Amanda Maxwell, Natural Resources Defence Council
HidroAysén proves yet again why its mega-dam proposal should not be approved
Originally published as a blog on NRDC's website
HidroAysén, the company behind the plan to build five mega-dams on
two of Patagonia’s most pristine, wild rivers, has proven again why its
proposal should not be approved. Several times over the past year and
a half the company has had the opportunity to produce a good, quality
report about the environmental impacts of its project and justify its
construction. In each instance they had all the benefits of time and
resources on their side. And each time the planning, research and
information HidroAysén submitted was found insufficient to warrant
approval from the government agencies.
The first example was in August 2008, when HidroAysén submitted its
nearly 11,000-page environmental impact assessment (referred to more
simply as an EIA) of the mega-dam project. The involved state agencies
and the public alike criticized the document for its wide variety of
deficiencies. Then in July 2009, the Patagonia Defense Council (CDP)
of which NRDC is a member, released a study proving that there is
simply no need for any of the 2750 MW that HidroAysén’s hydroelectric
power plant would produce (for more details about the report’s
findings, see Allie Silverman’s blog). Yet the company made no attempt to disprove the findings or claim otherwise.
Most recently, on October 20th,
HidroAysén submitted its Addenda, which is the term used for the
document with the company’s answers to the agencies’ prior observations
about the EIA in 2008. It also contained new scientific and technical
studies that have been conducted since last year’s review, and numerous
maps. With just 15 days to review the 5000-page Addenda, 29 of the 32
state agencies again found it insufficient, with 14 of the agencies making highly critical comments.
To be clear, the company had nine months to prepare this document.
Then it requested and was granted two more. And it could have
requested even more time to ensure that its work was done thoroughly
and correctly. Instead, HidroAysén took the “quantity over quality”
route, delivering an enormous document that the agencies said lacks
crucial information, ignores important issues, uses incomplete data,
misidentifies scientific facts and provides shoddy analyses.
Presently, the Aysén region’s environmental commission (COREMA) is
reviewing the agencies’ latest comments, and is deciding whether to
reject the project, approve it, or ask HidroAysén to address the new
observations (you can read a more thorough explanation of the review
process here).
While this last option seems to be the most likely outcome at this
point, I think it is worthwhile to describe some of the reasons why
HidroAysén’s EIA and Addenda should be rejected outright.
What the Addenda are lacking
In reviewing the observations made by the state agencies, several
key themes emerge, recur, and often overlap, highlighting the
document’s underlying flaws.
- First, HidroAysén’s information clearly does not value Patagonia as
the unique resource that it is, ignoring the irrevocable damage the
dams and the power lines will do to this pristine, remarkable place and
the wildlife living there. Thirteen of the agencies commented that the
Addenda does not address the effects the dams would have on the
region’s landscape, tourism industry, flora and fauna, aesthetic
qualities or biodiversity. The National Forestry Corporation (CONAF)
specifically questioned the impacts that flooding would have on
Patagonia’s protected species, such as the Aruacaria and the Huemul.
The Tourism Service (SERNATUR) stated that the dams’ profound impact on
the landscape will affect tourism throughout the entire Patagonia – not
just the Aysén Region – and therefore they should be evaluated on the
national level.
- Second, the document is woefully lacking in its analysis of the
effects of climate change on Patagonia’s glaciers, which are documented
to be melting at alarmingly rates.
Three of the most critical agencies, CONAF, the Water Authority (DGA)
and the Geological Service (SERNAGEOMIN), all recognized that the
impacts of climate change as they relate to dam safety have not been
properly evaluated.
One specific effect is a glacial lake
outburst flood, or GLOF (also called a jökulhlaup) which is the sudden
release of impounded water (a more thorough description is available here). GLOFs can be destructive and dangerous, and can unpredictably alter river flow. Since April 2008, five similar GLOFs
have occurred on the Colonia River, a major tributary to the Baker
River (one of the two rivers HidroAysén proposes to dam). Yet the
sections in the Addenda about these phenomena (specifically the
hydrology and hydrogeology annexes) use data that is incomplete,
out-dated or not publically available.
- Third, the Addenda’s scientific analyses and its maps are
insufficient, flawed or just plain incorrect. For example, SERNAGEOMIN
and DGA both noted that the maps HidroAysén provided are not detailed
enough, use an inappropriately large scale, or do not show the relevant
areas—such as the regions that will be flooded. The Tourism
Service (SERNATUR) also observed that the maps are inadequate to
evaluate the impacts flooding will have on the tourism industry.
As
mentioned above, the hydrological analyses are inadequate. In
addition, SERNAGEOMIN requested to see HidroAysén’s baseline geological
study, because the company may have misidentified the area’s rock,
mistaking it for another type that is affected differently by high
water pressure.
- Fourth, the flooding areas would violate Chilean environmental
law. On this point, CONAF was the most vocal agency, supported by
similar comments from the Ministry of National Property. They pointed
out that the dams would flood parts of Laguna San Rafael National
Park. This would violate Chile’s longstanding Forestry Law
(established in 1931), the Washington Convention (which Chile
incorporated into national law in 1967), and the park’s status as a UNESCO Biosphere Reserve (designated in 1979).
- Fifth, the Addenda contain such a large amount of new information –
much of which is highly technical or scientific – that requiring the
agencies to thoroughly review it in just 15 days is unfair. In their
submissions, both SERNAGEOMIN and DGA specifically commented on the
short review period, given the task at hand. Furthermore, DGA noted
that the Addenda expand the flooding area enough beyond what was
described in the EIA that the public should have the opportunity to
comment on it. This underscores another important problem with the
process…
- Sixth, there was no opportunity for the public to comment on the
Addenda. During the initial review of the EIA, the public had 60 days
to submit comments to COREMA. After that, there was no official time
when the public can participate in the process. This stands in stark
contrast to standards set by international bodies like the World Bank, and even Chile’s own law (Section 1, Article 4), which declares that “It is the State’s duty to facilitate public participation (Es deber del Estado facilitar la participación ciudadana).”
This is just a brief summary of the Addenda’s most blaring omissions
and faults; the agencies provided many others (for the ambitious
researcher, all documents are available here).
What is evident is that HidroAysén had all the advantages of time and
resources to create a thorough, high-quality EIA. What it has
submitted (twice, now) was a mountain of paper that is anything but.