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Leach Xpress WB Xpress Not built Dominion, Duke Energy, Piedmont Natural Gas and AGL Resources formed a joint venture to build and own the proposed 590 miles long Atlantic Coast Pipeline. Three compressor stations– one at the beginning of the pipeline in West Virginia, one in central Virginia (Buckingham County) and one near the Virginia-North Carolina state line. The capacity of the pipeline is projected to be 1.5 billion cubic feet/day. Cost is estimated at $4 to $5 billion. NextEra US Gas Assets, LLC, completed a non binding open season for the Mountain Valley Pipeline project in July 2014. The 330-mile Mountain Valley Pipeline project would connect Marcellus natural gas supply to demand markets in the Southeast region of the United States and exports overseas. providing at least two billion cubic feet per day of firm transmission capacity. Delivery to Transco station 165 is expected to be in service by the fourth quarter of 2018. Project costs are $3 to $4 billion dollars. Columbia Pipeline Group is proposing to construct and operate two new compressor stations, approximately 26 miles of pipeline replacement and approximately 2.9 miles of new pipeline system in Virginia and West Virginia. The project increases pipeline capacity to 1.3 billion cubic feet per day and includes new pipeline interconnects Several issues that require attention include: Two pipelines create a minimum of 95 million tons of Greenhouse gas emissions per year, double current GHG emissions in Virginia; land use impacts, including the exercise of eminent domain and future land use restrictions; impacts on property values, tourism, and recreational resources; safety issues, such as construction and operation of the planned facilities near existing residences, schools, businesses, and military training facilities, and in karst and steep slope terrain; impacts of Fragmentation on forested areas ; impacts on surface water resources including springs, seeps, and wetlands; impacts on groundwater resources and wells; impacts on protected species and habitat; impacts on cultural resources including battlefields, cemeteries, and historic properties; and concerns regarding construction and operational noise, especially related to compressor stations. The potential total GHG emissions associated with two proposed pipelines would greatly increase emissions from this region for decades into the future. The total from the ACP pipeline is 40.7 MMT/yr and the total from the MVP pipeline is 54.3 MMT, which equals a total GHG emissions of 95.0 MMT - almost double the amount of current GHG emissions in Virginia. The total contribution from 177 GHG existing sources in Virginia is 49.4 MMT CO2eq. These are the low end estimates. Review of certificate applications requires an environmental review under NEPA. The FERC is the NEPA Lead Federal Agency for the environmental analysis. No statutory deadline, but process generally takes a year. The draft EIS’s were open to public comment and FERC held public hearings for the MVP and ACP. After reviewing, incorporating comments, FERC publishes final EIS. MVP Final EIS scheduled for June 23, 2017. ACP Final EIS scheduled for July 21, 2017. Certificates of Public Necessity and Convenience will be issued in September and October. Administrative appeals will be filed within a month of issuance of each Certificate. Section 106 – Historic Resources National Historic Preservation Act review of existing historic structures in proximity to pipeline corridors. Many historic sites are not included in surveys. Advisory Council on Historic Preservation is responsible for reviews of historic resources. Not much traction on this issue as FERC has ignored comments on historic resources. Section 401 -Clean Water Act and Water Quality permitting. DEQ began the process for review of the 401 water quality certification in April 2017. DEQ decided to allow the Corps of Engineers to perform the water body crossings as part of their Nationwide 12 permit review. We are taking action to press DEQ to perform the stream/river/wetland reviews as part of the Section 401 certification. Public hearings will be held in August. State Water Control Board has final approval authority of Section 401 water quality certification. Legal team from the Environmental Law Program is working to develop legal strategy. The 401 certification is required before pipelines construction can begin. Final decisions by the Water Control Board by end of the year. Appalachian Trail/Blue Ridge Parkway crossings authorizations. The Appalachian Trail Conservancy (ATC) is strongly opposed to pipelines crossing the AT. The ATC has launched a campaign to stop the pipelines from crossing the AT. Currently planning Hands Across the Appalachian Trail event in two locations at the end of July 2017. This grassroots event will publicize and gain more attention to pipelines crossings of the Appalachian Trail. Pipelines are proposed to pass through the George Washington, Jefferson and Monongahela National Forests. The Forest Service is currently reviewing information and submittals by pipeline companies that will conclude with a Decision of Record, either approving or rejecting Amendments to Land Resource Management Plans (LRMP). The Forest Service has submitted in-depth, thorough comments to FERC as part of the review process. The Forest Service is primarily concerned about forest fragmentation and water contamination by sediment. If the FS makes a decision that approves the LRMP amendments and the Special Use Permit, then we plan to pursue administrative appeals followed by legal challenges in court. Draft Record of Decision by Forest Service for MVP end of June 2017. 45 day objection period, followed by 45 day resolution period. BLM issues Use & Occupancy permit with concurrence of Forest Service for MVP. Draft Record of Decision by Forest Service for ACP end of July 2017. 45 day objection period, followed by 45 day resolution period. Forest Service has authority to issue Use & Occupancy permit for ACP. If permits are approved, we are planning to file challenges to permit approvals in court this Fall. The Democratic primary this Tuesday has the potential to influence approval of the 401 Clean Water Act certifications. In New York, the Department of Environmental Protection rejected permits for two major pipelines due to environmental concerns. The political attitude by the New York Governor is antipipeline. One of the candidates for the VA governor’s office has publicly stated opposition to pipelines in Virginia. If an antipipeline candidate is elected, our chances are increased that the 401 certifications are not approved. A celebratory walk along the proposed fracked-gas pipeline (ACP) path. See for yourself what is on the line - The rivers, forests, mountains, farms and homes that are in danger of irreversible destruction. Starting in Highland County, we will follow as close as possible to the proposed path for 150 miles (1st leg) - Through Bath, Augusta and Nelson Co, and into the heart of Virginia; Buckingham County.