 9 Photo credit to Office of Governor Cuomo.
  • 10. WHAT IS FRACKING WASTE? Waste from high- and low-volume fracking operations comes in two forms: liquids from the process, and solids commonly known as drill cuttings. Waste contains heavy metals, salts, and chemicals, many of which are known or suspect- ed carcinogens, as well as significant amounts of naturally occurring radioactive material (NORM). Solid: drill cuttings are pieces of shale that come up during the drilling of the well; drilling sludge is the mud that is used to lubricate the drill bits. The biggest concern with these wastes is the radioactive nature of Marcellus Shale. Cuttings that are improperly disposed of could expose the public to radon, radium-226, and radium-228- known hu- man carcinogens. There are also concerns that drill cuttings at some well sites are being cross contaminated with liquid wastes by disposing of them in the same waste pits as the liquid wastes. Liquid: wastes from hydraulic fracturing include drilling fluid; the sludge to lubricate and cool the drill bits; flow-back fluid; water and additives that come back up during the initial fracking of the well; and produced fluid (i.e. the water and additives that come up throughout the life of the well). Wastewater from fracking can contain up to 300 distinct chemicals. These include known and potential carcinogens such as benzene, formaldehyde, etholene glycol, and xylene. Not only laden with toxic chemicals, wastewaters also have exceptionally high levels of NORM. A 2011 study by the U.S Geological Survey (USGS) found levels of radi- um-226 in fracking wastewater samples as high as 16,000 pCi/L. By the time fracking waste gets to landfills it has been “solidified.” The definition of so- lidified in this case should be interpreted loosely, because what goes to landfills is most accurately described as a slurry. According to an engineer based in DEC Region 8, Industry practice is as follows: “The ground-up rock cuttings emerge from the boring in a slurry containing the rocks plus carrier fluids added during drilling… After recovery, the majority of the fluid is extracted from the drill cuttings for reuse, and cuttings are ‘bulked-up’ with cement kiln dust, saw- dust, or lime to bring the solids content up to levels acceptable for handling and disposal.” Were it not for irresponsibly lax state and federal stan- dards, these toxic wastes would be appropriately treated as hazardous materials. 10 7 8 9 10 11
  • 11. Waste Coming Into New York Data obtained from Pennsylvania’s Department of Environmental Protection (DEP) indi- cates that New York has accepted approximately 460,000 tons of fracking waste to date. To put that into context, if the fracking waste was measured in the weight of a typical car, it would amount to 230,000 four-door passenger cars. While conducting our research, we had to rely on data from Pennsylvania’s DEP Oil and Gas Reporting website because, unlike Pennsylvania, New York does not have any web- site, database or reporting mechanism available to the public that shows which landfills are receiving fracking waste, or how much and of what kind they are accepting. While Pennsylvania does at least offer some information, like New York, their information also reflects a negligent lack of oversight. In 2013, the Associated Press found that one fracking company reported sending “21 tons of drill cuttings from Marcellus shale wells to area land- fills in 2013. But landfills in southwestern Pennsylvania told a different story. Six facilities… reported receiving nearly 95,000 tons of drill cuttings and fracking fluid.” There is every reason to believe that New York landfills have accepted far more waste than what has been reported by the DEP’s Oil and Gas database. Data reported on the DEP Oil and Gas Reporting website also only dates back as far as 2010 for unconventional fracking wells, rendering it unclear how long wastes from Pennsylvania have been disposed of in New York. Where In New York Does It Go? According to reports from 2010 until June of 2014, New York landfills have accepted at least 22,628 barrels and 456,393 tons of waste from fracking sites in Pennsylvania. Despite contention by DEC that no landfills in New York have accepted wastewater from fracking sites, reporting from Pennsylvania indicates that several landfills have accepted this kind of fracking waste. Fracking waste being solidified. Photo credit to USGS.11 12 13
  • 12. Since 2010, seven different landfills at various points in time have accepted this waste: 1) Seneca Meadows Landfill, Waterloo, NY (2010 through 2011) 2) Allied Waste Systems, Niagara Falls, NY (2011 through 2013) 3) Hyland Facility Association, Angelica, NY (2010 through 2013) 4) Casella Waste Systems, Painted Post, NY (2010 through 2011) 5) Hakes Landfill, Painted Post, NY (2010 through 2012) 6) Hakes C&D Landfill, Painted Post, NY (2010 to present) 7) Chemung County Landfill, Lowman, NY (2010 to present) Among the seven landfills that have accepted fracking waste, Chemung County Landfill (“Chemung”) has by far accepted the most solid waste (192,896 tons) – nearly three times that which has been accepted by the second largest recipient, Allied Waste Systems (“Allied”). At 21,762.58 barrels, Allied has accepted far more liquid fracking waste than any other landfill in the state. A single barrel is equivalent to 31.5 gallons, which means Allied has accepted 685,521 gallons of fracking waste. For comparison, the average residential swimming pool takes 18,000 to 20,000 gallons to fill. There appears to be no intention to halt this practice. In fact, at least two landfills, Chemung and Hyland, proposed permit modifications, for which they have re- ceived approval from the DEC, to increase the amount of waste that can be accept- ed annually. 2. 1. 3. 4. 5. 6. 7. Landfills Accepting Fracking Waste Numbers correspond to information below 12 14 15
  • 13. Chemung County Landfill: A Case Study 13 Chemung County Landfill has accepted an exceptionally large amount of fracking waste, specifically drill cuttings. In 2010, when the landfill applied for a modification of their permit so they could increase the volume of waste they were accepting, residents took action. Residents for the Protection of Lowman and Chemung (RFPLC) petitioned the DEC to challenge the legality of the disposal of fracking wastes in the landfill due to the high lev- els of radioactivity. The DEC Commissioner dismissed their petition asserting that, not only is the disposal of drill cuttings permissible at landfills, but also that the radioactivity of drill cuttings is not relevant to Chemung’s permit modification. This was determined despite the fact that with this permit modification, more drill cuttings could be accepted by the landfill. However, Commissioner Martens directed DEC staff to investigate safety measures for the acceptance of drill cuttings. Gary Abraham, the lawyer that represented RFPLC, stated in his summary of the peti- tion: “Although DEC has yet to finalize its analysis of the environmental impacts of Marcel- lus shale gas development, including the impacts associated with managing drilling wastes from such development, in January 2010 regional DEC Staff approved disposal of Marcellus shale gas drilling wastes in the landfill, without any analysis of its radioactivity or the man- ner in which the waste is generated. Months before the approval, Casella began accepting such wastes at three New York landfills it operates…” In response to the Commissioner’s ruling, DEC staff was directed to assess the adequacy of the radiation alarm set points and how to determine whether a waste load should be investigated or rejected. In a letter from Lisa Schwartz, Assistant Regional Attorney of DEC Region 8 as part of the RFPLC petition to DEC Administrative Judge Buhrmaster, DEC makes the claim that drill cuttings would not be a threat to the environment or public health even if they were left on the ground. This stance is highly questionable given that Pennsylvania, despite rampant reporting problems, still regulates all fracking wastes much more stringently than New York. New York hasn’t erred to the side of caution at all in the acceptance of fracking waste, and the case of Chemung County Landfill continues to be an example of that. On January 12, 2015, the Chemung County Legislature unanimously approved the Final Environmental Impact Statement (FEIS) for Chemung Landfill to expand the overall size of the landfill, and the expansion is now on track for approval. Despite numerous comments from com- munity residents expressing concern about the increased amount of drill cuttings that could be accepted with this proposed expansion, none were taken into account with the approval of the FEIS. 16 17 18 19
  • 14. HAZARDOUS WASTE LOOPHOLES Despite the radioactive nature of fracking waste, time and again New York State has condoned the acceptance of this waste through numerous exemptions in state law and regulation due to unchecked loopholes and sloppy inconsistencies. There are two ways of closing loopholes (within state hazardous waste and radioactive waste regu- lations) to ban the proliferation of fracking waste in New York. Why do these loopholes matter? NYCRR part 360 series regulations (solid waste) cover the landfills where fracking wastes currently go. A search for the words “natural gas” comes up blank, confirming that there are no regulations for the acceptance of natural gas frack- ing wastes in the series. Loophole #1 (hazardous waste) Commonly referred to as the “Hazardous Waste Loophole,” natural gas waste is exempt from laws governing hazardous waste transport and disposal, despite the fact that most fracking waste meets the definition of hazardous waste. NYCRR part 371.1 (e) (2) (v) states: “The following solid wastes are not hazardous wastes ... (v) drilling fluids, produced waters, and other wastes associated with the ex- ploration, development, or production of crude oil, natural gas or geothermal energy.” Advocates have urged the DEC to close the hazardous waste loophole since at least 2010. In the wake of agency inaction, legislative efforts gained steam but stalled in the state Senate, where a bipartisan effort supported by 34 senators (32 votes are required for passage) was stifled by pro-fracking leaders in the Senate, including Majority Leader Dean Skelos (R-Rockville Centre) and Deputy Leader Tom Libous (R-Binghamton). Loophole #2 (radioactive) DEC states that the only type of fracking waste New York landfills are permitted to accept is drill cuttings, even though data from Pennsylvania reveals New York landfills have accepted other types of toxic fracking wastes as well. Because the origin of the drill cuttings, the Marcellus Shale, contains large quan- tities of naturally occurring radioactive material (NORM), the drill cuttings, too, would contain uranium, radium-226, and radium-228. 14 20 21
  • 15. 15 Despite this, DEC has determined that drill cuttings are not to be regulated as ra- dioactive wastes. NYCRR §380-1.2 (e) states, “this Part does not apply to NORM or materials containing NORM unless processed and concentrated.” DEC does not con- sider drill cuttings to be “processed and concentrated” thus exempting the waste from the 6 NYCRR part 380 series that regulates low-level radioactive waste. This determination was last updated in 2011 and is insufficiently protective of public health and the environment. By subjecting fracking waste to part 380 regulations (since all fracking waste is radioactive) this would bar landfills from accepting them and impose strict safety regulations by the DEC: “Under the State LLRW [Low Level Radioactive Waste] Management Act of 1986, DEC was charged with permitting and regulating LLRW disposal facilities. 6 NYCRR Part 382 contains requirements for site and method se- lection. 6 NYCRR Part 383 applies to facility design, construction, operation, closure, post-closure, and institutional control. These regulations include requirements for financial assurance, site monitoring, and emergency response planning. Currently, there are no LLRW disposal facilities operating in New York State.” Because there are no disposal facilities in New York that are permit- ted to accept low-level radioactive wastes, banning fracking waste by closing the hazardous waste and radioactive waste loopholes would effectively end Pennsylvania’s practice of dumping their ra- dioactive material within our borders. 22 23 24 An example of a landfill radiation detector. Photo credit to Matt Richmond as per The Allegheny Front.
  • 16. RADIATION/DEC INCONSISTENCIES Ignoring Federal TENORM There are a variety of disconcerting inconsistencies in DEC’s oversight and enforcement of its practices relating to fracking waste, much of which stem from the fact that across-the- board, DEC does not recognize the EPA definition of TENORM. Comparatively, Pennsylvania classifies fracking waste as TENORM, and therefore has more regulations that apply to handling this waste stream. New York State does not have an official definition of TENORM and does not consider fracking waste to be radioactive, because, for reasons unclear, they do not consider it to be processed and concentrated. However, according to the EPA, a process that exposes NORM to the public (such as in the case of fracking waste) would classify it as TENORM. Inconsistent Permitting Of all the landfills that have accepted fracking waste, Chemung’s permit is the only one that states what kind of Marcellus waste can and cannot be accepted. From the Chemu- ng County Landfill Commissioner Decision, DEC Commissioner Martens says: “During the course of this proceeding, Department staff circulated a special condition stating that, with respect to Marcellus Shale wastes, only drill cuttings may be accepted for disposal. This special condition reflects Department staff’s earlier approval of drill cutting disposal at the landfill, and is to be incorporated into the revised landfill permit.” Bypassing DEC’s “Drill Cuttings Only” Rule DEC states (see Chemung case study section) that the only acceptable fracking waste for disposal in New York is drill cuttings. However, as per Part 360, waste headed to landfills must only be 20 percent solid to meet “levels acceptable for handling and disposal.” The nature of this waste confirms firsthand accounts from residents living near the land- fills who describe fracking waste as “wet and dripping, like chocolate pudding.” A Radioactive Mess With proper regulations in place, the first step in assuring that radioactive waste doesn’t get into water is to properly dispose of the waste from the start, not dump it into landfills. Properly calibrated “drive through” radiation detectors at the entrances of landfills are our first line of defense to prevent radioactive contamination. DEC does not require all landfills to have radiation detectors. While those that have been accepting fracking waste do have radiation detectors at this time (Allied, Chemung, Hakes C&D, and Hyland), in the cases of Chemung, Hakes C&D, and Hyland, it appears they were installed after the fact and only required by the landfills respective operating pro- cedures, not by New York state regulations. Therefore, radioactive waste was more than likely accepted prior to the installationof radiation detectors. 16 This allows vast amounts of liquid waste to slip through and means that 80 percent of fracking wastes being brought to New York may be contaminated liquids. 25 26 28 27
  • 17. Without clear standards in state regulations, additional landfills that are permitted to ac- cept construction debris waste could begin accepting fracking waste without first install- ing radiation detectors. Inconsistent Testing An examination of the Operation and Maintenance manuals for each of the landfills that have accepted fracking waste within the past two years found that Chemung, Hakes C&D, and Hyland all monitor radiation in the same fashion. However, there are inconsistencies in practice which likely allow radiation into our state at much higher levels than should be permitted. For instance, while accepting fracking waste in 2013, Allied’s operation and maintenance manual contained no information dedicated to radiation monitoring. Additionally, a recent letter from DEC regarding operations at Chemung indicates that the landfill has not been following the protocol prescribed in the operation and maintenance manual for proper correlation of the detectors. The letter goes on to note that the moni- tors at the landfill have not once been triggered. This is particularly worrisome because in Pennsylvania, fracking waste loads triggered radiation detectors over 1,000 times in 2013 alone. Certain loads that triggered detectors are comprised of drill cuttings, which are the fracking waste most commonly accepted by New York landfills. It therefore seems likely that alarms would be triggered at New York landfills if they were properly calibrated. Radiation detector alarms are set to trigger at no higher than 5 times background radia- tion levels (i.e. levels people are exposed to on a daily basis). Background radiation varies depending on location and altitude. For all three landfills, 5 times background level was determined to be 15 (pCi/grams). If the waste exceeds 50 pCi/g, the waste is to be rejected; if the waste falls in between 15 pCi/g and 50 pCi/g, and the waste content is not considered processed and concentrated, it can be disposed of in the landfill. If the detectors are not properly calibrated and tested, highly radioactive waste will slip through the gates. 17 29 30 31
  • 18. 18 Wastewater treatment facilities in New York are not capable of treating any level of radi- ation, which means the discharges from these facilities could potentially pollute streams, rivers, and drinking water with irreversible radioactive contamination. Radiation Passing Through New York’s Wastewater Treatment Plants Chemicals, NORM or other contaminants at landfills – due to rainfall and natural decomposition of the waste – eventually collect in leachate pools. The contents of the leachate pools are brought to municipal wastewater treatment facilities and, af- ter treatment, the effluent is then discharged into nearby water bodies, which may or may not serve as drinking water supplies for communities. Inadequately treated leachate may be a pathway to long-term health maladies. Ingestion of radium, which is soluble in water, can cause lymphoma, bone can- cer, and leukemia. Radium does not simply go away; radium-226 (a derivative of uranium) remains in the environment for 1,600 years. Additionally, radium can be bioaccumulated in plants and animals over time, and the radium can be trans- ferred up the food chain to humans. Testing the leachate for radionuclides, Radium-226, Radium-228 and total Urani- um is required at Chemung, Hakes C&D landfill and the Hyland landfill. For reasons unclear, other landfills that have accepted fracking waste, such as Allied, do not have requirements to test their leachate for radionuclides. The Environmental Monitoring Plans for the landfills, modified between the years of 2011 and 2013, state that for three years leachate will be analyzed for radioactiv- ity twice per year. At the end of that period, the frequency of the testing would be revisited. Limited Testing Delivers Limited Results For Chemung, the leachate testing period was to end in June 2014. However, it was determined by DEC that the frequency of testing would continue indefinitely. DEC came to this conclusion because the available data set, as they required, is too small and does not yet show a clear pattern. Testing from Chemung shows that on several occasions, radium-226 and radi- um-228 levels have exceeded 5 pCi/L, which is the EPA’s Maximum Contaminant Level for drinking water. There have also been slight increases with each round of testing. In January of 2012, radium-226 measured at 2.43 pCi/L. In June of 2013, radium measured at 9.43 pCi/L. This is cause for concern for residents of Chemu- ng County; leachate from Chemung is sent to the Chemung County Sewer Dis- trict, which discharges into the Chemung River after treatment. In 2013, the Chemung River provided 63.7% of the Elmira Water Board’s water supply. The Elmira Water Board distributes water for the 65,000 residents of Elmi- ra, Horseheads, and surrounding communities. It has not been determined if testing will continue for Hyland and Hakes C&D, but 33 34 32 35 36 37 38 39 40 41 42 43 44 45
  • 19. test results for radium have been exceptionally high on numerous occasions. In February of 2014, a sample from Hyland’s leachate showed radium-226 levels as high as 120 pCi/L. In 2013, radium levels were as high as 25 pCi/L in Hyland’s leachate. Surpassing Hyland, radium-226 levels in Hakes C&D’s leachate were as high as 180 pCi/L in 2013, which is 36 times above what is considered safe for drinking water. In 2012, Hakes C&D’s leachate measured as high as 37 pCi/L. Testing for all three landfills shows that, over time, levels of radium in leachate have been increasing. Because leachate testing did not begin at these landfills until after they began accepting fracking waste, we do not know what earlier levels of radium have been in the leachate. However, it is likely that the source of the high levels of radium is oil and gas waste because there are few other wastes disposed of in landfills that contain radium. Findings in Pennsylvania’s recently released TENORM study also suggest that fracking waste is the source of the high levels of radium found in the leachate. Leachate sampled at Pennsylvania landfills had a maximum radium-226 level of 416 pCi/L, a minimum of 54 pCi/L, and an average of 112 pCi/L. The radium-226 levels found in Hyland and Hakes C&D’s leachate fit well within Pennsylvania’s dataset. This could also indicate that the fracking waste stream being accepted at New York landfills does not differ from the waste stream going to Pennsylvania landfills. Continued leachate testing may reveal more instances of high radioactivity levels. It is disconcerting that other landfills that have accepted fracking waste do not have to test for radioactivity in their leachate. Allied has accepted some of the most radioactive fracking wastes. The levels of radium in Allied’s leachate could be exceptionally high, but without testing results it remains unknown to the public. Leachate testing for radioactivity should be mandated for all landfills. These high levels of radium in the leachate could be an indication that rejection levels at landfills are too high or that the radiation detectors at landfills aren’t working properly. RADIATION/DEC INCONSISTENCIES 19 49 50 51 In January of 2013, then Pennsylvania Governor Tom Corbett directed the DEP to study “radioactivity levels in flowback waters, treatment solids and drill cuttings, as well as transportation, storage and disposal of drilling wastes.” On January 15, 2015, this study was finally released and reveals unsubstantiated conclusions. The data included in the report is startling, but the conclusions of the study do not remotely reflect this. For example, the study states, “there is little potential for radiological exposure to workers and members of the public from leachate at land- fills,” yet the study provides no context for this conclusion. Levels of radium-226 in leachate at Pennsylvania landfills were as high as 416 pCi/L, and the average for all of the landfills sampled was 112 pCi/L. These numbers do not, by any means, justify the conclusion that leachate from landfills accepting fracking wastes is safe for the public. Pennsylvania’s TENORM report does not contain reliable conclusions. To protect the public from radioactive water contamination, much more weight must be given to the high levels of radioactivity in fracking wastes than Pennsylvania’s report cares to give. Pennsylvania’s Disappointing “Study” 46 47 48 52
  • 20. CONCLUSION New York has inadequate regulations in place to protect New York- ers from the harmful effects of hazardous fracking waste coming from other states. Governor Cuomo’s Administration came to the conclusion that it would be unsafe to proceed with fracking. If fracking isn’t safe for New York- ers, then waste from other states’ fracking operations isn’t safe for New Yorkers, and the DEC should close the hazardous waste loophole as part of the Supplemental Generic Environmental Impact Statement (SGEIS) process which will ban fracking based on its negative public health and environmental impacts. Environmental Advocates five actionable recommendations can happen immediately and will ensure that Governor Cuomo’s goal of protecting New Yorkers from the dangers of fracking occurs. Exposing our water, environment and com- munities to radium has lasting, irreversible impacts. 20Hyland Landfill. Photo credit to Roger Downs. 20
  • 21. 21 Close hazardous waste and radioactive waste loopholes to ban dangerous fracking waste Acknowledge and incorporate federal TENORM standards into state regulations Require monthly leachate testing for radioactivity, and the installation of radiation monitors at all landfills Prohibit leachate >5pCi/L from being disposed of at wastewater treatment facilities Disclose publicly all past and ongoing details surrounding landfills accepting oil and gas waste 21
  • 22. 1. Thomas Kaplan, “Citing Health Risks, Cuomo Bans Fracking in New York State,” New York Times, December 17, 2014. 2. Ruth Earl, Ruth Earl to Ms. Sarah Eckel, Albany, NY, June 13, 2014. 3. “Waste Reports by Waste Facility,” PA DEP Oil and Gas Reporting Website, accessed October 16, 2014, https://www.paoilandgasreporting. state.pa.us/publicreports/Modules/Waste/WasteByWasteFacility.aspx. 4. Ian Urbina, “Regulation Lax as Gas Wells’ Tainted Water Hits Rivers,” New York Times, February 26, 2011, http://www.nytimes. com/2011/02/27/us/27gas.html?ref=drillingdown. 5. See #2. 6. New York State Senate, Environmental Conservation Committee Hearing, April 29, 2014, http://www.nysenate.gov/event/2014/apr/29/ environmental-conservation-meeting. 7. Katherine Nadeau, “Out of Site, Out of Mind,” Environmental Advocates of New York, pg. 3-4, May 2012. 8. Sperger, Courtney, Kristin Cook, and Kenneth Klemow. “Does Marcellus Shale Pose a Radioactivity Risk?” Wilkes. August 1, 2012. Ac- cessed October 30, 2014. http://energy.wilkes.edu/pages/184.asp 9. See #7. 10. E.L. Rowan, M.A. Engle, C.S. Kirby, and T.F. Kraemer, “Radium Content of Oil- and Gas-Field Produced Waters in the Northern Appala- chian Basic (USA): Summary and Discussion Data,” USGS, pg. 26, 2011. 11. Gary Abraham, “Chemung County Landfill,” Gary A. Abraham, Esq., last modified March 17th, 2014, http://www.garyabraham.com/ ChemungLF.html. 12. “Marcellus Drillers Underreported Waste,” Construction Equipment Guide, September 17, 2014, http://www.constructionequipment- guide.com/Marcellus-Shale-Drillers-Underreported-Waste/23614/. 13. Marc Gertsman, Marc Gerstman to Assemblymen Maisel, Colton, and Englebright, Albany, NY, September 28, 2011. 14. See #9. 15. Gary Abraham, “Hyland Landfill,” Gary A. Abraham, Esq., modified February 5th, 2014, http://www.garyabraham.com/Hyland.html. 16. Joseph Martens, Chemung County Landfill-Commissioner Decision, DEC, August 4, 2011, http://www.dec.ny.gov/hearings/76112.html. 17. Gary Abraham. Gary Abraham to Lawmakers, Allegany, NY, September 8, 2010, http://www.garyabraham.com/files/gas_drilling/ NEWSNY_in_Chemung/summary5.pdf. 18. Lisa Schwartz, Lisa Schwartz to Commissioner Joseph Martens, October 19, 2011, http://www.garyabraham.com/files/Chemung_Co/ Staff_response_10-19-11_OCR.pdf. 19. Lisa Schwartz, Lisa Schwartz to Judge Buhrmaster, Avon, NY, May 18, 2010. http://www.garyabraham.com/files/gas_drilling/NEWSNY_ in_Chemung/DEC_ltr_to_ALJ_5-18-10.pdf. 20. Scott Foti, Scott Foti to Mr. Vincent Spagnoletti, Avon, NY, January 14, 2011. 21. Sperger, Courtney, Kristin Cook, and Kenneth Klemow. “Does Marcellus Shale Pose a Radioactivity Risk?” Wilkes. August 1, 2012. Ac- cessed October 30, 2014. http://energy.wilkes.edu/pages/184.asp. 22. Scott Foti, Scott Foti to Mr. Vincent Spagnoletti, Avon, NY, January 14, 2011. 23. NYCRR § 360-1.5 (b) Prohibited Disposal. 24. “Radiation,” DEC, accessed December 30, 2014, http://www.dec.ny.gov/chemical/296.html. 25. “Technologically-Enhanced, Naturally-Occurring Radioactive Materials,” U.S EPA, last modified on July 16, 2013, http://www.epa.gov/ radiation/tenorm/. REFERENCES 22
  • 23. 26. Joseph Martens, Chemung County Landfill - Commissioner Decision, DEC, August 4, 2011, http://www.dec.ny.gov/hearings/76112. html. 27. Bette Ek (Chemung County resident in disussion with the author), August, 2014. 28. Ruth Earl, Ruth Earl to Saraj Eckel, Albany, June 13, 2014. 29. Gary Maslanka, Gary Maslanka to Mr. Larry Schilling, Avon, NY, June 23, 2014. 30. Anya Litvak, “Marcellus Shale Waste Trips More Radioactivity Alarms Than Other Products Left at Landfills,” Post-Gazette, August 22, 2013. 31. “Background Radiation,” Wikipedia, accessed January 5, 2015, http://en.wikipedia.org/wiki/Background_radiation 32. “Radium,” U.S EPA, last modified March 6, 2012, http://www.epa.gov/radiation/radionuclides/radium.html. 33. Ibid. 34. “Toxic Profile for Radium,” U.S EPA, pg. 45, December, 1990, http://www.atsdr.cdc.gov/toxprofiles/tp144.pdf. 35. Lisa Schwartz, Lisa Schwartz to Joseph Martens, October 19, 2011. 36. Hakes C&D Environmental Monitoring Plan, Section 2.6.3 Leachate. 37. Hyland Environmental Monitoring Plan, Section 2.5.3 Leachate. 38. Gary Maslanka, Gary Maslanka to Mr. Larry Schilling, June 23, 2014. 39. Ibid. 40. Chemung County Radionuclide Leachate Data Results, January 2012 through June 2013. 41. “Radium,” U.S EPA, last modified March 6, 2012, http://www.epa.gov/radiation/radionuclides/radium.html. 42. Chemung County Landfill Radionuclide Leachate Data Results, June 2013. 43. Gary Abraham, Gary Abraham to Ms. Linda Palmer, pg. 4, March 4, 2014. 44. “Annual Drinking Water Quality Report 2013,” Elmira Water Board, issued February, 2014, http://www.elmirawaterboard.org/pdf/awqr. pdf. 45. “The 2004 Chemung River Basin Waterbody Inventory and Priority Waterbodies List,” DEC, pg. 6, May, 2007, http://www.dec.ny.gov/ docs/water_pdf/pwlchmg07.pdf. 46. “DEP Study Shows There is Little Potential for Radiation Exposure from Oil and Gas Development.” Commonwealth of Penn- sylvania Dept. of Environmental Protection, January 15th, 2015, http://www.portal.state.pa.us/portal/server.pt/community/news- room/14287?id=20677&typeid=1. 47. “PA DEP TENORM Study Report”, Commonwealth of Pennsylvania Dept. of Environmental Protection, Section 9.1.3, page 9-8, January, 2015 http://www.elibrary.dep.state.pa.us/dsweb/Get/Document-105822/PA-DEP-TENORM-Study_Report_Rev._0_01-15-2015.pdf. 48. “PA DEP TENORM Study Report”, Commonwealth of Pennsylvania Dept. of Environmental Protection, Table 5-1, page 5-8, January, 2015 http://www.elibrary.dep.state.pa.us/dsweb/Get/Document-105822/PA-DEP-TENORM-Study_Report_Rev._0_01-15-2015.pdf 49. Hyland Radionuclide Testing, March 2014. 50. Hyland Radionuclide Testing, November 2013. 51. Hakes C&D Painted Post 4th Quarter 2013 Radiological Test Results. 52. “PA DEP TENORM Study Report”, Commonwealth of Pennsylvania Dept. of Environmental Protection, Table 5-1, page 5-8, January, 2015 http://www.elibrary.dep.state.pa.us/dsweb/Get/Document-105822/PA-DEP-TENORM-Study_Report_Rev._0_01-15-2015.pdf. 23
  • 24. 353 Hamilton Street, Albany, NY 12210 518-462-5526 www.eany.org info@eany.org. . . Your green government watchdog