In an unrelenting drumbeat of filings to the Federal Energy Regulatory Commission, citizens throughout the Connecticut Valley are demanding that no new license be issued to Canada-owned FirstLight for their Delaware-tax-sheltered Northfield Mountain Pumped Storage Station here in Massachusetts.

https://www.recorder.com/my-turn-gyorgy-FirstLightLicensing-44862677

Please read the excellent opinion piece ABOVE from last week’s Greenfield Recorder by Anna Gyorgy, then continue further BELOW to read the latest group of on-the-record citizen filings to FERC insisting that a new license to kill be denied at Northfield Mountain for this venture capital outfit. KEY EXCERPTS from the most recent CORPORATE filings to FERC can be found at the end of this post.

IN THE LATEST INDICATION of the strength of opposition to a new Northfield license FirstLight just missed another self-targeted deadline to have its secret license negotiations with US Fish & Wildlife, MA Dept. of Environmental Protection, MA Division of Fish & Wildlife and the National Marine Fisheres Service all buttoned up and ready to send off for FERC approval.

IN THEIR LENGTHENING FAILURE to put the last nails in this four-state ecosystem’s river-reversing, fish-killing coffin, FL was forced to request “that the Commission continue to defer issuance of its Ready for Environmental Analysis (REA) Notice until after February 28, 2022. FirstLight anticipates requesting the Commission to further defer the REA Notice until after June 30, 2022, to allow the parties time to negotiate a comprehensive, binding settlement agreement that aims to fully resolve all relicensing issues.

THOUGH THIS MAY APPEAR to be merely yet another of FirstLight’s series of month-long delay requests–it’s actually admitting they’ll likely not have this thing safely in their Delaware-registered tax bag until July of 2022 or LATER. What it really says is that they foresee stumbling blocks to getting agreement on allowing the impacts of this river-killer with the public agencies charged with protecting the Connecticut River ecosystem. It’s being negotiated on their watch. They are responsible for defending our so-called, “S.O. Conte Connecticut River National Fish and Wildlife Refuge,” our ‘only’ “National Blueway”–and what remains today our drop-dead-deadly, ‘nation’s best landscaped sewer’ right here in Massachusetts.

It is the PEOPLES’ voices that are doing this by writing and filing with FERC:
Go to: www.ferc.gov; then to “Documents and Filings”; then click on the “Quick Links” tab for FERC Online on the right; and then to “eComment” on the page that opens. Follow directions for “Hydroelectric License/Re-license Proceedings (P – Project Number),” and BE SURE TO use Northfield’s FERC project number, P-2485, to enter your comments.

This is THE PUBLIC’S RIVER! It deserves to LIVE. And, it deserves a real WATCHDOG– YOU!! Thanks to all for raising your voices.

ALSO, this new podcast with OCCUPY THE AIRWAVES on Valley Free Radio:
https://archive.org/details/occupy-the-airwaves-1.17.2022-karl-meyer

BELOW are the latest citizen filings with the Federal Energy Regulatory Commission:

Document Accession #: 20220207-5017 Filed Date: 02/07/2022
Pat Graves, South Deerfield, MA.

Many things have changed in recent years. I urge that no relicensing of
FirstLight’s Northfield Mt. Pumped Storage Station take place without
careful consideration of the benefits and harms. At this time it appears
that the harms far outweigh the benefits.

Document Accession #: 20220207-5014 Filed Date: 02/07/2022
Anne Naughton, Shelburne Fls, MA.

Hello,
Please DO NOT renew Firstlight’s lease on the Northfield Mountain Pumped
Storage Project, P-2485.

The Connecticut River is not replaceable. We can get electricity from other,
less destructive sources.

Sincerely,
Anne Naughton
Shelburne Falls, Massachusetts

Document Accession #: 20220204-5174 Filed Date: 02/04/2022
Wayne Pleasant, Turners Falls, MA.
Feb 4, 2022
REF: P-2485 FirstLight vs River Wildlife

Dear FERC
Please deny the license for the Northfield pumped storage system. I have lived on the CT river all my life and have seen first hand the incredible damage that they do to our river.

The system is not “Green Energy.” It consumes more energy that it produces. It is only used for making more money for FirstLight and not to benefit consumers and the environment. It severely damages the shoreline by raising and lowering the water level and thus associated wildlife.

It causes unnatural waterflows that damages and compromises the river environment for endangered Short Nosed Sturgeon.

Sucks up and kills large and small fish through its turbines. No proposed net will stop small fish and associated eggs from being sucked up and killed.

NOTE: If I were to kill this many fish every day I would be arrested for violating protected species rules.

Please do not issue a license to this facility to kill more wildlife.

Thank you,
Wayne
(** NEW filings continue below **)

Document Accession #: 20220204-5027 Filed Date: 02/04/2022
James Terapane, South Deerfield, MA.

I am writing regarding P-2485 Northfield Pump Storage re-licensing process. First off, I am, with many other local citizens, opposed to re-licensing this facility as it currently operates. The disruption of the CT. River ecosystem that this and other First Light Hydro facilities create is
unacceptable.

I demand that FERC allow for public comment as required by Massachusetts DEP review of the re-licensing so that all information related to this process be presented to the public and the citizens of United States be heard. Let’s not forget that First Light is a foreign owned entity whose interests are not necessarily in line with ours, the American Citizens who’s river resources are being borrowed for profit.

We citizens of the Connecticut Valley have worked hard to protect and use our rivers in a sustainable manner and will continue to do so. The idea of the facility being used as a “battery” is a clever pitch but we don’t buy it, not at the cost of the continuing destruction the river ecology. Please don’t cloak this crude way of using the river as “Green”. What is being done to our river is anything but Green Thinking.

Now is the time for bold solutions that secure a reliable power source AND protect our environment. I urge First Light Company, if they must have their battery, to use what ever innovative brain power they have in their company to solve this problem of river and fish destruction otherwise you are not welcome to use our resources.

The people of this region have brought forth many innovative problem solving ideas and pioneered the American Hydro power industry so I urge the managers of First Light to step up to the plate and address how to solve this problem. If they don’t have any ideas we can help them out.

Document Accession #: 20220204-5025 Filed Date: 02/04/2022
Wendy Sibbison, Greenfield, MA.

I oppose the relicensing of the Northfield Mountain Pumped Hydro Storage Station because its immediate and long-lasting harm to the ecology of the river and to its living inhabitants outweigh “both in ethical and economic terms” any benefit to the public of FirstLight’s plan to transport and store energy, far from its source, for later generation at a net energy loss.

AND BELOW ARE DIRECT EXCERPTS FROM FirstLight’s most recent filing with FERC, and–further below that, from Great River Hydro’s filing noting that it is being held back in their relicensing of their non-lethal, Vermont river facilities due to the successive delays requested by PSP Investments-owned, FirstLight at Northfield.

Document Accession #: 20220131-5365 Filed Date: 01/31/2022
Alan Douglass Regulatory Compliance Manager

“FirstLight continues to discuss fish passage, minimum stream flows, and project operational issues with federal and state resource agencies, and certain non-governmental organizations. FirstLight and the agencies have reached conceptual agreement on minimum stream flows, upstream and downstream fish passage facilities, and certain operational measures. The parties are continuing to make progress on the remaining operational measures, at which time they intend to execute an AIP.”

“In light of the significant progress of FirstLight and the relicensing participants in achieving conceptual agreements, FirstLight requests that the Commission continue to defer issuance of its Ready for Environmental Analysis (REA) Notice until after February 28, 2022. FirstLight anticipates requesting the Commission to further defer the REA Notice until after June 30, 2022, to allow the parties time to negotiate a comprehensive, binding settlement agreement that aims to fully resolve all relicensing issues.”

Alan Douglass
Regulatory Compliance Manager

Great River Hydro’s VERNON DAM facilities and its non-lethal fish passage for migrating fish in New Hampshire and Vermont.

BELOW, is text excerpted from GRH’s FERC filing:

Document Accession #: 20220203-5098 Filed Date: 02/03/2022
John L. Ragonese
FERC License Manager
Great River Hydro, LLC

“In the most recent status report, FirstLight Licensees announced conceptual agreements with a number of relicensing participants on several key issues and that they were close to reaching agreement on other key issues. The filing asks the Commission to further defer issuance of the REA Notice until after February 28, 2022, to allow relicensing stakeholders to reach agreements in principle. It also suggests that they intend to request the Commission further delay issuance of the REA Notice until after June 30, 2022, to allow for the development of a binding settlement agreement that the parties. GRH anticipates the Commission would reasonably hold off issuing the REA Notice for at least six months, in order to consider an executed settlement agreement between FirstLight Licensees and stakeholders as a preferred alternative in an amended application.”

“At this point in the process, however, there is no reason for the Commission not to issue the REA Notice for the GRH Projects. Even if the Commission further defers the REA Notice for the FirstLight Projects for another six months, it can still prepare a multi-project environmental impact statement for all five projects.”

“GRH has consulted with federal and state fishery and water quality agencies, and we are authorized to state their support GRH’s request for the Commission to move forward.”

Sincerely,
John L. Ragonese
FERC License Manager