Casa Paloma I Homeowners, Inc. P. O. Box 411 Green Valley , AZ 85622 HEARING COMMENTS – AUGUST 17, 2005 Casa Paloma I Homeowners Association, Inc. (CPI) is submitting these comments to ADEQ regarding the Aquifer Protection Permit P-101679 (APP) that is under consideration for Phelps Dodge Sierrita, Inc. (PDSI), and requests that they become part of the record. Organization of These Comments
A. SHORT RESPONSE TO AQUIFER PROTECTION PERMIT P-101679 (APP) Phelps Dodge Sierrita, Inc. (PDSI) A disconnect exists between what CPI and vast majority of Green Valley wants and what ADEQ is proposing in their draft APP. This disconnect makes the draft APP completely unacceptable. What do Green Valley water users expect from their Aquifer? We want and expect drinking water from the aquifer, now and in the future, at the higher quality ambient levels we were experiencing before the contamination from PDSI Tailing Impoundment seepage. The ambient was nominally 50 mg/l sulfate with associated TDS of 200 mg/l. in the 1980’s (ambient level). What is ADEQ proposing in the APP? Only two limits are being set for sulfates, both far inferior to our wants, and no better (and worse) than the unacceptable water quality that caused the shutting down of Community Water Company (CWC) wells 7 & 8. A User Protection Level (UPL) of 400 mg/l (which may be modified to 450-525) is proposed for ESP-4 (one of four PDSI Esperanza wells, three of which are the temporary sources of CWC water replacing wells 7 & 8), An Alert Level (AL) of 650 mg/l is proposed for CW-8 as a Point of Compliance (POC) well, which exceeds the levels experienced by CWC in years past. Two conclusions can be made regarding these limits:
What is acceptable?
B. Description of Community ProblemContamination and further degradation of the Santa Cruz aquifer by Phelps Dodge Sierrita, Inc. (PDSI) must be stopped now. A plume of highly contaminated water from the PDSI mine tailing ponds has already contaminated two wells of the Green Valley Community Water Company (CWC). The water company has been delivering this contaminated water to our homes in Casa Paloma I for several years causing many anecdotal health problems as well as forcing additional costs on homeowners to buy bottled water or expensive home purification systems. We are requesting that discharge limitations and compliance schedules be established to return the aquifer, particularly the Sulfate and TDS levels, to the ambient levels as evidenced on the measurements at Community Water Company wells Number 7 and 8, tabulation sheets (Attachment I ). These are the wells that are impacting our Casa Paloma I HOA members because of our proximity to them. The Community Water Company is shutting down the two most contaminated wells, Nos. 7 & 8, made possible by temporary ties to other wells owned by PDSI. This will offer some temporary relief, but is no permanent solution to the problems facing Green Valley residents. The permanent solution to the problem is for PDSI to step up to the problem and stop the contamination, either by preventative actions or by treatment of the contaminated plume they are producing. Failure to do this will result in further spreading of contamination into the Santa Cruz Aquifer due to the excessive levels of Sulfates and total dissolved solids (TDS). C. Adverse Health EffectsAdverse health effects from sulfate should not be ignored before studies are made in an aging sub-population such as Green Valley. Although government agencies consider sulfates non-toxic, they do recognize that sulfate may cause adverse health effects. Sulfate has a laxative effect in higher doses, but adverse health effects are usually temporary and recovery is rapid in the general population. However, insufficient studies have been made in sub-populations such as the elderly. Anecdotal health problems have been reported in Green Valley, which are relieved upon switching to purified water. Green Valley has a population averaging over 70 years of age, and many have intestinal or other conditions that may result in adverse health effects (such as irritable bowel syndrome). D. Geography CWC wells Nos. 7 & 8 are approximately 1 ½ miles apart, and are located approximately 2 and 1 ½ miles respectively east of PDSI property line and interceptor wells (See Attachment II Diagram). Casa Paloma I is located between the pumps and slightly east. It is not known how much further the contamination has reached in the aquifer. (ADEQ reports six square miles in the APP FACT SHEET). E. Casa Paloma I Statement of Interest
F. Water BalanceThe APP should require PDSI to perform a Water Balance of their operation. Phelps Dodge has recognized publicly that contamination of the aquifer is from the Tailings Impoundment. The amount and extent of damage to the aquifer is not known. A water balance of all liquids involved in the Tailings operation is needed to quantify this challenge, as well as tests and analysis of the affected areas. The contamination has reached public water supplies and future water supplies are threatened. The public has a right to know the results of tests and analysis that PD has obviously done in the course of a reasonable business approach to this challenge. Water balance studies and monitoring must include all of the contaminated areas so that control technologies are effective in their design and implementation. Example of Need for Water Balance
G. Interim MeasuresThe contamination problem is not fully understood by PD at this time. We are thankful that PD interconnected unaffected pumps owned by them to the CWC system so that CWC contaminated wells Nos. 7 & 8 could be shut down, returning the system to ambient quality water again. This is only a short-term measure. H. Long Range MeasuresI personally spoke to John Brack, General Manager, PHELPS DODGE SIERRITA INC., and was pleased to hear that his goal is to complete studies, planning and implementation of a long term solution in 1 to 1½ years. I do not believe this is good enough and that studies should be accelerated. We need a timetable to achieve and demonstrate measurable results that will protect our aquifer now. I. Phelps Dodge Policy of Commitment ( from phelpsdodge.com web site) Stakeholder Engagement Statements We’re striving to become more engaged in helping our communities develop long-term plans, programs and solutions that help keep them viable and plan for their future, regardless of the economic state of our business and industry. We also realize that we must provide avenues for our communities to receive straightforward information about our operations and their activities. We want them to be able to voice their views so we can be responsive to their questions and concerns. Our Management Philosophy The Resource Management Department believes in and promotes sustainability, honesty, and integrity as we increase shareholder value and work to secure a prosperous future. Sustainability is a measure of the social, economic and environmental performance of our mining and industrial operations. As a matter of common practice, the Resource Management Department focuses on working cooperatively with local communities to achieve reasonable and responsible approaches to the management of natural resources. Leadership and Collaboration An important part of our success is collaboration with stakeholders. We strive to foster open communication with our communities, consider their needs and concerns, and work together to develop thoughtful solutions. Our involvement with our communities means more than just financial contributions or investments. Our goal is to be a leader in our communities, creating collaboration among multiple partner organizations and serving as a catalyst for positive change. At times in our history this has been a challenge, and we have learned important lessons that have helped us improve and increase positive engagement and collaboration with community stakeholders. J. Cost Considerations on Phelp Dodge Operations2004 Annual Report StatementTo Our Shareholders, During 2004, Phelps Dodge Corporation reaped the benefits of robust demand for copper and molybdenum, a disciplined approach to business, and the hard work and dedication of our 14,000 employees worldwide. Page 8 in 2004 ANNUAL REPORT) shows copper prices at record highs, and world inventories at record lows (See Attachment IV). These are conditions of sufficient prosperity to fund control measures, as expensive as they may be. K. RadiochemicalsRiadiochemical testing should be required in all monitor and user wells east of the Tailings Impoundment to assure that they do not reach and degrade user water supplies. Monitor wells at the foot of the Impoundment Dam test high in sulfates and also high in Radiochemicals (Montgomery & Assoc. Lab report dated 12 Oct 2004 show MH-14, 15W and 16W with Gross Alpha activity up to 130 pCi/l compared to MCL limit of 15 pCi/l), and the APP requires biennial testing of these wells (See Attachment V). However the APP has no quarterly or biennial testing requirements for Gross Alpha activity or sulfate for MH 11 and MH 12 that are located several thousand feet east (approximately halfway to CW-8). It seems reasonable to expect that the high sulfate/Gross Alpha near the dam is capable of migrating to these high-sulfate wells, and also to user water wells. L. Notification and CommunicationWe consider ADEQ to be the state agency to serve our community and protect our water aquifer, and the APP is for that purpose. Beyond that, there are other players that have a vital interest in the ultimate solution of this problem. Nothing in the APP addresses how to include these players. The APP is a document involving only two players, ADEQ and PDSI. Notification and communication procedures are needed to involve the other players. The players are GVCCC, ADEQ, PDSI, CWC, CPI and other parties interested and involved in the water problem. It would be highly desirable to establish a “Water Protection” committee comprised of these players to present, review, and disseminate information to the public regarding problems and problem solving. To be involved the Green Valley community needs to know what is going on. This means we must be notified, informed and be able to communicate. Lacking such a committee or function, it will be necessary to establish very close communications with ADEQ. What will we need from ADEQ?
It would be far better to have interactive meetings among the players with the cooperation and compromise needed for problem solving, and the establishment of trust. If PDSI decides to live up to their public statements quoted on Page 4 of these comments, this should be readily possible. What are questions that need to be addressed?
Submitted by: Dick Shuman, PE Casa Paloma I Homeowners, Inc. Environmental Coordinator Ph: (520) 648-0445 Email [email protected] ATTACHMENT I (A) CW - 7ATTACHMENT I (B) CW - 8ATTACHMENT IIATTACHMENT III - WATER BALANCE The public wants to know how much Tailings seepage is going into the aquifer without being intercepted and captured. This can be estimated by a water balance using the following three (or similar) steps. 1. How much seepage is leaving the Tailings Impoundment dam? The make-up water pumped into PDSI property less evaporation and process usage, can be assumed to be seepage. (PDSI is a zero discharge facility). 2. How much seepage volume is being intercepted by PDSI Interceptor wells? The seepage volume (Vs) intercepted by the Interceptor wells can be calculated by determining the volume pumped (Viw), the concentration of the water pumped and returned (I), and the concentration of the seepage underlying (leaving) the Tailing Impoundment (S) (see below). 3. How much seepage is not being intercepted and is contaminating and spreading in the aquifer? The seepage from 1. above, minus the seepage from 2. above can be assumed to be the seepage not being intercepted, thereby contaminating and spreading in the aquifer. Example : How much seepage volume is being intercepted by PDSI Interceptor wells? (All figures are arbitrary for the sake of illustration) A=Ambient sulfate mg/l Va= ambient volume gpm 1 US gallon = 3.7854118 liters S=Seepage sulfate mg/l Vs= seepage volume gpm I = Interceptor sulfate mg/l Viw= Interceptor well volume gpm A*Va + S*Vs = I*Viw When Va + Vs = Viw = 1, then Va = 1- Vs and Vs = 1 – Va Va = (S – I) and Vs = (I – A) (S – A) (S – A) If A=50, S=1250, I=500 then Va = 0.625 Vs = 0.375 or Va = 62.5% and Vs = 37.5% of the water pumped (Viw) from Interceptor wells. If Interceptor wells are pumping 7300, gpm, then 2737 gpm (37.5 %) seepage is being captured. Before 2005, the CWC wells 7&8 were pumping about half of CWC water supply. How much seepage reached CWC wells Nos. 7 & 8 during years of operation? If these two wells pumped about one-half of CWC requirements for many years at 500 mg/l sulfate with an ambient condition of 50 mg/l, the volume of seepage reaching the pumps can be calculated (As shown below) and can also be subtracted to arrive at an estimate of seepage not being intercepted and contaminating and spreading in the aquifer. 4. The large volume of seepage pumped out of the aquifer and delivered to CWC customers essentially converted CWC pumps into interceptor wells. What was the ultimate destination of these contaminated waters? They should be considered groundwater redirected to a river requiring an AZPDES permit? What will become of the contaminated water no longer being pumped by CWC wells Nos. 7 & 8? Will it migrate into the aquifer more rapidly and result in further degradation? (Several square miles are already contaminated underlying populated communities including CPI). 5. It is the responsibility of ADEQ to investigate and flesh out the skeleton contained in these examples. It is the responsibility of PDSI to provide the necessary facts and figures and to make them known to the public. A=Ambient sulfate mg/l Va= ambient volume gpm 1 US gallon = 3.7854118 liters S=Seepage sulfate mg/l Vs= seepage volume gpm C= CWC sulfate mg/l Vc= CWC volume gpm A*Va + S*Vs = C*Vc When Va + Vs = Vc = 1, then Va = 1- Vs and Vs = 1 – Va Va = (S – C) and Vs = (C – A) (S – A) (S – A) If A=50, S=1250, C=500 then Va = 0.625 Vs = 0.375 or Va = 62.5% and Vs = 37.5% of the water pumped (Vc) from #7 & 8. If CWC wells 7&8 were pumping 2000 gpm, then 750 gpm (37.5 %) seepage was being captured. ATTACHMENT IV ATTACHMENT V Radiohemicals Suumary from APP and Montgomery & Assoc Lab report 12Oct2004 MCL limits AQL ALLimits for Gross Alpha 15 pCi/L 12 pCi/L (These are the same limits Limits for Radium 5 pCi/L 4 pCi/L used in the APP) Biennial Testing is Required in APP for Radiochemicals for these wells (although quarterly testing is required for other components). Range of test results LAB Tests Gross Alpha Radium MH 14 18-29 ok (within limits) MH 15W 20-130 ok MH 16 W 4-130 ok MH 18 4-25 ok MH 19 5-32 ok MH 20 ok (within limits) ok MH 21 406-1090 11-21 MH 22 38-282 ok MH 23 14-188 ok MH 27 No Lab Report MH28 No Lab Report MH 29 No Lab Report Radiochemicals testing is not required in the APP for these “Non-hazardous” wells ( although they are tested Quarterly for other components). LAB Tests Gross Alpha Radium MH 11 ok ok MH 12 ok ok MH 25A ok ok MH 26 A ok ok CW-8 No Lab report These wells are not listed in APP tables but were tested for Radiochemicals in the Lab report. Range of test results LAB Tests Gross Alpha Radium MH 17 69-170 15-149 MH 18 4-22 ok MH 19 8-32 ok Note: All lab reports on PZ-1 to PZ –16 are exceeding Gross Alpha limits and six of them exceeded the Radium limits. Dick Shuman July 28, 2005 Riadiochemical testing should be required in all monitor and user wells east of the Tailings Impoundment to assure that they do not reach and degrade user water supplies. Monitor wells at the foot of the Impoundment Dam test high in sulfates and also high in Radiochemicals (Montgomery & Assoc. Lab report dated 12 Oct 2004 show MH-14, 15W and 16W with Gross Alpha activity up to 130 pCi/l compared to MCL limit of 15 pCi/l), and the APP requires biennial testing of these wells (See Attachment V). However the APP has no quarterly or biennial testing requirements for Gross Alpha activity or sulfate for MH 11 and MH 12 that are located several thousand feet east (approximately halfway to CW-8). It seems reasonable to expect that the high sulfate/Gross Alpha near the dam is capable of migrating to these high-sulfate wells, and also to user water wells. Below is from my Oral statement I submitted in writing at the Hearing Radiochemical Riadiochemical testing should be required in all monitor and user wells east of the Tailings Impoundment to assure that they do not reach and degrade user water supplies. Monitor wells at the foot of the Impoundment Dam test high in sulfates and also high in Radiochemicals. Tests on several of the monitor wells at the foot of the Impoundment dam are many times higher in Gross Alpha activity than the maximum EPA limits for drinking water, However the APP has no testing requirements for monitor wells that are located several thousand feet east approximately halfway to drinking water wells. It seems reasonable to expect that Radiochemicals near the dam are capable of migrating to these high-sulfate wells, and also to user water wells. Radiochemicals This is from my SPEAKING text at the Hearing. Riadiochemical testing should be required in all monitor and user wells east of the Tailings Impoundment to assure that they do not reach and degrade user water supplies. Monitor wells at the foot of the Impoundment Dam test high in sulfates and also high in Radiochemicals. They test 10 times higher than the Alarm Levels set in the permit and by the EPA for Gross Alpha activity. This is bad because when ingested it can seek lungs and bones causing cancer. However the Permit has no testing requirements for monitor wells that are located several thousand feet east, approximately halfway to drinking water wells. It seems reasonable to expect that Radiochemicals near the dam are capable of migrating to these high-sulfate wells, and also to user water wells. |