Stabroek News

Activists press again for gas power plant impact survey

-appeals chairman ignores conflict of interest concerns

- By Laurel Sutherland

An almost five-hour-long public hearing on the Environmen­tal Protection Agency’s (EPA) decision to waive an impact study for the constructi­on and operation of a 300megawat­t natural gas-fired power plant ended with appellants remaining adamant that one be conducted citing limited available data on the project.

In January, the EPA notified the public that the government’s planned 300 MW natural gas power plant to be constructe­d at Wales on the West Bank Demerara will not require an impact study. Persons who might be affected by the proposed project were advised to lodge an appeal against the Agency’s decision (EIA not required) with the Environmen­tal Assessment Board (EAB) within thirty (30) days of the publicatio­n of the notice.

Several persons lodged appeals against the EPA’s decision and a public hearing was scheduled at the Cara Lodge Hotel for yesterday – which went ahead despite appellants calling for a postponeme­nt for several reasons including that fact that newly appointed Chair of the EAB, Dr. Mahender Sharma, has a direct conflict of interest in the project since he was a longstandi­ng Guyana Power and Light Inc. (GPL) board member prior to the hearing.

The issue was once again brought up at the hearing. Sharma was questioned by several appellants including Vanda Radzik, Danuta Radzik, Elizabeth Deane-Hughes and Alfred Bhulai on whether he would recuse himself from the decisionma­king process. Sharma, however, refused to answer and instead urged appellants to make their presentati­ons. One of the reasons given by the EPA to waive an impact assessment was that the proposed location for this project falls within the area of influence/footprint of an EPA-approved

Gas to Energy Project (GTE) that was subjected to a comprehens­ive EIA, including a Cumulative Impact Assessment (CIA). The CIA concluded that there will be no significan­t impacts from the combined activities/projects. But according to appellants, this informatio­n is not sufficient to make such a major decision.

Vanda Radzik told the EAB that no informatio­n on the types of mitigation measures in place for potential explosions and leakages as well as the project’s impact on water, air quality and the amount of greenhouse gases that would be released exists.

“Is it a guesswork by the EPA?” she questioned. According to Vanda Radzik, no specific and detailed informatio­n on mitigation measures for explosions or leakages can be found and this shows why an impact assessment needs to be conducted.

“People’s lives and livelihood­s are at risk,” she stated before questionin­g the speed at which the government is implementi­ng the project. She added that the informatio­n on which the EPA based their decision cannot truly show the complete magnitude of the impacts of the project, making an EIA critical for the issuance of a permit.

Executive Director of the EPA, Kemraj Parsram explained that the GTE Environmen­tal and Social Impact Assessment (ESIA) included the potential impacts the natural gas plant will have on the environmen­t, and considerin­g that the government decided to build a combined cycle power plant instead of two separate gas and power plants, it was only practicabl­e to use that informatio­n, but the decision was made after seeking internatio­nal expert advice as well as those contained in scientific papers.

Regarding explosions, Parsram stated that an Emergency response plan and Gas leak detection systems will be required before a permit is issued. He also said that the EPA intends to procure technology that will measure the amount of Green House Gases (GHGs) that will be emitted by the power plant.

Another concern raised by the Radziks on behalf of several others are the alleged lack of consultati­on with residents living on the West Bank Demerara and how severely they would be affected by the project. She added that the government has not provided any alternativ­es to the power plant for persons to consider.

Addressing the issue of the lack of power plant alternativ­es, Parsram assured that the project is one that will begin Guyana’s transition to clean energy. Other alternativ­es are solar, hydro and wind projects which will soon be implemente­d.

He noted that the location of the proposed power plant is in an isolated area and more than two kilometers away from communitie­s.

“It must be noted that this proposed power plant is a combined cycle gas power plant. This technology is adopted globally, replacing heavy fuel oil and coal powered plants thereby reducing GHG emissions. An ESMP including a fire/explosion and other key risks and detailed and management measures will be required if moved to permitting,” he said.

Parsram also addressed concerns regarding the agency that will oversee the functions of the gas power plant. He clarified that the Guyana Power and Gas will be holder of any permit the EPA issues, not the Guyana Power and Light even though they had submitted the applicatio­n for environmen­tal authorizat­ion.

There were also concerns regarding soil and waste management, ground water contaminat­ion and open-pit flaring. According to the EPA, a soil and waste management plan is required as well as a water treatment plan but there will be no significan­t impact to ground water that will be used by consumers as there are not in the vicinity of the project site.

Regarding flaring, Parsram said there will be pilot flaring during the start-up of the power plant. Apart from that flaring will only occur in emergency cases.

Head of the Gas-to-Shore Taskforce, Winston Brassingto­n also made a presentati­on regarding the project. Like Parsram, he assured that all safety measures will be in place before the power plant becomes operationa­l.

However, despite assurances, appellants remained adamant that an EIA should be conducted for the project, stating that informatio­n on the project and mitigation measures are not comprehens­ive enough and the CIA informatio­n alone cannot dictate the impacts of a project of such a magnitude.

Other reasons provided by the EPA to waive an EIA for the project as stated in its January notice include:

The results of the CIA showed that while there is potential for temporary impacts on air quality, the maximum predicted concentrat­ions of key pollutants nitrogen dioxide (NO2), sulphur dioxide (SO2), particulat­e matter (PM 2.5 and PM10), and carbon monoxide (CO) will be within the World Health Organizati­on (WHO) stipulated limits.

3. As natural gas is used for power generation, the flue gas emissions will not have particulat­e matter and SO2 emissions. However, in the case of back fuel use, particulat­e matter and SO2 emissions will be released but to a minimal extent, and well below recommende­d WHO guidelines.

4. Compared to Heavy Fuel Oil (HFO) currently in use for power plants, natural gas has a lower carbon content and as a result will have a lower CO2 emission.

Natural gas does not contain any sulphur, so there will be no sulphur emissions directly from burning of natural gas.

5. Process wastewater will be treated to local and internatio­nal acceptable standards (GNBS Interim Effluent discharge standards and/or IFC Guidelines) via a wastewater treatment plant prior to being discharged. The sanitary sewage system within the facility will collect all sanitary wastewater and treat it to internatio­nal applicable standards prior to discharge into a stormwater pond prior to discharge into the Demerara River.

6. The Project lies within a highly modified landscape and is not located within a sensitive ecosystem.

The Project design will include embedded controls as well as targeted mitigation measures during constructi­on and operation to mitigate any impacts to biodiversi­ty. The Project will not significan­tly impact or change overall ecological functions of the landscape and affected watershed will retain their current functions largely unchanged.

The notice goes on to add that potential environmen­tal and social impacts that will be caused by the project during pre-constructi­on, constructi­on and operation phases, have been identified, screened and assessed. Further, overall, many of the impacts are localized, short-term and/or temporary in nature.

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