Wednesday, December 29, 2010

Letter sent to Loudoun Water - Dale Hammes and Fred Jennings

12/20/10
Dear Mr. Hammes and Mr. Jennings,
The undersigned are in receipt of your letter dated November 24, 2010, which outlines the determination by the Virginia Department of Health (VDH) that PW-1 at Raspberry Falls (RF) is GUDI (Groundwater Under the Direct Influence).  PW-1 was taken off-line by Loudoun Water (LW) sometime after being notified by VDH because LW did not have the means to treat our water under standards dictated by the Federal EPA.  
Although you believe our water is still safe, we do not.  We believe that our remaining well, PW-2, would be considered GUDI had it been properly tested by LW under the objective GUDI factors since inception.  We also believe that if LW and VDH had acted upon the subjective GUDI factors (including assessing known risks and taking a common sense approach) that are within their purview, PW-2 would also be considered GUDI.  
To date, PW-2 has already shown indicators of GUDI and we believe it is down-gradient from numerous risks, including an active bison farm less than 1,000 feet away that is riddled with sinkholes.  Statistically speaking, if you follow the topography of RF, including the above ground streams and the vast sinkhole patterns, the below surface gradient is most likely following the same directional path.  These risks will only be exacerbated by the over pumping of well PW-2.  Even with PW-1, LW had knowledge that the RF communal water system was under-designed and could neither meet current demand nor demand at build-out.  
During the last 24 months residents of RF had to inform your staff on the risks to our wells, as well as the various federal and state water quality testing standards.  In light of these direct risks, you continue to rely on the bare minimum indicator testing, impede the EPA’s dye tracing study, and at best, do nothing more than what is required by the VDH (and in some cases do much less through waivers and special exceptions).  We find your position without support and your actions reckless. 
 Let us remind you of the facts, as follows:
Environmental:
  • As cited above, a wide variety of wildlife, livestock (including a buffalo farm) are in close proximity.  In particular, the buffalo farm has likely been responsible for groundwater contamination in the past year.  With respect to over a dozen decomposing carcasses draining through the karst channels into the well aquifer, it is simply not credible that there was no problem.  We are not aware of any tests that were performed at the time for bacteria, viruses and parasites.
  • There is extensive fertilization by farmers and the golf course, which flows directly to our groundwater due to our limestone karst geology.   
  • E. coli bacteria and algae were noted in both wells PW-1 and PW-2 during 2008, thereby casting serious doubt on your assertion that PW-2 is not subject to contamination risk. PW-3 also had high MPA risk so was not a back-up well option.
  • Factors such as rainfall, variations in farming practices, and seasonal fertilization practices create highly variable water quality conditions which periodic testing cannot capture, no matter how frequent.  
  • Given the common limestone karst geology throughout the community, all groundwater is subject to these risks, regardless of which well it emanates from.
  • The RF golf course maintenance facility is located in the vicinity of PW-1.  Although this well has been temporarily taken offline, it provides a conduit for fertilizers, pesticides and other harmful items (as is the case with many other abandoned wells throughout the RF community).
  • There are two ponds within the community that are not lined, thereby allowing seepage of contaminants into the groundwater.
  • Sewage is treated onsite.  Solid waste is shipped off-site for further treatment.  However, the water (which is not free of bacteria and other contaminants) is only treated to a certain degree before being flushed into a community stream.  Due to the porous nature of limestone it is unknown if this treated effluent may be contributing to the groundwater contamination.
Treatment- and Testing-Related:
  • Excessive chlorination, while partially successful in eradicating harmful bacteria, has resulted in corrosion of copper pipes in many homes throughout our community.  Dr. Mark Edwards, the Virginia Tech engineer who specializes in corrosion predicted a 100% failure rate for our pipes due to our “water type”.
  • Excessive chlorination raises risks to health, and serious impacts have already been noted within RF.  LW has not been able to regulate the chlorination level as was witnessed by large swings in chlorination levels.  This is NOT a sustainable long-term strategy for water purification.
  • Further, no level of chlorine can kill all forms of harmful bacteria, viruses, parasites, and toxic chemical pollutants.  In fact, many families believe they have experienced bacteria-related, adverse health impacts in the past 2 years, which we have already documented.  Families are currently consulting with their doctors and experts in these matters.
  • To support the high risk we are facing, “boil water” alerts have been required in the past several years due to potential poor water quality.  
  • While we note your intent to test more frequently beyond VDH standards, quality may fall below standards in between testing periods.  It only takes a short period of time for bacteria levels to spike.
  • While you note that wells may become GUDI over time, there is no doubt that well PW-1 has been GUDI for a considerable amount of time, as admitted on your website and in your letter to all Raspberry Falls residents.
In addition to these factors, we note the following:
  • As a recommended measure to fully assess the level of impact surface water has on 
our ground water, the Loudoun County Board of Supervisors asked EPA to conduct a “dye             trace study” in November 2009.   Also as noted above, we are greatly disappointed that EPA has apparently been impeded in conducting its test according to their recommended protocols.
  • In the recently-passed ordinance establishing a Limestone Overlay District (LOD), the following language is noted:  “…development on karst terrain has a direct correlation to the potential for … susceptibility of groundwater and surface water pollution, and spring contamination, posing serious risks to public health, safety and welfare.”
  • In 1990, and in association with Van Metre seeking permits to develop RF using wells, the Deputy Director of Loudon County’s Natural Resources Department recommended to the Loudoun Water Planning Committee that “The use of a central public water supply should be required utilizing a source located expressly to be safe from contamination.”
  • Most importantly, the very well you cite as providing safe water via treatment has been closed because it is under the influence of surface water.  This action is logically inconsistent with the assertion of safety.  And the impact of a GUDI determination for this well is nothing less than frightening - and must not be soft-pedaled.
  • Your fact sheet states that there is a mitigation strategy in the event PW-2 fails, but does not articulate what this mitigation strategy is.
We have been attempting to work through established channels for over 2 years now to highlight to those entrusted to protect us that the current water system servicing RF is seriously flawed and cannot be acceptably corrected.  In fact, we have articulated most of the concerns cited above to a variety of politicians and public officials during this period.   
However, it is clear that these concerns are not yet being taken seriously enough to warrant the required response; namely, the provision of a dependably safe water source for our community.  Of all available options, we believe connection to Leesburg public water is the most obvious long-term solution.  
With the above as background, and based on the serious risks our current circumstance poses to our health and well-being, we must now insist that the following actions be immediately taken:
1) LW to host a series of community meetings to discuss the concerns cited above; 
2) Provide the EPA with full access to all on-site RF and LW facilities and properties to conduct the recommended dye trace study according to their specifications, including at all alternative wells; 
3)  Cease and desist all further progress and activities associated with spraying effluent from the RF sewage treatment facility across the RF community; 
4) Install proper lining for the two unlined ponds in question immediately: and
5)  As we the Raspberry Falls residents have the most at risk where finances and safety are concerned and being the majority stakeholders in the RF water system, we request all potential water solutions regarding water distribution to be evaluated in full by public hearings and committee to include: VDH/ODW, Board of Supervisors, Planning Commission, Loudoun Water, Town of Leesburg and members of the RF Community.  The direct result will insure a 40 year solution is put into place for a long term sustainable, financially feasible quality water supply to the Raspberry Falls Community.
We also have the following questions that need to be addressed.  We suggest these should be addressed at the referenced community meeting:
1) Please describe LW’s definition of “safe.”  Is our water truly “safe” in terms of potential harm and/or risk?
2) Please provide the exact date LW and or VDH/ODW suspected PW-1 was under the influence of surface water.  What caused LW and VDH/ODW to suspect surface water influences?
3) How many wells have been drilled in RF with the goal of identifying a drinking water supply for the communal well system, and why is there only one well available?  Explain why PW-3, the reserve well for RF, was never hooked up, tested or made independent from other communal wells.
4) Explain why water distributed from your Ashburn plant undergoes far more robust filtration and disinfection than does ours - and commit to performing a comparative test of our raw water versus the water entering the Ashburn plant if the reason is that the raw water being treated in Ashburn is more contaminated than our now proven surface water.
5) If the raw water in the RF and Selma wells is surface water, which is what the water in the Potomac is, and if both Leesburg and LW have to treat Potomac water with a multistage filtration and disinfection system, why is one-stage chlorination adequate for RF water?
6) LW hired a consultant to provide a variety of options for the Central Water Users future water supply and enhanced water treatment techniques to treat the surface water supply.  How are cryptosporidium and giardia activated/killed during the water filtration techniques, and what tests are used to evaluate the presence/absence of cryptosporidium and giardia from the central water supply?  Also, how often is the water tested for cryptosporidium and giardia in RF?
7) Please compare and contrast the difference between surface water testing and groundwater testing.
8) What kinds of tests do you conduct for their surface water supply and how often do you conduct them?  Also, what kinds of tests have you conducted for the RF water system over the years that PW-1 was suspected to be GUDI and how often have these tests been conducted? 
9) LW on its website states that the bacteria count in PW-1 rose during and after heavy rains, yet the well was not GUDI (until it was cited as GUDI). What was the source of the increase in bacteria if not surface being washed through karst channels into the aquifer?
10) When PW-1 and PW-2 were determined to be “high risk” by VDH/ODW, did you institute a surface water testing protocol?  Please describe the similarities and differences between the RF surface water testing protocol and the testing protocol used for the central water surface supply.
11) If there were indicators in PW-1 and not in PW-2, why was RF switching back and forth between both wells; using PW-1 as our primary well instead of remaining with PW-2?
12) When the county was planning Tuscarora High School, to be located in the same rural area as RF, did it study the feasibility of supplying water from wells?  If not, why not, since wells would presumably have been less costly than extending the Leesburg central water main to the campus? 
13) If the county did consider wells for the high school, why did it nevertheless choose Leesburg water?   And if there is no cost to taxpayers of extending the Leesburg water main from the high school up route 15 to RF, what is the basis for objection?
14) Is PW-2 currently under 4 log inactivation?  If so, why, and as of what date was it made inactive?
15) What happened to the golf course well used to provide drinking water to the golf course patrons?  Why was this well shut down - and when was the golf course added to the already strained RF communal water system?
16) LW has stated for 2 years well “F” would be brought on line.  Why is this process taking so long, as it was promised to be completed in 2009?  Why did VDH need to grant a waiver for well F and, given the circumstances in RF, were there other well options that did not require a waiver from the VDH?
17) Loudoun County hydrogeologists and Loudoun Water adamantly state the adjacent buffalo farm is not a contamination factor to the Raspberry Falls well because the farm is located over 700 feet away.  Please justify this statement and provide documentation to these conclusions.
18) Justify the proposal to provide Selma as the backup for Raspberry Fall’s water supply.  This proposal appears short-sighted to us because Selma will draw water from the same underground water source as does RF.  Why would both systems not eventually be under the same stresses?   Also, does it follow that RF will serve as the backup to Selma under this proposal?  Why cross-contaminate the residents of Selma with our risks?
19) With regard to the wells in Selma, if LW is considering connection to the Selma wells as a solution, has an assessment been done to ascertain if the bacteria count in those wells rise when it rains?  Has algae (an indicator of GUDI) been found in any of the Selma wells?
20) What is the background behind the recent agreement between LW and Van Metre, specifically with regard to Van Metre providing a $1.0M contribution to improve the RF water system?  Under this agreement, is Van Metre obligated to be responsible for all costs in Raspberry up to 90% build-out?
21) LW has stated that RF will have water restrictions in the spring if well F has not been brought on line.  In the past, LW concurred that a moratorium for new construction bringing new connections was a good idea but the slow economy was preventing new build.   Now that the builder has built and sold more than 20 additional homes with the prospect of more being constructed, will LW place a moratorium on the developer now?
While the stalemate in addressing our concerns has been ongoing far too long, we are still hopeful we can resolve this issue locally with full participation of community representatives, LW, Van Metre, and our local and regional governments.   However, we cannot and will not settle for less than dependably safe water, and intend to more widely and vigorously publicize our concerns in the absence of affirmative action.  
We have also included the most recent report from our hired experts, Dr. E. Calvin Alexander and Roy A. Jameson.  Thank you in advance for your prompt response.  
Sincerely,
Concerned Residents of Raspberry Falls
cc: Mr. Frank Wolf – Congressman of Virginia
Mr. Mark Warner - Senator of Virginia
Mr. Jim Webb - Senator of Virginia
Mr. Bob McDonnell – Governor of Virginia
Mr. Ken Cuccinelli – Attorney General of Virginia
Mr. William Bolling – Lieutenant Governor of Virginia
Ms. Jill Vogel – Virginia State Senator
Dr. Wesley Kleene – Director VDH/ODW
Dr. Karen Remley – State Health Commisioner
Loudoun County Board of Supervisors:
Mr. Scott York, Chairman
Ms Susan Klimek Buckley, Vice Chairman
Mr. Jim Burton
Ms. Lori Waters
Ms. Sally Kurtz
Mr. Stevens Miller
Ms. Kelly Burk
Ms Andrea McGemsey
Mr. Eugene Delgaudio
Mr. Tim Hemstreet – Loudoun County Administrator
Mr. Charles Yudd – Assistant to the County Administrator
Mr. Terry Wharton – Director of Building and Development
Loudoun Water Board of Directors:
Mr. Edward Burrell
Mr. Charles Harris
Mr. Dimitri Kesari
Mr. Mark Koblos
Mr. Leonard Mitchell
Ms. Patti Psaris
Mr. Johnny Rocca
Ms. Tanja Thompson
Leesburg Town Council:
Mayor Kristen Unstattd
Vice Mayor Kevin Wright
Mr. David Butler
Mr. Tomas Dunn II
Ms. Katie Sheldon Hammler
Mr. Fernando Martinez
Mr. Kenneth Reid
Ms. Jeanette Irby –Leesburg Town Attorney
Mr. John Wells – Leesburg Town Manager

Tuesday, December 21, 2010

Raspberry Falls Summary of Grievances

October 15, 2010
Mr. Scott York
Ms. Susan Klimek Buckley
Mr. Jim Burton
Ms. Lori Waters
Ms. Sally Kurtz
Mr. Stevens Miller
Ms. Kelly Burk
Ms. Andrea McGimsey
Mr. Eugene Delgaudio
cc: Leesburg Town Council
Mayor Kristen Unstattd
Vice Mayor Kevin Wright
Mr. David Butler
Mr. Thomas Dunn, II
Ms. Katie Sheldon Hammler
Mr. Fernando Martinez
Mr. Kenneth Reid
Ms. Jeanette Irby
Loudoun Water Board of Directors
Mr. Edward Burrell
Mr. Charles Harris
Mr. Fred Jennings
Mr. Dimitri Kesari
Mr. Mark Koblos
Mr. Leonard Mitchel
Ms. Patti Psaris
Mr. Johnny Rocca
Ms. Tanja Thompson
Mr. Frank Wolf - Congressman of Virginia
Mr. Bob McDonnell - Governor of Virginia
Mr. William Bolling - Lieutenant Governor of Virginia
Mr. Tim Hemstreet - Loudoun County Administrator
Mr. Charles Yudd - Assistant to the County Administrator
Mr. David Poisson - Loudoun County Delegate
Mr. Chuck Caputo - Loudoun County Delegate
Mr. Terry Wharton - Director of Building and Development
Ms. Marcy Cotov - Loudoun County Budget Officer
Mr. Wesley Kleen - Director of Virginia Department of Health
Mr. Hugh J. Eggborn -Field Director with Virginia Department of Health
Mr. Dale Hammes - Director of Loudoun Water
Mr. Todd Danielson - Loudoun Water
Mr. Robert Edleman - Virginia Department of Health
Dr. David Goodfriend - Director of Loudoun County Health Department
Mr. Robert Kieffer - Environmental inspection VDH/ODW
Mr. John Wells - Leesburg Town Manager
Attached you will find a 2 page brief summary of some grievances that the community of Raspberry Falls would like to share in regards to our source water contamination as it relates to our drinking water.   We can’t stress enough the importance of the health and safety of this community.  Should you have any questions or concerns please direct your corresponance to Holly Krauss at 16616 Elk Run, Leesburg, VA 20176 or via e-mail at hkrauss70@aol.com.
The water supply at Raspberry Falls is contaminated.  Raspberry Falls’ wells consist of non-potable source drinking water (attachment A) per VDH groundwater system sanitary report 9/16/09. The contamination is revealed by E-coli, coliform and algae, which have been documented by VDH and Loudoun Water since 2004 (attachment B).  In June 2010 Raspberry Falls was put on a Boil Water Alert (attachment C).  This is the FIRST time this regulation was followed.  For many years there have been multiple occasions and reasons for mandatory boil water alerts, yet none were issued.  The regulations that mandate boil water alerts and numerous Public Notifications have been ignored as a result of Loudoun Waters’ mismanagement. 
With over 300 water test samples provided to Raspberry Falls homeowners, approximately 80% of these samples are contaminated with E-coli and or coliform.  The point source and non-point source of bacterial and contamination in our water is human and animal waste that infiltrates the aquifer through limestone karst geology, sink holes, improperly abandoned wells, failing septic systems (Front 25 homes of Raspberry Falls; Attachment D), local farming practices and sinking springs, and federally impaired streams. These sewage borne bacteria are indicators of contamination which always includes much more difficult to detect pathogenic viruses, parasites and toxic chemicals. They do not occur in isolation and this is well known scientific fact.  The source of chemical contamination is pesticides and fertilizers, yet Loudoun Water negligently and repeatedly seeks waivers every three years to avoid testing for these chemicals. VDH erroneously grants these waivers knowing we are a golf course community surrounded by farming practices.  In addition, due to the lack of action and timely enforcement of waterworks regulations, Loudoun Water provides homeowners at Raspberry Falls a false sense of security, when in reality our community is continually put at risk.  Giving families a false sense of security without all of the facts shows how irresponsible they are and this illustrates a lack of concern for our communities health and safety.
Chlorine and UV treatment (which has been proposed by Loudoun Water as an improvement) are not adequate to disinfect Groundwater Under the Direct Influence of surface water (“GUDI”)(Attachment E).  Virus, parasite and chemical contaminants are not eliminated by chlorination and UV treatment.  According to Dr. Calvin Alexander, a University of Minnesota hydrologist and leading authority on karst geology who has been consulted by the Raspberry Falls resident’s states, “Chlorine addition to the drinking water is an inadequate treatment that, at best, removes only some of the harmful microbiological contaminants present in the raw water.” (Attachment F) It is for this reason that Loudoun Water treats the raw water that it distributes from its Ashburn plant with a robust multistage filtration and disinfection process and not simple chlorination. 
In 2009, VDH/Robert Edleman reviewed the final required laboratory test results in order to make his GUDI determination for Raspberry Falls. Although many of the tests used in his final evaluation did NOT meet the "required EPA Consensus Method testing requirements " Mr. Edleman did NOT exercise his authority to INVALIDATE any of the tests or request additional testing.  Mr. Edleman made a decision that he stated was his "JUDGEMENT" call, not taking into account prior sanitary surveys or ANY physical parameters.  This information has been confirmed by Mr. Edleman in a public meeting with Loudoun Water, Sally Kurtz (BOS), and the Raspberry Falls Water committee.  Mr Edleman had the authority as an engineer working on behalf of VDH/ODW to invalidate tests that did not meet test requirements as well as request additional field work, to validate his "JUDGEMENT CALL".  These actions or lack of action are consistent with the oversight of this relatively young water system (2002). The amount of data that is available to VDH/ODW, Loudoun Water and Loudoun County regarding water quality tests, septic issues, mix land use, stream quality, and chemical spills, suggests there are and have been significant contamination issues in our groundwater for decades. We request you make our concerns of Heath and Safety a top priority.
Loudoun Water states on its website that it switches from the Raspberry Falls main well to a back up “less contaminated well” when rain conditions cause the E-coli count in the main well to exceed a limit that Loudoun Water considers safe. This action is an express admission by Loudoun Water that the ground water is under the direct influence of surface water.  What else could be the cause of an increase in the bacteria level when it rains, other than rainwater at the surface washing contamination through the karst fissures into the aquifer?
As a result of doubt regarding the VDH non-GUDI finding, the Board of Supervisors asked the EPA to conduct a dye trace test study in November 2009, confirmed by Sally Kurtz (attachment G).  The purpose of the test is to confirm surface water is infiltrating the aquifer.  To date, the dye trace study has not been conducted despite the completion of the work plan from the EPA.   We do not understand why, or who is responsible for impeding the test.  Raspberry Falls needs this test be completed, or the Loudoun County Board of Supervisors needs to provide the Raspberry Falls community with central water solutions ASAP.
When the EPA dye test is completed with dye recovered from the surface, which would constitute a conclusive federal government conducted finding of GUDI, we assume all participants will agree the solution is to connect all Raspberry Falls homes (including the 25 original homes supplied by private wells drawing from the same contaminated aquifer) to Leesburg Town Water.  After all, when the Loudoun County Board of Supervisors, staff and Leesburg Town Council decided to construct a new high school campus adjacent to Raspberry Falls, it could have drilled wells. Instead, properly concerned that the wells would be contaminated (as warned about in the recently enacted Limestone Overlay District ordinance), the county connected its own property to Leesburg town water.  (Attachment H).  “The resulting Goose Creek Vulnerability Analysis (CWP, 2002) indicates that the Town of Leesburg's (TOL) subwatersheds currently have levels of imperviousness that negatively impact water quality, and that anticipated growth in the area will not allow water quality [from wells] to be sustained under a build-out scenario.”
In 1990, as the Van Metre development entity was seeking permits for Raspberry Falls, the Loudoun County technical staff and the Loudoun County Planning Commission publicly objected to Van Metre’s plan to provide water in the proposed development from wells, warning that the wells will be polluted (Attachments I,J,K).  Even the initial source water studies provided by VDH noted both wells to be highly susceptible to surface water influences (Attachment L).  
Loudoun County Board of Supervisors, staff, and Leesburg Town Council clearly understands the vulnerability of wells in the Raspberry Falls region. Section 4-1901 of the recently enacted LOD ordinance: “development on karst terrain has a direct correlation to the potential for … susceptibility of groundwater and surface water pollution, and spring contamination, posing serious risks to public health, safety and welfare.” [emphasis added]. Lest anyone claim that this is a newly recognized risk and that the developer Van Metre could not have anticipated that the wells would become polluted, here is what the deputy director of the County’s natural resources department recommended to the Loudoun Water planning committee in 1990 as Van Metre was seeking permits to develop Raspberry Falls using wells: “The use of a central public water supply should be required utilizing a source located expressly to be safe from contamination.” (attachment M)
What the county’s staff experts ominously warned about in 1990 has occurred. No amount of chlorination and UV treatment will eliminate the clear and present dangers to our health that are present in our drinking water. We need central water because our water is contaminated.  Raspberry Falls experiences a public health risk every day and the Loudoun County Board of Supervisors cannot ignore our issues. The residences of Raspberry Falls already experience a multitude of health issues ranging from (i.e.) wide spread skin rashes, GI issues, numbness, to more serious overgrowths of gram negative, antibiotic resistant strains (attachment M).  We seek the same solution for our families that the county provided to its own new high school facility next door—connection to Leesburg town water.
We are continually told the extension of public water utilities is a political issue that will result in the growth of 15 North.  We (the Loudoun County voting public; concerned residence of Raspberry Falls, relatives, neighbors, employers, and their employees) expect these politics to be put aside and the very real health risks posed to Raspberry Falls families to become your priority.
Thank you for your time and attention,
Concerned Citizens of Raspberry Falls

Letter to Congressman Frank Wolf in reference Raspberry Falls Community - January 2010

January 2010

Mrs McCary,
 
Thank you very much for meeting with us yesterday. To summarize our requested meeting, we are residents of Raspberry Falls, a Van Metre community located on Route 15 just north of Leesburg. The community consists of approximately 150 homes. The first 25 homes were built with private wells (no treatment) and septic systems in the mid 1990's. The remainder were built, and are still being built, starting in 2002 and are supplied by a community well (no filtration methods, chlorine only) and wastewater treatment plant.
 
Our community is surrounded by sinkholes, and livestock (cattle & buffalo).
Our community has 2 EPA 303 impaired streams (E-coli).
 
The underlying geology of Raspberry Falls is limestone karst. According to the Loudoun County web site:
"Because of the rapid transport of water from the ground surface in karst terrain, there is a high risk of pollution because groundwater in karst aquifers travels quickly, contaminates can be transmitted quickly to wells .. in the areas connected to that aquifer....Private drinking water wells located in karst aquifers are more susceptible to contamination than those in other types of aquifers. These contaminants can include bacteria (from animal wastes, or failing drain fields), pesticides and fertilizers in runoff, and hazardous substances that were not properly disposed (such as motor oil and other house hold chemicals)."
 
Unfortunately for our community, the County's description of the risk turned out to be correct. Hundreds of tests performed by Loudoun Water (our waterworks agency) have shown elevated and dangerous levels of e. coli , coliform bacteria, and algae in our wells.  And because our groundwater is contaminated by these contaminants it is our concern that our finished water is invariably also contaminated by an unknown host of pollutants. Chlorine may kill bacteria but not other biological and chemical contaminants invariably occurring in well water contaminated by surface water such as Giardia and Cryptosporidium, or a multitude of unknown toxic mixtures.  We have also had multiple oil spills, most notably 2000 gallons of diesel fuel in 1995.  Our concerns also extend to multiple buried chemical storage tanks dating back to the 1960's, the contents or structural soundness  of these tanks is unknown even by the DEQ.  One of our well casings has been noted as rusting.  Our community is riddled with test wells that have not been properly abandoned and/or no locks to secure them. 
 
In addition to the threats to our health caused by the biological and chemical contamination that inevitably occurs in wells in limestone karst regions, something in the water or the chemical treatment currently being provided by Loudoun Water is causing pinhole leaks in the copper pipes in many of our homes.  New homes in our community have had 55 known leaks to date.  All  homes less than 7 years old.  An expert consulted by Loudoun Water has investigated and predicted that the corrosive effects of our water will damage copper pipes over time in our homes with a 100% probability of occurrence.
 
We understand the County's resistance to providing our community with public (i.e. safe) drinking water is based upon current zoning plans and its desire to limit future development down the Route 15 corridor.  Obviously, we do not believe these are acceptable reasons to deny our community safe drinking water.  We have had discussions with Van Metre via phone, they offered a community meeting which never came to fruition.   Accordingly, we   are in the process of retaining attorneys to contact Van Metre and the County to seek connection of our community to the Town of Leesburg's public water and sewer lines. These lines were extended last year to the County's new high school under construction on Route 15 immediately south of Raspberry Falls, presumably because the County did not believe that its own property should be served by well water. If the County continues to be  unwilling to connect our homes to the public water and sewer lines, we will consider litigation as a last resort but a necessity in view of the risk to our health and investments in our homes.  We welcome Congressman Wolf's interest in our problem and look forward to continuing our discussion with you to try to find a reasonable solution. We are particularly interested in learning moreabout the process that resulted in connection of the communities surrounding the Loudoun County Landfill  to town water in 2004 in order to eliminate the threat created by the landfill because we are subject to a very similar threat.
Thank You,
Holly Krauss
Raspberry Falls Water Committee Member
 
Following is an article that helps to summarize our health concerns:
 
"Water Contamination." World of Forensic Science. Ed. K. Lee Lerner and Brenda Wilmoth Lerner. Gale Cengage, 2006.eNotes.com. 2006. 7 Jan, 2010 <http://www.enotes.com/forensic-science/
water-contamination>
 
 
Water contamination is a concern, since the organisms present can cause disease. Typically, these pathogenic organisms are normally residents of the intestinal tract of warm-blooded animals, including humans. Examples include Salmonella, Shigella andVibrio. In addition, certain types of the intestinal bacterium Escherichia coli can cause infections. A particularly noxious form of E. coli designated O157:H7 can be devastating. O157:H7 contamination of the municipal water supply of Walkerton, Ontario, Canada, in the summer of 2000 sickened over 2,000 people and killed seven others. The intestinal tract also contains viruses (i.e., rotavirus, enterovirus, and coxsackievirus) that can contaminate water and cause disease.
 
A number of protozoan microorganisms can contaminate water. The two most prominent are members of the genera Giardia and Cryptosporidium. These microorganisms normally live in the intestinal tract of animals such as beaver and deer. The increasing contamination of water by these protozoans reflects the increasing encroachment of urban areas on wilderness.
 
Municipal drinking water is usually treated to minimize the risk of the contamination of the water with the above microbes. Thebenefits of water treatment have been reaped for millennia. Thousands of years ago, it was known that the storage of drinking water in metal jugs preserved the water's quality due to the antibacterial effects of the metal ions (although this property was not known until centuries later). Similarly, the protection of water quality by the boiling of the water, which kills the noxious microorganism, has long been known. "Boil water orders" are still routinely issued in municipalities when the water quality is suspect.
 
Water that is obtained from wells is often protected from contamination by the natural filtering action of the soil and rocky underlayers that the water percolates down through. However, if a well cover or internal casing is broken, then the well water can be directly contaminated.
 
Surface water supplies are especially prone to contamination, from run-off and the deposition of feces in the water from birds and animals. Surface water that is used as the drinking water supply for an individual or a community should be rigorously treated to ensure that microorganisms, debris, and chemicals have been removed prior to use of the water.
 
One popular treatment is chlorination. Addition of antibacterial disinfectant compounds, particularly chlorine or derivatives of chlorine, to water has been practiced for over a century. Other treatments that kill bacteria include the use of a gas called ozone and shining ultraviolet light through the water to disrupt the bacterial genetic material. The refinement of filters now allows even viruses to be excluded from filter-treated water.
 
The killing of the protozoan microorganisms has proved to be challenging, as both Giardia and Cryptosporidium form dormant and chemically resistant structures called cysts during their life cycles. The cyst forms are resistant to chlorine and can pass through the filters typically used in water treatment plants. Contamination of the water supply of Milwaukee, Wisconsin, with Cryptosporidium in 1993 sickened over 400,000 people and killed at least 47 people.
 
Water contamination can also involve inorganic compounds <http://www.enotes.com/forensic-science/inorganic-compounds> . Gasoline, oil, pesticides, and other noxious chemicals can also contaminate water. These can be especially insidious, since, unlike microorganisms, they can persist in the water for a long time.

Letter sent to Congressman Frank Wolf in regards to Raspberry Falls Community

December 1, 2010

Congressman Frank Wolfe
U.S. House of Representatives
Washington, D.C.
Dear Congressman Wolfe:
Your constituents in Raspberry Falls (Leesburg, VA) are asking for assistance from an appropriate federal agency to resolve potential health matters which are being overlooked by Virginia State and Loudoun County authorities for political purposes.  The source of this problem is our drinking water, provided by Loudoun Water, our local water authority.
As you may be aware, the community has for several years been trying to ascertain if the water from our community system is GUDI (ground water under the direct influence of surface water), and Loudoun Water has always insisted that it is not under such influence.  Yet, there have been a number of health problems in the community that are generally related to water contaminates.  About 18 months ago, the EPA generously offered its services to conduct a dye trace study, at no charge to the county, community, and Loudoun Water.  The community also tried to encourage action by taking the water authority and community developer (Van Metre Corp) to court to provide bottled water on a temporary basis until the water quality issues could be settled, but the courts refused to act upon the request for injunctive relief filed by our attorneys.  Later, after the suit for injunctive relief was withdrawn, Loudoun Water agreed to finally permit the EPA to conduct its study, but under extremely strict supervision.  This also happened to coincide with the time of year when the dye trace study would be least reliable.  Our District supervisor on the County Board of Supervisors, Ms. Sally Kurtz, acknowledged in public forum that the reason for not permitting the dye trace study to be conducted was the legal suit.
More recently, in a letter to Raspberry Falls residents dated November 24, 2010, the General Manager of Loudoun Water informed us that on November 23, 2010, Loudoun Water was officially informed by the Virginia Department of Health (VDH) that after a six-month series of tests on one of our community wells that the untreated water was found to be GUDI—these tests being conducted without knowledge of the EPA nor the community.  While we are grateful that the tests were conducted and our concerns verified, the secretive manner in which things have been done raises concern that things have been withheld from us and that the County has tried to short-circuit the EPA by appearing to be up-front on the issue, while stalling things for the last 2 years.  We have also learned recently that water quality studies/tests on our community system, have been conducted by other than VDH standards, and in some cases, waivers have been issued on some required tests.  We are greatly surprised that those officials who should be most directly concerned with our health issues (VDH, Loudoun Water, and the Loudoun County government) have chosen to ignore rules and regulations related to water quality.  We are also informed by Loudoun Water that a contingency plan has been developed to provide water to us in an emergency situation, but we have been denied information as to what the plan provides.
As you are aware, many of the members of the current County Board of Supervisors were elected on a slow growth development platform.  In order to implement this policy, the Board has chosen to rely on subterfuges such as the Limestone Overlay District (LOD) with its limestone karst difficulties and the Chesapeake Bay Preservation Act (from which Loudoun County is exempted) as means to restrict development.  Unfortunately, these solutions only tend to punch more holes in the limestone base on which the area exists, further exasperating the potential for more GUDI from new sinkholes that would be created by drilling for more wells.
We’re sure you can understand our request for Federal assistance in resolving our issues regarding water quality, and would appreciate an opportunity to meet with you to discuss what options may exist for us to explore, given the insensitivity of our local authorities.  We look forward to hearing from you very soon.

Study Options for Raspberry Falls Community

Dear Ms. Kurtz:
I was just made aware of the study you have requested Loudoun Water to perform on options for a long term water solution for Raspberry Falls, for which we are thankful.  I was also informed that without a specific request from you, Loudoun Water will not consider the option of public water furnished either directly by them or via extension of the Leesburg Water system.  Therefore, the purpose of this request is to obtain your support for such inclusion.  There are several reasons for this, which I'm sure you will agree make sense.
First, I am concerned about the identified option of interconnecting the Raspberry Falls system with the Selma system.  While this obstensibly provides that Selma is an emergency back-up for Raspberry, it does not alleviate the requirement that Raspberry must be capable of sustaining itself, the means of which have yet to be put in place to handle the demand at buildout.  We still have outstanding issues of water for fire emergencies, and sufficiency of water and storage for our normal demand.  Inherent in this situation is that, by implication, Raspberry becomes emergency back-up for Selma.  A strain on one system can mean a strain on the other system.  Another concern with this option is that both systems are tied into the same aquifier or underground water source, and a potential problem with one can mean problems for both.
Another consideration for all options, of course, is what timeframe to put on the study of the options.  One of the options provides for a filtering process using a membrane, which in and of it self might sound reasonable, but the life of the membrane is limited and must be considered to include replacement costs for some reasonable period of time, which should be somewhere between 30 and 40 years.  I don't know if Selma has a membrane on its system, but either system would more than likely be overtaxed if needed to service both communities.  My understanding, also, is that membrane treatment requires full time staffing, another cost consideration.
I started off this letter with a request for you to ask Loudoun Water to examine the option of extending Leesburg water to us or serving us directly, which I hope you will do given the concerns above.  However, another option which may work would be to create our area as a transition zone aligned with the city of Leesburg, under which Leesburg Water would then become our authorized water service provider.  This option may be politically more difficult to accomplish.  However, that should not eliminate it from consideration.
We continue to be concerned regarding the commitment of VanMetre to adhere to it's obligation for costs to 90% buildout.  Further delay in coming to a suitable solution will work in VanMetre's favor by permitting them to walk away from this entirely, leaving the County, Loudoun Water, and the Community holding the bag.
Thank you for your support.

Karst Hydrogeologic Implications of the GUDI Determination for Raspberry Fall's - E. Calvin Alexander, Jr. Roy A. Jameson

12/14/10
Letter sent to:  Mr. Frank Wolf – Congressman of Virginia
Mr. Mark Warner - Senator of Virginia
Mr. Jim Webb - Senator of Virginia
Mr. Bob McDonnell – Governor of Virginia
Mr. Ken Cuccinelli – Attorney General of Virginia
Mr. William Bolling – Lieutenant Governor of Virginia
Ms. Jill Vogel – Virginia State Senator
Dr. Wesley Kleene – Director VDH/ODW
Dr. Karen Remley – State Health Commisioner
Loudoun County Board of Supervisors:
Mr. Scott York, Chairman
Ms Susan Klimek Buckley, Vice Chairman
Mr. Jim Burton
Ms. Lori Waters
Ms. Sally Kurtz
Mr. Stevens Miller
Ms. Kelly Burk
Ms Andrea McGemsey
Mr. Eugene Delgaudio
Mr. Tim Hemstreet – Loudoun County Administrator
Mr. Charles Yudd – Assistant to the County Administrator
Mr. Terry Wharton – Director of Building and Development
Loudoun Water Board of Directors:
Mr. Edward Burrell
Mr. Charles Harris
Mr. Dimitri Kesari
Mr. Mark Koblos
Mr. Leonard Mitchell
Ms. Patti Psaris
Mr. Johnny Rocca
Ms. Tanja Thompson
Leesburg Town Council:
Mayor Kristen Unstattd
Vice Mayor Kevin Wright
Mr. David Butler
Mr. Tomas Dunn II
Ms. Katie Sheldon Hammler
Mr. Fernando Martinez
Mr. Kenneth Reid
Ms. Jeanette Irby –Leesburg Town Attorney
Mr. John Wells – Leesburg Town Manager


In our professional opinion, the continued use of any of the community wells at Raspberry Falls as drinking water supplies constitutes significant, unacceptable health risks to the people drinking the water.  The November 2010 Virginia Department of Health (VDH) classification of the Raspberry Falls water supply well PW-1 as Groundwater under the Direct Influence of Surface Water (GUDI) is correct, overdue, and clear evidence that any water supply well in that karst aquifer is dangerous.  The wells tap into a pre-existing karst network with conduits that transport contaminants rapidly into the wells.  The main contaminants considered by Loudoun Water and the Virginia Department of Health to date are Total Coliform and E. coli bacteria, but other contaminants, such as spills of hazardous waste and application of horticulture nutrients and chemicals at the surface pose a serious long-term risk at Raspberry Falls and elsewhere within the karst drainage of the Limestone Overlay District (LOD).
The water supply well PW-1 was earlier miss-classified as not GUDI by the VDH based on inaccurate and incomplete information. The mistaken classification ignored the fact that the Raspberry Falls development was constructed on a sinkhole plain with “Potential Conduits to Groundwater”. The “No” response to question 1C on the GUDI Determination Review Sheet (are sinkholes present?) is incorrect.  The correct “Yes” answer is that sinkholes are present and all wells in the LOD aquifer are potentially GUDI.  The developers’ filling of many sinkholes and extensive modification of the land surface partly obscured the nature of the water supply aquifer - but did not change the health danger presented by use of that karst aquifer for public water supplies.   
Continued use of the wells as previously operated at PW-1, and as continues at PW-2, is not a prudent public health practice.  All of the wells are liable to be declared GUDI over time. The absence of evidence of GUDI is not evidence that GUDI is absent. The use of the community wells as potable water supplies should be discontinued.
_______________________
1.  Department of Geology & Geophysics, University of Minnesota. 310 Pillsbury Dr. SE, Minneapolis, MN 55455. (612) 624-3517, alexa001@umn.edu.
2. 1808 Gardenspring Dr., Blacksburg, VA, 24060. (540) 552-0637, rjcb19@comcast.net. 
The documented major and highly variable bacterial contamination of the raw water is being addressed by heavy chlorination.  Heavy chlorination leads to adverse health effects in susceptible individuals, who develop rashes and breathing problems from showering and gastrointestinal problems from drinking the water.  Heavy chlorination also leads to problems with pithole corrosion of copper pipes, and has led to significant leaks in Raspberry Falls homeowner’s basements and resulted in considerable costs.  Appropriate alternative potable water supplies should be provided immediately to Raspberry Falls residents.
If the wells are to be used as a source for potable water---to which we are firmly opposed---then a state-of-the-art Water Treatment Plant (WTP) should be installed.  That WTP should be capable of removing not just bacteria, but a wide range of chemical and biological contaminants.  That WTP should not create additional problems such as those caused by over-chlorination.
The quantity of water supplied by the wells has been judged insufficient by Raspberry Falls residents’ needs, particularly during summer months.  Signs posted at fire hydrants in the subdivision warn firefighters of limitations on the amount of water that can be pumped in the event of fire.  Perhaps installation of a complete WTP would open up alternative sources of surface water that would partly ameliorate the existing water-supply limitations imposed by extensive withdrawls of karst aquifer water.
Loudoun Water should move forward with alternate plans to supply potable water to Raspberry Falls, and discontinue the policy of drilling additional ground-water supply wells.  Additional pumping from existing or new wells will only exacerbate the problems associated with the GUDI nature of the karst aquifer. The December 9, 2010 Resolution by the Loudoun Water Board directs Loudoun Water staff to evaluate options required by Commonwealth laws (12VAC-590-420 of the Waterworks Regulations) and by implication Federal regulations (Groundwater Rule, and Surface Water Treatment requirements) such that they “are consistent with the Loudoun County Revised General Plan.”
Selma Estates north of Raspberry Falls also uses karst water, and is part of the same aquifer.  It is clear that the problems posed by the GUDI determination for well PW-1 are problems that need to be addressed for the entire Limestone Overlay District.  A complete, long-term karst hydrogeologic evaluation of the entire Limestone Overlay District is needed.
We strongly encourage Loudoun Water (and the Virginia Department of Public Health) to proceed with dye tracing, not just at Raspberry Falls, but elsewhere within the Limestone Overlay District (LOD).  Development of Loudoun County rural areas is expected to continue. The Limestone Overlay district is extensive.   The water contamination problems will occur at new locations.  An accurate and detailed understanding of the subsurface flow paths is essential for long-term planning, particularly in the event of spills of hazardous substances, which could flow rapidly into water-supply wells, or through the subsurface to emerge at springs before flowing in small streams eastward into the Potomac River.  State agencies need to be mobilized to coordinate dye tracing.  State agencies need to develop long-term plans to revise ground-water procedures and regulatory policies so that they more adequately take into account the realities of flow in karst aquifers.  Long-term plans should include monitoring of springs and extensive water sampling of springs to determine their hydrologic behavior, including response to major recharge events.