Keep Cumbrian Coal in the Hole say: Turn Down Dangerous Coal Mine Plan, For Cumbria and For the Planet

Yesterday was the last ‘official’ date to send in objections to the new ‘amended’ planning application.  You can still send in letters of objection up to the Planning Meeting which is scheduled for the 8th July (if this goes by previous form the meeting will be rescheduled again and again).  Please do send in letters to members of the planning committee. (They have voted yes to this diabolic plan twice before,).

This is the Keep Cumbrian Coal in the Hole objection …

                                          15th June 2020

West Cumbria Mining: Planning Application Ref 4/17/9007: 

Woodhouse Colliery, High Road, Whitehaven

Dear Development Control and Regulation Committee,

I write on behalf of Keep Cumbrian Coal in the Hole, a campaign by Radiation Free Lakeland to ask that the County Council do not approve this amended planning application

We are a civil society group that aims to remove the risk of environmental damage both nationally and internationally that may arise from the presence of an extensive nuclear industry close (to the Lake District National Park, a World Heritage Site). 

On 19th March Cumbria County Council (CCC) granted conditional planning permission for a resumption of the long abandoned onshore coal mining at St Bees to West Cumbria Mining Limited (WCM). This would be followed by the ‘profit making’ offshore phase.   On 20 June 2019, our lawyers Leigh Day wrote to Cumbria County Council. The letter addressed a number of legal issues, including Cumbria County Council’s failures to consider:

  • Greenhouse gas (GHG) emissions of the mining operations
  • The need for, and GHG impacts of, Middlings Coal
  • The Government’s Net Zero target.

Despite being alerted to those concerns, Cumbria County Council ratified its decision on 31 October 2019. Mrs Justice Beverley Lang agreed that those legal issues  we raised were arguable and justified a public hearing.

In order it seems to circumvent the scrutiny afforded by Judicial Review and the criticisms levelled in the Green Alliance report the Developers have now submitted a new planning application.  This is despite the  CEO of West Cumbria Mining publicly stating that : “If you asked me to get planning for another one, I would say it would be impossible right now unless something significantly changed,”  Mark Kirkbride, British Tunnelling Society lecture reported in New Civil Engineer 26th February 2020    

The CEO of West Cumbria Mining went on to say:

“When we applied for planning it was a different set of planning rules. Now if you were to submit planning you’d have to try and do whole life greenhouse gas assessments.”  Given that steel can and should be produced without the use of coking coal – the additional GHG emissions arising from the use of coking coal from this mine to make steel should be taken into account . 

The amended planning application while attemping to address the original challenges we raised has compounded our concerns about the cumulative impacts of this mine. Regarding climate The use of coal from this mine will undermine the government’s net zero target, carbon budgets and policy to adhere to the Paris Agreement. 

NEW PROCESS TO TURN THERMAL/MIDDLINGS COAL INTO COKING COAL

The original big selling point of this mine proposal was that it would produce “premium” quality coking coal. In order to answer legitimate criticisms on the previous ‘by-product’ of middlings, the developers propose now to turn the 15% (or more) by-product of middlings/thermal coal into coking coal.  The details on this are sketchy. WCM say that in order to turn the thermal coal to coking coal there will be an additional process to enhance separation and removal of pyritic sulphur matter but then go on to claim optimistically that: 

“ Since this adjustment relates only to the internal process …. and no difference to external appearance …. it is not considered that it will give rise to any material effects of the proposal.”   This is clearly impossible – the removal of pyritic sulphur and the myriad other polluting imupurites from the middlings would leave an additional and unaddressed toxic footprint.  There would also be additional energy and freshwater usage.   In order to address the issue of the new and inferior quality of product, West Cumbria Mining propose a relaxation of the conditions that determine the specification for metallurgical coal.  The developer justifies a relaxation on the grounds that the original specification does not reflect the (now inferior) product that will be the final output from the Woodhouse Colliery, specifically with regard to ash and sulphur content.  WCM are also asking for removal of the condition that the product must be used only for steelmaking.  This is entirely understandable as once exported, WCM have no way of ensuring their coal is used solely for steel making (despite their considerable PR in this regard). 

METHANE

The WCM report by Dr Neil Bristow says that “WCM is committed and obliged to install a methane capture and drainage system. …It will be put to use as an energy source of the mine with no atmospheric impact.”    This disingenously suggests the impossible namely that 100% of the methane emitted by the mine (continuously by the exposed and broken coal) would be “used” …”with no atmospheric impact.” In the first two decades after its release, methane is 84 times more potent than carbon dioxide Overall it is roughly 30 times more potent than CO2 as a GHG.   WCM propose to build the methane capture plant by year 5.  Calculations have been done independently which suggest that “ 13.9MCu m of methane could be produced and if the Capture system is not operational by then (year 5) it is possible that 38.75M cu m will be released before then. That is an equivalent effect on the atmosphere of 856486 T of Co2.  From year 5 the Methane capture plant will need to capture about 13.9Mcu m per year if there is to be ‘no atmospheric impact’. Where will it be stored? To put this volume into context the old style town gasometers held about 50000cu m. So WCM are planning to capture and store the equivalent of 5.3 gasometers per week, every week!!!   This is a substantive GHG impact on which the council needs information.

POLICY DC20 THE WATER ENVIRONMENT

Cumbria County Council’s Policy DC20 states “Proposals for developments should demonstrate that they would have no unacceptable quantitative or qualitative adverse effects on the water environment, both within the application site and its surroundings, including surface waters, coastal waters, private water supplies and groundwater resources. Proposals that minimise water use and include sustainable water management will be favoured.” 

FRESH WATER

Despite requests to them for information by us and other NGOs, West Cumbria Mining have not demonstrated what the impact on ground water will be.  There is no information in the public domain regarding the projected quantity of freshwater abstraction from the Byerstead Fault or potential hydrological impact.   This is an important issue in West Cumbria which is already suffering from fresh water stress.   WCM again use disingenous language to suggest that virtually all freshwater would be recycled suggesting that there would be minimal abstraction.  There is no indication of exactly how much water WCM expect to abstract per day from the Byerstead Fault – a named geological fault.  The Marine Conservation Zone documentation describes it thus.. “This site lies within the boundary of the rMCZ11 and is situated in Saltom Bay on the Cumbrian coast north of St Bees Head. The site includes an area known locally as Byerstead Fault, a recovering intertidal zone that is showing a return of species diversity..

“Water is heavily used in coal processing and would be obtained from the following sources: Groundwater (Byerstead Fault) “   

WCM presentation to CCC 19th March 2019

Cumbria County Council’s Minerals and Waste Local Plan states:

  • “16.36  Proposals will, therefore, be required to demonstrate that they do not have unacceptable adverse impacts on water resources. Any adverse impact should be avoided or, if unavoidable, suitable mitigation measures should be proposed. Unacceptable quantitative or qualitative impacts are those which are deemed so by the Environment Agency, as part of the planning application process.
  • 16.37  Sites proposed for development will need to be subject to site specific hydro- geological assessment, in order to determine their acceptability. Some factors influencing this process are the type of facility, the pollution control measures adopted, the potential impacts on groundwater resources and the groundwater vulnerability of the site.
  • 16.38  With respect to mineral applications, there is a requirement to establish the relationship that the development has with the water table. If the base of the excavation is near or below the anticipated water table, then there will be a requirement to establish an appropriate monitoring scheme. In some circumstances, the development may be considered unacceptable if it is carried out below the level of the water table”. 

Not only will WCM be abstracting fresh water from the Byerstead Fault but the development is in the region of the West Cumbria Aquifer – a water resource that is currently used to provide fresh water for much of West Cumbria.  A region that is heavily faulted and complex.

WCM have revealed so litte detail about their fresh water usage that there can be no proper scrutiny or oversight by Cumbria County Council or the public.
image

Aquifer beneath West Cumbria in the vicinity of WCM proposal

Image: BGS

 

 

image

The image above is from ESI retained by WCM for “hydrological and hydrogeological support”. 

The amended planning application gives no idea of exactly how much water  would be abstracted from the Byerstead Fault (see above) at peak production of the mine – or of the damage likely to be caused by this abstraction

HAZARDOUS INSTALLATIONS – COAL AND NUCLEAR WASTE AT SELLAFIELD (and DRIGG)

When preparing Local Plans, local planning authorities are required to have regard to the prevention of major accidents and limiting their consequences. They must also consider the long-term need for appropriate distances between hazardous establishments and population or environmentally sensitive areas. They must also consider whether additional measures for existing establishments are required so that risks to people in the area are not increased.

Cumbria County Council are no exception and the Minerals and Waste Local Plan states that:

  • 5.102. “Permission should not be given for the extraction of coal unless the proposal is environmentally acceptable, or can be made so by planning conditions or obligations; or if not, it provides national, local or community benefits which clearly outweigh the likely impacts to justify the grant of planning permission”. 

and…

13.23  In some cases, a proposed development may itself have multiple environmental impacts that would be acceptable on their own, but which may exacerbate adverse impacts caused by other developments. Such cumulative environmental impacts can derive either from a number of developments with similar impacts being operational at the same time in an area, or from a number of concurrent developments in an area with different impacts or from a succession of similar developments over time. They can include the impacts of noise or traffic, and impacts on local communities, the landscape, water resources or wildlife habitats.

  • 13.24  Local Plan policy needs to take account of the extent to which a particular locality, community, environment or wider area can reasonably be expected to tolerate such adverse cumulative impacts. This may involve mitigation of impacts or the timing of permissions and phasing of operations to make a proposal acceptable. Where cumulative impact presents a potential issue, applicants should be able to demonstrate that this has been adequately assessed and addressed in a planning application.

The Office for Nuclear Regulation’s official remit to consult on planning applications is 7.4 km from Sellafield. The coal mine extends to 8km from Sellafield i.e. 600 metres difference. In the absence of any detailed regard to cumulative impacts by either the developers or Cumbria County Council or the regulators we have commissioned a Briefing Paper on the radiological implications of West Cumbria Mining’s plan.

The author of the paper, Tim Deere-Jones is an Independent & non-aligned Marine Pollution Researcher & Consultant whose clients include: WWF, The UK Wildlife Trusts, European Climate Foundation, Greenpeace International, European Coastal Local Authorities and many others.

This comprehensive report concludes that the plan by West Cumbria Mining should be abandoned.

The introduction and Major Conclusions are reproduced below…..

Introduction:                                                                                                                                                        This Briefing offers a review of the possible seabed morphological changes and marine pollution implications of the sub-sea coal mining venture proposed by West Cumbria Mining (WCM) at their Woodhouse Colliery site near St Bees Head.

WCM have designated and identified a sub-sea mining zone of the Irish Sea lying to the west of St Bees Head and extending at least 8kms offshore and southwards to within about 8km of the Sellafield site.

The WCM extraction proposals, using continuous mining methods, predict the extraction of approximately 3 million tonnes of coal per year over a 50 year period. This extraction rate will eventually generate a huge subterranean void space of approximately 136 million cubic metres (a volume greater than that of Wastwater Lake).

This briefing considers the impact of the creation of such a sub-sea void space on the possibility of sea bed subsidence in the area of the WCM designated sub-sea mining zone, and the subsequent potential for marine radiological pollution as a result of the subsidence induced re-suspension of the heavily radioactively contaminated sea bed sediments of the Cumbrian Mud Patch and surrounding sea bed areas.

………………………………………………………………………………………………………………………………………………….  

Major Conclusions

It is noted that there is a lack of data about the status of the existing historical galleries and workings of the West Cumbrian Coalfield. 

It is noted that there is a lack of accurate data about the history and status of any subsidence seismicity in the coalfield.  

It is noted that the BGS have concluded that the coalfield is heavily faulted and has a long history of subsidence and that it appears that there are no plans to monitor for any subsidence prior to, during the operational phase or in the post operational phase of the Woodhouse Colliery.  

It is noted that sub-sea monitoring equipment is available and could be deployed in the region in order to monitor for any subsidence effects arising as a result of the proposed Woodhouse Colliery “mass removal” extraction.

It is concluded that there is a real potential for subsidence to occur as a result of the “mass removal” and the creation of extensive sub-sea void spaces, and it is noted that such subsidence could generate earthquake and liquefaction effects which may extend onshore as far as the Sellafield/Moorside sites.

It is concluded that any seabed subsidence in the WCM designated sub-sea mining zone would generate re-suspension of Cumbrian Mud Patch heavily radioactive seabed sediments. It is noted that such an event would generate elevated doses of man-made radioactivity to coastal zone populations and sea users along both the Cumbrian coast and at “downstream” regions further afield.

Given the potential for such a radiological effect and the delivery of increased doses of radioactivity to relevant coastal zone communities, some of which have already been identified by the authorities as Coastal Critical Groups, the Woodhouse Colliery proposal (especially in the absence of any precautionary mandatory subsidence monitoring) is strongly contra-indicated and should be abandoned”

The full report is attached as a pdf

CONCLUSION

The weight of evidence is overwhelmingly clear that this application should be unequivocally refused.  We urge Cumbria County Council to take eagerly with both hands this new opportunity, via the amended planning application, to turn down this dangerous coal mine plan, for Whitehaven, for Cumbria, and for the Planet.  

 

Refs:

Cumbrian Campaign Group Granted Permission for Judicial Review https://www.leighday.co.uk/News/Press-releases-2020/February-2020/Cumbrian-campaign-group-granted-permission-for-jud

The Case Against New Coal Mines – Green Alliance https://www.green-alliance.org.uk/the_case_against_new_coal_mines_press_release.php

Cumbrian Coal Mine Could be ‘the last one’ in the UK – Tradelink Publications Ltd  https://mqworld.com/2020/02/26/cumbria-coal-mine-last-one-uk/

A more potent greenhouse gas than carbon dioxide, methane emissions will leap as Earth warms – Science Daily https://www.sciencedaily.com/releases/2014/03/140327111724.htm

Methane https://keepcumbriancoalinthehole.wordpress.com/2020/06/11/big-holes-in-mine-developers-plan/

UU Plans to Keep Drawing West Cumbria’s Water from Egremont Boreholes https://www.newsandstar.co.uk/news/17345135.united-utilities-plans-to-keep-drawing-west-cumbrias-water-from-egremont-boreholes/

Byerstead Fault – Marine Conservaton Zone https://assets.publishing.service.gov.uk/government/uploads/system/uploads/attachment_data/file/82717/mcz-i1-irish-seas-20121213.pdf

West Cumbria Aquifer https://www.bgs.ac.uk/research/groundwater/shaleGas/aquifersAndShales/maps/aquifers/CarboniferousLimestone.html

WCM have not demonstrated how much freshwater would be abstracted from the Byerstead Fault at peak production –  https://esi-consulting.co.uk/our-work/minerals-waste/hydrological-hydrogeological-support-proposed-metallurgical-coal-mine/?fbclid=IwAR2xvAcZjPly1AGS0nT8TLVHOuEAzKcciH_–G9NQv_m5kGFNznBdOOMc9s

Nightmare Coalmine Near Sellafield Approved. https://realmedia.press/sellafield-coal-mine/

Great News! Green Light for Coal Mine is Now Amber, Thanks to You!

Whitehaven to St Bees

Image: Wild honeysuckle and Irish Sea 

There is great news!

The unanimous green light that Cumbria County Council had given the developers, West Cumbria Mining,  has now effectively turned back to amber.   Cumbria County Council has confirmed that it will no longer rely on the resolution decision that we were challenging.

This turn around would not have happened without youramazing support for the Judicial Review (which had been granted full approval to go ahead and challenge the County Council’s decision). 

West Cumbria Mining has now submitted a revised planning application to Cumbria County Council.  This revised plan seeks to answer the legal challenges which were to be brought by us in the Judicial Review.

We believe the true reason why West Cumbria Mining has submitted a revised planning application is to try to defeat our legal challenge.

For example the middlings coal will now, say West Cumbria Mining, with this new plan be magically transformed into coking coal!

Our brilliant lawyers at Leigh Day will now seek costs from Cumbria County Council and WCM, because we have in effect achieved what we set out to do, which was to overturn the council’s unanimous decision to approve the coal mine.

We are seeking legal costs in order to keep our fighting fund for another day.  This is should we need the fighting fund after the council’s planning meeting to decide whether or not to approve WCM’s new and improved cunning plan!
So, there is now an opportunity to firstly lobby the council so they do not, yet again, say yes to this revised planning application for the first deep coal mine in the UK in decades.

Should Cumbria County Council say yes again, Keep Cumbrian Coal in the Hole will challenge that, again!

But first things first – the revised plan can be seen Online via the County Council’s website at: planning.cumbria.gov.uk.   Application Ref No: 4/17/9007

Even if you have written in opposition to the plan before please do write again…this is in effect a new plan.

I will send out info soon to help people challenge this revised planning application with your own letters of opposition to Cumbria County Council.   We have not got long – the (first) official deadline is June 15th. 

We can Keep Cumbrian Coal in the Hole !! 

“Magical Coal Mine” Demo Outside County Offices Kendal, 31st Oct from 8.30am till the meeting starts at 10am

Bloody Magical Coal Mine I am!  .jpg

 

The presentation below has been sent to the Development Control & Regulation Committee.  I will read a shortened version of it out on behalf of Keep Cumbrian Coal in the Hole at the meeting on the 31st in the County Offices, Kendal.

There will be a demonstration ahead of the meeting from 8.30 for people to make their views known about this outrageous plan. Bring Banners – bring yourselves!

You can send your own letter of objection in before 31st (do it quick) doesn’t need to be loads just a few lines of why Cumbria County Council is wrong to be ratifying this outrageous decision.  They even say this coal mine would be “carbon neutral” and make “carbon savings” this is incredible magical thinking.  Phone, Write to

01539 713 548

Keep Cumbrian Coal in the Hole –

Presentation to Development Control and Regulation Committee 31st oct

Application ref no 4/17/9007

Intro: 

Keep Cumbrian Coal the Hole is a campaign by civil society group Radiation Free Lakeland.  We were first alerted to this coal mine as it would extend to within 5 miles of Sellafield. The risks are multiple and are on a planetary scale.

Carbon Neutral?

The overriding and often repeated message from the council’s reply to Leigh Day’s questions is that the mine would be “broadly carbon neutral”.  This assumption is crucial; yet, neither the addendum report, nor in fact any of the underlying application documents,  provide the evidence to support it.

It seems that this “carbon neutral” claim is simply based on vague assumptions that “coal production at Whitehaven would substitute for coal production elsewhere.”   Really?

Clearly, the consideration of the likely emissions output from this development is absolutely key for any decision made by this committee. The Committee must come to a reasonable conclusion on the expected level of greenhouse gas emissions that will be produced over the next 50 years.  It must do so, so that it can decide how much weight to give to that factor in the planning balance. The Applicant has simply failed to provide the Committee with sufficient information to carry out this task – this was a key point highlighted in the Leigh Day letter and it has not been addressed by the addendum report – which merely reiterates assertions about how the market might respond to the increased output in Whitehaven.

  1. With respect, the addendum report has raised more questions than it has answered. Notably, it states at para 4.4 of the addendum report, that the original Committee Report attached “moderate weight” to the “CO2 emissions from the extraction and processing of the coal and their impact upon climate change” which weighed against the proposal.  That must have been based on an understanding that the mine would produce CO2 emissions (as undoubtedly is the case).  Somewhat oddly, the Addendum Report now seeks to clarify that this should have said that “greenhouse gas emissions globally as a result of the extract and processing of coal would be broadly in balance”.  It refers to other paragraphs of the original report (6.47 and 6.406) where the import-substitution point was made – however, the import-substitution point concerns emissions from reduced transportation.  It does not support the argument that the coal produced further afield will stop being produced at all.  So it cannot be relied upon to factor out the additional emissions associated with bringing a new coal mine into operation.  
  1. On the emissions expected from exports of coal from the mine, we must emphasise that the vast majority of output is expected to be exported. The proposed amount of coking coal for export to Europe and beyond would be a staggering 2 million tonnes annually.  Whereas the amount earmarked for UK use would be a more modest 360,000 tonnes. So most of the coking coal produced is destined to travel abroad.  In relation to this, the addendum report relies on assumptions that this will all be exported to “Europe” and will replace alternative sources of coking coal from further afield.  Yet there is absolutely no restriction on where the coal would be exported to.  Nothing prevents it from travelling further afield.  And, if it does, all the assumptions on emissions savings through import substitution fall on their face. 

Has the Committee properly considered this? Where is the evidence for this idea of “substitution”?  Do the councillors really believe that a mine elsewhere will stop producing coal because a mine in Cumbria has opened up under the Irish Sea, five miles from Sellafield? More importantly, do they have before them sufficient evidence to support such claims.  In our view, they clearly do not.

Demand for Coking Coal for Steel

You acknowledge that the demand for coking coal is led by the demand for steel.  However there is no acknowledgment in your report that technology and politics has moved on with the Department for Business, Energy & Industrial Strategy (BEIS) announcing in August,  new measures to “enable a pathway to lower carbon steel production and support broader efforts to decarbonise industry”.  

Nor is there any recognition of the possibility that greater supply of coking coal might impact on worldwide prices, with a real chance that demand will increase (for both the coking coal, itself, and for steel) due to reductions in the price.

Middlings Coal

The middlings coal you say would be up to 15% of coking coal extraction.  To describe up to 15% of production as a “by-product” is disingenous. It is a significant amount of production, in and of itself, and members should not be distracted by this type of terminology.  The level of middlings coal produced could easily be a development in itself, so the impacts of it need to be fully considered.

You say that an assessment of CO2 emissions “would not be a reasonable requirement.”   Given that the UK government has just signed up to a Climate Emergency we say that a full and comprehensive assessment including the various scenarios of transport exports to near Europe, far Europe and beyond, of the CO2 emissions from both coking and middlings coal is an entirely reasonable requirement.

At paragraph 6.71 of the original report, it stated in relation to middlings coal production that “There are valid arguments made in respect of climate change, but we consider these issues could be better managed by applying regulatory controls at the point of use.” The addendum report now seeks to clarify, at para 4.14, that the mere reference to there being “valid arguments made in respect of climate change” meant that the issue was weighed in the planning balance but was not considered of sufficient weight as to justify the refusal of permission, or to require a condition requiring disposal of the middlings coal.  That is not how we read the original report.  It is not clear at all what the “valid arguments in respect of climate change” referred to were and by reference to other regulatory controls, it was clear that the officer did not factor emissions from middlings coal production into her assessment.

Interestingly, the addendum report now recognizes that the burning of middlings coal would “undoubtedly” result in the generation of CO2 but argues that it would not be a “reasonable requirement” to expect the decision-maker to assess possible emissions associated with it.  This is a fundamental failing in a case where the officers are nonetheless arguing that the “greenhouse gas emissions of the mining operations would be broadly carbon neutral” and the “greenhouse gas emissions globally as a result of this extraction and processing of coal would be broadly in balance”.  

With respect, you cannot reach a conclusion that operations are carbon neutral if you have failed to estimate the emissions associated with 15% of production.

If you are going to assess the net carbon output of a development, then you have to assess the whole of it.  To do otherwise is irrational.

Finally, on middlings coal, we can still see no reasoning as to why the level of output has been limited by condition to 15%? Why not 10% or 25%? What evidence or understanding rationalises this conclusion and how has it been shown to be necessary, relevant to planning, relevant to the development to be permitted, or reasonable in all other respects?

Net Zero

The addendum report concludes that whilst the new net zero target makes the Climate Change Act 2008 target more challenging, it does not change the original report’s assessment on the impact on climate change and efforts to reduce CO2 emissions, which were both treated as key considerations in that report.

With respect the addendum report fails to appreciate the substantive change brought about by the new net zero target.  By 2050 there needs to be a 100% reduction in emissions as compared to 1990 levels.  That means that all emissions need to be offset, or somehow compensated for, so as to produce a “net zero” emissions output level overall.

This development will result in significant emissions far beyond 2050.  If consent were to be granted next year, the permission would last until 2070.  Even if the Committee were to accept – what we say are the incorrect – assumptions that the production of coking coal will be carbon neutral, it now seems accepted by officers that the production of middlings coal will result in unquantified levels of emissions.  That – at the very least – needs to be properly factored in.

The Committee must have due regard to the emissions output that any permission will grant consent for beyond 2050 and what will be needed to offset this.  This is clearly a material consideration in light of the legally binding net zero target.

And, it only supports the need for the Committee to obtain robust evidence from the Applicant on what exactly the likely emissions output will be.  To reiterate, we do not consider the Committee has sufficient information at present.

Carbon Savings?

Finally and without any supporting evidence at all the report claims that “whilst greenhouse gas emissions of the mining operations are very likely to be carbon neutral, it is still considrered that some carbon savings must exist  from reduced transportation distances.” (4.6)  Incredible!  So this massive coal mine which proposes to operate over 50 years would actually result in carbon savings from reduced transport with this ‘home grown’ coking coal-?   Even though the plan is to export the majority of coal to Europe and beyond. 

We ask that the Council do not ratify this disastrous and planetary damaging application for the first deep mine in the UK in 30 years extending to within 5 miles of Sellafield.  There is no supporting evidence at all to back up the false claims of the mine being “carbon neutral” and making “carbon savings.” 

COAL!! BBC & Magical Thinking

ash background beautiful blaze
Ashes and Dust

The BBC’s latest Christmas Cracker is to promote the first deep coal mine in the UK in 30 years like there is no tomorrow.

Yesterday’s Radio 4 PM programme treated listeners to the most highly sweetened, sickening concoction of greenwash promoting a coal mine.  The plan for Woodhouse Colliery under the Irish Sea extending over 50 years towards Sellafield  seems to be enjoying the most magical of magical thinking.

It is an enigma wrapped up in coal dust.  Where is George Monbiot?  Where is David Attenborough?   Where is the Extreme Energy Network?  Where are Extinction Rebellion? Where is Everyone?  What is the BBC’s Game?

COMPLAINT TO THE BBC

I was interested to hear the PM broadcast about the proposed first deep coal mine in over 30 years. We heard from the mining developers, the Mayor of Copeland and former miners, all of whom expressed delight with the proposal. There were no dissenting voices. The reporter’s questions were superficial and too easily satisfied by the developers cynical reassurances that the steel would be used for wind turbines. This is nonsense to hoodwink the public, they could just as well have pointed out that the biggest steel structure in the world is nuclear related -over Chernobyl. This bias from PM is shocking given that the West Cumbrian coal mine is the most methane rich in the country. Despite false assurances from the developers on the programme, it proposes to produce middlings, (thermal coal) as well as coking coal, the majority of which is for export. The DEFRA Emission Factors for Company Reporting, 2017 give upstream emissions from coking coal supply as 442kg CO2e per tonne of coal. The mine will extend closer to Sellafield than ever before with the attendant risk of earthquake from such huge abstraction of coal. I expected to hear from at least one of those opposing the mine to point out the cumulative dangers, but the programme ended in a congratulatory tone. This is shocking bias from the BBC given that this is a development which is due to go before Cumbria County Council maybe as soon as February.

Complaint to the BBC Woodhouse Colliery 27,12,18