Programs: Water Quality

Monitoring Water Rights and Improving Water Quality

We approach improvements to water quality by also addressing issues with water quantity. Using new instream flow standards and technologies, we advocate for adequate bypass flows at all permitted diversions, as well as stronger enforcement of unpermitted diversions and point source pollution. The program area differs from others, in that sometimes a systems-approach is not possible, therefore we occasionally engage in water rights processes to place appropriate restrictions on use or pursue water quality enforcement against egregious violations.

Friends of the Eel was the first environmental organization in the region to speak out about the cumulative impacts that cannabis cultivation has on our landscape. A sustainable industry is possible, and many are working hard to realize that today. We are proud to play a role in helping to funnel resources to advance that effort and to ensure that county regulation of the industry is meaningful and effective.

Water Rights

Water Quality

Cannabis

Cannabis

Water Rights

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Water Quality

The Long Road to Marijuana Regulation

EcoNews October 2013 By Scott Greacen Under the latest so-called Cole memo, US Attorneys are directed to avoid marijuana prosecutions where there is a regulatory system in place that will keep pot away from kids, out of interstate commerce, and out of the hands of...

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Cannabis

FOER Comments on Hum Co Cannabis Ordinance Final EIR

Wednesday, March 28 2018 Humboldt County Board of Supervisors via email to SLazar@co.humboldt.ca.us Re: Commercial Cannabis Land Use Ordinance and FEIR Dear Supervisors; Friends of the Eel River (“FOER”) submits the following comments to supplement our previous...

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Tribes, Conservationists Demand Tougher Cannabis Regulations

PRESS RELEASE Karuk Tribe • Yurok Tribe TRIBES, CONSERVATIONISTS DEMAND TOUGHER CANNABIS REGULATIONS Excessive Number of Cannabis Operations Threatens Humboldt’s Fish, Wildlife, and Water Quality Eureka, Calif. – Representatives from the Karuk Tribe, Yurok Tribe, and...

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Humboldt, We Have A Problem

When I first started working on northern California’s Klamath River 15 years ago, the running joke was that there were two things worth talking about: kind bud and spring chinook. Fast forward to today, and while weed and fish still top the list of North Coast...

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What Effective Cannabis Regulation Might Look Like

A sustainable set of policy solutions to the environmental, social, and legal challenges presented by the Green Rush needs to:

    Reflect Community Concerns

    The spectacular failures of marijuana prohibition are to a large degree unanticipated problems generated by yesterday’s apparently simple solutions to complex problems. Better solutions address all critical concerns and stakeholders.

    Optimal solutions are most likely to emerge from an open process that seeks out expert and lay perspectives on problems and solutions and looks ahead to future changes.

    Reduce Cumulative Impacts

    Rising environmental impacts associated with the Green Rush threaten our iconic North Coast rivers, fish and wildlife.

    Summer water diversions must be halted, and sources of excess sediment corrected, to give threatened coho salmon and steelhead their best shot at recovery.

    Environmental review at the program level to ensure impacts are limited.

    Effective regulation should:

      • Halt Green Rush increases in the number and scale of cultivation operations.
      • Reduce watershed impacts of cultivation in general, not just willing permittees.
    Work Toward Comprehensive Solutions

    While Cannabis remains federally prohibited, even state legalization can only go part of the way to correcting the unintended consequences of prohibition. Nonetheless, county-level regulation should go as far as possible down that road, not least to show state and federal policy-makers where we would like to go.

     

    • Regulate all but de minimis individual cultivation.
    • Appropriate limits on personal, medical, and commercial production.
    • Include both willing and unwilling cultivators on the private landscape.
    • Consistent to the extent possible with Department of Justice guidelines for state legalization and regulation.
    Be Practicable and Effective

    It is essential that the marijuana industry itself take effective responsibility for reducing its watershed impacts to the greatest extent possible. Due to the peculiar circumstances of the industry’s long evolution under prohibition, enforcement efforts targeting specific environmental harms associated with marijuana cultivation have been limited in scope and effectiveness.

    At the same time, enforcement will remain an indispensable element of any comprehensive approach to managing the marijuana industry and its environmental impacts. Better-targeted and better-funded enforcement, coupled with incentives structured to support community-based watershed protection efforts, can drive better outcomes on the ground and in our streams.

     

    • Adequate funding and clear direction for enforcement and inspection measures prior to implementation.
    • Growth of permitting program should reflect agency capacity and need for adaptive management.
    • Nuisance abatement to address operations in violation of ordinance.
    • Incentives by watersheds as neighborhoods correct sediment sources and protect summer stream flows.
    • Disincentives: Uncorrected willful violations of permit terms disqualify permittee and parcel.
    Implement Sustainable Practices
    • Deter unsustainable practices to the greatest practicable extent: No indoor cultivation, pesticides, or water hauling.
    • Individual parcels: Suitability screens, site fixes, and BMPs in operation.
    • Watershed and community level: Net compliance with water protection measures, including winter diversion rates, no summer diversions, and effective sediment abatement.
    • Where effective practices have been demonstrated at the subwatershed level, increases in net and individual parcel cultivation may be considered.
    • Fund and support prevention and remediation of trespass operations, watershed restoration, and pollution prevention.
    Reflect Limits
    • Limit total number of permits.
    • Limits on scale by parcel size, location, parcel suitability, and other concerns.
    • Permits only to natural persons.
    • Permits limited to one per person and one per parcel.
    • No incentive for parcel division: If a parcel is split, the net limit on the two remaining parcels may not be greater than the original parcel for a period of ten years.

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    Contact Us

    Membership forms and other printed material may be mailed to:

    Friends of the Eel River
    PO Box 4945
    Arcata, CA 95518

    Email: foer(at)eelriver.org

    Phone: (707) 798-6345

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