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Michigan’s year-long study of Line 5 alternatives has been released. Now is the time to submit your comment calling for the only way to truly protect the Great Lakes from an oil spill: decommission the Enbridge Line 5 pipelines through the Straits of Mackinac.
Protect the Great Lakes from a Catastrophic Oil Spill
Deadline for comments is August 4, so please submit yours today via this online form in support of protecting the Great Lakes from a catastrophic oil spill.
To the Michigan Department of Environmental Quality, Michigan Agency for Energy, Michigan Department of Natural Resources, and Office of the Attorney General:
I am writing to submit my official comment in response to the State of Michigan’s Line 5 alternatives analysis. This report was expressly commissioned for the overall purpose of “providing the State, Enbridge and the public with information that can be used to help guide decisions for the future of [Line 5 in the Straits].”
I am deeply disappointed in this analysis and this process riddled with conflict of interest. It lacks credibility because Dynamic Risk, a firm with ties to Enbridge, is its author. Even worse, it absurdly underestimates the impact of a spill and ignores a viable alternative to Line 5 – use of existing infrastructure. An expert review in December 2015 by advisors to a Great Lakes policy organization documented the practicality of this alternative.
Decommissioning Line 5 in the Straits of Mackinac is the only alternative that will prevent an oil spill with catastrophic consequences for the Great Lakes and the State of Michigan. It is time for the state to stop delaying action with flawed studies, exercise its legal duty as public trustee, and shut down Line 5. The state should use that authority through enforcement of its easement, an agreement that Enbridge has consistently violated.
Specifically, the draft report on alternatives to Line 5 in the Mackinac Straits:
- Fails to follow the recommendations and standards outlined in the Michigan Petroleum Pipeline Task Force Report and should be withdrawn.
- Neglects to provide the state with an independent, fair analysis of the alternatives to Line 5. This report is clearly biased toward allowing Line 5 to continue to operate and/or allowing Enbridge to build new oil infrastructure and further expand its operations. That bias grows out of past, and potentially future, business relationships between Enbridge and the report’s authors. Clearly, the authors are not “wholly independent from any influence by Enbridge,” a standard for establishing credibility in the report’s findings that is outlined in the Task Force Report.
- Ignores using existing pipeline infrastructure as an alternative to Line 5 in the Straits, which was one of the alternatives the state required Dynamic Risk to analyze, and leaving it out is in conflict with Task Force recommendation 3 (b). It is unacceptable that the contractor eliminated this alternative in the early stages of analysis, and this must be remedied in the final report.
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Does not provide a worst-case scenario spill and cost analysis, which was one of the main objectives of this report and was specifically required by the state in its request for proposals under Section II-B. Instead, Dynamic Risk uses assumptions of risk that are woefully inadequate and are not credible. It estimates that:
- Only 20-miles of shoreline would be impacted by a spill. This is 3% of the 720-mile area the University of Michigan found vulnerable to a spill in its 2016 study.
- An oil spill would cost $100 to $200 million when Enbridge’s cleanup costs of its Kalamazoo River Line 6B pipeline oil spill in 2010 cost more than $1.2 billion.
- Overestimates an impact to propane supply, greatly exceeding what independent experts have determined would be necessary to provide the Upper Peninsula’s Rapid River facility with an alternative supply. The flawed report finds that up to 35 railcars per week or 15 truckloads per day would be necessary, while another study found it would take only one railcar or 3 - 4 truckloads per day to replace Line 5 propane supply to the U.P.
- Shows unfair bias towards building a tunneled pipeline. The report estimates the cost of a tunnel much lower than other estimates for this type of infrastructure; it fails to consider the risk of a spill to the Great Lakes, rivers and streams from other portions of the 64-year-old pipeline if the Straits portion were rebuilt; and it fails to look at the other health and environmental consequences of allowing Enbridge to build a tunnel and further expand its transport of mostly Canadian oil through Michigan for export. Dynamic Risk has a preference for new pipelines, which was evident when the firm aggressively promoted building a tunnel in its proposal to do this report, and its analysis is deeply flawed.
The magnitude of the risk of a spill is too severe to allow Line 5 to continue to operate in the Great Lakes. Michigan should not put the Great Lakes, our economy, health, drinking water, fisheries, and way of life at risk from a catastrophic oil spill any longer.
I urge you to act as legal public trustees of our waters and bottomlands, enforce the ongoing easement violations, and begin the process of decommissioning Line 5 in the Straits of Mackinac to protect the Great Lakes from a catastrophic oil spill. The State of Michigan has an independent legal duty to take this enforcement action based on Enbridge’s ongoing violations.
Please note that submitting your public comment here has nothing to do with the Line 5 ballot proposal that is being circulated.
Showing 7651 reactions
The entire focus of the Alternatives Analysis on Line 5 SHOULD be about water and which alternative is in the best interest of the citizens of the State of Michigan. The majority of the people of Michigan do not want any oil pipelines running in or under the water of the Great Lakes, and have stated this in over 80 resolutions to the Governor.
Yet the Alternatives Analysis submitted by Dynamic Risk seems to be under the assumption that
the analysis is to determine the best way for Enbridge to transport oil coming from Canada and going back to Canada, not what is in the best interest of the people of Michigan. Michigan doesn’t need their oil! From the draft report itself, it states “documented flows of RRPs returning to the US Midwest(which includes Michigan) show negligible imports from Canada”.
Alternative 2, “using existing pipeline infrastructure”, was “removed from further analysis” by Dynamic Risk in their draft summary “due to limited capacity on existing assets, whether they are owned by Enbridge or other parties.”. Dynamic Risk asked the State for $204,000 to study this alternative as part of its bid. $204,000 to say this, when they already knew Line 6B did not have excess capacity as stated in its April 2016 proposal. There was no real investigation here.
Dynamic Risk and Enbridge use the threat of higher costs for gasoline and propane in the state. Enbridge could build a 4” propane line to Rapid River, MI in the U.P., and distribute propane from there as it so now or by some other supplier should Enbridge choose to not continue to do so. This eliminates the need for Line 5 going thru the Straits of Mackinaw.
Gasoline prices rising up to 2 cents per gallon if Line 5 is decommissioned, assumedly obtained from Enbridge’s estimates, is not necessarily true. If only 5% of the 450,000 barrels (22,000 bbls), per Enbridge, stays in Michigan, then the Detroit refineries could still receive the 10,000 barrels coming from Lewiston/Kalkaska and acquire only 12,000 bbls from the other oil producers already supplying these refineries.
This study was commissioned by Governor Snyder to determine hopefully the best alternative for the people of Michigan, not for Enbridge. Let Enbridge worry about how they get Canadian oil to Canadian refineries. What is best for the people of the State of Michigan should the Board’s main concern. That means we do not want any oil pipelines running in or under the Great Lakes.
Line 5 needs to be decommissioned or at least the flow of oil through it halted until proved safe.
Respectfully,
Leo Forster
8212 E. Foote Rd.
Cheboygan, Mi 49721