UPPER MONONGAHELA RIVER ASSOCIATION 
WV/PA 
MONONGAHELA AREA WATERSHEDS COMPACT 
Date:  October 4, 2010
Governor Joe Manchin III
State of West Virginia
1900 Kanawha 
Boulevard, E.
Charleston, WV 25305
 
RE: Environmental and Socio-Economic Impacts of Marcellus Shale 
Gas Development 
 
Urgent action is needed to protect the watersheds of West Virginia. A 
similar situation as severe exists in southwestern and northeastern 
Pennsylvania. Hundreds of thousands of acres in these States are in various 
stages of exploration and development in the Marcellus shale for natural gas 
extraction. 
 
The attention that this overall situation has received, or is planned to 
receive, by State governments is inadequate in the view of more than twenty 
watershed groups and conservation organizations. And, the program review in the 
Office of Oil and Gas as well as the Panel recently selected by WV-DEP to study 
the situation are not an adequate response given the magnitude of the problems 
at issue. The Morgantown Dominion Post newspaper was quick to see the 
substantive bias in affiliations of the Panel members (6 of 9 represent the gas 
industry under review), as described in the enclosed Editorial. There may well 
be some changes in State laws needed by the industry; however, the issues faced 
by the common citizens are extensive and severe and not appropriately 
represented by the panel. Nor are these issues being adequately addressed by the 
two State governments, given current practices or plans. The Editorial states 
“the fox has been put in charge of the hen house.”  Watershed and 
conservation groups are explicitly and conspicuously absent from the 
Panel.
 
The WV/PA Monongahela Area Watersheds Compact was formed on August 17, 
2010, with a second meeting taking place in Morgantown on September 22nd. This 
new Watershed Compact includes the Upper Monongahela River Association (UMRA) 
and other groups that have operated for many years.  UMRA has coordinated 
monthly meetings on these gas well drilling issues for two years with interested 
and affected parties including industry and government representatives.  
Some eight Resolutions have been approved by this Compact to date, four at each 
meeting. These eight Resolutions are attached to this letter for your use. We 
believe these represent an essential response, in part, to the current issues 
involving Marcellus shale development and extraction in West Virginia. 
 
We seek the implementation of remedies for the current problems in the 
Monongahela River watershed, the current problems in Wetzel and Marshall 
counties, and the projected problems on the horizon for our State and for 
Pennsylvania relative to natural gas exploration, development, production and 
transmission particularly in the Marcellus shale. We are convinced that the 
long-term condition of our Region is at significant risk at this time, so 
remedies are needed as soon as they can possibly be put into effect. 
 
We seek (1) a meeting with you, (2) a review and adjustment of the 
composition of the Marcellus Panel recently appointed, and (3) positions for 
conservation groups such as ours on the various Advisory Committees within State 
government that deal with the diverse aspects of water resources, water quality, 
sediment prevention and erosion control.  
 
Further, we request that our Compact or some of its members be represented 
on the new Panel and on the appropriate Advisory Committees.   We also 
feel it is reasonable to ask for a response from your Office regarding the eight 
resolutions attached.   Otherwise, the input and participation of the 
public including our diverse watershed groups and conservation organizations 
will not be fairly and appropriately served and citizens of our region will be 
further harmed and under represented.
 
Respectfully submitted,
 
 
Duane G. Nichols, Compact 
 Co-Chair                        Barry 
G. Pallay, Compact  Co-Chair
       and 
President of 
CLEAR                                        and 
Vice President of UMRA
 
WV/PA Monongahela Area Watersheds 
Compact        Upper Monongahela River 
Association
330 Dream Catcher 
Circle                                          109 
Broad Street, P. O. Box 519
Morgantown, WV 
26508                                             Granville 
WV 26534-0519
 
cc: WV/PA Watershed Groups, US-EPA, US-ACE, USGS, WV-DEP, Gov. Rendell, 
PA-DEP.
 
Attachments (2).  Editorial and Resolutions.
 
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ATTACHEMENT 1
 
Morgantown Dominion Post, Page 10-A,  Monday, September 27,  
2010:
 
EDITORIAL:  “Task force far too up to its task” 
 
“Lopsided appointments of gas industry reps cause for concern about 
drilling” 
 
Talk about putting the fox in charge of the henhouse. And in this case, 
it’s a hungry fox to boot. At least that’s the perception we got from last 
week’s appointment of six natural gas company representatives to a new 
nine-member task force to help the state better regulate the industry. We 
realize that this panel, appointed by the state’s director of the Department of 
Environmental Protection (DEP), will not actually be writing the regulations and 
legislation on how to regulate this industry. Or at least that’s what we are 
being led to believe. 
 
The DEP’s staff will be charged with that task, while this panel will 
attempt to reach a consensus on the issues. That might not be too hard to do, 
considering the only real differences of opinion will come from the lone 
representative of the West Virginia Environmental Council and an advocate for 
landowner’s rights. The ninth member of the panel is a coal industry lawyer, who 
represents the West Virginia Coal Association. 
 
No one should overestimate the scope and authority of this task force, 
however, we can assure the DEP and this group that we’ll be watching. 
 
Clearly, the state needs to determine how to better regulate our booming 
natural gas industry. We also understand the logic of considering a dual 
regulatory system — one for conventional gas drilling and another for the 
burgeoning Marcellus shale drilling. 
 
And no one is questioning why there should be industry representatives on 
this task force. However, the number of appointments of executives and lawyers 
for this industry is weighed far too heavily in the industry’s favor. 
With 
all due respect to these industry appointees, some who have served in public 
regulatory roles, too, these appointments raise eyebrows. 
 
Yes, they bring diverse outlooks, technical knowledge and pragmatic advice 
to the table, but they also bring their industry’s primary goal to the head of 
the well: Their profit margin. 
 
No one here is opposed to that, but regulation of this industry must 
balance a return on investment with reasonable regulation and oversight. 
 
Otherwise, these drilling operations may pose dangerous risks to our 
state’s aquifer, our waterways, our roads, our landscape and landowners’ rights. 
 
This panel’s lopsided make-up leads us to believe there’s reason to fear 
all of that. 
 
We urge the DEP to review the composition of this panel and even appoint 
someone who isn’t a stakeholder to this task force before the chickens come home 
to roost. 
 
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RESOLUTIONS
[ADOPTED 
AUGUST 17TH AND SEPTEMBER 22ND 2010] 
 
WV/PA MONONGAHELA AREA WATERSHEDS 
COMPACT
 
We recognize the value of mineral extraction, including coal, oil, gas and 
water, in the Monongahela basin and adjoining areas, when conducted 
responsibly.  But, the current and projected levels of Marcellus shale 
drilling for natural gas production and the manner in which it is being 
conducted poses very serious problems for most all of West Virginia and 
Pennsylvania.
 
RESOLUTIONS, FIRST WV-PA WATERSHED MEETING,  AUGUST 17, 
2010
 
1. The West Virginia and Pennsylvania DEPs must enact commensurate and 
enforceable standards and rules/regulations and adequate penalties to protect 
regional water resources from potential hazards caused by mineral extraction and 
oil and gas drilling, including but not limited to sedimentation, water 
withdrawal, organic and inorganic chemicals and thermal effects.
 
2. The West Virginia and Pennsylvania DEPs must hire an additional and 
adequate number of inspectors and other staff to effectively monitor and enforce 
regulations governing mining and the oil and gas well industries.
 
3. The Upper Monongahela watershed groups advocate that closed-loop systems 
for containment of blowback water be required at all new construction gas well 
drilling sites rather than the open pit system of containment. 
 
4. If open pits exist or are absolutely necessary, these should provide 
sufficient natural or geosynthetic protection to both contain the blowback water 
and to prevent its percolation into the soil or groundwater beneath the pit 
should the containment liner become ruptured. Further, we advocate the usage of 
regulations typically found in state dam safety statutes in order to ensure that 
blowback pits are properly sited and constructed, and that emergency 
contact/notification procedures are implemented when an accident involving the 
release of blowback water occurs.
 
 
RESOLUTIONS, SECOND WV/PA MONONGAHELA AREA WATERSHEDS 
COMPACT
 
5.West Virginia and Pennsylvania rivers and streams frequently experience 
very low flows because of reduced rainfall. At these critically low flows, water 
withdrawals for Marcellus Shale gas well activities threaten aquatic life in 
many streams. And, more generally, the waters of both States must be shared 
among the diverse uses from agriculture to industry to recreation to domestic 
use. This includes both surface and sub-surface water resources. Therefore, the 
withdrawal of water from any source for high volume applications as Marcellus 
Shale drilling, fracking or other operations must be regulated and require 
permits from an appropriate State agency. 
 
6. The Program Review in the Office of Oil and Gas of the WV DEP is clearly 
useful with a projected Final Report date of December 2010. However, this Review 
of oil and gas exploration and production activities in West Virginia is 
inadequate in and of itself. The issues and problems of this industry sector are 
huge and diverse and they directly involve many other agencies of State 
government; and, these problems are interrelated to the other extractive 
industries. A state-wide review is urgently needed, one that is directed from 
the Office of the Governor. And, a Special Session of the WV Legislature would 
appear to be called for to address these problems and issues that include the 
protection of our water, air and land as well as our roads, our scenic values 
and quality of life. Each extractive activity should be responsible for the cost 
of all the environmental and socio-economic impacts resulting from its 
activities, taking into account both short and long-term impacts. 
 
7. The issues and problems affecting WV and PA as a result of the current 
and projected levels of activity for coal mining and natural gas production are 
of an inter-state or national character. Here in northern WV and southwestern PA 
we have many such operations that cross state lines. One major issue is the 
drinking water for approximately one million people in southwestern Pennsylvania 
that comes from the Monongahela River, which drains most of northcentral WV. 
This and the other streams will likely increase in their total loads of 
pollutants. Therefore, the US Environmental Protection Agency in conjunction 
with the US Army Corps of Engineers, the US Geological Survey and other federal 
agencies should prepare a “guidance document” and respond quickly to the water 
and aqueous waste problems of the extractive industries now affecting New York, 
Pennsylvania, West Virginia and other States. 
 
8. An Interagency Task Force study within the United States government is 
needed to examine the existing problems posed by the extractive industries in 
the United States. This would aim to establish a viable long range Planning 
Office that can anticipate many of the problems such as those posed by Marcellus 
Shale gas exploration and production. The focus would be on environment impacts 
and socio-economic dislocations such as public infrastructure damages and 
domestic disturbance problems. 
 
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NOTE: The above Resolutions were adopted by consensus at the First and 
Second WV-PA Watershed Group Meetings on August 17, 2010 and September 22, 2010 
at the Morgantown Airport. These meetings were organized and conducted by the 
representatives of various watershed and conservation groups in cooperation with 
the Upper Monongahela River Association (
www.uppermon.org).
 
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