From:                                         Rui Coelho <rcoelho@gbtu.org>

Sent:                                           Monday, May 20, 2019 1:47 PM

To:                                               RPS, DOER (ENE)

 

Dear Mr. Wassam,

My name is Rui Coelho. I am from Belmont MA and the current president of the conservation organization Greater Boston TU, representing approximately 1000 area members. 

 

I am emailing in regards to the proposed updates to the Department of Energy Resources (DOER) RPS Class I and RPS Class II regulations.

 

I urge DOER to remove the proposed addition in eligibility criteria for hydropower under Class I in 225 CMR 14.05 (1)(a)(6), new paragraph h, that reads as follows, “A Generation Unit that has received a certification from LIHI and a Statement of Qualification from the Department shall not be required to obtain a recertification from LIHI in order to retain its Statement of Qualification.

Removing a requirement for recertification from the Low Impact Hydropower Institute (LIHI) would effectively undermine a hydropower operator’s motivation to improve their systems and minimize their environmental impact over time on rivers. A qualified project would effectively receive a lifetime qualification regardless of any environmental changes or technological advances that would prompt updated conditions to protect river systems.

Being certified by LIHI means a hydropower facility must pass rigorous standards for river flows, water quality, fish passage and protection, watershed protection, threatened and endangered species protection, cultural resource protection, and recreation. It’s important to me that we maintain LIHI annual compliance reviews and recertifications every 5-10 years to allow for updated assessments of changing environmental conditions as well as stakeholder and agency. Nearly 65% of projects that recertify contain updated conditions that are new or different from a previous certification. Upgrades have included improved fish and eel passage requirements which are important for the health of river systems. 

Please remove this new paragraph in the proposed regulations and maintain the original language. The recertification requirement has made a big difference in reducing hydropower impacts on rivers – let’s maintain that for the future. 

Thank you for your time and consideration.”

 

Rui Coelho 

President, GBTU

Belmont, MA

617-285-1665