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In July 2007, the New Hampshire Site Evaluation Committee (SEC) permitted, with conditions, the Lempster Wind LLC project owned by Iberdrola. The project will consist of twelve 2 MW Gamesa turbines along five miles of access roads. Iberdrola is now shopping around its neighbor agreement to non-participating landowners asking them to waive noise protections the SEC conditioned in the permit, among other protections. Iberdrola's agreement can be downloaded from the link below.
Lempster Mountain Wind Power Project: Direct Pre-filed Testimony of Lisa Linowes
February 7, 2007
by Lisa Linowes
Why did you petition to become an intervenor in this matter before the NH SEC?
With New Hampshire’s recent reinstatement of PILOT agreements and legislative efforts to a Renewable Portfolio Standard, the regulatory groundwork is being laid for more wind facilities to enter the state. Yet, New Hampshire, like many states, has no consistent regulatory process in place for reviewing these projects to ensure our environmental, societal, and economic interests are protected. The work the NH SEC has agreed to undertake in reviewing this application is precedent setting. How the committee approaches its review and the weight it places on arguments presented by all sides will impact other developments in the State as pertains to renewable energy projects.
There are a multitude of conflicting issues at play when considering any wind project. My commitment to this process is to help provide, to the best of my ability, valuable and timely information that will assist the Committee in making an informed decision on this application.
Also filed under [
Impact on Wildlife|
Impact on Birds|
Impact on Landscape|
Pollution|
Impact on Space|
Energy Policy]
Lempster Wind Project: USFWS Letter to Community Energy
July 28, 2006
by Vernon B. Lang, Assistant Supervisor, New England Field Office
Starting with our first interagency meeting on April 8, 2005, we have generally discussed three broad categories of activities that pose a potential concern for fish and wildlife resources. These include the potential for bird and bat collisions with turbines, habitat fragmentation effects on wildlife and impacts to waters/wetlands. At the April 8, 2005 interagency meeting, we recommended that CEI collect three (3) years of radar data on spring and fall bird/bat migrations to document the spatial and temporal use of the airspace by these flying vertebrates. Three years of radar data should be sufficient to gather information on the spatial and temporal distribution of birds in the airspace, including the year-to-year variability in migration patterns at this site, and represent our normal request for these data at wind projects. We have consistently requested that this data be collected at our meetings and field visits and continue to make this request for radar information.
...the MEA Report can be used to estimate the value (avoided emissions) of Renewable Energy Certificates (REC) by providing both REC suppliers and stakeholders with information that can be used to communicate the environmental benefits of RECs and works to enhance the overall REC marketplace.
Editor's Note: As noted below under Methodology [emphasis added], this report appears to substantiate the point that wind energy would not backdown "baseload" generation.
Editor's Note: As noted below under Methodology [emphasis added], this report appears to substantiate the point that wind energy would not backdown "baseload" generation.
Also filed under [
Pollution|
Tax Breaks & Subsidies|
Energy Policy|
Connecticut|
Massachusetts|
Maine|
Rhode Island|
Vermont]