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	<title>saveeumundi.org &#187; EIS</title>
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		<title>Letter to CEO Powerlink 28 June 2011.</title>
		<link>http://www.saveeumundi.org/2011/07/letter-to-ceo-powerlink-28-june-2011/</link>
		<comments>http://www.saveeumundi.org/2011/07/letter-to-ceo-powerlink-28-june-2011/#comments</comments>
		<pubDate>Mon, 04 Jul 2011 12:18:17 +0000</pubDate>
		<dc:creator>Save Eumundi Team</dc:creator>
				<category><![CDATA[Featured Articles]]></category>
		<category><![CDATA[Letters to Powerlink]]></category>
		<category><![CDATA[The 'Jardine' Correspondence]]></category>
		<category><![CDATA[Powerlink]]></category>

		<guid isPermaLink="false">http://www.saveeumundi.org/?p=1620</guid>
		<description><![CDATA[Whilst appreciating Powerlink has a large number of transmission line acquisition projects, it nevertheless is now approaching 12 months since your site visit to Cooroy on 12 July 2010 as part of Powerlink’s CID application process to the above named project.]]></description>
			<content:encoded><![CDATA[<p>Mr Gordon Jardine</p>
<p>Chief Executive Officer</p>
<p>Powerlink Queensland</p>
<p>PO Box 1193</p>
<p>Virginia Qld 4014</p>
<p>Dear Mr Jardine,</p>
<p><span style="text-decoration: underline;">Re: Woolooga to Eerwah Vale Power Line and Substation Project</span></p>
<p><span style="text-decoration: underline;"> </span></p>
<p>Whilst appreciating Powerlink has a large number of transmission line acquisition projects, it nevertheless is now approaching 12 months since your site visit to Cooroy on 12 July 2010 as part of Powerlink’s CID application process to the above named project.</p>
<p>PAGE remains keen to see the aims of both Powerlink and the community met in regard to the issues unveiled during the EIS and CID processes. We appreciate that Powerlink must maintain the infrastructure capabilities to carry energy to where demand requires it in a timely manner<em>. </em>Our consultations with both sides of politics have established, however, that all agree that Powerlink’s needs must be met in a manner that also preserves the environment and sensitive habitat of areas for future generations.</p>
<p>This is especially so when lower impact and lower cost alternatives can strategically deliver similar security of supply over what is currently proposed by your organisation in the EIS and CID. A key question that Powerlink has never answered remains: <em>Why impact one of the last pristine habitat and healthy koala colonies when existing infrastructure corridors should be utilized avoiding environmental destruction when a viable alternative exists? </em></p>
<p><em> </em></p>
<p>The complexities and difficulties of the approach Powerlink is seeking to impose on the Ridgewood and Eerwah Vale areas could be clearly gauged from the extended time and effort being taken by Powerlink to address the issues raised by the community and PAGE Inc. Unfortunately, it has become clear that this extra time has been spent simply attempting to justify Powerlink’s original position and countering and devaluing the merits of the PAGE alternative, rather than adopting a positive ‘let’s see if this approach works’.</p>
<p>This dismissive and counterproductive attitude is further evidenced by the fact that Powerlink has declined to engage with PAGE to ensure that there is no repetition, in the CID application to the Minister, of the significant errors and distortions by Powerlink of the community’s submission, which resulted in the flawed evaluations and costings in the final EIS document.</p>
<p>In addition to this “in bad faith” approach, you have also declined to provide the Powerlink review of PAGE’s electrical consultant’s report tendered as part of our final EIS submission, and which was requested during our meeting on 12 July 2010. <span style="text-decoration: underline;">Mr Jardine, will you now please arrange for the Powerlink review of that electrical report to be provided to PAGE so that the engineering consultant can evaluate and address any incongruities, as is required in an open and transparent process? </span></p>
<p>In addition to the consistent misrepresentation by Powerlink of essential points raised in community submissions, there are a number of other important issues that warrant a re-evaluation of your proposed CID application before it is presented to the Minister. For example:</p>
<p><span style="text-decoration: underline;">Issues</span>:</p>
<p>1. The present Powerlink proposal does not provide a true <span style="text-decoration: underline;">long term </span>solution to the <em>short term </em>energy limitation identified. Additional network augmentation will be required to correct those limitations in the future, contrary to Powerlink statements made in the EIS documents.This will necessarily result in significant additional costs and environmental impacts <span style="text-decoration: underline;">not </span>disclosed in the EIS.</p>
<p>2. The Powerlink proposal does <span style="text-decoration: underline;">not </span>adequately support the Palmwoods substation for the long term, the real hub from where future energy growth will be supplied to Caloundra South, Palm View, and the main areas projected for greenfield population growth by the State Government.</p>
<p>3. Many important points in the EIS are incorrect and/or out of date, invalidating Powerlink’s conclusions supporting their CID. Some of the more glaring errors include:</p>
<p>a. The basis for the works to be ‘needed’ by 2014 should now be revised to indicate a more appropriate updated schedule, as per AER specifications.</p>
<p>The effects of the Global Financial Crisis (GFC) have resulted in dramatic slowing on the northern Sunshine Coast area supported by the Energex network being addressed. The major section (viz. the Noosa area) had been significantly slowing even prior to the GFC.</p>
<p>b. The alternate proposal from PAGE is not evaluated or costed fairly &#8211; case in point, Final EIS, App U re Powerlink named options G1, and G2.</p>
<p>c. Information given to PAGE by you, Mr Jardine, on 12 July 2010 <span style="text-decoration: underline;">supports </span>the PAGE proposal suggesting the augmentation required needs to be to the Palmwoods substation as part of the long term strategic energy solution for the Sunshine Coast.</p>
<p>d. The EIS does not include important indigenous cultural heritage issues involving impacting the Ridgewood Eerwah Vale view-shed, which Powerlink were informed of during the initial consultations in 2007.</p>
<p>It has been noted in other reviews that as an organisation Powerlink shows “no humility” in their dealings with the community. It is certainly PAGE’s experience that community consultations have been little more than lip-service, with a more environmentally sensitive and cost effective alternative dismissed out of hand. This characteristic approach of old-style bureaucrats does not adhere to the spirit or letter of <em>Government and community expectations regarding genuine community consultation in the 21</em><em>st </em><em>century</em>, and appears to reject out of hand the prospect that any option other than Powerlink’s original position could be the better option.</p>
<p>PAGE’s and the local community’s unfortunate experience with Powerlink is reinforced by the information that is provided in response to individuals’ letters to the Minister, which is so clearly self-serving misinformation that it defies belief that <strong>any senior officer in Powerlink could possibly have checked and approved this for the Minister’s signature</strong>. This is in strong contrast with PAGE and Noosa Biosphere’s experience in their dealings with Energex and that organization’s willingness to be open and transparent in their dealings with community groups.</p>
<p>We believe that a positive approach and appraisal of PAGE’s alternative, by Powerlink, would result in a win-win situation for all, as Powerlink would deliver the necessary energy needs and equally protect important environmental habitat areas. This in turn benefits the Queensland government as it would demonstrate that it actively supports its ideals of delivering power at cheapest cost and protecting the environment in the planning and construction of such projects.</p>
<p>PAGE is available to assist Powerlink in resolving and completing a proposal that meets both Powerlink criteria and community expectations of 21st century solutions.</p>
<p>Yours Sincerely</p>
<p>Jack Connolly</p>
<p>President, Powerlines Action Group Eumundi (P.A.G.E.)</p>
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		<item>
		<title>PAGE dEIS Supplementary Submission</title>
		<link>http://www.saveeumundi.org/2009/08/page-deis-supplementary-submission/</link>
		<comments>http://www.saveeumundi.org/2009/08/page-deis-supplementary-submission/#comments</comments>
		<pubDate>Thu, 27 Aug 2009 11:20:16 +0000</pubDate>
		<dc:creator>Save Eumundi Team</dc:creator>
				<category><![CDATA[Draft EIS]]></category>

		<guid isPermaLink="false">http://www.saveeumundi.org/?p=1217</guid>
		<description><![CDATA[The following documents comprise PAGE’s supplementary submission to the draft EIS:

Cover Letter (28kB)
Community Issues &#8211; Supplementary Information (80kB)
Supplementary Appendix A &#8211; Report for Botanica Land Habitat Survey (448kB)
Supplementary Appendix B &#8211; Eerwah Vale Musa Vale Rd &#8211; Birds (16kB)
Supplementary Appendix C &#8211; Eerwah Vale Musa Vale Road &#8211; Plants (40kB)
Supplementary Appendix D &#8211; Aboriginal Cultural [...]]]></description>
			<content:encoded><![CDATA[<p>The following documents comprise PAGE’s supplementary submission to the draft EIS:</p>
<ol>
<li><a href="http://www.saveeumundi.org/downloadfiles/1-PAGE-SupplementaryInformation-Coverletter.pdf">Cover Letter</a> (28kB)</li>
<li><a href="http://www.saveeumundi.org/downloadfiles/2-PAGE-CommunityIssues-Matrix-Supplementary-Information.pdf">Community Issues &#8211; Supplementary Information</a> (80kB)</li>
<li><a href="http://www.saveeumundi.org/downloadfiles/3-PAGE-SupplementaryAppendix-A-ReportforBotanicalandHabitatSurvey.pdf">Supplementary Appendix A &#8211; Report for Botanica Land Habitat Survey</a> (448kB)</li>
<li><a href="http://www.saveeumundi.org/downloadfiles/4-PAGE-SupplementaryAppendix-B-EerwahVale_Luttrell_MusaValeRd_Birds.pdf">Supplementary Appendix B &#8211; Eerwah Vale Musa Vale Rd &#8211; Birds</a> (16kB)</li>
<li><a href="http://www.saveeumundi.org/downloadfiles/5-PAGE-SupplementaryAppendix-C-EerwahVale_Luttrell_MusaValeRoad_Plants.pdf">Supplementary Appendix C &#8211; Eerwah Vale Musa Vale Road &#8211; Plants</a> (40kB)</li>
<li><a href="http://www.saveeumundi.org/downloadfiles/6-PAGE-SupplementaryAppendix-D-AboriginalCulturalHeritageReport-EerwahVale.pdf">Supplementary Appendix D &#8211; Aboriginal Cultural Heritage Report Eerwah Vale</a> (1MB)</li>
</ol>
]]></content:encoded>
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		<item>
		<title>PAGE submission to draft EIS &#8211; Executive Summary</title>
		<link>http://www.saveeumundi.org/2009/05/page-submission-to-draft-eis-executive-summary/</link>
		<comments>http://www.saveeumundi.org/2009/05/page-submission-to-draft-eis-executive-summary/#comments</comments>
		<pubDate>Mon, 18 May 2009 04:53:45 +0000</pubDate>
		<dc:creator>Save Eumundi Team</dc:creator>
				<category><![CDATA[Draft EIS]]></category>
		<category><![CDATA[Main Article]]></category>
		<category><![CDATA[Uncategorized]]></category>
		<category><![CDATA[climate change]]></category>
		<category><![CDATA[demand management]]></category>
		<category><![CDATA[EMF]]></category>
		<category><![CDATA[Environment]]></category>
		<category><![CDATA[Parsons Brinckerhoff]]></category>
		<category><![CDATA[Powerlink]]></category>
		<category><![CDATA[Sustainable]]></category>
		<category><![CDATA[Viable Alternatives]]></category>

		<guid isPermaLink="false">http://www.saveeumundi.org/?p=1054</guid>
		<description><![CDATA[Covering Letter
Powerlines Action Group Eumundi (PAGE) is a community group formed to ensure that the wider community interests are served when considering how to provide energy for sustainable development on the Sunshine Coast.
With this in mind, PAGE wish to work constructively with the Queensland Government and its agencies to deal with the two key issues [...]]]></description>
			<content:encoded><![CDATA[<h2>Covering Letter</h2>
<p>Powerlines Action Group Eumundi (PAGE) is a community group formed to ensure that the wider community interests are served when considering how to provide energy for sustainable development on the Sunshine Coast.</p>
<p>With this in mind, PAGE wish to work constructively with the Queensland Government and its agencies to deal with the two key issues facing the Sunshine Coast with respect to provision of energy. These central issues are:</p>
<p>1.    Existing Short-term constraints within the Powerlink / Energex network<br />
2.    Provision of energy in a manner that is consistent with sustainable and ethical development on the Sunshine Coast.</p>
<p>Since forming 19 months, PAGE – a group of volunteer residents – has worked tirelessly to investigate and deliver a viable, sustainable, renewable energy solution to powering the coast into the future ¬– one which is in line with the Queensland Government’s Toward Q2 vision for a greener Queensland and its associated targets, and respects the coast’s environmental integrity, including the former Noosa Shire’s UNESCO Biosphere status – a Queensland first.</p>
<p>We are proud of what we have been able to achieve, through community action, to bring civic and business leaders, and communities together in an effort to one day make clean, sustainable energies a reality in the power profile of the Sunshine Coast and Queensland.</p>
<p>This submission addresses the two central issues noted above in an effort restore community involvement in the decision-making process and to help realise policy visions today, not tomorrow, for the benefit of future generations.</p>
<p>This document also addresses fundamental deficiencies in the Environmental Impact Statement (EIS) process and the substandard draft EIS produced. Core issues are addressed in an executive summary, with more detail and comments provided in the ensuing table, referenced for ease of use.</p>
<p>We trust you will act on our comments and demonstrate that genuine community input into this proposal is possible. We look forward to receiving the EIS in due course.</p>
<p>Yours faithfully,</p>
<p>Graham Smith,<br />
Coordinator,<br />
Powerlines Action Group Eumundi Inc.</p>
<h2>Executive summary</h2>
<p>The draft Environmental Impact Statement (dEIS) is a complex and lengthy document. In order to deliver a meaningful, community-centred reflection of impacted residents’ concerns, a substantial amount of time and effort was required, but not provided.</p>
<p>The main requirement of the dEIS was to provide an assessment of the environmental (economic, social, cultural and physical) impacts from the construction, operation, maintenance and decommissioning of the proposed transmission line (TL) and substation, and to duly consider alternatives to the proposal carried forward.</p>
<p>PAGE concludes that the document, as presented:<br />
•    fails to comprehensively address the issues raised<br />
•    fails to put forward credible Environmental Management Plans (EMPs)<br />
•    is misleading in its presentation and content<br />
•    is based upon inadequate survey data and analysis.</p>
<p>The dEIS cannot form the basis of a credible assessment of the environmental impact of the proposal, which is intended to responsibly meet the future energy requirements of the northern Sunshine Coast and Gympie regions.</p>
<p>There are several key issues that PAGE has identified within the dEIS that lead us to this conclusion. These issues are outlined below and explored in greater detail in the ensuing Community Issues Matrix.</p>
<h3>Consultation</h3>
<p>PAGE considers the consultation process to be flawed and have consistently pointed this out to both Powerlink (PL) and Parsons Brinckerhoff (PB) Australia during the past 18 months.</p>
<p>The dEIS displays lots of statistics about the volume of consultation, but no information regarding the quality or timeliness of the consultation. From a community perspective, the quality of consultation has been completely inadequate on a number of levels. They include:<br />
•    Refusal to provide relevant and timely information when requested<br />
•    Refusal to attend community organised public meetings<br />
•    Issuing misleading information and attempting to portray PAGE as deceitful and dishonest<br />
•    Treating this community with contempt, with no willingness to conduct an open and transparent consultation process<br />
•    Inadequate time provided to formulate a comprehensive response to a 1900-page document that it has taken PL/PB 19 months to compile<br />
•    The dEIS does not address satisfactorily or ignores the majority of issues raised in the PAGE submission on the draft terms of reference<br />
•    Referral to the Commonwealth for consideration as a controlled action under the Environmental Protection and Biodiversity Act 1999 run concurrently with draft EIS consultation, restricting the community’s capacity to respond effectively as part of both consultation processes.</p>
<p>The combination of these factors leads PAGE and its members to have little or no faith in consultation process undertaken to inform the dEIS process or its outcomes.</p>
<h3>Project justification</h3>
<p><strong>Energy demand</strong><br />
The project is justified on the basis of projected peak energy demand growth in the northern Sunshine Coast and Gympie as a result of population growth and the increased usage of air conditioners. The figures within the dEIS and the most current peak demand figures provided by Energex do not support the Powerlink growth estimates of 4.1% pa. Recent population growth figures issued in November 2008 now forecast lower future increases than previously envisaged. The recent global recession will have a slowing effect on the demand for energy as economic growth slows or declines. None of these factors have been assessed in the project justification delivered to support the project. The conditions in which the project is operating have changed significantly in the last four years. The need for the project have clearly diminished, yet the dEIS is silent on this issue.</p>
<p>Energex planning (and best practice) acknowledges that when Demand Management (DM) strategies are implemented, deferment is possible. Explain why DM strategies are not being developed to help defer the proposed network augmentation.</p>
<p><strong>Financial assessment</strong><br />
Powerlink revenue determination for the project in the 2007 Australian Energy Regulator approval amounted to an NPV of $64.4m. The single figure disclosed within the 1900-page dEIS puts the NPV at $110.6m cast doubt as to whether this is the lowest cost option as required by the Australian Energy Regulator, given the significant unexplained increase in Net Present Value (NPV).</p>
<p>No details are provided in the dEIS on the composition of the costs for each of the options considered in arriving at the NPV. This does not provide the community with any comfort that a thorough and detailed analysis has been conducted and that options have been compared on a thorough and equitable basis making the financial analysis meaningless.</p>
<p><strong>Alternatives</strong><br />
There is no detailed or serious analysis of non-network augmentation alternatives within the dEIS. Alternatives are dismissed summarily. The cursory analysis fails to compare like with like for the cost associated with delivering power to the end consumer; taking the Powerlink proposal as a firm delivery of 425MW at a cost of $110m and renewables costing $2m/MW. This clearly misleads given that the Powerlink proposal is only a transportation mechanism and takes no account of the cost of generation.</p>
<p>In addition, the dEIS has completely ignored or insufficiently considered some of the alternatives put forward through the community consultation process. PL-PB focused attention on the ‘ludicrous’ option of undergrounding along their pre-determined alignment, with predictably high NPV results. This was not what the community had in mind when they requested a serious consideration of alternatives.</p>
<p><strong>Technology and new policy directions</strong><br />
The above energy demand takes no account of the significant shift in policy that will impact the energy sector. The dEIS does not forecast the likely impact of climate change policies, MRET, CPRS, smart grids, energy efficiency or the impacts of embedded generation or demand management.</p>
<p>This is a lazy and misleading analysis which selects two possible technologies that may have minimal impact on peak demand growth. There are many examples of load curtailment at peak times and technologies that will assist in managing down the peak such as smart meters, building design changes such as insulation and shading, efficient appliances, consumer education, “Ice Bear” air conditioner technology, spider controllers and a range of other options that PL and the paid consultants PB have neglected to assess.</p>
<p>To plan significant long term expenditure without a comprehensive assessment of the future energy landscape is negligent and irresponsible. The solution PL-PB are proposing is based on a future that exists in the past, not in the future.</p>
<h3>Easement access issues</h3>
<p>The proposal and the dEIS are not fit for purpose. This is particularly the case in the Southern section with the new easement proposed and in certain sections of the existing easement. The proposed easement to be used for construction, operation and maintenance is inaccessible due the topography. A professionally-planned easement would take access requirements into account in design. This proposal and the dEIS ignores this key aspect. The dEIS does not address the severe access issues either from an environmental, social, legal or financial perspective. The easement alignment planned does not accord with PLs stated objective of aligning with property boundaries rather than directly bisecting many properties resulting in significant additional impact on landowners and residents.</p>
<h3>Undisclosed conflicts of interest</h3>
<p>Parsons Brinkerhoff has a clear conflict of interest in this matter, which is not disclosed within the dEIS. PB, as consultants engaged by Powerlink, are paid to deliver an outcome supporting the proposal.  PB have determined that no disclosure is required relating to this clear conflict of interest. The lack of independence has been manifest in the dealings between the community and PB, with any direct contacts with the community have been carried out in the presence of Powerlink representatives and PB regularly defer to PL in responding to community questions. The frequent inadequate collection / analysis of data and the misleading presentation of the dEIS clearly brings into clear focus the lack of independence in the preparation of this dEIS.</p>
<h3>Validity of the dEIS</h3>
<p>PB having been paid significant fees for the preparation of dEIS have made a disclaimer statement rendering the document worthless for third parties such as community members, organisations and other interested third parties. A disclaimer states that “PB makes no representation, undertakes no duty and accepts no responsibility to any third party who may use or rely upon this document or the information”. This is unacceptable given that this document will form the basis of a decision impacting the lives of many hundreds of people and the environment within which they live and work.</p>
<h3>Inadequate environmental impact assessments</h3>
<p>The surveys undertaken were inadequate and present information in a misleading manner. Examples are:<br />
•    PB have not undertaken the seasonal surveys for flora and fauna across the year<br />
•    Surveys were minimal and inadequate, such as no invertebrate surveys conducted, no surveys for lung fish, Mary River turtle or Mary River Cod (ignoring aquatic impacts despite crossing 25 creek crossings and two wetlands) and only six hours of frog surveys were conducted<br />
•    Species and mapping data are inconsistent<br />
•    The management plan for the pararistolochia praevenosa (Richmond Birdwing Butterfly vine) proposed will result in the destruction of the most north-westerly colony of this species only feed plant and consequently the Richmond Birdwing Butterfly from the area<br />
•    Surveys did not conform to best practice survey techniques<br />
•    Cultural Heritage surveys have not been undertaken or have been undertaken by PLs employees where the finding can only have minimal credibility and no independence.</p>
<h3>Inadequate environmental management plan</h3>
<p>The dEIS fails to deliver credible and detailed environmental management strategies to mitigate the impacts of the proposal, as included the Environmental Management Plan, and intended to address issues ranging from cultural heritage to erosion and sediment control.</p>
<p>This absence of credible environmental management strategies illustrates the failure of the dEIS to meet its own stated objectives to:<br />
•    provide evidence of practical and achievable plans<br />
•    provide the Community with evidence of the Management of the project.</p>
<p>The lack of credible environmental management strategies is also a clear result of a major lack of critical detail – an issue which also significantly undermines the credibility of NPV rationalisation.</p>
<p>The dEIS states that these documents will not be released until after the Final EIS in the construction phase. This is totally unacceptable and, by withholding such details, an appropriate impact assessment of the proposed wholesale clearing of 48ha of Critical Habitat is impossible.</p>
<h3>Visual impacts</h3>
<p>The visual impacts have not been assessed consistently and the information has been presented in an unbalanced way. There are inconsistent assessments between the options analysed, such as option E and C3. The viewshed from current and planned scenic lookouts have been ignored, and the visual impacts close to dwellings have not been discussed adequately or have been ignored.</p>
<h3>Impact on property values</h3>
<p>There is minimal consideration of the impact on directly impacted property values, with a cursory dismissal of the real cost of having TL infrastructure sited on smaller rural lifestyle blocks predominant at the southern end of the proposed alignment.</p>
<p>In respect of both traversed and non-traversed properties, there has been no attempt to assess or quantify the impact on property values as requested by PAGE. The studies referred to in the dEIS are out of date, are overseas studies and not relevant to our unique statutory and environmental circumstances, and neglect the real issue of potential property owners using their own version of prudent avoidance by refusing to purchase properties encumbered by TL easements. The significant impact of the proposed alignment can be seen from the fact that over 27% of the properties traversed have dwellings within 100m of the alignment.</p>
<h3>Health concerns regarding electric and magnetic fields (EMF)</h3>
<p>PL relies upon the Interim Guidelines On Limits Of Exposure To 50/60 Hz Electric And Magnetic Fields (1989) and ARPANSA in relation to the health effects of EMFs from transmission lines. This 20-year-old interim report states that “a major research effort to supplement our knowledge on the health consequences, if any, of long-term continuous exposure of humans to low-level 50/60 Hz fields is required”. This report is only just being reviewed by ARPANSA.</p>
<p>This 20-year-old interim report informs PLs flexible application of prudent avoidance in minimising EMF impact only if it doesn’t cost too much.</p>
<p>In view of ARPANSA reviewing their current outdated interim 1989 guidelines, on what basis can Powerlink conclude that the data used in the dEIS and provided to the public is reliable and accurate? The casual dismissal of a major community – the most prevalent issue according to PB’s own records – concern for the correlation between ill health effects and proximity to HVTL is unacceptable.</p>
<h3>Social Impacts</h3>
<p>The social impacts have again been ignored by the dEIS. There is no discussion of impacts on community well-being or cohesion.</p>
<p>One glaring omission is the exclusion of mental health impacts. There has been no baseline assessment of the presence of mental health issues such as anxiety and depressive symptoms among affected residents, some of whom have been subjected to multiple infrastructure proposals and protracted compulsory land acquisition processes.</p>
<p>This community is being forced to live with a PL process that, by completion, will have taken seven years – an extended period of stress for which no assistance has been planned, canvassed or delivered. There has been no baseline assessment of the mental health of people impacted by this proposal.</p>
<p>People’s future plans have been put on hold and the ability of people to carry on with their normal lives halted for this period. The assessment of social impacts has therefore been grossly insufficient.</p>
<h3>Conclusion</h3>
<p>The dismissive approach taken to the alternative technologies and sustainable strategies aimed at meeting the energy needs of the region is extremely disappointing, particularly as it counters major policy reforms of the Bligh Government, namely Towards Q2.</p>
<p>Not only does it counter the Towards Q2 target of protecting more land for conservation as it rips through hectares dedicated as Land for Wildlife, it also highlights that Powerlink, a Queensland Government agency, is not serious about introducing its own policies and measures to cut carbon omissions. The government’s Towards Q2 – Tomorrow’s Queensland green vision is made to appear as nothing more than that; a vision.</p>
<p>We would like to see all energy companies, from the generation point to the power point, take responsibility for enacting policy promises, including the government’s Toward Q2 vision for a greener Queensland and its Rural Futures policies and strategies aimed ensuring rural sustainability. These are shared visions strongly supported by our council and our community.</p>
<p>So, based on the innumerable flaws in the draft EIS, many highlighted in this document, this Project and the proposed alignment cannot be recommended to the Minister for designation and should be stopped now. This EIS fails to fulfil the ToR and lacks critical detail, providing the Minister with inferior, insufficient information on which to base a decision regarding the designation of land for community purposes.</p>
<p>This Project also cannot be recommended with integrity, based on the inappropriate EIS process deployed, including poor community consultation and engagement practices. The process for Ministerial designation regarding this Project is therefore flawed to a potentially devastating extent.</p>
<h3>Copies of the full submission can be found here:</h3>
<p><a href="http://www.saveeumundi.org/2009/05/page-submission-to-draft-eis-documents/"><span id="sample-permalink">PAGE submission to draft EIS &#8211; Documents</span></a></p>
<p><span><br />
</span></p>
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		<title>PAGE Submission to draft EIS &#8211; documents</title>
		<link>http://www.saveeumundi.org/2009/05/page-submission-to-draft-eis-documents/</link>
		<comments>http://www.saveeumundi.org/2009/05/page-submission-to-draft-eis-documents/#comments</comments>
		<pubDate>Mon, 18 May 2009 04:53:23 +0000</pubDate>
		<dc:creator>Save Eumundi Team</dc:creator>
				<category><![CDATA[Draft EIS]]></category>
		<category><![CDATA[Parsons Brinckerhoff]]></category>
		<category><![CDATA[Powerlink]]></category>

		<guid isPermaLink="false">http://www.saveeumundi.org/?p=1057</guid>
		<description><![CDATA[The following documents comprise PAGE&#8217;s submission to the draft EIS, and were submitted to Parsons Brinckerhoff 15 May 2009.
Supplementary papers to this submission will be provided by 29 May.

Cover letter (72kB)

Contents page (36kB)

Letter and Executive Summary (164kB)

Community Issues Matrix &#8211; Chapters 2-12 (796kB)

Community Issues Matrix &#8211; Chapters 13-22 (696kB)

Community Issues Matrix &#8211; Appendices (656kB)

 Appendix [...]]]></description>
			<content:encoded><![CDATA[<p>The following documents comprise PAGE&#8217;s submission to the draft EIS, and were submitted to Parsons Brinckerhoff 15 May 2009.</p>
<p>Supplementary papers to this submission will be provided by 29 May.</p>
<ol>
<li><a href="http://www.saveeumundi.org/downloadfiles/page-draft-eis-submission-0-coverletter.pdf">Cover letter (72kB)<br />
</a></li>
<li><a href="http://www.saveeumundi.org/downloadfiles/page-draft-eis-submission-1-contents.pdf">Contents page (36kB)<br />
</a></li>
<li><a href="http://www.saveeumundi.org/downloadfiles/page-draft-eis-submission-2-summary.pdf">Letter and Executive Summary (164kB)<br />
</a></li>
<li><a href="http://www.saveeumundi.org/downloadfiles/page-draft-eis-submission-3-chapters-2-12.pdf">Community Issues Matrix &#8211; Chapters 2-12 (796kB)<br />
</a></li>
<li><a href="http://www.saveeumundi.org/downloadfiles/page-draft-eis-submission-4-chapters-13-22.pdf">Community Issues Matrix &#8211; Chapters 13-22 (696kB)<br />
</a></li>
<li><a href="http://www.saveeumundi.org/downloadfiles/page-draft-eis-submission-5-deis-appendices.pdf">Community Issues Matrix &#8211; Appendices (656kB)<br />
</a></li>
<li> <a href="http://www.saveeumundi.org/downloadfiles/a-a.1-pl-letter-to-minister.pdf">Appendix A.1 &#8211; Powerlink letter to Minister of Mines and Energy (1.4mB)<br />
</a></li>
<li><a href="http://www.saveeumundi.org/downloadfiles/a-a.2-page-letter-to- minister-20080220.pdf">Appendix A.2 &#8211; PAGE&#8217;s letter in response to Powerlink letter to Minister of Mines and Energy (68kB)<br />
</a></li>
<li>a-b.1-tor-submission-response.pdf (file too large for website &#8211; please get in touch if you would like a copy)</li>
<li><a href="http://www.saveeumundi.org/downloadfiles/a-b.2-analysis-of-tor-submission-response.pdf">Appendix B.2 &#8211; Analysis of Terms of Reference submission response (3.5mB)<br />
</a></li>
<li><a href="http://www.saveeumundi.org/downloadfiles/a-c-emp-submission-13may2009.pdf">Appendix C &#8211; Environmental Management Plan &#8211; Independent report (540kB)<br />
</a></li>
<li><a href="http://www.saveeumundi.org/downloadfiles/a-d-epbc-page-submission-woolooga-final.pdf">Appendix D &#8211; PAGE&#8217;s EPBC submission (196kB)<br />
</a></li>
</ol>
<p>All documents are in pdf form.</p>
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		<title>Wellington speaks out in Parliament</title>
		<link>http://www.saveeumundi.org/2009/05/ellington-speaks-out-in-parliament/</link>
		<comments>http://www.saveeumundi.org/2009/05/ellington-speaks-out-in-parliament/#comments</comments>
		<pubDate>Sun, 03 May 2009 02:19:42 +0000</pubDate>
		<dc:creator>Save Eumundi Team</dc:creator>
				<category><![CDATA[Draft EIS]]></category>
		<category><![CDATA[News]]></category>

		<guid isPermaLink="false">http://www.saveeumundi.org/?p=1042</guid>
		<description><![CDATA[Mr WELLINGTON (Nicklin—Ind) (11.58 am): It gives me a great deal of pleasure to thank the Minister for Infrastructure and Planning for agreeing to my request for a further one-month extension so people could make their submissions to the South East Queensland Regional Plan. So the new deadline is 1 May. I thank the minister [...]]]></description>
			<content:encoded><![CDATA[<p>Mr WELLINGTON (Nicklin—Ind) (11.58 am): It gives me a great deal of pleasure to thank the Minister for Infrastructure and Planning for agreeing to my request for a further one-month extension so people could make their submissions to the South East Queensland Regional Plan. So the new deadline is 1 May. I thank the minister for listening to our calls for an extension.</p>
<p>I use this an as example to call on the Minister for Natural Resources, Mines and Energy to reconsider his decision as is reported in the Sunshine Coast Daily this morning to not grant a further one-month extension to people who want to make a submission to the environmental impact study on the proposed new high-voltage powerline from Woolooga to Eerwah Vale. I table for the benefit of the minister a copy of the article that appeared in the Sunshine Coast Daily this morning.</p>
<p><em>Tabled paper: Newspaper article, dated 22 April 2009, titled ‘Minister firm on power rollout’.</em></p>
<p>I support the community’s request for a further one month’s extension on this very important issue. The environmental impact study effects everyone from Woolooga in the north to Eerwah Vale and west Eumundi in the south. At the moment, there are only two proposed community sessions—one at Gympie on 27 April and one at Federal on 28 April. I believe it is important that a further meeting be held in the south. It could be held at Belli Park community hall or in the town of Eumundi or in the town of Cooroy.</p>
<p>Unfortunately, when I recently met with the consultants for Powerlink they said there was no other venue in the south and no appropriate site in Eumundi or Cooroy to hold this further community information session. I put on the public record today for the benefit of the minister and the government that the Belli Park community hall is available tomorrow. The consultants could come south and hold a public information session for the benefit of the community. I also use this opportunity to seek leave to table a non-conforming petition.</p>
<p>Leave granted.</p>
<p><em>Tabled paper: Non-conforming petition relating to Powerlink’s proposal from Woolooga to Eerwah Vale.</em></p>
<p>I note that earlier this morning a conforming petition from people concerned about this proposed powerline was tabled. I look forward to the minister’s response in the near future. I again ask the minister to please consider our community’s request for a further one month’s extension to make a submission on the environmental impact study in relation to this powerline and please consider the suggestion that the Belli Park community hall is an appropriate venue for the holding of a community information session.<br />
<em>(Time expired)</em></p>
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		<title>Draft EIS submission template</title>
		<link>http://www.saveeumundi.org/2009/05/draft-eis-submission-template/</link>
		<comments>http://www.saveeumundi.org/2009/05/draft-eis-submission-template/#comments</comments>
		<pubDate>Fri, 01 May 2009 23:43:58 +0000</pubDate>
		<dc:creator>Save Eumundi Team</dc:creator>
				<category><![CDATA[Draft EIS]]></category>

		<guid isPermaLink="false">http://www.saveeumundi.org/?p=1031</guid>
		<description><![CDATA[Below are links to 3 documents that will help you prepare your submission on the draft EIS (click on links to download).

PAGE presentation (1.9MB) of items to consider in dEIS submission (presented at public meeting Saturday 2 May)
dEIS submission template
Parsons Brinkerhoff&#8217;s file on &#8220;Making a Submission on the Draft EIS&#8220;

Also, if you would like to [...]]]></description>
			<content:encoded><![CDATA[<p>Below are links to 3 documents that will help you prepare your submission on the draft EIS (click on links to download).</p>
<ol>
<li><a href="http://www.saveeumundi.org/downloadfiles/deis-submission-overview.ppt">PAGE presentation</a> (1.9MB) of items to consider in dEIS submission (presented at public meeting Saturday 2 May)</li>
<li><a href="http://www.saveeumundi.org/downloadfiles/dEIS-submission-template.doc">dEIS submission template</a></li>
<li>Parsons Brinkerhoff&#8217;s file on &#8220;<a href="http://www.saveeumundi.org/downloadfiles/pb-how-to-make-submission.pdf">Making a Submission on the Draft EIS</a>&#8220;</li>
</ol>
<p>Also, if you would like to read and have a copy of PAGE&#8217;s submission to the EPBC on the environmental impact of this project, which will help with your own dEIS submission, please contact us via email at <a href="contact@saveeumundi.org">contact@saveeumundi.org</a> and request a copy.</p>
<p>Don&#8217;t forget, submissions close on 5pm 15 May.</p>
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		<title>Mental health screening survey</title>
		<link>http://www.saveeumundi.org/2009/04/ental-health-screening-survey/</link>
		<comments>http://www.saveeumundi.org/2009/04/ental-health-screening-survey/#comments</comments>
		<pubDate>Tue, 28 Apr 2009 10:55:09 +0000</pubDate>
		<dc:creator>Save Eumundi Team</dc:creator>
				<category><![CDATA[Draft EIS]]></category>

		<guid isPermaLink="false">http://www.saveeumundi.org/?p=1035</guid>
		<description><![CDATA[Dr Gerard Joyce has put together a screening survey to assess the mental health impacts of the project.
The survey is easy to complete and has been shown to identify levels of anxiety and depressive symptoms.
It is can be ANONYMOUS and is strictly not a diagnostic test.
To take part in Dr Joyce’s study, download the survey [...]]]></description>
			<content:encoded><![CDATA[<p>Dr Gerard Joyce has put together a screening survey to assess the mental health impacts of the project.</p>
<p>The survey is easy to complete and has been shown to identify levels of anxiety and depressive symptoms.</p>
<p>It is can be ANONYMOUS and is strictly not a diagnostic test.</p>
<p>To take part in Dr Joyce’s study, download the survey from the link below and send it into PAGE at the following address:</p>
<p>P.A.G.E<br />
Anxiety Survey<br />
P O Box 950<br />
Cooroy<br />
Queensland 4563</p>
<p>1.  Download  Link:  <a href="http://www.saveeumundi.org/downloadfiles/anxiety-scale-survey.doc">Anxiety and Depression survey</a></p>
<p>People experiencing depression and anxiety-related issues can call Lifeline’s 24-hour national telephone counselling service on 13 11 14 and the beyondblue info line on 1300 22 4636 for support, both at the cost of a local call. More information and resources are available from <a href="http://www.lifeline.org.au" target="_blank">www.lifeline.org.au</a> or <a href="http://www.beyondblue.org.au" target="_blank">www.beyondblue.org.au</a>.</p>
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		<title>Extension refused</title>
		<link>http://www.saveeumundi.org/2009/04/extension-refused/</link>
		<comments>http://www.saveeumundi.org/2009/04/extension-refused/#comments</comments>
		<pubDate>Wed, 08 Apr 2009 23:06:05 +0000</pubDate>
		<dc:creator>Save Eumundi Team</dc:creator>
				<category><![CDATA[Draft EIS]]></category>

		<guid isPermaLink="false">http://www.saveeumundi.org/?p=1010</guid>
		<description><![CDATA[The copy of Parson Brinkerhoff&#8217;s refusal to grant an extension to the submission period for the draft EIS follows:
Email of:  9 April 2009
Dear Keith
Thankyou for your e-mail of 2 April requesting an extension to the
Woolooga to Cooroy South Transmission Line and Cooroy South Substation
Project Draft EIS submission period. We acknowledge that this request
has come through [...]]]></description>
			<content:encoded><![CDATA[<p>The copy of Parson Brinkerhoff&#8217;s refusal to grant an extension to the submission period for the draft EIS follows:</p>
<blockquote><p>Email of:  9 April 2009</p>
<p>Dear Keith</p>
<p>Thankyou for your e-mail of 2 April requesting an extension to the<br />
Woolooga to Cooroy South Transmission Line and Cooroy South Substation<br />
Project Draft EIS submission period. We acknowledge that this request<br />
has come through from you in your role as Acting Coordinator of PAGE.</p>
<p>As you are aware, information on the targeted release date and extended<br />
submission period, has been publicly available since late 2008.  This<br />
information has stated a targeted release of the Draft EIS for public<br />
comment by first quarter 2009 and a doubling of the comment period from<br />
three to six weeks.  A three week comment period is the minimum<br />
statutory requirement.</p>
<p>Following consideration by the project team and in line with the above<br />
information, I must advise that we are unable to accommodate your<br />
request for an extension of time.</p>
<p>Yours sincerely</p></blockquote>
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		<title>Project Justification &#8211; detail and assumptions required</title>
		<link>http://www.saveeumundi.org/2009/03/project-justification-detail-and-assumptions-required/</link>
		<comments>http://www.saveeumundi.org/2009/03/project-justification-detail-and-assumptions-required/#comments</comments>
		<pubDate>Tue, 10 Mar 2009 02:23:59 +0000</pubDate>
		<dc:creator>Save Eumundi Team</dc:creator>
				<category><![CDATA[Letters to Powerlink]]></category>
		<category><![CDATA[Draft EIS]]></category>

		<guid isPermaLink="false">http://www.saveeumundi.org/?p=813</guid>
		<description><![CDATA[Stuart Topp, Powerlink, was sent this email (10 March) regarding detail PAGE expects to see in the draft EIS on the justification and assumptions made by Powerlink in determining for this project to commence.
Dear Stuart,
I am writing on behalf of PAGE members in anticipation of the upcoming EIS.
As part of the EIS process we would [...]]]></description>
			<content:encoded><![CDATA[<p>Stuart Topp, Powerlink, was sent this email (10 March) regarding detail PAGE expects to see in the draft EIS on the justification and assumptions made by Powerlink in determining for this project to commence.</p>
<blockquote><p>Dear Stuart,</p>
<p>I am writing on behalf of PAGE members in anticipation of the upcoming EIS.</p>
<p>As part of the EIS process we would like to see, either included as part of the EIS itself, or as a separate document or as an appendix, detailed information pertaining to the justification of the proposed transmission line project.</p>
<p>While not an exhaustive list, we would like the following details, at the very least, to be available for perusal:</p>
<ul>
<li>analysis of all costs comprising the project budget of $100m+;</li>
<li>detailed assumptions leading to the decision for the need of the project;</li>
<li>information on how the Noosa Strategic Plan’s population cap of 62,500 has been factored into the project forecasts;</li>
<li>exact figures used for population growth projections in the project, and over what period;</li>
<li>projections and/or assumptions made in relation to electricity usage, electricity pricing and related costs that have been used in the analysis for the project;</li>
<li>how the current economic recession has been factored into project justification;</li>
<li>the relative figures and percentages used in calculations relating to business and residential usage requirements respectively;</li>
<li>how project calculations have been adjusted to take into account the increased use of energy efficient appliances;</li>
<li>specific analysis on air-conditioning take up reaching saturation levels and the impact on expected demand;</li>
<li>how project calculations have been adjusted to take into account the behavioural change impact of demand management and initiatives such as the state government’s ClimateSmart program, the Sunshine Coast Regional Council’s sustainable development, climate change, peak oil and renewable energy initiatives, new building development codes making for more energy efficient housing to name a few;</li>
<li>what impact is forecast on energy consumption due to the Carbon Pollution Reduction Scheme;</li>
<li>how specifically will the goals set out by the government in Q2 (reducing Queenslanders energy consumption by 1/3) affect this project.</li>
</ul>
<p>Given the size of this project and the allocation of costs and resources that will be supported by tax payers funds, we expect that it is perfectly reasonable that all these factors and any other assumptions that you have made in the project calculations which may not be listed above be available in detail for the community to examine.</p>
<p>If any of this information is not provided at the outset of the EIS, then we would have no choice than to request an extension for the EIS period which we understand will be six weeks. And to such time as this information is made public.</p>
<p>We care for what is happening in our environment and therefore want to ensure that we are able to give our full support to the EIS process by being able to read and comment appropriately and with the due diligence that I am sure Powerlink would want us to.</p>
<p>Regards<br />
PAGE</p></blockquote>
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		<title>Environmental Studies</title>
		<link>http://www.saveeumundi.org/2009/03/environmental-studies/</link>
		<comments>http://www.saveeumundi.org/2009/03/environmental-studies/#comments</comments>
		<pubDate>Mon, 09 Mar 2009 02:17:33 +0000</pubDate>
		<dc:creator>Save Eumundi Team</dc:creator>
				<category><![CDATA[Letters to Powerlink]]></category>
		<category><![CDATA[Updates]]></category>
		<category><![CDATA[Draft EIS]]></category>
		<category><![CDATA[Environment]]></category>

		<guid isPermaLink="false">http://www.saveeumundi.org/?p=810</guid>
		<description><![CDATA[The following letter was sent to Stuart Topp, Powerlink 9 March regarding detail required on the environmental studies Powerlink undertook in the preparation of the draft EIS.
Dear Stuart
As you are aware, the residents in the Eerwah Vale and Ridgewood community take the preservation of the environment very seriously and are deeply concerned with the impact [...]]]></description>
			<content:encoded><![CDATA[<p>The following letter was sent to Stuart Topp, Powerlink 9 March regarding detail required on the environmental studies Powerlink undertook in the preparation of the draft EIS.</p>
<blockquote><p>Dear Stuart</p>
<p>As you are aware, the residents in the Eerwah Vale and Ridgewood community take the preservation of the environment very seriously and are deeply concerned with the impact that the proposed transmission lines will have on the local flora and fauna. This is clearly identified by the number of Land For Wildlife signs in the area, the catchment programs currently run by Land For Wildlife, the number of trees planted by residents and local council, as well as the recent documented sighting of the Richmond Birdwing butterfly to name a few.</p>
<p>More residents have asked me to request that you provide a schedule in the draft EIS of environmental studies undertaken by Powerlink/Parsons Brinkerhoff that include detail on the following information:</p>
<ul>
<li>date, time and length of each visit by PL/PB survey party (we will be checking with local residents and verifying this)</li>
<li>area surveyed (specifically which properties)</li>
<li>specific findings relating to each property</li>
<li>methods of fauna surveys, and different types of trapping methods used for fauna in each ecosystem and habitat type</li>
<li>what season and frequency, and whether the fauna is diurnal or nocturnal</li>
<li>flora surveys assessing all vegetation in the regional ecosystems, and all microhabitats that have been searched and the floristic</li>
<li>assessment including seasonal variation, including aquatic plants</li>
</ul>
<p>As we understand, your studies have been undertaken over a short period, so please outline what assumptions have you made in relation for migratory or seasonal patterns of the fauna temporarily resident in the area for any part of the year not covered by your survey period.</p>
<p>We will be asking independent environment consultants to review this schedule and determine if this is satisfactory. We also seek to ensure that the  environmental studies have been completed thoroughly regardless of the statutory requirements &#8211; it would be environmentally irresponsible to know a study has been inadequately completed as a result of minimal statutory guidelines being adhered to.</p>
<p>We also see a clear conflict of interest between Powerlink and Parsons Brinkerhoff (where PL are paying for PB&#8217;s services) and this information would go some way to allaying residents concerns that the studies and surveys have not been undertaken thoroughly.</p>
<p>If the detail outlined above is not provided in the draft EIS, we make this request of you now in preparation of the release. Also, if there is a delay in getting this information to us, we expect an extension to our, and other party&#8217;s submissions, as this information is key to any submission to the draft EIS.</p>
<p>Regards<br />
PAGE</p></blockquote>
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