Showing posts with label Public Comment. Show all posts
Showing posts with label Public Comment. Show all posts

Thursday, February 28, 2013

Contentions with SB78 and policy recommendations

Waterloo Recreation Area in Pinkney, MI 2010
Photograph by Ian Tran
[The views presented here do not necessarily reflect those of the Student Environmental Association at The University of Michigan-Dearborn]

Honorable Governor Snyder and Honorable Senators of the Michigan State House:

I provided ecological economic advisory for the City of Dearborn’s sustainability master plan and was nominated subsequently for the Dearborn Mayor’s Environmental Commission in 2010.  I remain an ardent proponent for examining issues by their existing and potential consequences they have on people affected by the intermingling of social, economic, and environmental challenges.  I’m a realist rather than an environmentalist.  I oppose and urge you to oppose SB78, which strives to amend the Michigan Natural resources and environmental protection act, for the following reasons.

Summary of contentions:
1) SB78 would create uncertain and ambiguous risks to the state, businesses, and citizen taxpayers
2) Economic and scientific research provide compelling if not clear reason for environmental conservation
3) Underutilized or unconsidered alternative consensus processes exist for sound risk governance, programming, and policy solutions to ensure benefit for all stakeholders

1)  Removing regulatory capacity for conservation from state agencies create ambiguous risks which can negatively impact the state, local businesses, and citizen taxpayers in the long-run

The International Risk Governance Council (IRGC) categorizes uncertain and ambiguous risk [0] as follows:
Uncertainty refers to a lack of clarity or quality of the scientific or technical
data.
Ambiguity results from divergent or contested perspectives on the justification,
severity or wider meanings associated with a given threat.
SB78 facilitates uncertain risk because we lack proper baseline data for accurately recognizing state-level benefits of biodiversity and conservation management, yet the legislation seeks to reduce the state’s ability to maintain and manage the areas crucial for data collection and analysis.  We also have few guarantees that unforeseen consequences of resource extraction (i.e. natural gas, shale oil) will have proper and thorough remedial response.  Many of those who testified to the committee or submitted comments presented perspectives that contested the nature and potential repercussions of SB78; these perspectives exemplify both the ambiguity and uncertainty associated with this bill.  The legacy of negative consequences from disastrous events remain real risks for the Michigan citizen from an economic and environmental health perspective.[1]  Furthermore, the state remains unprepared to thoroughly mitigate these disasters.[2]  DNRE policies and programs regarding our natural resources may require further clarification; however, removing the DNRE’s regulatory capacity is certainly excessive.

The typical citizen would rarely take issue with an individual, business, or government that strives to save money for the sake of the people's current and future well-being. Doing conservation for the sake of appropriate, ecologically informed biodiversity and long-term economic security ought to do the same.  In this sense, conservation facilitates opportunity through discipline. In other words, conservation remains a proper priority in fiscal and environmental matters alike, even if we cannot (and ought not) assume everything we live with can be approximated to a dollar value.

The principles for the origins of conservativism are shared between political, economic, and environmental practice: we conserve to know that we may live well now, and ensure that others may live well in the future. Everyone can agree with true conservative principles regardless of political background.  Conservation management looks to foster well-being for us and for things beyond our own species; the ability to exercise proper stewardship of the land we live with does not detract from our own well-being but rather supports it.

2) Economic and scientific research provide compelling if not clear reasons for environmental conservation

The bill misses an important nuance of the environmental-economic issue at hand: the two aren't necessarily opposed to one another.  Economic studies of states with sound environmental policy demonstrate [1]:
      The impacts of new environmental regulations are small if not negligible
      Had greater rates of job growth
      Had lower rates of business failure
      Foster a resilient economy
The economic benefits of biological conservation outweigh the costs, even under consideration for forestry, agriculture, tourism, hunting, etc.  [i.e. 2, 3, 4, 5].
Scientific and economic research demonstrates findings which stand opposed to the revised language proposed in SB78:  economic forces, spurred by intentional human actions, drive extinctions and environmental degradation [2].  In SB78, the bill's revisions would turn away from vigorously established science and economics at the expense of the people's and state's ability to ensure long-term social, economic, and environmental well-being.  The concepts conveyed by the Michigan Environmental Council and Dr. Burton Barnes are sound and commonly found in the theory and practices utilized by undergraduates and professional practitioners of the environmental field such as those in the Michigan Department of Natural Resources and Environment alike.

3) Underutilized or unconsidered alternative consensus processes exist for sound risk governance, programming, and policy solutions to ensure benefit for all stakeholders

Based on my independent assessment of testimonies submitted on the 14th of February, and the ambiguity inducing risks which arise from the possible root intentions for SB78, I suggest utilizing consensus processes to harness comprehensive stakeholder ownership of policy and programmatic decisions as a preliminary alternative to this legislation.

While I oppose the bill, it has summoned precious information that’s crucial to making Michigan a more resilient state in its policy, economy, and environment.  Companies like Louisiana-Pacific clearly demonstrate valid requests for better policy and programmatic outcomes that can work for them.  While these companies do not comprehensively represent Michigan’s citizen base and the state’s economy, their possible needs are worthy of consideration and can carry very real consequences for the people and communities they may employ.  The Feb. 14 and 21 testimonies of the Michigan Environmental Council (MEC) offered assistance to the Senate committee to review, clarify, and consider revisions to improve proposed BSA/Living Legacy programs.  While I support the MEC’s motion and affirm the insight, I believe the diversity of perspectives found in the testimonies of the bill should be put to a collaborative workgroup to explore and resolve the concerns raised by existing and potential environmental policy and programs.  Organizations such as The Engineering Society of Detroit Institute (ESDI) can help facilitate strategic solutions-oriented dialog and actions.[3]

As the potential impacts of the language found in this bill risks compromising aspects of Michigan’s social, economic, and environmental well-being, I strongly encourage you to halt its immediate passage. Instead, both supporters and opponents of this bill should view this as an opportunity to bring the many organizations, corporations, and individuals that may be impacted by its passage together to develop a robust and coherent environmental policy.  In doing so, we can foster authentic and exemplary outcomes for a civil and sensible Michigan.

Thank you for your consideration.

Sincerely,
Ian D. Tran
---

B.S. Environmental Science, Political Science Minor
Class of 2012
The University of Michigan-Dearborn


[0] IRGC, 2005 “An Introduction to the IRGC Risk Governance Framework”
http://irgc.org/wp-content/uploads/2012/04/An_introduction_to_the_IRGC_Risk_Governance_Framework.pdf
Additionally, see: IRGC, 2005 “White Paper on Risk Governance, towards an integrative approach” for strategies
[1]  Meyer, S. "The Economic Impact of Environmental Regulation" MIT Press
[2]  IUCN, 1994 “The economic value of biodiversity” The World Conservation Union
[3]  Pimentel et al.,1997 “Economic and Environmental Benefits of Biodiversity” BioScience
[4]  Naidoo & Adamowicz 2005 “Economic benefits of biodiversity exceed costs of conservation at an African rainforest reserve”, Proceedings of the National Academy of Sciences of America
[5]  For more, see “Economic Benefits of Biodiversity” page of the Conservation Tools website



[1] For example, the record of remediation and response from the industry remains poor. i.e. the Enbridge Oil spill in Marshall, MI.  While we may have a history of safe mining operations underway in various parts of Michigan, we also have the toxic remnants of mining operations from times even in the recent past--the Upper Peninsula underwent acid mine pollution (water turns to sulfuric acid), and heavy metal (particularly selenium) contamination. Taxpayers shoulder the burden of these events. 
[2] According to reports and first-hand accounts from peers who work in the field of remediation for the environmental clean-up industry, the cleanup efforts enacted by the government and contracted firms remain insufficient either due to insufficient State funds, or due to the nature of our economic system, environmental consulting firms foremost vested in making profitable but not necessarily thorough clean-up.  Yet well maintained environments can help remediate up to 75% (by weight) of chemical pollution [5].
[3]  Full disclosure: I worked with the ESDI in the past and cite them because it’s the only entity in the state I know of with keen experience in facilitating complex technical initiatives.  The Michigan Roundtable for Diversity and Inclusion may be a valuable facilitator for delicate dialogs, but I’m unfamiliar with their actions.

Sunday, January 8, 2012

Rouge Project Comments: Reply from the Army Corps of Engineers

I've discovered "The Agency Tone" of written voice. Very polite! Possibly because I submitted comments over a month ago (several agencies dealing with the National Environmental Protection Act [NEPA] are obligated to give response within the month of communications from the public).  Having spoken to EPA employees, the EPA has legal obligation to respond to any citizen communications--probably within a month timeframe too.  

The Army Corps of Engineers  (ACE--what a fine acronym to have!) was supposed to respond with 30 days (I'm no longer sure, but I suspect it's a direct stipulation from NEPA), but I had to prod them earlier in December to see if there'd be any follow-up.

This is about as exciting as I'd imagine getting a personal letter from an elected official. For those who can't really see what's here--it's a personal letter from the DOD's Army Corps of Engineers in response to my questions--stamped and signed too! 

In reply to my procedural and project comments to the Army Corps of Engineers from 
November, Detroit district sent a personal letter with detailed replies to both comment sets I submitted.

One of my primary concerns involved the poor degree of outreach--had it not been for friends who major in environmental studies/science and work with the Friends of the Rouge, I might not have known about the proposal at all!

It turns out (as you'll see in their reply letter) the Army Corps of Engineers did what they could and needed to inform local governments and organizations. From what I read, the ACE's response to one of my questions (about watershed outreach plans) means that promotion/marketing/pr is more of an issue than having the right community stakeholders and closer coordination between federal and local government.

I suspect poor infrastructure for communication and outreach is an endemic issue for our beloved but under-budgeted/staffed local governments and not-for-profit organizations alike.

Also, I learned county government plays a more significant role in the project than previously thought.

I believe PR organizations/institutions and colleges (with education and marketing programs or willing interns from any discipline) can better help coordinate and promote the outreach in the future.



Page 1 (click the image[s] to read)
I'll let you decide what happened with
the date that they entered--by the looks of things
I submitted my comments in the future!
Also, I couldn't resist blacking out my address
on a government document,
it now looks even more official than the original.


Page 2





Page 3



Page 4  Hand signed with a real person's signature!



A random remark: this post has a lot of meta text--I wrote (and you read) about photos of writing--how odd!


And my follow-up e-mail (from Dec. 8th):
To whom it may concern,

I submitted a procedural recommendation on Monday Nov. 7th and (according to my e-mail) comments on Nov. 8th at 12:00 AM and would like to know about the status of the project. I did not receive any message of acknowledgement or reply within the 30 day timeframe and therefore am writing to request for follow up.

I hope the procedural recommendation merits a reply since it was submitted within the comment deadline.

Thank you...