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Dimock, PA | Private Well HW - 5 | EPA Sampling Data | Marcellus Shale Natural Gas Development | Hydraulic Fracking

Impartial Fact-Based Judgment

Related to natural gas development, the most frustrating part of this experience, for me, has been the lack of a fact-based review of the data. That is what you will find here - a fact based review with NO SPIN either way. I try not to make any judgments. The main goal of this evaluation is to understand the nature of the regional water quality and to provide a fact based review of the data. The results are compared to the EPA and Pennsylvania Drinking Water Standards. If no standard was available, we searched for a standard that has been established by another state or the World Health Organization.

First question is why? Because I do not have all the facts for each well for a number of reasons, which include inadequate or no baseline testing and lack of long-term information for each source. I was not on-site or part of the initial baseline testing or investigation, but I was invited on-site to witness the sampling that was conducted by the EPA. Therefore, the following is a review of this single sampling event.

The following is a summary of the water quality data that was generated by the EPA for a private water well identified as HW-7 in Dimock, Pennsylvania. The well was sampled by the EPA, DEP, and the local natural gas development company in February 2012 after the natural gas drilling wells had been drilled, developed, installed, and some under production. The primary objective was to determine the presence of any residual impacts at that specific time.

Dimock Pennsylvania Water Contamination EPA Testing Water On File (May 2012)

A fact based review - Well by Well of the Available Well Water Data for the Dimock Area that was generated by the EPA. I was not involved with the sampling, but I was on-site during the sampling and field evaluation of one home. I was invited by the homeowner. We are still in the process of reviewing the data. The main goal of this evaluation is to understand the nature of the regional water quality and to provide a fact based review of the data. The results are compared the EPA and Pennsylvania Drinking Water Standards. If no standard was available, we searched for a standard that has been established by another state or the World Health Organization.

Comments on HW-5 Data

1. Without predrilling data, it is not possible to comment on the cause for any water quality problems. This has been a very frustrating issue for this area. In many cases, there was no to very little predrilling baseline testing conducted or the testing was inadequate and had "Zero" follow-up.
2. Where possible, I have noted situations where elevated levels of a water quality parameter exists in Pennsylvania.
3. If duplicate analysis provided, I attempted to use the highest reported value.
4. This evaluation was based on using the 2011 EPA Health Advisory (Source). For a more recent version of the EPA Health Advisory Click Here.
5. This is not about cause and effect; it is about a review of the data.

Well – HW-5 (2012)

With the exception of the following parameters, the remaining values were reported as NOT Detected (U)

Anionic Surfactants < 0.01 mg/L – the secondary drinking water standard for foaming agents is 0.5 mg/L. (OK)

Barium – 0.254 mg/L – the primary drinking water standard for barium is 2.0 mg/L –– this does not suggest any specific impact and barium is typically detectable in non-saline impacted water at a level of less than 1 mg/L. (OK)

Boron – < 0.050 mg/L (Total) – no specific drinking water standard, drinking water standard is available. EPA appears to have a long-term health advisory of 2.0 mg/L, but other states have limits that range from 0.6 to 1 mg/L. Therefore, this does not appear to suggest any form of impact. (OK)

Calcium - 35.3 mg/L (Total) – no specific drinking water standard, drinking water standard is available. (OK)

Chloride – 7.47 mg/L (OK) – drinking water standard is < 250 mg/L – this does not suggest any specific impact.

Chromium - < 0.002 mg/L (D) and the EPA/ PADEP primary drinking water standard is < 0.100 mg/L(OK).

Copper – 0.0025 mg/L (OK) - the secondary drinking water standard is 1.0 mg/L and the primary drinking water standard is 1.3 mg/L. (OK)

Ethane – 0.011 mg/L – No specific drinking water standard (OK)

Fluoride – < 0.1 mg/L (OK) – drinking water standard is < 2 mg/L- PADEP drinking water standard is 2 mg/L.

Iron – 0.620 mg/L (Total) and < 0.1 mg/L (D) – Iron is regulated as a secondary drinking water standard in Pennsylvania and the action limit is 0.3 mg/L. Therefore, the total iron content exceeds the secondary drinking water standard. Since the total value exceeds the limit and not the dissolved, this suggests that the primary recommendation would be to install a water treatment system to filter the iron colloids or particles from the water. The water probably has a reddish or brown appearance. Elevated level of iron is a common water quality problem in Northeastern Pennsylvania. Action is Recommended, because of an aesthetic issue and it may be wise to check for the presence of nuisance related bacteria.

Lithium – < 0.200 mg/L (Total) – no specific drinking water standard, drinking water standard is available, but EPA has recommend a level be below 0.7 mg/L (OK)

Methane 2.00 mg/L – No specific drinking water standard. (OK). The well water is not above the new action limit of 7 mg/L, but above an advisory limit set by us of 2.0 mg/L. At or above 2.0 mg/L, the well should have a passive venting system and more frequent monitoring for methane.

Magnesium - 6.82 mg/L (D) – no specific drinking water standard, drinking water standard is available. (OK)

Manganese – 0.0316 mg/L (Total) – Manganese is regulated as a secondary drinking water standard in Pennsylvania and the action limit is 0.05 mg/L. Therefore, the total manganese content does not exceed the secondary drinking water standard. (OK)

Nickel – 0.0012 mg/L (T ) – no specific drinking water standard, drinking water standard

is available, but the EPA has suggest a MCL of 0.1 mg/L. (OK)

Sodium – 13.2 mg/L (D) – no specific drinking water standard drinking water standard is available, but the EPA has added it to the Candidate List to provide more analysis. The EPA’s initial value of 20 mg/L has been clearly identified as not realistic. When chloride (salt is sodium chloride) is present at a concentration of over 250 mg/L, the water can have an “off” taste.At 400+ mg/L chloride, the water will definitely taste salty. (Source- Dr. Brian Redmond, Professional Geologist). (OK)

Sulfate –10.2 mg/L (OK) – drinking water standard is < 250 mg/L – this does not suggest any specific impact.

Strontium 0.720 mg/L – no specific drinking water standard drinking water standard is available, but it is on the EPA Candidate List. The EPA recommends that drinking water levels of nonradioactive strontium should not be more than 4 mg/L. The report limit is consistent with background levels in Northeastern Pennsylvania. If the background level was above 4 mg/L, it would be advisable to test for radiological parameters, especially alpha/beta. (OK)

Total Dissolved Solids 25 mg/L – Total Dissolved Solids is regulated as a secondary drinking water standard by the PADEP in Pennsylvania and the action limit is 500 mg/L. This value seems low, based on the data that was provided.

Total Suspended Solids - < 10 mg/L – no standard, but would recommend retesting to obtain a lower detection limit.

Uranium < 0.0045 mg/L (Total) – Uranium is regulated as a primary drinking water standard by the EPA and PADEP in Pennsylvania and the action limit is 0.030mg/L. (OK)

Zinc  - 0.0055 mg/L (Total) – Zinc is regulated as a secondary drinking water standard by the PADEP in Pennsylvania and the action limit is 5.0 mg/L. (OK)

Nitrate+Nitrite- N – 0.699 mg/L, this is well below the EPA / PADEP drinking water limit of10mg N/L for nitrate-N and would also be below the limit of 1.0 mg N/L for  nitrite-N. (OK)

Ethylene glycol – the reported value is < 10 mg/L – there is no standard, but the EPA has a guidance limit of < 7 mg/L. Other states have lower and higher standards:

New Jersey 0.300 mg/L (300 ppb)

Arizona 5.5 mg/L (5500 ppb)

New Hampshire 7.0 mg/L (7000 ppb)

Florida, Massachusetts, and Minnesota14.0 mg/L (14,000 ppb)

At a minimum, I would recommend retesting for ethylene glycol and other glycol compounds using a method that is more sensitive or conducting some type of standard additions analysis.

Findings and Recommendations

1. methane meets our suggested action level of 2 mg/L;

2. iron is above the secondary drinking water limit and the value for total dissolved solids appears very low and inconsistent with the other data;

3. recommend retesting for glycols and total suspended solids using a more sensitive technique is recommended; and

4. recommend testing the well water for forever chemicals (PFOA and PFOS).

No items found.

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