Comment
Comment ID: 210795
I am a local Farmer and land owner in the proposed Otter Creek Wind farm area, My Family owns and runs 4 separate wells in the area and have not had any issues with them in the past 50 years. I personally have emailed Samsung from their website for recommendations for well testing and have received no reply. My concerns are the same as many land owners in the area, If the government cannot protect its Tax payers from corporations then why do we pay Taxes? Please see my concerns, 1) Grave concern over impacts to ground water quality and quantity due to construction and operation of Otter creek wind farm. 2) MOECC has a number of well interference complaints from Dover township and Chatham township that the MOECC has not properly investigated and these numerous files remain open. 3) At a minimum every well owner requires baseline well water testing and well flow rate testing prior to construction, prior to operation and at 5 year intervals throughout the 20 year operation lifespan. 4) Surveys of well owners from North Kent 1 were not properly conducted. Surveys do not insure a high level of enrollment for baseline well water testing. The minimum time period to enroll all Otter Creek well owners in each baseline testing period: prior to construction, prior to operation and at 5 year intervals during operational lifespan must be no less than 4 months. 5) Conditions section G and section H of the North Kent Wind REA Permit must be absolutely included in the Otter Creek REA permit. All vibration reports must publicly available. 6) Minimum testing must include turbidity, total dissolved solids, total suspended solids, conductivity, nitrate, nitrites, PH, Anion/Cation, Volatile Organic compounds, isotopes for ground water age, heavy metals including arsenic, mercury, lead, uranium and radio nucleotides including radium and radon. 7) Minimum testing must include particles distribution size studies for particles suspended in the well water, this includes shape, chemical composition and identification of dominate particle of each size range from 0.4 to 2000 microns. During particle size sample collection a triplicate sample for turbidity, total dissolved solids, total suspended solids, conductivity must be taken to correlate particle size distribution to turbidity values. (this is core essential) 8) Condition G7 for North Kent REA Permit is insufficient and must be replaced with a well compensation plan that provides at the proponents expense a water line and financial compensation for loss of property value due to environmental stigma from ANY IMPACTS to well water quality or quantity.
Submitted May 23, 2019 10:15 AM
Comment on
Otter Creek Wind Farm General Partnership Incorporated, general partner for and on behalf of Otter Creek Wind Farm LP - Renewable energy approval
ERO number
013-1043
Comment ID
31384
Commenting on behalf of
Comment status