Tag Archives: Social Cost of Carbon

Nine Riverkeepers say FERC’s Sabal Trail SEIS unacceptable; request pipeline shutdown

FOR IMMEDIATE RELEASE

Hahira, Georgia, November 21, 2017 — Factually incorrect, failing to account for LNG export or solar power, and irresponsible for not finding or creating a method for attributing environmental effects to greenhouse gases, as the DC Circuit Court had instructed the Federal Energy Regulatory Commission (FERC) to do: that’s what nine Riverkeepers called FERC’s Supplementary Environmental Impact Statement (SEIS) yesterday; see their letter to FERC. The nine include all the Riverkeepers in the path of Sabal Trail and all parts of the Southeast Market Pipelines Project (SMPP) plus others in all three states invaded by those pipelines, Florida, Georgia, Alabama, plus Oklahoma, where the SMPP instigator, Florida Power & Light (FPL), owns a fracking field, The nine, who support fishable, swimmable, drinkable water, pointed out that all of FPL’s original excuses for Sabal Trail have been proven incorrect, and asked FERC to shut it down.

Green is Sabal Trail; Transco and FSC in black, SMPP
Sabal Trail in green, Transco and FSC in black, in Sierra Club interactive map of gas pipelines.

The Riverkeepers weren’t buying FERC’s ignorance: Continue reading

Eight Riverkeepers oppose FERC’s inaccurate and inadequate Sabal Trail SEIS and request pipeline shutdown 2017-11-20

Filed today as FERC Accession number 20171120-5130, “Opposition to the incorrect and inadequate FERC Sabal Trail SEIS and request for pipeline shut down by Suwannee Riverkeeper (WWALS) and Apalachicola, Ogeechee, Grand, Choctawhatchee, Chattahoochee, Indian, and Flint Riverkeepers.” (Or see WWALS PDF.)

Shut it down, From: The undersigned Waterkeepers

Date: November 20, 2017

To: Kimberly D. Bose, Secretary
Federal Energy Regulatory Commission
888 First Street NE, Room 1A
Washington, DC 20426

Re: We oppose the incorrect and inadequate FERC Sabal Trail SEIS
FERC Docket Numbers CP14-554-002, CP15-16-003, and CP15-17-002

On September 27, 2017, the Federal Energy Regulatory Commission (FERC) published a draft Supplementary Environmental Impact Statement (SEIS).[1] That SEIS was in response to the August 27, 2017 DC Circuit Court decision[2] regarding FERC’s previous approval of Certificates of Convenience and Necessity for the three parts of the Southeast Markets Pipeline Project (SMPP), which are the Transcontinental Gas Pipe Line Company, LLC’s (Transco) Hillabee Expansion Project in Docket No. CP15-16-000; Sabal Trail Transmission, LLC’s (Sabal Trail) Sabal Trail Project in Docket No. CP15-17-000; and Florida Southeast Connection, LLC’s (FSC) Florida Southeast Connection Project in Docket No. CP14-554-000. The judges ordered:

“The orders under review are vacated and remanded to FERC for the preparation of an environmental impact statement that is consistent with this opinion.“

The draft SEIS issued by FERC is clearly not consistent with the court’s opinion for the following reasons:

  1. The SEIS is factually incorrect in stating that: Continue reading

Senators from Rhode Island and Colorado show how FERC can use social cost of carbon

Senators from two states far away just did what none of the senators from Alabama, Georgia, or Florida have done: called out FERC on its failure to do what the judges ordered about the social cost of carbon for the fracked methane pipelines Sabal Trail, Transco, and Florida Southeast Connection.

Sheldon Whitehouse Michael Bennet

FERC Accession Number 20171114-0043, “Comments of Senator Sheldon Whitehouse et al re the Southeast Market Pipelines Project under CP14-554 et al.” FERC’s generated PDF is not very legible, so the text below is from Sheldon Whitehouse, Press Releases, 8 November 2017, WHITEHOUSE, BENNET CALL ON FERC TO USE SOCIAL COST OF CARBON IN REVIEW OF PIPELINES, which also has linked to it a legible PDF. Continue reading

FERC alleged SEIS for Sabal Trail and Sierra Club Petition

The agency most responsible for pushing new greenhouse gas emissions (GHG) is “not aware of” and “could not find a suitable method to attribute discrete environmental effects to GHG emissions.” That epitomizes the lack of seriousness of the five-page Draft Supplemental Environmental Impact Statement (SEIS) FERC issued last month for Sabal Trail and the rest of the Southeast Market Pipelines (SMP) Project. If “the ability to determine localized or regional impacts from GHGs by use of these models is not possible at this time,” FERC should take Sabal Trail out of service and stop approving any more pipelines until such models are possible.

Maybe the agency pushing the most GHG should create such a model if it does not exist.

Maybe it could at last get the history straight about which coal plants FPL claimed Sabal Trail was needed to “modernize”.

Until then, this alleged SEIS is junk and Sabal Trail should be shut down.

You can sign Sierra Club’s petition against this fake SEIS, even though FERC can’t be bothered to hold public hearings. If you need reasons, read on below.


Susan Salisbury, Palm Beach Post, 1 April 2014, FPL’s Riviera Beach plant goes online Tuesday.
It’s already built, even though in 2013 FPL said Sabal Trail was needed to do that.
Now FERC’s SEIS names different plants as excuses.

Fracked methane emissions divided by Solar Power zero emissions

The SEIS explicitly mentions solar power: Continue reading