BLM close to deciding whether master leasing planning for South Park

The Bureau of Land Management said it is close to deciding whether to undertake master leasing planning in South Park. The Colorado Wildlife Federation submitted an application to the BLM on November 4, 2011, seeking master leasing planning in South Park concerning potential oil and gas development. The letter of support attached to the application was signed by 208 residents of South Park during the two days prior to the application. The application also is supported by Park County, Trout Unlimited, the Theodore Roosevelt Conservation Partnership, National Wildlife Federation and others.

On January 25, The BLM Royal Gorge Field Office met with the Park County Board of Commissioners to discuss the concept of master leasing planning and CWF’s application. CWF also provided input at the meeting. BLM said it is close to making a decision. It is the perfect time to use this new tool. The BLM continues to work from its old 1996 Resource Management Plan when evaluating expressions of interest by companies to lease federal public land parcels in South Park. The master leasing planning tool focuses on landscape level planning to determine where leasing is appropriate and any areas where it is not. The County has invested considerable sums in its tourism. Wildlife and fisheries are very important in this area. The last lease auction was held November 10, 2011 and the next is scheduled for November 2012. Companies have already expressed interest and the public scoping process is scheduled for March.

Below is the text of the application and maps:

November 4, 2011

Helen Hankins, Colorado State Director
Bureau of Land Management
Colorado State Office
2850 Youngfield Street
Lakewood, Colorado 80215

Keith E. Berger, Field Manager
BLM Royal Gorge Field Office
3028 E. Main Street
Canon City, Colorado 81212
Transmitted by email and by mail

Dear Ms. Hankins and Mr. Berger:

Attached please find the recommendation for the Bureau of Land Management (BLM) State Office and Royal Gorge Field Office to prepare a Master Leasing Plan for BLM lands in Park County managed by the Royal Gorge Field Office, under the terms of IM No. 2010-117. We look forward to working with the BLM in preparation of the œSouth Park Master Leasing Plan, as you can see from the extensive list of those who support this application (Appendix A). Please contact us if you have questions or would like us to supply additional information or data.

Thank you for this opportunity to present our reasoning for implementing a South Park Master Leasing Plan. We are available to answer questions and to provide assistance.


John Smeltzer Suzanne O’Neill
Chairman of the Board, President Executive Director

cc: Bob Abbey, BLM Director
US Senators Mark Udall and Michael Bennet
US Representative Douglas Lamborn

Master Leasing Plan Recommendation for
South Park, Park County, Colorado

Prepared by
Colorado Wildlife Federation and supported by the many Signatories to the Letter of Support
(Appendix A)

The Onshore Oil and Gas Leasing Reforms (Instruction Memorandum No. 2010-117) are intended to bring balance into oil and gas leasing and development programs in Colorado. We are particularly interested in applying the Master Leasing Plan (MLP) tool to South Park, Park County, Colorado. It represents an excellent opportunity to use a landscape scale approach to further leasing of oil and gas resources in this important area before a significant amount of additional acreage is leased. South Park meets the criteria for a MLP and also has other unique circumstances that make it a compelling candidate for an MLP designation.

South Park offers big game, prized fisheries, other wildlife such as waterfowl, beaver, bears, mountain lion, and mountain plover. It includes the communities of Fairplay, Alma, Como, Jefferson, Hartsel and Tarryall.

Below are the BLM’s four criteria for the preparation of an MLP and the rationale for submitting this application.

Criterion 1: A substantial portion of the area to be analyzed in the MLP is not currently leased.

The proposed MLP area encompasses 524,074 acres. Federal oil and gas mineral ownership comprises 281,741 acres (54 percent of the proposed MLP area). To date, 27,832 acres (10 percent) of the federal mineral estate have been leased. The Instructional Memorandum (IM) does not define the term œsubstantial and this small percentage of leased acreage surely cannot be construed as substantial. The status of leasing offers BLM a compelling opportunity to formulate a comprehensive leasing and development plan.

Criterion 2: There is a majority federal mineral interest.

The 281,741 acres of federal mineral estate within the proposed MLP occupy 54 percent of the proposed MLP area.

Criterion 3: The oil and gas industry has expressed a specific interest in leasing, and there is a moderate or high potential for oil and gas confirmed by the discovery of oil and gas in the area.

The western area of the Niobrara shale formation extends into South Park, Park County. BLM (Royal Gorge Field Office) intends to offer for lease an additional 11,487.54 acres in South Park at the November 2011 auction. In addition to the 27,832 acres (10 percent) of the federal mineral estate that has been leased, the Colorado State Land Board has leased 36,693 acres of the state mineral estate within the proposed MLP boundary, pursuant to expressions of interest from industry. (The BLM state office approved a unit agreement with El Paso Exploration & Production Company on April 20, 2010 for development and operation of the Bald Hill Unit in South Park. Kinder Morgan has announced that it will purchase El Paso according to Business Day, October 16, 2011. )

Criterion 4: Additional analysis or information is needed to address likely resource or cumulative impacts if oil and gas development were to occur where there are: multiple use or natural/cultural resource conflicts; impacts to air quality; impacts on the resources or values of any unit of the national park system, national wildlife refuge, or national forest wilderness area, as determined after consultation or coordination with the NPS, the FWS, or the FS; or impacts on other specially designated areas.

There are numerous sound policy reasons for master leasing planning.

BLM repeatedly has determined that parcels leased in past auctions and those scheduled for the November 2011 lease auction are suitable for leasing in accordance with the Royal Gorge Resource Management Plan (RMP). The RMP was approved in May 1996, 15 years ago. The RMP was amended in 2009 by the South Park Land Tenure Adjustment Record of Decision. At that time, BLM based its changes in land tenure status on a range of factors: mountain plover habitat, fen and mire wetlands, big game habitat, public access, parcel size, proximity to open space, adjacency to private conservation easements, visual resources, cultural and historic resources, and range economics. However, in the Environmental Assessment for parcels that are proposed for the November 2011 lease sale, BLM states, œ The decisions made in the 1996 RMP regarding the availability and suitability of these lands for oil and gas leasing were not amended by the South Park Land Tenure plan. Therefore, the decisions made in the 1996 RMP regarding oil and gas leasing still remain valid at this time. A decision in 1996 that an area may be authorized for oil and gas leasing should not continue to be determinative during the remaining years before the RMP is due for revision (2013) and completed, particularly without clearly addressing and analyzing the factors identified in 2009 in these same areas.

Fish and Wildlife Resources
It is important to recognize the economic contribution that fish and wildlife, other outdoor recreation and tourism in South Park make to the County and to the State. Located within a two-hour drive from the Denver Metro area, recreational use and the accompanying economic contribution to the County and State cannot be underestimated. As hunters, anglers and wildlife watchers, we expect our federal agencies to recognize the importance of wildlife-based recreation to local economies and our Western heritage and traditions. Wildlife-based recreation contributes more than $17,790,000 annually to the Park County economy (BBC Research & Consulting study – 2007 statistics), an impressive amount for a county with a population of only 16,206 residents (an 11.6 percent population increase since 2000 according to the 2010 Census). The economic impacts of healthy wildlife populations will grow in importance, as well as tourism in general, provided we all act as stewards of the land.

A BLM Master Leasing Planning process will enable a landscape analysis of the high fish and wildlife recreational value of the area, and the potential direct, indirect, and cumulative impacts to fisheries, elk, mule deer, pronghorn, bighorn sheep, mountain plover, and numerous other species. See attached maps in Appendix B (which includes Colorado Oil and Gas Conservation Commission (COGCC) sensitive species and restricted surface occupancy pursuant to its rules).

The cumulative impacts of oil and gas development in South Park have not been defined. We note the BLM’s efforts on a parcel by parcel basis to address impact to wildlife, referencing, by way of example, the following lease stipulations incorporated into the parcels scheduled for the November 2011 lease auction (according to the August 8 notice): to œprotect big game winter habitat (4 parcels), to œalert lessee of potential habitat for a threatened, endangered, candidate, or other special status plant or animal (each of the 9 parcels), to œprotect mountain plover (9 parcels), and to œprotect raptor nesting and fledgling habitat (each of the 9 parcels). Lease stipulations imposed parcel by parcel, however, will not suffice to protect the values offered by the federal mineral estate on a landscape level in South Park. For its November 2011 lease auction, BLM concluded in its Environmental Assessment (EA), œAt this time, the speculative nature of this process [leasing parcels] does not allow for specifics of development to be known; therefore, impacts to terrestrial wildlife caused by development remain unknown. If a parcel is leased and development occurs, impacts likely to occur will be habitat loss and fragmentation (well pad construction, road construction, etc.). BLM cites the 2006 study conducted by Hall Sawyer et al. in the Mesa south of Pinedale, Wyoming, and concludes that œ¦ indirect habitat loss caused by an avoidance response of mule deer could be reduced by 38-63% with the use of advanced technologies and proper planning that minimize the number of well pads and amount of human activity associated with them. However, in late 2010, Dr. Sawyer presented additional findings from his continued study of this same area, emphasizing that œthe 2009 adult female survival rate was less than 70 percent – 10 percent lower than the seven-year average; most of the does were dying in May. ˜These deer came off the winter range, made it through most of their migration and just sort of tipped over. We have never seen anything like this before but it certainly raises a flag.’ (Sublette Examiner, November 1, 2010, reporting on Dr. Sawyer’s presentation to representatives of BLM, Wyoming Game and Fish and Anticline natural gas operators.)

In this EA, BLM postpones a cumulative impacts analysis into the future, concluding, œEvery parcel is unique and cumulative impacts will need to be thoroughly addressed in the APD stage. But, the APD (application for drilling permit) stage offers limited adjustments, and measures are subject to the operator’s assessment of technological and economic feasibility. An APD is of limited scope and does not fully address wildlife and recreational issues. Development would require infrastructure, new roads, pipelines and other facilities that will affect wildlife resource and recreation. As BLM already has leased a significant number of acres in the Bald Hill Unit, a Master Leasing Plan presents an excellent opportunity for BLM to conduct an assessment of possible cumulative impacts of fragmentation under a œwhat if scenario of development of those leases coupled with potential development of the proposed November leases in this area, and the extensive unleased federal mineral estate.

Note, as a non-game species example, that the federal mineral estate includes substantial mountain plover habitat. BLM should consider the best available science on direct, indirect, and cumulative impacts of leasing and development on the habitat of this BLM (and Colorado Parks and Wildlife) sensitive species. On May 12, 2011, the US Fish and Wildlife Service withdrew its proposed rule to list the mountain plover as a threatened species. In its decision, the agency specifically noted that BLM environmental review standards œmay lead to more widespread use of development practices that minimize impacts. It is important that the BLM view its habitat area on a greater than parcel by parcel basis and at this larger level determine appropriate stipulations to protect the species in advance of additional leasing. See attached map in Appendix B that shows occurrences of mountain plover. (On the map, the term œelement occurrence represents a continued/recurrent generalized location. The spatial polygon data used in the mapping display, are generalized to 9 square miles to protect this sensitive species.) We all seek to prevent a future listing of this species through strategic considerations and measures.

The headwaters of the South Platte River are located in South Park. Water storage reservoirs including Antero, Tarryall, Spinney Mountain, and Eleven Mile are prized fisheries. Trout waters are known internationally. The section of the South Platte River between Spinney and Elevenmile Reservoirs is a reknowned fishing stretch known as the œDream Stream. South Park features the most miles of Gold Medal waters in the state. Gold Medal waters are designated restricted surface occupancy under the COGCC rules. (See attached map in Appendix B, South Park Master Leasing Plan Application Boundary COGCC Wildlife Habitat with Restricted Surface Occupancy.) Wetlands adjacent to the Middle Fork of the South Platte are wildlife habitat and serve as water recharge areas.

Several state parks and state wildlife areas offer excellent public access to the fish and wildlife resources. A cluster of heavily used state parks and wildlife areas are Spinney Mountain State Park, Charlie Meyers (formerly Spinney Mountain) State Wildlife Area (named after the late Denver Post outdoor writer), and Eleven Mile State Park. Additional state wildlife areas are Badger Basin (gold medal waters), James Mark Jones (deer, elk, pronghorn, small game), Knight-Imler (trout), 63 Ranch (trout, big game, waterfowl), Tarryall Reservoir, Teter (coldwater stream, waterfowl, big game), and Tomahawk State Wildlife Area (trout, deer, elk, pronghorn, small game, waterfowl). The newest state wildlife area, Cline Ranch State Wildlife Area, was dedicated in South Park on September 17, 2011. It consists of 1,635 acres of public fishing access to 2.5 miles of the upper Tarryall Creek and hunting opportunity for big and small game and waterfowl. (Colorado Division of Parks and Wildlife press release, September 5, 2011). State Trust lands that offer public access are Agate Mountain (GMU 58), Antero (GMU 49, 50), Badger Flats (GMU 50, 581), Crooked Top (GMU 46), Dick’s Peak ( GMU 58), Eleven Mile (GMU 581), Hartsel (GMU 58), High Creek (GMU 50), McArthur Gulch (GMU 501), Saddle Mountain (GMU 581), 63 Ranch (GMU 50), Three Mile Mountain (GMU 58), Waugh Mountain (GMU 57, 58), and Wormer Gulch (GMU 58).

Archeological Importance
We understand that archeological investigation has been completed on some lands within the Bald Hill unit. Unit-wide studies of the area are necessary, as documented prehistoric Indian sites have been found. The extent of such sites is unknown. Each of the 10 leases that will be offered at the November lease auction contains the stipulation to œalert lessee of Class I and II paleontological area inventory requirement as well as œto protect cultural resources.

SouthPark National Heritage Area Designation
In 2009, the South Park National Heritage Area designation was approved by the United States Congress and signed by the President. According to Park County, the designation œopens the door to obtain grants and matching funds œto help Park County preserve its valuable history and natural resources and to help others learn to appreciate our preservation of the past. It will promote strongly tourism, ranching, and mining. It also has been designated in 2006 as a Preserve America Community, a national honor awarded by the First Lady to communities that demonstrate strong efforts in preservation, education and tourism programs. Note that none of the 11,969 acres scheduled for the November lease sale is classified by BLM as Visual Resource Management Class II, which would carry an objective œto retain the existing character of the landscape. In its planning, BLM should take into consideration South Park/Park County’s own planning and work and ensure that the heritage aspects are maintained.

Water Quality and Quantity
In addition to the importance of streams and reservoirs for recreation, water quantity and quality are key issues in this area. The upper South Platte watershed has extensive underground aquifers that connect to surface waters through extensive fractures in geological formations. These aquifers are both shallow, being less than 1000 feet, and can extend to depths below 5000 feet. Water contained in these aquifers can migrate through natural geological formations to the surface, which is evidenced by the many springs, wetlands, and aquatic ecosystems that occur throughout South Park. Geothermal springs in the Hartsel area, by way of example, are evidence of migration of water from deep aquifers to the surface. In addition, the shallow aquifers provide the source of well water for many homes throughout South Park, and for water that eventually reaches the Denver Metropolitan area. Water storage reservoirs along the South Platte headwaters are a major water supply source for Denver Water (including Antero, Tarryall, Spinney Mountain, and Eleven Mile).

Oil and gas development has the potential to contaminate the surface and deeper level water aquifers. The COGCC rules do require a limited level of testing and monitoring in a one-mile radius of each well. This testing addresses shallow wells, springs and other sources of surface water. In this area, testing has documented the presence of high levels of radon gas in shallow water wells. There also are naturally occurring levels of radioactivity throughout much of South Park (including dissolved uranium in certain well water supplies) due to the amount of underground uranium deposits. The radioactivity has been documented by past studies of the United States Geological Survey. The 2003 Ground Water Atlas Of Colorado produced by the Colorado Geological Survey, page 190, states: œAn item of concern is the high concentration of radon-222 in the South Park formation greater than 6,000 picocuries/liter. The proposed U.S. Environmental Protection Agency drinking water standard for radon in ground water is 300 picocuries/liter. Other recent studies of wells have provided further documentation of this statement. This high concentration of radon-222 significantly raises the level of analysis that is necessary to prevent additional contamination from oil and gas exploration that utilizes hydraulic fracturing (œfracking). Unfortunately, there is no requirement for either short or long term monitoring for potential contamination of deeper water aquifers below 1000 feet, especially within the zone of hydraulic fracturing. There likely will be radioactive material in any fracking and well drilling liquid that is brought to the surface. (Disposal processes should be clearly defined.)

In addition, fracking requires a significant volume of water. Water is difficult and expensive to acquire in South Park. Options include purchasing water from local towns, water districts, or privately owned water. In certain situations, water could be pumped directly from streams. The cumulative impact of obtaining water for hundreds of wells likely would be significant, particularly if such water affects stream flows and associated ecosystems, shallow water aquifers, agriculture, and water used by the population. The required water needed for full level production of the area –at least for the Bald Hill unit – should be defined, coupled with an assessment of cumulative impacts, especially during periods of drought and low flows, to ecosystems, recreation, agriculture and to water use by the population. To our knowledge, neither the BLM nor the oil and gas industry has undertaken such an analysis.

Air Quality
Air quality matters to residents in the area: human health, property values and quality of life. Extensive production of oil and gas and construction of a pipeline will result in air quality impacts. Such impacts might be difficult to control in the terrain and arid conditions of the Bald Hill unit.


November 4, 2011

Helen Hankins, State Director
Bureau of Land Management
2850 Youngfield Street
Lakewood CO 80215

Keith Berger, Field Manager
Royal Gorge Field Office
Bureau of Land Management
3028 E. Main Street
Canon City CO 81212

Dear Director Hankins and Field Manager Berger:

As hunters, anglers and wildlife watchers who take pride in Colorado’s world-class wildlife populations, we have a special affinity for those areas of Colorado that retain some measure of the wildness and undeveloped landscape of the Rocky Mountain West. That is why we are formally asking the Colorado office of the U.S. Bureau of Land Management (BLM) to make the long-term protection of South Park, Park County, a priority before major energy development changes the face of this special part of the West.

The headwaters of the South Platte River courses through South Park. Its streams and reservoirs are what make popular gold medal streams fishing destinations such as Antero and Spinney Mountain reservoirs possible. The Colorado Division of Parks and Wildlife annually stocks all of these waters with trout that provide fishing recreation for thousands of anglers each year. Anglers have access to dozens of lakes and streams thanks to the leases the state agency has acquired and manages. In addition, the South Platte provides drinking water for approximately 75 percent of Colorado’s population, through Denver Water.

South Park also is prime unfragmented big game habitat with an excellent network of State Wildlife Areas. It offers some of the West’s best elk hunting along with pronghorn and mule deer. Much of South Park is also prime habitat for mountain plover, a species of concern by the Colorado Division of Parks and Wildlife; South Park supplies 15-20 percent of the known breeding population. As one veteran wildlife manager said: œFor someone who loves wildlife, hunting and fishing, you can’t find a better place.

But this sparsely populated area that has long been known for ranching, hunting and fishing and other tourism is now being leased for energy development. The oil and gas that’s wedged into geologic formations thousands of feet below South Park has prompted interest by industry in leasing. These leases lie in key habitats for deer, pronghorn, elk, trout and mountain plover.

In the most basic sense, South Park, one of the West’s last landscapes that retains much of its native habitat and hunting and fishing traditions, is at risk.

As Coloradans and Westerners, we understand that energy development should and will occur. We support responsible energy development that is balanced with the needs of native wildlife populations and the important habitats they require for healthy survival. It is for this reason that the undersigned organizations and residents ask BLM to begin an immediate and formal process that will ensure that the needs of wildlife populations are fully factored in before continuing energy leasing, not as an afterthought. The companies now leasing in South Park must be required to engage in a careful process that assures that local landowners, state and federal wildlife managers and land management agencies have the opportunity to participate in planning and make specific recommendations on where, how and when energy exploration, drilling and production occur.

Many of the companies now developing the West’s energy resources have shown they have the knowledge and capital to use the best and newest technology to reduce the impacts of energy development. They have made great strides with directional drilling, using closed-loop systems for produced water, drilling multiple wells from a single pad and installing remote devices to reduce the number and frequency of vehicles on the roads leading to well pads.

Yet, even with these remarkable technological breakthroughs, BLM must consider reducing access or even preventing drilling, particularly in habitat critical for big game migration, winter survival and fawning and calving areas. Drilling near riparian areas along South Park’s rivers, streams and reservoirs needs to be carefully managed, with appropriate setbacks.

As hunters, anglers and wildlife watchers, we expect our federal agencies to recognize the importance of wildlife-based recreation to local economies and our Western heritage and traditions. Wildlife-based recreation contributes more than $17,790,000 annually to the Park County economy (BBC Research & Consulting study – 2007 statistics), an impressive amount for a county with a population of only 16,206 residents (an 11.6 percent population increase since 2000 according to the 2010 Census). The economic impacts of healthy wildlife populations will grow in importance, as well as tourism in general, provided we act as stewards of the land.

We can only have both responsible energy development and our abundant wildlife resource if BLM requires companies to examine the cumulative impacts of energy development to our land and wildlife. The appropriate local and state agencies must be actively involved in developing comprehensive development plans, wildlife mitigation plans and other regulatory protections.

If we’re to save these last wild places, we need our federal agencies to develop, enact and enforce a regulatory structure that allows energy development without sacrificing what’s best about those places we cherish.

Trout Unlimited and
Sportsmen for Responsible Energy Development
by Robert Meulengracht, Colorado SFRED Coordinator, Trout Unlimited

Colorado Trout Unlimited
by David Nickum

Cheyenne Mountain Chapter (CTU)
by Erik Heikkenen

Tarryhall Fishing Club Board of Directors
by: Ken Black

Theodore Roosevelt Conservation Partnership
by Nick Payne, Colorado Field Representative

National Wildlife Federation
by Michael Saul, Associate Counsel

Colorado Bowhunters Association
by Ivan James II, Vice Chairman for Legislation

Colorado Back Country Hunters and Anglers
by John Gale, Co-Chair

In addition, 208 individuals signed onto this letter of support this week. CWF included the list in the submission on November 4 to the BLM. But, as we did not specifically request permission by these individuals to post their names on the CWF website, their names are not displayed here.

The following maps are attached in Appendix B:

  • South Park Master Leasing Plan Application Boundary Surface Ownership (and federal mineral ownership)
  • South Park Master Leasing Plan Application Boundary COGCC Sensitive Wildlife Habitat
  • South Park Master Leasing Plan Application Boundary COGCC Wildlife Habitat with Restricted Surface Occupancy
  • South Park Master Leasing Plan Application Boundary – CO Natural Heritage Program L3 Element Occurrences of Mountain Plover (Level 3 data set uses an œelement occurrence file format for mapping display, which represents a continued/recurrent generalized location. The spatial polygon data, when mapped, are generalized to 9 square miles to protect this sensitive species.)