Leitrim’s Fracking Nightmare
Plans to exploit potential natural gas resources in County Leitrim using a technique known as hydraulic fracturing, or “fracking”, raises the spectre of serious environmental damage and poses fundamental questions to recent efforts to establish sustainable environmental and water policy.
Fracking aims to extract gas or oil reserves from rock formations deep within the ground (e.g. permeable rock such as sandstone, or shale), inaccessible to standard drilling techniques. The process involves pumping vast quantities of water and chemicals deep into a bore well under high pressure, to crack the rock, creating additional fissures which allow the gas or oil to escape more easily and be collected in a reservoir. Sand is added to keep open these artificial fissures. The technique has been utilised in North America for many years, but has only become commercially viable in Europe with rises in fossil fuel prices.
There are several major issues with this technique. First, in an era of water conservation, this process typically uses millions of gallons of water per well. And it introduces thousands of litres of toxic chemicals into the ground — wellhome.com put it at 5,000 gallons of chemicals per 1 million gallons of water, or perhaps as much as 80 to 300 tons of chemicals per well (of which there are always many). These toxic chemicals include volatile organic compounds dangerous to human and animal life, and of significant concern is that the mining companies — on the grounds of protecting their trade secrets — do not even make public many of the chemicals they utilise.
Moreover, only 30% to 50% of the water is typically recovered. Once pumped into the ground, no control can be exerted over where this polluted water goes. As such, it is difficult to see how there cannot be a significant risk of contamination of groundwaters and environmental damage.(In North America, salinization of drinking water supplies in the vicinity of fracked wells is one widespread problem, due to postassium chloride contamination.) And it is surely reckless to proceed with such processes wthout thorough study to establish risks. (The idea of taking into account the whole life-cycle impact of a process, and not just the narrow process itself, is a hard-won principle of EU policy.)
A further problem arises from leakage of methane (the main component of natural gas) into groundwater and the air. Methane has been measured at levels 17 times higher than normal in the vicinity of fracked wells, with reports of nearby residents being able to set their kitchen water alight. In the air, methane contributes significantly to the greenhouse effect. Proponents of fracking point to the lower carbon emissions of natural gas compared to oil or coal, but recent studies suggest that the methane lost into the air during the extraction process may well mean that fracked natural gas produces the higher emissions.
The water recovered from the fracking process is highly toxic and has to be stored on site close to the wells and processed through waster water disposal systems. Experience in North America suggests that significant numbers of accidents occur in relation to collection and storage, often due to inadequate reservoir walls, and that waste water facilities are also often inadequate to the major challenge of treating such vast quantities of water or are not designed for the specific chemicals involved. The major problem is that of cost: safety and proper waste treatment cost money, and these budgets come under pressure in commercial mining.
In addition (as if the foregoing were not enough), chemicals can escape into the air (even without accidents), and the mining process can bring to the surface radioactive heavy metals. Fracking also has a major impact on landscape as it is typically high density (more than 6 drilling pads per square kilometre) over a wide area, with major supporting infrastructure, reservoirs, etc.. And there is growing evidence that fracking can cause earthquakes (1–3 on the Richter scale), with many documented in areas where fracking is ongoing, but where no earthquakes were previosuly recorded.
In light of all of these issues, the fracking process seem fundamentally at odds with European enviornmental policy, not least, the EU Water Framework Directive, which demands a holistic approach to water quality and safety. How could fracking be reconciled with a policy which makes the integrity of river basins as water-systems and eco-systems the measure of water quality, and which aims to restore river basins to their natural condition, enshrining in law the principle that a “polluter pays” the full cost of any pollution?
To date there are mixed messages from Europe. A report prepared for the European Commission (by Phillipe & Partners) concludes that existing environmental laws are adequate to regulate fracking, although only with repsect to the present situation in which fracking is being used primarily for exploration rather than commercial exploitation of gas and oil fields. Against this, however, a second report, the LBSG-Wuppertal report prepared for the European Parliament, stresses the environmental and health dangers of fracking and the weakness of not having laws that directly address and regulate the area. Goverments can all too readily argue that there are no explicit regulations on fracking and contest the significance of existing laws. As such, the report is considerably less sanguine about the adequacy of existing EU law to dealing with the issue and highlights several gaps that need to be closed. Most basic of these is that many of the progressive EU laws that exist are simply not effective at the level of individual states. (For instance, Ireland is only threatened with fines after 2015 over its lack of implementation of the 2000 Water Framework Directive.) Moreover, regulations designed for traditional natural gas extraction are not suited to the regulation of fracking. For example, environmental impact assessments (EIAs) become compulsory when a natural gas extraction process exceeds a production rate of 500,000 cubic metres per day. However, even in full production, fracking does not reach these levels, so that compulsory EIAs never come into force in relation to fracking. Again, the report points out that it is not only that mining companies do not disclose which chemicals they use. Rather, they themselves may not know exactly which chemicals they use, as their suppliers in turn typically seek to keep the constituents of their products a trade secret.
The report also argues that allowing fracking would take Europe in the wrong direction, slowing down the transition to renewable, environmentally-friendly energies. It would be to choose short term gain at the cost of long-term environmental damage.
The proposed fracking for natural gas in Leitrim (licensed by the previous government and supported by the current one) seems to be a textbook example of the kind of thinking the LBSG-Wuppertal report worries about. Uncertain short-term gains (of resources and jobs) are put ahead of likely long-term negative effects on the environment, water supplies, health, and, indeed, tourism-related jobs. It is a classic case of a local area and local community bearing the risk of state-sanctioned speculative activity.
You can bring pressure to bear by signing the petition to have fracking banned in Ireland. Ban Hydraulic Fracturing for natural gas in Ireland Petition | GoPetition
Water Policy Consultation
The Irish Government has launched a consultation process (January 2012) concerning water policy, including issues of water metering and water rates, as well as plans to set up a new national water utility. It is inviting responses to its position paper, “Reform of the Water Sector in Ireland”, until 24 February 2012. The document offers a useful window on government thinking and on the various pressures and problems that may well ultimately shape policy.
The position paper lays out government plans to form a national water utility which will manage all issues relating to domestic and commercial water supply, address environmental and climage change issues, oversee implementation of aspects of EU policy (important deadlines are looming) and respond to changes in population nationally and in urban areas.
The document also restates the government ideal of implementing water meters in every household in the country, and to charge users by usage beyond a certain free quota of water per household. Several pressures emerge here.
First, while the goal is to bring in revenue that will meet the cost of our water supply, supplying and installing water meters will itself be costly and time consuming. The document considers the possibility of simply introducing a flat-rate charge, but recognises that, though this would require no government investment in metering, it would not address the need to conserve already limited water supplies. A second option considered is to spread installation over a period of ten years or more, with a flat-rate charged being imposed on those without meters. (100,000 household per year until 2021 would leave 500,000 homes unmetered.)
A further idea is to have an opt-in system where households could choose to have a water meter installed, bear at least some costs of the installation, and claw back some of those costs by acheiving water usage reductions. The idea is that it would prove cheaper in the long-run to install a water meter than to remain on a higher flat-rate charge. The document acknowledges that this would be socially divisive — more available to those with greater means. Finally, the possibility of installing meters only in certain categories of property is considered, e.g. in new houses, sold houses, rental properties, etc.
(A rather different option considered, but largely dismissed, is to focus on repairing the existing water network to eliminate leakage. However, the high costs mean that savings would be significantly less than the revenue generated by water metering. This approach would do nothing to change our water usage patterns.)
The fundamental drawback of all of these options is pretty clear: water metering both as a source of revenue and an impetus towards water conservation will be significantly undermined if it is not implemented quickly and universally. And many will be (rightly) unhappy with the inequalities of treatment any of these alternative options will generate. At the same time, the EU/IMF deal requires that water metering generate a revenue stream by 2014. In this framework, it is not certain what free domestic quota of water, if any, the government will be able to afford.
In sum, on these issues, the position paper raises more questions than it offers potential solutions, suggesting that the consultation process needs to part of a substantial debate on these issues. In years to come, we might well come to regret decisions made on the basis of financial practicality rather than good practice, which attends to the needs of households and the pressures upon them.
Water Quality in Ireland
The Irish Environmental Protection Agency (EPA) has recently published, Water Quality in Ireland 2007-09, the latest in a series of three-year reports tracking levels of Irish water quality. The report points to some areas of improvement, but also highlights significant water quality problems that ought to cause serious concern.
Water quality in groundwater, rivers, lakes, canals, estuaries and coastal waters are examined in the report, using two different forms of assessment. The EPA uses a new assessment framework set out by the EU’s Water Framework Directive (WFD, 2000), whose standards Ireland must meet by 2015. The WFD uses a scale of High, Good, Moderate, Poor, Bad, where a High or Good status implies that there is almost no human impact on a given body of water. The requirement for 2015 is that all current High status waters be protected and all other waters be brought up to a Good level. The EPA also continues to use (for comparison purposes) the generally less stringent assessment criteria it has used in past reports.
Groundwater
About 25% of all Irish drinking water is sourced from groundwater, with groundwater also an important source of river and surface water. Under WFD criteria, 85% of groundwater is assessed as Good/High and 15% is Poor – a good result. Nitrate and phosphate levels were also lower on the whole in groundwater, if increasing in some areas of the country, and the report notes that heavy rainfall during the testing period may have artificially suppressed levels. A significant worry is that 34% of samples were shown to contain faecal coliform bacteria – human or animal faecal waste being the usual source.
Rivers & Lakes
Under WFD criteria, only 52% of river basin waters attain the necessary High or Good rating, 28% are Moderate and 20% are Poor or Bad. Under the older, less demanding classification system, the percentage of unpolluted rivers rise to 69%, but even this represents a 10% drop over the past 20 years.
Again, under WFD classifications, only 47% of lakes achieved the required High or Good status, with some 41% Moderate. The main problem here appears to be algal bloom, due to phosphate levels. Under the older EPA classification approximately 80% of lakes would count as satisfactory. These results for rivers and lakes are worrying as they are a major source of our domestic water supply.
A positive development is that fish kills are down significantly on previous reports. Two three-year periods in the 1980s reported over 220 fish kills in each, mainly from agricultural pollution, 2008 saw 32 fish kills, and 2009 sixteen, none of these sixteen having an agricultural source.
“Priority hazardous substances” such as herbicides, pesticides and metals do not appear to be a significant cause for concern, though acceptable levels are exceeded in a small number of cases.
Canals
Almost all canals reached the minimum WFD standard required.
Estuaries and Coastal Regions
There have been significant improvements in these categories, due to licensing of waste water processes and increased secondary treatment of waste water. Nonetheless, only 46% of estuaries and coastal achieved a WFD High or Good status.
Conclusions
Overall, Ireland scores a creditable 85% Good/High status on groundwater quality and a more worrying 50% or so across all surface waters. Further significant improvements are needed in industry, businesses and agriculture, but also far greater attention is needed to domestic water waste and its treatment. Pollution from a specific point source is quite often linked, by the report, to inadequate waste water treatment systems in domestic houses and housing developments.
The report does not envisage significant improvement in Irish water quality or a meeting of EU standards without significant investment. At the same time, its call for enthusiasm and vigilance on the part of local authority workers, might be extended to us all, whether domestic, business, industry or agricultural users of water. We need enthusiasm for greater protection of our water resources, vigilance about the kinds of waste and pollutants we allow contaminate them, and creativity in finding new greener, more water-efficient practices.
If you wish to delve into the report, you will find it here. You might also like to consult a more detailed analysis of the report’s findings on IrishEnvironment.com.


