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Middle Rio Grande Regional Water Plan

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<strong>Middle</strong> <strong>Rio</strong> <strong>Grande</strong> <strong>Regional</strong> <strong>Water</strong> <strong>Plan</strong> Comments Last Updated 05/24/2016<br />

Comment Page<br />

Paragraph or<br />

Section<br />

Number Number Number Comment<br />

134 11 Section 5, 2nd Why is the last sentence on this bullet included, it should be deleted. There were many concerns (as<br />

bullet on pg 11 there were with the ESA Biological Opinion).<br />

135 15 5.1.2, 2nd<br />

paragraph on<br />

pg<br />

CTP results aren't depicted with the steady decrease (as shown in the URGIA data).<br />

136 24 5.5.2, 1st bullet The sentence "• The drought adjustment is applied only to the portion of the administrative water supply<br />

that derives from surface water " is incorrect. Change to read: "Drought and climate change impact both<br />

groundwater and surface water." New Mexico Universities Working Group on <strong>Water</strong> Supply<br />

Vulnerabilities, Final Report to the Interim Committee on <strong>Water</strong> and Natural Resources, August 31, 2015,<br />

https://www.documentcloud.org/documents/2461621‐droughtworkinggroupreport‐final.html<br />

137 16 5.1.2, 1st bullet<br />

on pg<br />

138 16 5.1 last<br />

paragraph<br />

139 16 5.2, 2nd<br />

Paragraph<br />

If flows are projected to be "much lower" where is that gap reflected? How much is "much lower"?<br />

Comment Type<br />

(Technical or<br />

Process) Commenter Steering Committee Comments<br />

Technical Elaine Hebard<br />

Common<br />

Technical<br />

Platform<br />

Common<br />

Technical<br />

Platform<br />

Common<br />

Technical<br />

Platform<br />

How does this mesh with the CTP? Either we are to plan to a never changing line ‐ drought‐ or a graphic<br />

which says things are okay. How does that help with the "imperative"?<br />

The report states: "When evaluating surface water information, it is important to note that streamflow Common<br />

does not represent available supply, as there are also water rights and interstate compact limitations. The Technical<br />

administrative water supply discussed in Section 5.5 is intended to represent supply considering both Platform<br />

physical and legal limitations, but excluding potential compact limitations."<br />

I'm confused. Does Longworth's 2005 and 2010 reports reflect the physical and legal limitations? If so,<br />

what was the point of creating a CTP? All that was needed was to multiply Longworth's results by the<br />

population estimates. The rest of the information is fairly irrelevant. If Longworth's report does not<br />

include water rights and interstate compact limitations, then how are those to be accounted?<br />

Elaine Hebard<br />

Elaine Hebard<br />

Elaine Hebard<br />

Elaine Hebard<br />

140 5.2 No mention of use of EBR for MRG water rights owners Process Elaine Hebard<br />

141 18 5.3, 1st Change the 1st sentence to read: "Groundwater accounted for about 30 percent of all water diversions in Technical Elaine Hebard other's had the same comment and the wording should be revised<br />

paragraph the year 2010 (Longworth et al., 2013). It supplies most of the region’s small drinking water systems and<br />

provides 40 ‐50% of supply to the ABCWUA"<br />

142 20 5.4, 3rd<br />

paragraph on<br />

pg<br />

143 20 5.4, 3rd<br />

paragraph on<br />

pg<br />

Add this information:<br />

"Another concern has to do with the mixed waste landfill on Kirtland affecting the regional aquifer in the<br />

Albuquerque. The last decade has seen an increasingly rapid growth in the hydraulic fracturing segment<br />

of the oil and gas industry. This new technology requires that unsustainable quantities of clean water be<br />

removed from the natural water cycle to recover previously irretrievable oil and gas in areas once<br />

considered non‐profitable. Due to the lack of oil and gas ordinances in place, there is great potential for<br />

unregulated oil and gas exploration and development in the Albuquerque Basin. Without local regulation,<br />

local governments will not have the ability to regulate their oil and gas and water futures for themselves."<br />

Add this information:<br />

Because of the growing worldwide market from these hydraulically fractured petroleum products, and<br />

the resulting economic pressures, every water plan and policy should include considerations for the<br />

realities of oil and gas production needs versus the essentials for a continuous adequate amount of clean<br />

water necessary for human survival."<br />

144 8 Because of the growing worldwide market for these hydraulically fractured petroleum products, and the<br />

resulting economic pressures, every water plan and policy should include considerations for the realities<br />

of oil and gas production needs verses the essentials for a continuous adequate amount of clean water<br />

necessary for human survival.<br />

145 22 5.4.2, 2nd<br />

bullet on pg<br />

Delete bullet regarding ISC comment. Why is this in the MRG plan? There were lots of comment letters<br />

written, as there are on various actions. If one is included, must include them all. Or make a general<br />

comment regarding the issue.<br />

146 24 5.5.1 "Diversions, which provide a measure of supply that considers both physical supply and legal<br />

restrictions." Is this what Longworth's report measures?<br />

147 5.5.2 "The drought adjustment is applied only to the portion of the administrative water supply that derives<br />

from surface water." Problematic, see comment for 5.1.2 Recent Climate Studies<br />

Technical<br />

Technical<br />

Technical<br />

Technical<br />

Technical<br />

Common<br />

Technical<br />

Platform<br />

Elaine Hebard<br />

Elaine Hebard<br />

Elaine Hebard<br />

Elaine Hebard<br />

Elaine Hebard<br />

Page 13 of 17

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