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HomeMy WebLinkAbout20211115_L-StroupPiedmont Lithium Public Hearing Good Evening, thank you for giving us the opportunity to publicly address some of our concerns. As background information, I am a research biologist, formerly working in the QC Lab at FMC and in R&D for early stage pharmaceutical drug development for GSK. In Sept., I submitted several comments with questions regarding the proposed mine, however I have not received any responses thus far. I would like to request that my questions become part of the official record and am providing you a written copy along with the referenced sources of my information. 1- My first concern with with the toxicity testing to determine if any waste should be determined as toxic. According to multiple EPA technical guidance, sample bias imprecision can be a significant sourse of error. Considering the size of the proposed project in consideration to the number of samples taken at each pit, several pits have minimum samples included in this analysis. Specifically the SouthEast pit that HDR identified as a possible source of acid mine drainage. A representative sample is required for careful analysis, this is intended to represent the full area/environment where they are collected and should represent the bulk material. Inadequate sample collection creates Sample Bias when parts of the project area are under sampled. This causes the estimated values to shift away from the true values. Looking at the map provided, I have some concerns that sample bias is very probable because not enough samples were taken to make sure areas of high concentration were not missed. I am wondering why an additional sample has not been submitted? According to the reports generated by Pace Analytical, there are some obvious flaws in how the samples were received, analyzed and reported. For example, the EPA preperation method 1311 for TCLP is a method defined parameter. This means it can not be modified when used for Resource Conservation and Recovery Act (RCRA) Testing. The following should be questioned: hold times were exceeded for EPA Method 8081 B. 8270E and 8260D, these methods are for Violable Organic Compounds and have a total hold time of 28 days. This total time was exceeded from the date of sample collection to the date the samples were received at the labs. Per the EPA Method 1311 Becton 8.5 exceeding hold times is not acceptable in establishing if a waste does not exceed regulatory levels for determining if a waste is hazardous. HDR made note that the results of the arsenic leaehate testing shows an estimated sample of 0.22J and is not expected to leach from the tailings. However, as noted by Pace, test method 6020B a matrix spike duplicate was not preformed due to insufficient sample size. Lacking enough analytical information leaves little confidence in the statements that are being presented regarding toxic chemicals and metal that will impact our health and our environment. I am requesting that the state agencies of NC provide guidance regarding making resampling and retesting each of these parameters. Accepting the results as submitted is setting the stage for the additional accumulation of toxic chemicals and metals in the groundwater and soil. This area has been overburdened with these same constituants from the previous lithium mine located less than 4 miles from the proposed site. We cannot afford to wait for another spill or release, we already completely understand this isn't a matter of if. it is a matter of when it will occur. 2- In the application, Section C. question 4 (b) How will dust from stockpiles, liaul roads, etc. be controlled? Their answer was by using water truck or other means. However they did not identify specifically what other means they intend to control this particulate matter. Because serious adverse health conditions and diseases have been linked to particulate matter, it is imperative that this be addressed in a manner that seeks to be preventative (proactive) instead of enforcement driven (reactive). 3- I would like to formally request that an Environmental Justice Cumulative Effects assessment be conducted for at minimum a 5 mile radius from each of the intended mine pits, concentrator plant and hydroxide conversion plant. Even though this community currently fall within 5 miles of multiple Superfund and NPL facilities with toxic chemical, release and spills, there is no information being provided to the community. There is no health monitoring and no public information distribution made available in a format accessible to the members of this community. (Please note that this community is grossly deficient in the availability of broadband internet service access). At minimum a true health assessment needs to be conducted the evidentuate the actual number of adverse health conditions this community is already burdened with. example, studies show that exposure to sulfur dioxide causes an array of respiratory issues. Even though Piedmont Lithium states their intent to use this chemical compound, they fail to address how they intend to protect the children attending Tryon Elementary School or the children who live in this community from the cumulative effects that will cause an overburden in this community. Executive Order 13045 addresses the risks of environmental pollution on children and mandates that every federal agency does their due diligence to protect children. EPA's Children's lieallh Policy requires the Agency "to consider the risks to infants and children consistently and explicitly as a part of risk assessments generated during its decision -making process, including the setting of standards to protect public health and the environment." Please explain which agencies will be responsible for ensuring the children in this community will be protected. How will they be protected? Who will monitor the potential risks and associated health issues? Who will pay for that? How will they gain access to medical doctors? Children's Health hops: 'oArwepa.¢o\"children rules-and-re¢ulations-imoact-childrens-health Mq>s:. oArAcnebi.nlm.nih.¢ov pmc articles PMC 1253729 hitps: xmAveoa.¢ov sites dclault tiles 3015-01. documents ensuringnskreducationneiac.rxlf Adverse Health Effects related to Environmental Noise hitps:. ovrlcep gov'cican-air-act-overview: clean-air-act-title-w-no se-pgllulion fps: \SA\iC.nonoise.or¢ libran"handbookhandbook.htm EPA Method 1311 httiw//wwweua.eov sites delaull files 2015-11documents, 1311.pdf RCRA Waste Sampling Drab Technical Guidance ItpK, i,ww cpa.gov sites default.Yile% 2015-10 documents nvsdt¢R12df