Tag Archives: remediation

Rivers maybe finally clean after Valdosta sewage: but Okapilco Creek and need weekly testing 2020-01-31

Update 2020-02-04: Clean Withlacoochee, Okapilco Creek (mostly), and Little River 2020-02-02.

More good news: the Withlacoochee River above the Little River Confluence tested zero (0) for E. coli on Friday, for the first time since Valdosta’s record-largest raw sewage spill. If this good news continues, eventually WWALS (and Lowndes County) will take down our warning signs at Knights Ferry, Nankin, and State Line Boat Ramps.

Testing continues by WWALS volunteers and Lowndes County, Georgia. Please continue to be cautious in your interaction with the Withlacoochee until we get clean readings for a prolonged period.

But we still need to find out what is the source of the contamination Lowndes County keeps finding in Okapilco Creek downstream of US 84. Okapilco Creek demonstrates that testing after a spill is not good enough: we need ongoing, at least weekly, testing.

If you’re going to paddle, swim, or fish in one of our rivers, wouldn’t you want to know what the latest test results are? I know I would.

[Green upstream Withlacoochee]
Photo: Scotti Jay, of green water upstream from the Little River Confluence on the Withlacoochee River, December 21, 2019.
It’s back to its usual tea color now.
The entire WWALS composite testing results spreadsheet is on the WWALS website.

That January 31 Confluence result is from WWALS tester Sara Jay.

WWALS testers Suzy Hall and Conn and Trudy Cole pulled samples yesterday Continue reading

Cleaner at Okapilco and Piscola Creeks and Withlacoochee River 2020-01-29

Update 2020-02-03: Rivers maybe finally clean after Valdosta sewage: but Okapilco Creek and need weekly testing 2020-01-31

Good news: the Withlacoochee River tested clean Wednesday. Still puzzling: Okapilco Creek did not. Where is the contamination coming from? What about Valdosta? How can you help?

[Ducks with reference human]
Photo: John S. Quarterman, Ducks with reference human, Josh Tison, at Piscola Creek under the Old Madison Road bridge in Brooks County, Georgia, 2020-01-29.

We have results from Lowndes County and from WWALS for January 29, 2020. Lowndes County still shows an elevated count of 378.4 cfu/100 mL E. coli on Okapilco Creek at the (old) Bray property, downstream of US 84, but upstream of Piscola Creek.

[2020-01-22 -- 2020-01-29]
2020-01-22 — 2020-01-29 testing results from Lowndes County and WWALS.
The entire WWALS composite spreadsheet of testing results is on the WWALS website.
So are the Lowndes County results.

At US 84 on Okapilco Creek I got 66, and at GA 76 farther upstream Lowndes County got 95.9. As also indicated by previous results, whatever is getting into Okapilco Creek seems to be occuring downstream of US 84.

I even tested a new site on Piscola Creek at Old Madison Road, for 100 cfu/100 mL, despite gathering water downstream of Continue reading

Suwannee Riverkeeper asks Georgia EPD to require Valdosta to do better about its record sewage spill 2019-12-17

FOR IMMEDIATE RELEASE

Hahira, Georgia, December 19, 2019 — Compelled by the severity of Valdosta’s record raw sewage spill and the expenses and stigma incurred nearby and downstream, Suwannee Riverkeeper for WWALS Watershed Coalition has sent a letter requesting ten enforcment actions to the Georgia Environmental Protection Division (GA-EPD). WWALS member Deanna Mericle of Hamilton County, Florida, summed it up: “As a person living downstream on the Withlacoochee River in Florida, I feel shat upon by Valdosta over and over. I cannot drink the water from my well. I worry about the health of the river itself and the animals that live in it and drink from it. We in Florida were patient while Valdosta was improving their wastewater plant, which apparently was not adequate since we still have spills when it rains heavily. But this time it was not a rain event. It was gross negligence. I am out of patience. I believe it is time for legal action.”

The Suwannee Riverkeeper letter notes GA-EPD already has a legal action against Valdosta, a Consent Order. WWALS asks GA-EPD to use its enforcement power to require notification, water quality testing, education, and plans and procedures not only for preventing such spills but also for tracking them as they travel down our creeks and rivers and for remediation of effects on wells and reputation.

[2019-12-17--WWALS-GA-EPD-Valdosta-sewage-0001]
2019-12-17–WWALS-GA-EPD-Valdosta-sewage-0001

“Valdosta says it does what GA-EPD tells it to do, so we’re asking GA-EPD to tell them,” said Suwannee Riverkeeper John S. Quarterman. “Today we’re forwarding the letter to Continue reading

Cattle, sinkholes, and digups vs. Sabal Trail: Janet Barrow 2017-11-20

Sabal Trail apparently doesn’t know cattle.

cattle go rogue over Sabal Trail pipeline markers

The pipeline company claimed they know restoration, but that’s not what the ground looks like now, with sparse vegetation and erosion. They say they love wildlife, but they drove off a heron and who knows what else. They’re driving down property values. What are those bubbles? Which milepoint is which, anyway? Janet Barrow lives in Marion County, but she also reports on Citrus County. For 54 pages, with a summation.

For the rest of FERC Accession Number 20171120-5026, “Comment of Janet L Barrow under CP15-17, et. al.; A Citizen’s Supplemental Information Regarding Sabal Trail’s October, 2017 Monthly Report” on the WWALS website, follow this link.

 -jsq, John S. Quarterman, Suwannee RIVERKEEPER®

You can join this fun and work by becoming a WWALS member today!

WWALS moves to enter EPA letter to FERC into evidence in Florida case

Everyone from the Atlanta Journal-Constition to the Palm Beach Post to the Ocala StarBanner Comes now, Petitioner... and moves.... considers the EPA letter to FERC to be of great significance. WWALS agrees, and has filed a motion to ask the judge to take notice in WWALS v. Sabal Trail & DEP.

§ 373.414 Florida Statutes, begins:

(1) As part of an applicant’s demonstration that an activity regulated under this part will not be harmful to the water resources or will not be inconsistent with the overall objectives of the district, the governing board or the department shall require the applicant to provide reasonable assurance that state water quality standards applicable to waters as defined in s. 403.031(13) will not be violated and reasonable assurance that such activity in, on, or over surface waters or wetlands, as delineated in s. 373.421(1), is not contrary to the public interest. However, if such an activity significantly degrades or is within an Outstanding Florida Water, as provided by department rule, the applicant must provide reasonable assurance that the proposed activity will be clearly in the public interest.

Not just “not contrary to the public interest”. For an Outstanding Florida Water applicant (Sabal Trail) “must provide reasonable assurance that the proposed activity will be clearly in the public interest.” The Suwannee River is an Outstanding Florida Water. And the EPA letter is pretty good evidence that Sabal Trail did not provide such reasonable assurance.

Filed October 30, 2015 4:43 PM Division of Administrative Hearings (also PDF on WWALS website): Continue reading