The current disaster in Uttarakhand has exposed our unpreparedness in many spheres: be it disaster management, weather forecasting, early warning system, tourism management or transparent and participatory environmental governance of a fragile region.
However, we cannot ignore Climate Change and its associated challenges when dealing with these issues.
Himalayas are experiencing Climate Change at an unprecedented rate, this is increasing the incidents of flash floods, GLOFs, landslides and related disasters. India has a huge National Action Plan for Climate Change in place since 2009, under it is a special National Mission for ‘Sustaining Himalayan Ecology’, National Mission on Water, among six others. But what has happened down these years? Are we even considering climate change and its impacts while clearing hundreds of projects on hydel power, river bed mining , urban development, roads and related infrastructure in this region? We are not even assessing the impact of such projects on disaster potential in already vulnerable areas.
Uttarakhand disaster linked to Climate Change However, a number of officials have accepted the climate change link with the current disaster. Secretary of Government of India Ministry of Earth Sciences Shailesh Nayak has now said that the cloudburst that triggered flash floods in Uttarakhand read like a weather phenomenon brought about by warming. He also narrated how the high intensity rainfall is increasing while low and medium intensity events are decreasing. (See: http://timesofindia.indiatimes.com/india/Earth-sciences-secretary-blames-Uttarakhand-rains-on-climate-change/articleshow/20709643.cms)
However, it is an undisputed fact that climate change is impacting the Himalayas at much faster pace than what the global averages tells us. We take a look at our responses to adapt to and mitigate CC Challenges.
1. Unprecedented Climate Change in Himalayas
(This section is largely based on ICIMODs report:The changing Himalayas – Impact ofclimate change on water resources and livelihoods in the Greater Himalayas)
Warming in Himalayas is happening at an unprecedented rate, higher than the global average of 0.74 ˚C over the last 100 years (IPCC, 2007a; Du et al., 2004), at least 2-3 times higher than global averages. Progressively higher warming with higher altitude is a phenomenon prevalent over the whole greater Himalayan region (New et al., 2002).
1.1 Impact on Precipitation: In many areas, a greater proportion of total precipitation appears to be falling as rain than before. As a result, snowmelt begins earlier and winter is shorter; this affects river regimes, natural hazards, water supplies, and people’s livelihoods and infrastructure. The extent and health of high altitude wetlands, green water flows from terrestrial ecosystems, reservoirs, and water flow and sediment transport along rivers and in lakes are also affected.
Throughout the himalayas, there is increasing perception and documentation that precipitation is changing, becoming more erratic and intense. “Flooding may arise as a major development issue. It is projected that more variable, and increasingly direct, rainfall runoff will also lead to more downstream flooding.”(http://lib.icimod.org/record/27016/files/c_attachment_782_6044.pdf, Changing With The Seasons: How Himalayan communities cope with climate change, Chicu Lokgariwar, People’s Science Institute)
1.2 Retreating glaciers:As compared to global averages, Himalyan glaciers are receding at a rapid rate. Retreat in glaciers can destabilize surrounding slopes and may give rise to catastrophic landslides (Ballantyne and Benn, 1994; Dadson and Church, 2005), which can dam streams and sometimes lead to outbreak floods.
Excessive melt waters, often in combination with liquid precipitation, may trigger flash floods or debris flows.Available studies suggest changes in climatic patterns and an increase in extreme events. An increase in the frequency of high intensity rainfall often leading to flash floods and land slides has been reported (Chalise and Khanal, 2001; ICIMOD, 2007a).
Rapid retreat of Himalayan Glaciers as compared to global averages Courtesy: ICIMOD
1.3 Higher frequency of flash floods and GLOF events: In the eastern and central Himalayas, glacial melt associated with climate change, has led to the formation of glacial lakes behind terminal moraines. Many of these high-altitude lakes are potentially dangerous. The moraine dams are comparatively weak and can breach suddenly, leading to the discharge of huge volumes of water and debris. The resulting glacial lake outburst floods (GLOFs) can cause catastrophic flooding downstream.
There is an indication that the frequency of GLOF events has increased in recent decades. In the Hindukush Himalayan (HKH) region two hundred and four glacial lakes have been identified as potentially dangerous lakes, which can burst at any time (ICIMOD, 2007b)
Cumulative Frequency of Flash FLoods and GLOFs in Hindukush Himalayan region Courtesy: ICIMOD
2.1 National Mission for Sustaining the Himalayan Ecosystem under the NAPCC:
The ambitious National Action Plan for Climate Change has a separate National Mission for Sustaining the Himalayan Eco System (NMSHE) under the Ministry of Science of Technology, Government of India.
The NMSHE Mission document prepared in 2010 states:
“The mission would attempt to evolve management measures for sustaining and safeguarding the Himalayan glaciers and mountain ecosystem by:
• Enhancing monitoring of Himalayan ecosystem with a focus on recession of Himalayan glaciers and its impact on river system and other downstream socio-ecological processes.
• Establishing observational and monitoring network to assess ecosystem health including freshwater systems.
• Deploying technologies – for hazard mitigation & disaster management, development of ideal human habitats, and agriculture and forest sector innovations
2.1.1 Some Proposed Actions to address Objectives and Goals of the Mission:
Continuous Monitoring of the Eco-system and Data Generation
Enhanced implementation of guidelines for Priority Action in the National Mission on Sustaining the Himalayan Ecosystem
Sustainable Urbanization in Mountain Habitats:This includes:
Town Planning and Adoption and Enforcement of Architectural Norms:
Given the ecological fragility of mountainous areas, it was agreed that rather than permit the unplanned growth of new settlements, there should be consolidation of existing urban settlements, which are governed through land-use planning incorporated in a municipal master plan.
Further action points may include:
(a) Municipal bye-laws will be amended, wherever required, to prohibit construction activity in areas falling in hazard zones or across alignments of natural springs, water sources and watersheds near urban settlements. There will be strict enforcement of these bye-laws, including through imposition of heavy penalties and compulsory demolition of illegal structures.
(e) Construction activity will be prohibited in source-catchment areas of cities, including along mountain lakes and other water bodies. Their feeder channels will also be kept free of building activity.
In order to enable these decisions to be implemented urgently, it is necessary to draw up, as soon as possible, a comprehensive State-wide inventory of such water resources and their channels, which could then be declared fully protected zones.
Promotion of Sustainable Pilgrimage:
Measures for promoting the healthy and sustainable development of religious pilgrimage to the many sacred and holy sites scattered all over the Himalayas, are also necessary. Some of these actions are:
(a) A comprehensive inventory of key pilgrimage sites in each State would be drawn up, which would include analyses of the ecological capacity of each site, based on its location and fragility.
(b) In advance of the results of the above exercise, develop a plan to harmonise the inflow of pilgrims with the capacity of the local environment to cater to the needs of pilgrims. These include the source of several Himalayan rivers, sacred lakes and forest groves.
(c) The construction of roads should be prohibited beyond at least10 kilometres from protected pilgrim sites, thereby creating a much-needed ecological and spiritual buffer zone around these sites. These areas, like national parks and sanctuaries, will be maintained as special areas, where there would be minimal human interference, respecting the pristine nature of thesesites.
(d) Each designated pilgrimage site should have a declared buffer zone where development activity will be carefully regulated.
“Green Road Construction”The construction of roads must fully take into account the environmental fragility of the region. To this end, the concerned State Governments will consider promulgating, as soon as possible, the following guidelines for road construction in hill areas.
(a) Environmental Impact Assessment to be made mandatory for the construction of all state & national roads and expressways of more than 5 km length, including in the extension and widening of existing roads. This will not apply to inter-village roads.
(b) Road construction will provide for the treatment of hill slope instabilities resulting from road-cutting, cross drainage works and culverts, using bio-engineering and other appropriate technologies. Cost estimates for road construction in these areas will henceforth include estimates on this account.
(c) Plans for road construction must provide for disposal of debris from construction sites at suitable and identified locations, so as to avoid ecological damage and scarring of the landscape. Proposals for road construction must henceforth include cost estimates in this regard.
(e) All hill roads must provide adequate roadside drains and, wherever possible, be connected to the natural drainage system of the area.
(f) Alignment of proposed roads should avoid fault zones and historically landslide prone zones.Where this may not be possible, adequate measures will be taken to minimize associated risks, in consultation with experts.
Water security:
The importance of the Himalayas as a natural storehouse and source of water must be acknowledged fully. The region is already under water-stress, with the drying up or blockage of many water sources and natural springs. The following immediate actions, appear to be necessary:
The Himalayan eco system is vulnerable and susceptible to the impacts and consequences of a) changes on account of natural causes, b) climate change resulting from anthropogenic emissions and c) developmental paradigms of the modern society.
Recognizing the importance of scientific and technological inputs required for sustaining the fragile Himalayan Ecosystem, the Ministry of Science and Technology has been charged with the nodal responsibility of coordinating this mission.”
Unfortunately, we saw that NONE of the above is currently happening in the Uttarkhand Himalayas, or for that matter any of the Himalayan States. There are no clear action plans, timelines and budget breakups of this program available and at best, this seems like a vague wish list, rather than an urgent program.
2.2 Uttarakhand State Action Plan for Climate Change:
“Extreme precipitation events have geomorphological significance in the Himalayas where they may cause widespread landslides. Increase in rainfall is likely to causes fresh floods land slides and damages to the landmass. Winter precipitation has become extremely erratic and unpredictable. Increase in the flooding varying between 10 to over 30 percentof the existing magnitudes is expected in all the regions. This has a very severe implication for the existing infrastructure such as dams, bridges, roads, etc., for the areas and shall require appropriate adaptation measures to be taken up.
Strategies:
“The UAPCC recognises that scientific knowledge and evidence base on impacts of climate change to the water sector is limited. As such, a comprehensive water data base in public domain and assessment of the impact of climate change on water resource through the various agencies responsible for different aspects of water resources management in the State will be developed, and updated and analysed on an on-going basis.
Strategies towards this will include:
Review of network of hydrological observation stations
Review of the network of automatic weather stations and automated rain gauge stations
Collection of necessary additional hydro-meteorological and hydrological data for proper assessment of impact of climate change in Himalayan region including other improvements required in hydrometric networks to appropriately address the issues related to the climate change.
Such data will include:
o Hydrological and hydro-meteorological data in low rainfall areas
o Hydrological and hydro-meteorological data above permanent snowline, glaciated areas, seasonal snow areas in Himalayan region
· Improved network for collection of evaporation and rain gauge data using automated sensors
· Establishment/strengthening of ground water monitoring and geohydrologynetworks
· Collection of data about river morphology for monitoring erosion and carrying capacity, and
· Surface and ground water quality data collection, etc.
Other initiatives will include adoption/development of modern technology for measurement of flow in hilly areas, development of water resources information system, and reassessment of basin wise water situation, apart from projection of water resources availability as a result of impact of climate change which would inter-alia include the likely changes in the characteristics of water availability in time and space.
Other necessary studies to improve understanding of climate impacts to the sector will also be carried out from time to time, and robust data mechanisms will be established. Currently, Uttarakhand does not have a State Water Policy. As such, it will be a priority agenda for the State to develop an appropriate policy framework, with explicit cognisance of climate concerns.”
Unfortunately, here too we did not find evidence that ANY of the strategies were put in practice. As we have said earlier, we still do not have a picture of how much rainfall occurred where and when. Rudraprayag district seems to have a single raingauge station, and high density tourist spots like Kedarnath, which are already vulnerable do not even have a raingauge. There exists no early warning system and as clarified by CAG report on Disaster Management, 2013, the State Disaster Management Authority has not met even once since its constituion in 2007.
3. Hydropower and Climate Change: Time to bust the myths
Hydropower projects are being aggressively pushed for their supposedly benign role in global warming and climate change. However, world over, there is increasing consensus that Hydropower dams are not only extremely vulnerable to climate change but (http://ieeexplore.ieee.org/xpl/login.jsp?tp=&arnumber=1007423&url=http%3A%2F%2Fieeexplore.ieee.org%2Fiel5%2F2195%2F21734%2F01007423), but actually contribute to global warming and climate change, depending on their size and nature. They are being increasingly recognized as being ‘False Solutions to Climate change.’
Many hydropower projects being planned, under construction or commissioned in Uttarakhand ( and across Indian Himalayas) are storage dams with reservoirs. Even the so called ‘run of the river’ projects involve reservoirs and big dams. These reservoirs emit methane (21 times more potent than carbon dioxide) and carbon dioxide. It is now proved that methane is not only emitted from reservoirs, but that it is boosted at each dam turbines and draw-down (Ref: http://news.wsu.edu/pages/publications.asp?Action=Detail&PublicationID=32301)
4. Environmental Clearances to Hydropower Dams do not consider Climate Change impacts or mitigation methods:
Despite the burgeoning literature, debates around the world, several submissions from civil society including SANDRP, there is not even as assessment of the impacts of hydel projects on climate change, leave alone mitigation measures. The Expert Appraisal Committee on River valley and Hydropower Projects constituted by the MoEF which recommends Terms and Reference and further Environmental Clearances to these projects has not included the impacts of climate change or the mitigation measures against impacts while recommending TORs or granting Environmental Clearances. It also does not include assessment of impact of the projects on disaster potential of the region or adaptation capacity of the people. The EAC in fact has zero rejection rate even when we know we do not have credible EIA, SIA or CIA for any projects or basins.
Many of the Hydropower projects in the Himalayas, including Uttarakhand have applied for carbon credits under the UNFCCC’s Clean Development Mechanism. Under this, clean energy projects in developing countries get millions of rupees as incentives from developed world, which in turn get carbon offset credits, which are a license to pollute further. The entire system, put in place after the Kyoto Protocol is inherently flawed due to absence of due attention impact of projects on adaptation of local people, to local voices and due to market based approach. Many destructive hydropower projects in Uttarakhand are being certified as clean projects, making a mockery of climate change adaptation and sustainable development. Notable among-st these include the 99 MW Singoli Bhatwari HEP , 76 MW Phata Byung HEP, both on Mandakini river (epicenter of current disaster), 300 MW Alaknanda (GMR) hydropower project, 330 MW Alaknanda Srinagar Hydropower project, 414 MW Rampur project in Himachal Pradesh, where the World Bank played an active role in getting it registered for Carbon credits.
Carbon credits to large hydropower projects in fact accelerate climate change and its impact on ecosystems and communities and is unacceptable.
6. Dubious role of World Bank and Asian Development Bank
World Bank is being reported to have come up with a report which says that “An extremely wet monsoon that at present has a chance of occurring only once in 100 years is projected to occur every 10 years by the end of this century,” It also projected a rise in severe floods within the next 25 years.
The same organisation is pushing some of the biggest and most destructive hydropower projects in the Himalayan region like the 775 MW Luhri HEP, in addition to 2 large Hydel projects upstream on Luhri in the Sutlej Basin in Himachal Pradesh. Luhri HEP will have one of the longest tunnels in Asia and there is no impacts assessment of the impact of this blasting and tunnelling on the villages above, or geological stability.
World Bank is also pushing and financing the 440 MW Vishnugad Pipalkoti Hydropower in Uttarakhand. Incidentally, Pipalkoti region experienced some severe impacts of the current deluge and also suffered damages as per MATU report. The World Bank is supporting these projects even when there are no credible project specific ESIA or cumulative impact assessment studies or carrying capacity studies or studies on the impacts of these cascade projects on disaster risks or climate change.
Asian Development Bank is also supporting a number of hydropower projects n Uttarakhand (they are reported to have suffered damages) and in Himachal Pradesh on similar lines.
Cascade projects along the rivers, with no distance between two projects effectively means that the entire landscape surrounding the rivers is blasted, submerged and tunneled.
There is a huge gap between what World Bank’s says and what it does as far as hydropower and climate change is concerned.
In Conclusion:
Current Uttarakhand disaster has seen government officials to the World Bank suggesting that impacts of climate change are severe, but ironically, when asked specifically if they would link current disaster with climate change, they say that cannot be established and hide behind ‘scientific uncertainity’.
As has been seen world over, the poor and most vulnerable sections of the society and the ecology are worst impacted by climate change. It is high time that we adopt no regret strategies to cope with impacts of climate change, through mitigation and adaptation.
National Action Plan of Climate Change needs to be audited for its efficacy and work from organisations like CAG. MoEF urgently needs to include impacts of climate change while it is busy sanctioning all the projects that come to it. Organizations like World Bank need to walk their talk on climate change and stop financing destructive hydro projects in this fragile region, in absence of any studies on their impact on Climate Change and lives and livelihoods of millions dependent on natural systems.
Climate change is knocking at some of our doors, while it has already arrived through other doors. We can choose to close our eyes and ears and say “this is normal and expected in this region”. But if we do not respond to challenges posed by Climate Change urgently, it wont be just politely knocking, but causing extreme damage, as it is being witnessed.
The BeasRiver Basin is the major part of IndusRiver Basin. It rises near the Rohtang Pass in Kullu and flows through a gorge from Larji to Talwara and then enters the Punjab plains to meet the Sutlej at Harike. Its total length is 460 km and catchment area is 20,303 sq km.
The project wise generation data of large hydro with installed capacity of the basin in the latest year 2012-13.
SN
Projects
State
Inst Capacity (MW)
Generation (MU)
MU/MW
1
Bassi
Himachal Pradesh
60
246
4.1
2
Dehar
Himachal Pradesh
990
3221
3.25
3
Larji
Himachal Pradesh
126
652
5.17
4
Malana
Himachal Pradesh
86
333
3.87
5
Mukerian
Punjab
207
1420
6.86
6
Pong
Himachal Pradesh
396
1824
4.61
7
Shanan
Punjab
110
436
3.96
8
Allain Duhangan*
Himachal Pradesh
192
681
3.55
9
Malana-II**
Himachal Pradesh
100
312
3.12
Total
2267
9125
4.03
* The Generation figure of Allain Duhangan is available for two year as it commissioned in the year 2010.
** The Generation figure of Malana-II is available for one year only as it commissioned in the year 2011.
The above graph shows the trend line of power generation of Big Hydropower projects for last 28 years in the basin, the trend-line shows diminishing generation from existing hydro power projects of Beas River Basin.
It shows that the per MW generation in 2012-13 (4.03) has dropped by a huge 17.52% from the highest per MW generation (4.88) achieved in the year 1998-99.
All generation figures have been taken from official data of Central Electricity Authority (CEA).
List of other projects (up to 25 MW) under operation (for which latest generation figures not available):
The Chenab River Basin is the major part of IndusRiver Basin. This river is formed by the Chandra and Bhaga, which rises in Lahul. It flows through Himachal Pradesh and Kashmir and is known as Chandra-Bhaga or Chenab. It then Traverses 330 km to Akhnur where it enters Pakistan. It flows 644 km more to Panjnad, joins the Sutlej after receiving the eaters from Jhelum at Trimmu and the Ravi lower down, its catchment area up to the Indo-akistan border is 26,155 sq km.
The project wise generation data of large hydro with installed capacity of the basin in the latest year 2012-13.
The above graph shows the trend line of power generation of Big Hydropower projects for last 25 years in the basin. the trend-line shows diminishing generation from existing hydro power projects of Chenab River Basin.
It shows that the per MW generation in 2012-13 (5.33) has dropped by a huge 23.09% from the highest per MW generation (6.93) achieved in the year 1990-91.
All generation figures have been taken from official data of Central Electricity Authority (CEA).
SN
Projects
State
Inst Capacity (MW)
Generation (MU)
MU/MW
1
Baglihar
Jammu & Kashmir
450
2839
6.31
2
Dulhasti
Jammu & Kashmir
390
2043
5.24
3
Salal
Jammu & Kashmir
690
3277
4.75
Total
1530
8159
5.33
List of other projects (up to 25 MW) under operation (for which latest generation figures not available):
SN
Project
Ins Cap (MW)
State
1
Chenani-I
23.30
Jammu & Kashmir
2
Chennai-II
2
Jammu & Kashmir
3
Chenani-III
7.5
Jammu & Kashmir
4
Bhaderwah
1
Jammu & Kashmir
Total
33.8
—
List of proposed and under construction projects in the basin:
Project
Ins Cap (MW)
State
Status
Bhaderwah Unit-III
0.5
Jammu & Kashmir
Under Construction
Pakul Dul
1000
Jammu & Kashmir
Under Construction
Baglihar-II
450
Jammu & Kashmir
Under Construction
Bardang
126
Himachal Pradesh
Proposed
Chattru
108
Himachal Pradesh
Proposed
Miyar
90
Himachal Pradesh
Proposed
Tinget
81
Himachal Pradesh
Proposed
Teling
69
Himachal Pradesh
Proposed
Tandi
104
Himachal Pradesh
Proposed
Rashil
102
Himachal Pradesh
Proposed
Gondhala
144
Himachal Pradesh
Proposed
Khoksar
90
Himachal Pradesh
Proposed
Patam
60
Himachal Pradesh
Proposed
Seli
454
Himachal Pradesh
Proposed
Dugar
236
Himachal Pradesh
Proposed
Gyspa
170
Himachal Pradesh
Proposed
Sach-Khas
149
Himachal Pradesh
Proposed
Reoli/Dugli
268
Himachal Pradesh
Proposed
Ratle
850
Jammu & Kashmir
Proposed
Bursar
1020
Jammu & Kashmir
Proposed
Kwar
520
Jammu & Kashmir
Proposed
Sawalkote I&II
1200
Jammu & Kashmir
Proposed
Lower Kalnai
50
Jammu & Kashmir
Proposed
Kirthai-I
240
Jammu & Kashmir
Proposed
Kiru
600
Jammu & Kashmir
Proposed
Ranjala Dunadi
15
Jammu & Kashmir
IPP Projects
Hanswar Paddar
6
Jammu & Kashmir
IPP Projects
Gulabgarh
6.5
Jammu & Kashmir
IPP Projects
Chenani IV
7
Jammu & Kashmir
IPP Projects
Chingus-I
3
Jammu & Kashmir
IPP Projects
Chingus-II
3
Jammu & Kashmir
IPP Projects
Upper Ans
3
Jammu & Kashmir
IPP Projects
Total
8225
—
—
EAC: Expert Appraisal Committee of MoEF; FAC: Forest Advisory Committee of MoEF
Legendary actor Naseeruddin Shah has extended his support and presence in the film Return of the Ganga, a bold new 3-part documentary film that explores the recent ongoing mad chaotic tension between conservation and exploitation of our land, water and people.
At the heart of the film is the river Ganga being dammed extensively and dried up. The film explores the options we have to save Ganga from over 600 hydro-power projects being built on her. It introspects why for the first time in the 5000-year history of our civilisation, we are facing the death of our very lifeline. Return of the Ganga also explores our choices against the backdrop of vast sweeping global changes. It makes a strong case for clean and renewable energy options and how we can get out and get our act together to ensure good sustainable sense prevails all around and especially in the corridors of power.
Naseeruddin Shah connected with filmmakers Marthand and Valli Bindana and agreed to anchor and narrate in the film. He was moved and affected by the issue and consistent with his effort to support new adventurous filmmakers, extended his involvement. Marthand and Valli are first-time filmmakers and have been working on the project since October 2012. A largely self-funded venture, the film made by this incorrigible 2-person crew, is heading towards completion the end of September. The filmmakers are looking for distribution channels.
Return of the Ganga brings people living by the river in remote regions of the Himalayas, environmentalists, scientists, renewable and solar energy experts, sadhus, politicians, Indian and international activists all together on a single platform discussing policies and demanding change. Change that will ensure conservation of our priceless natural habitats, and environments.
Featuring in the film are people who have been working in the field for decades – Himanshu Thakkar, Vandana Shiva, Rajendra Singh, MC Mehta, Harish Hande, GD Agarwal, Shivanand, Vinod Tare. International activists also throw in their weight behind this effort with Mark Dubois: River Activist, Tony Seba: author of Solar Trillions, Jason Rainey: Executive Director International Rivers and Brad Meikle: Expert on German clean energy policy. The crew is also trying to involve Union Ministers of Power, Environment and Renewables. Some have been reluctant to speak about this very hotly debated topic.
The following submission has been sent to the Expert Appraisal Committee, River Valley and Hydro Power Projects, Ministry of Environment and Forests, India. The current norms recommended by EAC while clearing hydropower and irrigation projects are hardly leaving any water for the rivers (eflows), thereby destroying rivers as well as livelihoods.
Norms on e-flows followed by EAC need to change
Respected Chairperson and members,
As you know, the Inter ministerial Group on Ganga Basin was constituted by the Union Ministry of Environment and Forests through an order issued on June 15, 2012. It has subsequently submitted its report to the MoEF in April 2013.
While there are several issues about IMG’s report and recommendations, some of the recommendations are the minimum, urgent stop gap measures that need to be implemented by the EAC. IMG’s recommendations are relevant for nearly all rivers across the country. All of the rivers have rich social and religious values and a large proportion of population depends on them for livelihood. Hence, the recommendations of IMG logically apply to all the rivers. In line with the IMG Report recommendations, we urge the EAC to modify its recommendations about eflows and environmental impacts as suggested below:
1. Eflows
a. Eflows to be based on daily uninterrupted flows, not seasonal flows
The IMG report states that: “An important component of the e-flows regime has to be mimicking of the river flows so as to keep it very close to the natural flows. Cumulative norms even on seasonal basis do not meet this objective. Daily inflow norms may, however, enable a sustained river flow as well as have large flows in the high season and hence are more suitable.” (emphasis added)
IMG has thus recommended that all dams and hydro projects should release water based on daily inflows, following the % releases recommended in each season, but the releases must change as per daily inflows.
b. Eflows as 30-50% of daily lean season flows
The IMG report recommends that releases should be 50% of lean season flows where average lean season flow is less than 10% of the average high season flow. Where average lean season flow is 10-15% of the average high season flows, the releases should be 40% of inflows and where 30% for the rest of the rivers.
In keeping with IMG recommendations, we urge that the EAC should be recommending 50% average daily flows in lean season as eflows.
c. Independent, community-based monitoring of Eflows releases
Monitoring of eflows releases from operating projects is crucial, given the fact that it is currently entirely in the hands of the proponent without any monitoring of compliance by the MoEF. In such a situation, proponents are not releasing any eflows as pointed out by the one person Avay Shukla Committee Report, recent CAG report of Himachal Pradesh.
IMG recommends: The IMG has considered the need for an effective implementation of the e-flows as cardinal to its recommendations. It is recommended that the power developer must be responsible for developing a monitoring system which is IT-based and gives on a real time basis the flow of water in the river, both at the inflow and in the outflow after the river gates in the river stream. This should be
(a) monitored by an independent group
(b) reviewed yearly by the Ministry of Environment and Forests in the first five years and
(c) put in public domain the e-flows. This real time public monitoring of e-flows will be the key.
We urge that that EAC recommends similar monitoring norms for all projects. Effective monitoring cannot be done if local affected population is not a part of this process, hence, in addition to above points, EAC should recommend that eflows should be monitored by an independent group which has at least 50% participation of downstream communities facing the impacts of these projects.
d. Assessing eflows only through participatory and true Building block Methodology (BBM)
The IMG states: “Considering environment, societal, religious needs of the community and also taking into taken in to account the status of river Ganga as national river, the IMG recommends adoption of Building Block Methodology (BBM) for assessing the e-flow requirements on a long-term basis. This recognizes the fact that the riverine species are reliant on basic elements (Building Block) of the flow regime, including low flows, and floods that maintain the sediment dynamics and geo-morphological structure. It also includes an understanding of the functional links between hydrology and ecology of the river systems.”
However, the EAC is accepting any eflows assessment as BBM, simply looking at the label provided by EIA consultants, without applying its mind. We have pointed out that BBM purportedly used by consultants like WAPCOS in Lohit Basin Study is not BBM in any sense.
We urge the EAC to:
· Recommend methodology of BBM assessment clearly at the time of granting TORs (This is available from WWF or here: King, J.M., Tharme, R.E., and de Villers, MS. (eds.) (2000). Environmental flow assessments for rivers: manual for the Building Block Methodology. Water Resources Commission Report TT 131/100, Pretoria, South Africa. ),
· Recommend sectors which should be included in BBM study of a specific river (downstream users, fishermen, geomorphology experts, ecologists, etc.) clearly at the time of granting TOR. Downstream users should form a part of the BBM Group in all circumstances.
· Check whether these sectors are duly represented in flows studies
And only then accept the study as being based on BBM methodology. The current practice of EAC of accepting any shoddy assessment as BBM is serving neither the rivers, nor the communities, nor is it expanding India’s experience with BBM.
e. Release of Eflows
It is not just how much the releases are, but how the releases are made that decides if the releases are useful for the rivers, biodiveristy and the society. Unfortunately, EAC has given no attention to this issue.
In this context, one of the guideline of the IMG says, “Fish passes may be made an integral part of hydropower projects. Regular monitoring for their effectiveness be done by project developers.”
EAC should follow this and make well designed eflow release mechanism mandatory part of the EIA study and post-construction monitoring.
2. Free flowing river stretch between projects
Currently, the EAC has a very lax norm of recommending 1 km distance of the river between two projects. In many cases, the EAC is not following even this minimalist distance criterion. Nor is it following recommendations of civil society, or expert committees of having minimum 5 kms of free flowing river before it meets the downstream project/submergence.
In this regard, the IMG notes “There is a clear need to ensure that adequate river length is available to meet the societal needs and River gets adequate time during its flow to regenerate itself.”
The EAC should include, as part of EIA and TOR a detailed study of:
· “Time” required by the river between two projects to rejuvenate itself and how much distance the river need to have such time to rejuvenate itself.
· Ecology (including livelihood fisheries) downstream of a project and how it will be affected by modified flows while granting TORs to hydro projects.
· Social and cultural use of the river downstream the project: presence of religious sites, river sanctuaries, etc. while granting TORs to hydro projects.
Based on this, the EAC should recommend distance of free flowing river that needs to be maintained downstream a specific project. This should be applicable even if this was not stated at the time of deciding TOR.
3. Recommend Free flowing and Pristine rivers in all basins
World over, there exist norms and laws to protect free flowing rivers as “Pristine, Wild or Heritage Rivers”. EAC has been recommending damming most of the rivers in the country in the recent years. The EAC should recommend that some rivers should be maintained in their pristine, undammed (or with the current stage of development, no further) condition.
In fact, the IMG has specifically recommended: “ The River Ganga has over a period of years suffered environmental degradation due to various factors. It will be important to maintain pristine river in some river segments of Alaknanda and Bhagirathi. It accordingly recommends that six rivers, including Nayar, Bal Ganga, Rishi Ganga, AssiGanga, Dhauli Ganga (upper reaches), Birahi Ganga and Bhyunder Ganga, should be kept in pristine form and developments along with measures for environment up gradation should be taken up.”
Unfortunately, currently the EAC is actually clearing projects when Cumulative Impact Studies or Basin Studies on such rivers are not completed or are on-going (Example: Chenab Basin Projects, Satluj Basin Projects, Lohit Basin Projects). We have pointed this out to the EAC on number of occasions, without any response.
We urge the EAC to recommend a few ecologically and socially important rivers in each basin as pristine rivers, to be protected from any projects at the time of clearing basin studies or cumulative impact assessment studies. At the same time, the EAC should analyse the present development stage of a basin while clearing specific projects and should recommend some rivers in pristine state. In places like North East India and western Ghats, certain river basins may need to be left in pristine state.
4. Recommendations to the MoEF about eflows from existing projects
The IMG has made a clear recommendation in this regard: “The suggested e-flows should be applicable to the existing power projects in operation in these States.” IMG has given maximum of three years for the projects to achieve e-flows.
We urge the EAC to make a recommendation to the MoEF to look at existing projects and recommend eflows norms on the same lines as those for new projects in time bound manner.
As the World Environment Day is drawing close, we are sure that the EAC will look at its role of protecting the Riverine environment and communities and will take proactive steps in this regard.
Looking forward to your point-wise response to the issues raised above.
Summary A month after its submission to the Union Ministry of Environment and Forests, the Inter Ministerial Group on Upper Ganga basin Hydropower projects and Ganga river in general is yet to be put in public domain. A detailed perusal of the report shows that the report is hugely biased in favour of large hydropower projects, and has not done justice to the task given to it or to the Ganga river, people or environment. Out of the three non government members (out of total 15 members) on the Group, Dr Veer Bhadra Mishra expired during the working of the group. Rajendra Singh has given a dissent note, not agreeing with the report in its totality. The “alternative view” note from Sunita Narain, the third non-government member, is not much of an alternative and is not in the interest of the river, people or the environment. However, the fact that none of the non-government members have endorsed the report speaks volumes about the credibility of the report.
The recommendations of the IMG report are an exercise largely in supporting the interests of hydropower lobby in the name of balancing the power & development needs of the region and local people. The IMG has actually attempted to make 69 large hydropower projects in the Upper Ganga basin a fait accomplice when only 17 of them are under operation and 14 are under construction. In many cases IMG has reached unscientific and unfounded conclusions. Some of the recommendations are also contradictory in some fundamental nature. In many cases IMG has made statements, and implied recommendations that are bad in law. In general, the report shows that IMG has poor understanding of the science of the rivers. Even where the IMG has sought to make some seemingly environment friendly recommendations, it is generally not serious about these recommendations.
A broad conclusion is inescapable that the IMG report (except the dissent note by Shri Rajendra Singh) is largely an exercise in deception, with a pro-hydropower bias. While this note points out key negative aspects of the IMG report, the IMG report is not without some positive aspects. The report gives a list of positive aspects of the IMG report on which there is a lot of scope for positive action, which the MoEF should initiate, while rejecting the report.
FULL TEXT
1. The Inter Ministerial Group (constituted by the Union Ministry of Environment and Forests through an order issued on June 15, 2012) report has been submitted around April 22, 2013, but it is still not in public domain a month later. The report should have been promptly put in public domain as in the case of the HLWG report on WGEEP panel recommendation on the Western Ghats, which was made public the day after the submission of the report to MoEF. These comments[1] are based on the hard copy of the final report made available by a colleague[2].
2. The IMG final report has been endorsed by all members, except the dissent note by Rajendra Singh attached at Annexure X and a note on “alternate approach” from Sunita Narain, attached at Annexure XI. Shri Veer Bhadra Mishra, who was the third non-government member, expired during the period of functioning of the IMG group. The committee constitution was heavily loaded in favour of the government officers (ten of the fifteen members were government officials), so its independence was already in doubt. With none of the non-government members endorsing the report, the report has little credibility. This review tries to look at the report with an open mind.
3. While SANDRP as a group is critical of large, destructive and non participatory hydropower projects, it does not mean the group is against all hydropower projects. For example, if the projects were to be set up through a participatory and informed, decentralized, bottom up decision making process or if projects were to follow the recommendations of World Commission on Dams, such projects would certainly have greater public acceptance. That is not the case for any of the projects today.
4. The main TOR given to the IMG was to decide the quantum of environment flows for the upper Ganga basin rivers, keeping in mind the IIT (Indian Institute of Technology Roorkee, the report was basically from some individual of Alternate Hydro Electric Centre of IIT-R) and WII (Wildlife Institute of India) reports on cumulative impact assessment of the projects in these river basins. However, IIT (Roorkee) report has been found to be so flawed and compromised (for details see: http://www.sandrp.in/hydropower/Pathetic_Cumulative_Impact_Assessment_of_Ganga_Hydro_projects.pdf) that it should have been rejected by the MoEF and the NGRBA. Even the MoEF’s Expert Appraisal Committee on River Valley Projects has been critical of the IIT-R report. However, since a member of the IIT-R was present on the IMG, it may not have been possible for the IMG to take an objective view of the merits of IIT-R report. It is however, welcome that IMG has relied on WII rather than IIT-R report while accepting recommendations on e-flows. WII report was better in some respects, though still suffering from some basic infirmities. Moreover, to set up an IMG to decide on the course of action considering these two reports (and any other relevant reports) was compromised at the outset and was an invitation for further dilution of the environment norms, considering the track record of the most of the members of IMG.
Ganga river flowing through a channel, diverted for the 144 MW Chilla hydropower project
5. The recommendations of the IMG report are an exercise largely in supporting the interests of hydropower lobby in the name of balancing the power & development needs of the region and local people. The IMG has actually attempted to make 69 large hydropower projects in the Upper Ganga basin a fait accomplice when only 17 of them are under operation and 14 are under construction. In many cases IMG has reached unscientific and unfounded conclusions. Some of the recommendations are also contradictory in some fundamental nature. In many cases IMG has made statements, and implied recommendations that are bad in law. In general, the report shows that IMG has poor understanding of the science of the rivers. Even
where the IMG has sought to make some seemingly environment friendly recommendations, it is generally not serious about these recommendations. All of these points are further elaborated in this note.
6. Cancelled projects & those on Bhagirathi Eco Sensitive Zone shown as under development Shockingly, even the projects like the Loharinag Pala, Pala Maneri and Bhairon Ghati that have been officially dropped are shown as under development by the IMG, see Annex VID! In fact in Table 12 and 13 IMG even calculates the reduction in power generation and increase in tariff at Loharinag Pala (among others) if the IMG recommended e-flows are implemented! The 140 MW Karmoli HEP on Bhagirathi, on a stretch that the MoEF has been declared as Eco Sensitive Zone, and on which the GOI has said no large hydro will be taken up, the IMG has actually suggested that the project can be taken up! The 50 MW Jadhganga project, very close to the Gangotri, is shown to be project under development by the IMG! These examples show how the IMG has played a role of supporter of the hydropower lobby.
7. Wrong classification of projects as under construction and under clearance projects IMG has divided the 69 hydropower projects in Upper Ganga basin (leaving our the Kotli Bhel 2, since it is on Ganga river and not on Bhagirathi or Alaknanda) in four categorie
s: Operating projects, under construction projects, under clearance projects and under development projects. It is here that IMG has done its biggest manipulation by classifying a number of projects as under construction when they are not and cannot be under construction. IMG classification of projects under clearances is equally problematic. IMG and even the “alternative View” by Sunita Narian says all these projects in first three categories can go ahead without any change, except the e-flows recommendations. This manipulation shows the stark pro hydro-bias of the IMG.
Dry Ganga river after the river is diverted for Chilla HEP. Photos by SANDRP
8. Manipulations about percentage length of river that the projects can destroy On the one hand, the IMG has recommended that “projects may be implemented so that not more then 60% of the length (of the river) may be affected.” There is no mention how they have arrived at this magic figure of 60%, what is the basis or science behind that magic figure. At the same time the IMG has said that if all the 69 projects were to be implemented than 81% of Bhagirathi and 65% of Alaknanda will be affected. Firstly these numbers are not correct if we taken into account the full length of the reservoirs and the bypassed river lengths by the hydro projects, in many cases the length of the submerged reservoir behind the dam has not been counted. Here we need to add the fact that the reservoir of the 70th Project on its list, the Kotlibhel 2 project will submerge parts of both Bhagirathi and Alaknanda rivers, which has also not been counted by the IMG. WII had to recommend 24 projects to be dropped, and even after that, WII assessed that 62.7% of the rivers would still be affected. However, the IMG has made no recommendation as to which of the projects need to be dropped (except vague review of the projects in Annex VI-D) to achieve that magic figure of 60%. This again shows how non serious IMG is, making this recommendation meaningless.
9. IMG double talk on distance criteria The IMG has said that “There is a clear need to ensure that adequate river length is available to meet the societal needs and River gets adequate time during its flow to regenerate itself” (emphasis added). This sounds good. But IMG has shown no will or interest in ensuring that this happens. In fact IMG exposes its understanding on this matter when it says, “the distance between two hydro projects should generally be such as to ensure that over-crowding is avoided”. What is over-crowding, how do you define it? This is a funny word IMG has used, not even bothering to define it. However, when it comes to implementation, dumping all these requirements, IMG has justified smaller distance (read zero distance) between projects where gradient is high. Now let us understand this: where gradient is high, if the distance left between the projects is less, will the time the river flows between projects be smaller or greater than if the gradient is low? Clearly, if gradient is high, for the same distance, the river will have less time to travel then if the gradient were low. It is in fact the time of free flow that is a crucial driving parameter for river to regenerate itself. So if the river were to have the same amount of time to flow between two points, with higher gradient, river will require more distance, not less. This again exposes the poor understanding of IMG members about science of the rivers.
The IMG even goes on to say that “distance will have to be smaller in view of technical requirement of the hydro power. This could result in continuity in some cases.” Firstly it is clear here again that IMG is basically catering to the hydropower lobby, it is completely non serious about the environmental issues. That is why after all those great sentences, it goes on to say that it is the technical requirement of the hydropower project that will be the decider! If technical requirements means no distance between two projects, then river can disappear, environmental issues do not matter! In case of many projects where the distance of free flowing river between projects is very little or nil and where the construction has not started or has not progressed much, there is today scope for change. For example in case of Vishnudgad Pipalkoti HEP on Alaknanda: the Full Reservoir Level of the VPHEP is same as the Tail Water Level of the upstream Tapovan Vishnugad HEP. This means that there is zero length of free flowing river between the projects. VPHEP does not have all the clearances and its construction has not started. Even for the upstream Tapovan Vishnugad HEP, the construction has not gone far enough and there is scope for change in both projects to ensure that there is sufficient length of free flowing river between the projects. IMG should have recommended change in parameters in this and other such cases, but it has done no such thing, it has shown no interest in any such matter! Even the “alternative approach” note in Annexure XI has not bothered to recommend such changes even while recommending 3-5 km free flowing river between two projects.
The IMG makes another unscientific statement in this context when it says, “With the recommendation of IMG for environment flow which will be available and which would have traveled throughout the diverted stretch, any significant gaps and large distance may not be required.” This is an unscientific, unfounded statement. Firstly where is the evidence that the environment flows that IMG has suggested would take care of the need for river to flow on stretches between the projects? Secondly, the need for river to flow between the projects to rejuvenate itself will also depend on the length of the rivers submerged by the reservoirs, and also depend on the biodiversity, the social, cultural and religious needs in addition to the ecological needs. By making such ad hoc unfounded statements devoid of scientific merit, the IMG has exposed itself.
While the IMG talks about the rich diversity of fish species and other aquatic diversity of the river, it has no qualms in saying that e-flows alone will address all the problems caused by bumper to bumper projects. As many including Government of India’s CIFRI (Central Inland Fisheries Research Institute) have concluded, Dams have been the primary reason for the collapse of aquatic diversity in India, not only because of the hydrological modifications and lack of e-flows, but also because of the obstruction to migration they cause, destruction of habitat during construction, muck disposal, trapping of sediments, destruction of terrestrial (especially riparian) habitats. But these concerns are not even considered by the IMG while saying that recommended e-flows will be able to solve all problems caused by bumper to bumper projects.
Dry Bhagirathi downstream Maneri bhali HEP Photo: Peoples science Institute
10. WII recommendation of dropping 24 HEPs rejected by IMG without any reason The IMG notes that WII has recommended that 24 hydropower projects of 2608 MW installed capacity should be dropped in view of the high aquatic and terrestrial biodiversity. However, IMG decides to dump this WII recommendation without assigning any reasons. This again shows the strong pro hydro bias of the IMG. WII report says that even after dropping these 24 projects, at least 62% of the river will be destroyed.
It is shocking that projects like Kotlibhel 1B and Alaknanda HEP, which have been rejected by WII and Forest Advisory Committee, is considered as “under development” by IMG, when they should have been rejected. While the IMG Report talks of unique biodiversity of the Ganga Basin, Valley of Flowers and Nanda Devi National Parks, it still supports projects which will be affecting these National Parks like the 300 MW Alakananda GMR HEP, which was also rejected by the WII and FAC (twice).
As a matter of fact, of the 24 projects that WII report recommended to be dropped, the IMG has shown 8 as under construction and 4 as “projects with EC/FC clearances”. This is sheer manipulation, in an attempt to make them a fait accomplice. Strangely, the “alternative approach” note in Annexure XI does not say anything about this manipulations and in fact says the projects in Annexure VI-B and VI-C can go ahead!
11. Non serious recommendation about keeping six tributaries in pristine state IMG (Para 3.70) “recommends that six rivers, including Nayar, Bal Ganga, Rishi Ganga, Assi Ganga, Dhauli Ganga (upper reaches), Birahi Ganga and Bhyunder Ganga should be kept in pristine form and developments along with measures for environment up gradation should be taken up. No new power projects should be taken up in these River Basins.” This sounds good, but turns out to be like a joke, since firstly, IMG recommends construction of projects on these rivers that yet to be constructed! If these rivers are to be kept in pristine state then IMG should have asked for immediate stoppage of under construction projects and also time bound decommissioning of the operating projects on each of these rivers. In stead, the IMG report shows that projects are under construction on rivers like Assi Ganga (stage I and stage II projects each of 4.5 MW), Birahi Ganga (24 MW stage I project), Bal Ganga (7 MW stage II project listed in Annex VI B of IMG report, in addition to the 1 MW Balganga and 5 MW Balganga I project are also under construction as per IIT Roorkee report) and Bhyunder Ganga (24.3 MW stage II project) and IMG has (implicitly) recommended that these projects be allowed to continue, on rivers that IMG says it wants to remain pristine! Moreover, Rishi Ganga (13.2 MW project) and Birahi Ganga (7.2 MW) have operating projects on these rivers to be kept pristine! In addition, on Assi Ganga the 9 MW stage III project, is considered by the IMG as ready for development since it has some of the clearances.
Rishiganga HEP Photo: Ashish Kothari, Courtesy The Hindu
The IMG has noted that 70 MW Rishi Ganga Stage-1 and 35 MW Stage II Project are under development on Rishi Ganga (IIT-R report mentioned another project on Rishi Ganga, namely the 60 MW Deodi project, it is called Dewali project by WII report; WII report also mentions 1.25 MW Badrinath II existing project on Rishi Ganga) and 24 MW Birahi Ganga-II project is under development. But the IMG does not recommend dropping of these projects.
So at least five of the six rivers that the IMG claims it wants to stay in pristine state are no longer pristine! They have multiple projects, most of them under construction or yet to be developed and the IMG has not said that any or all of these projects should be stopped, cancelled and those under operation be decommissioned in time bound manner. Even on Nayar, the sixth small tributary that IMG said should be kept in pristine condition has a 1.5 MW Dunao project under development by UJVNL, as per the UJVNL website. It’s clear how non serious IMG is about its own recommendation. IMG has included Dhauli Ganga (upper reaches) in this recommendation, but has not even bothered to define which stretch of the Dhauli Ganga this applies to, again showing the non-seriousness of IMG.
In para 4.22 IMG says, “Specifically, it is proposed that (a) Nayar River and the Ganges stretch between Devprayag and Rishikesh and (b)… may be declared as Fish Conservation Reserve as these two stretches are comparatively less disturbed and have critically important habitats for long-term survival of Himalayan fishes basin.” If IMG were serious about this, they would have also said that Kotli Bhel II project should be cancelled since it is to come in this very stretch.
IMG’s claim that not having any more projects on these six streams will mean loss of generating capacity 400 MW is also not backed by any sort of information or list of projects to be dropped, it seems IMG is in the habit of making such claims and does not feel the need to back them.
12. IMG on environmental impacts of Hydropower projects One of the key TORs given to IMG was “to make a review of the environmental impacts of projects that are proposed on Bhagirathi, Alaknanda and other tributaries of river Ganga and recommend necessary remedial action.” What has the IMG done about this TOR? IMG wrongly claims (Para 4.18), “The environment impact of proposed 69 hydropower projects has been considered by IMG.” It has done absolutely no justice to this very crucial TOR. First thing IMG has done in this regard is to dump the WII recommendation to cancel 24 hydropower projects, without giving any justifiable reasons. The IMG has produced a set of guidelines for the hydropower projects, which have almost nothing new, they are certainly not comprehensive or legally binding. They miss the most important issues of inadequate environment impact assessment, inadequate public consultation process, inadequate appraisal, lack of accountable governance and compliance.
What is required is certainly not new set of guidelines. MoEF already has a long list of environment and forest clearance conditions, environment management plans and manuals. But there is no interest, will or willingness to achieve compliance in MoEF. IMG is obviously aware of this state of affairs. Yet they have happily prepared a new set of five page guidelines just to show they have done something about this TOR. The “alternative approach” in Annex XI also has nothing to offer on this score.
Muck Disposal directly into the Alaknanda river by Srinagar Project Photo: Matu janSangathan
13. Unwarranted conclusion about BBM methodology The IMG has said, “Considering environment, societal, religious needs of the community and also taking into account the status of river Ganga as national river, the IMG recommends adoption of Building Block Methodology (BBM) for assessing the e-flow requirement”. This is good and needs immediate and credible implementation.
However, IMG says this will be applicable only “in situation where the required conditions are satisfied and resources, time and data are available.” The only basis for this conclusion by IMG is the fact that WWF took three years to do a study of environment flow requirements of three sites along Ganga involving large number of experts. This is clearly an unwarranted conclusion since WWF was only doing it first time and has much less resources at its disposal than the government have. By arriving at this unjustified conclusion that has no basis, the IMG implies is that BBM methodology is required and is justified, but Indian rivers including the Ganga won’t get it since IMG (wrongly) thinks that “required conditions” are not satisfied. This is clearly wrong and unwarranted conclusion. The BBM can and must be applied in all cases immediately, including for all existing and under construction projects and cumulative impact assessments.
Also, while stating multiple times that BBM for three locations for Ganga took three years, the IMG does not go into the details of what caused this delay. One of the important reasons stated by WWF itself is that required data was not made available to them, which contributed to the delay. So it is the government itself that was part of the reason for the delay in WWF study, and now IMG uses that delay to suggest that BBM is not practicable for Ganga! If the Government has the will to implement a more holistic methodology like BBM, it can be done and IMG conclusion is unwarranted and wrong.
14. Unjustified pro hydro bias of the IMG The IMG has shown its pro hydro bias at several places. At one place it says that a balanced approach needs to be taken as “It is important to see that the flows do not result in exorbitant cost of power which the people of the region may not be able to afford. This would make these power projects uneconomic and un-implementable”. Firstly, as far as people in immediate neighbourhood of the projects are concerned, history of grid connected hydropower projects in India shows that local and particularly the affected people almost never get power benefits from projects but they surely suffer all the negative impacts. IMG is wrong as far as this section of the people is concerned.
Secondly as far as the people of Uttarakhand in general are concerned, where all the projects in Upper Ganga basin are situated, the state would get 12+1 % of free power. Since most of the projects are in central or private sectors, the rest of the electricity would mostly go outside the state. As far as this 13% free power is concerned, since it is supposed to be free, there will be no impact of e-flows on the tariff of such projects, except some marginal reduction in quantum of power.
Lastly, is it the bottom line of the IMG that projects must be economic and implemented at all costs, by hook or by crook, as is apparent from the above quoted sentence? How can that be the bottom line of IMG considering its TORs? Moreover, by making the projects economic and implementable by hook or by crook, the IMG seems to be saying that irrespective of the social, environmental, cultural, religious and even economic costs, the projects must go on. Thus what IMG is suggesting is that artificially low cost electricity must be produced for the cities and industries irrespective of any concerns of costs and impacts on people, environment, future generations and rivers including the national river! This is clearly a plea to export the water, livelihood and environment security of the people for the short term economic prosperity of far off city dwellers and industrialists. Is this acceptable?
15. What is environment flow? IMG should have provided a definition of what is meant by river and environment flow. Since it is linked with enabling the river to perform its various roles and services in the downstream area, it cannot be just limited to water flow downstream. The downstream river also needs silt and nutrition from the upstream and the biodiversity and geomorphology in the river crucially depends on such flows of nutrition and silt. However, IMG has said nothing on this count.
Dry River at Uttarkashi Photo: Open Magazine
16. Environment flows = aviraldhara? The IMG has said, “Environment flows in the river must lead to a continuous availability of water (aviraldhara) in the river for societal and religious needs.” This equation of aviral river with continuous flow of water is clearly flawed, since by that token even a pipeline has aviraldhara, but a pipeline is not the same as aviral River. For a river to be flowing aviral, continuous flow of water is a necessary but not a sufficient condition. A river means so much more.
17. No attempt at assessment of social, religious, cultural needs The IMG keeps talking about social, religious and cultural perspective and needs of the society from the river and so on. However, there has been no attempt to assess what exactly this means in terms of river flow, quality, content of flow across the time and space. More importantly, how is all this to be decided and who all are to be involved in the process. IMG just assumed that this has already been done by IITR and WII, which is flawed assumption, since WII or IIT-R has clearly not done any such assessment. So in stead of giving standard monthly flow release percentage across the rivers (releases to vary based on daily flow variations, this recommendation of daily changing flow is certainly an improvement from IMG), IMG should have asked for actual assessment of such needs across the rivers and IMG should also have given the process for arriving at such decisions. But while deciding social, religious or cultural needs, the IMG sees no role for the society, religious groups or cultural institutions.
In this context it may be added that the IMG has also not taken note of the legal stipulations like the order of the Allahabad High Court that says that no project can divert more than 50% of river flows existing at the point of diversion.
DevPrayag: Confluence of Alaknanda and bhagirathi Threatened by Kotli Bhel I A, IB and II Projects. Photo: Wikimedia
18. IMG recommendation during High Flow Season (May-Sept) The IMG has recommended 25% of daily uninterrupted (no clear definition is given how this will be arrived at) flow, with the stipulation that the total inflow in the river would not be less than 30% of the season flows. This is same as 30% of mean seasonal releases recommended by WII (para 8.3 of WII report, para 4.11 of IMG report) and also used by even Expert Appraisal Committee on River Valley Projects currently. The recommendation of releases based on daily flow is an improvement compared to the earlier situation, but its implementation is in serious doubt considering the weak compliance requirements from IMG.
It should be added here that IMG has not mentioned how the environment flow will be released. Just dropping it from the top of the dam won’t help, the flow must be allowed to flow downstream in an environmentally sound manner that is as close as possible to the flow of the river and helpful for the biodiversity in the river to link up from downstream to upstream and vice versa. Moreover, while deciding flows, IMG has largely followed the recommendations of the WII. However, WII conclusion of classifying Upper Ganga basin under EMC class C itself is flawed. IMG should have corrected this flaw, before concluding on environment flows.
19. IMG recommendation during Lean Flow season (Dec-March) The IMG has recommended (Para 3.48) release of 30% of daily uninterrupted river flows, this will go up to 50% where the average monthly river flows during lean season (Dec-March) is less than 10% of average monthly river inflows of the high flow season (May-Sept) and to 40% (however, Para 3.51 does not mention this 40% norm) where this ratio is 10-15%. While this is an improvement in the current regime, this remains weak considering that IMG has not done project wise calculations where 30, 40 and 50% stipulation is applicable, which it could have easily done at least for the existing and genuinely under construction projects.
20. IMG recommends lower flow for India’s national river compared to what India promises Pakistan in Jhelum basin The IMG has recommended 30-50% winter flows for all projects as described above. This in case of a river everyone recognizes as the heart and soul of India, a river that has such an important social, religious, spiritual significance and it has been declared as the national river. Let us compare this with what e-flows Indian government has promised to Pakistan downstream of the Kishanganga Project in Jhelum river basin in Kashmir. In a case before the Permanent (International) Court of Arbitration (PCA), Indian government has assured that India will release more than 100% of the observed minimum flow from the dam all round the year, and now in fact the government is considering even higher than 100% of the observed minimum flow all round the year. The PCA is yet to decide if what India has proposed will be sufficient or more water flow is required. So, as against the assurance of more than 100% of minimum flow at all times on another river, for the river flowing into another country; for the national river Ganga, for India’s own people and environment, all that the IMG recommends is 30-50%. On most winter days, KishengangaRiver downstream of the hydropower project, flowing into Pakistan, thus will have higher proportion of its daily flows than what Bhagirathi or Alaknanda will have.
Dry Ganga at Haridwar in August 2012 Photo: SANDRP
21. Monitoring and compliance of Environment Flows The IMG has said that effective implementation is cardinal part of its recommendations. This is good intention. However, by asking the power developer to be responsible for the implementation, the IMG has made the recommendations ineffective. IMG has chosen to ignore the fact that there is clear conflict of interest for the power developer in assuring e-flows, since the e-flows would reduce the power generation and profits of the developer. Its faith in IT based monitoring is also completely untested and there is no evidence to show that such monitoring will be free of manipulation. Secondly, to ask the MoEF to do annual review, that too only for first five years ignores the track record of MoEF in such matters where MoEF has shown no will, capacity or interest in achieving post-clearance compliance of the environment laws of the country. Thirdly, to require this only for projects above 25 MW shows the lack of understanding of IMG as to how important the smaller streams are for the water, ecology and livelihood security of the community in hills. Its recommendation of monitoring by an independent group is welcome, but lacks credibility in the absence of sufficient involvement of local community groups in such a mechanism.
22. Baseless assumption of low water requirement for fish in the Himalayan region The IMG has assumed that in the Himalayan region, the water requirement for fish in the river is less and hence the rivers here will not require as much water as the rivers do in the plains. This is completely unscientific, flawed and baseless assumption. The amount of e-flows needed has to be assessed not only based on the requirement of fish (IMG has not done even that assessment), but entire aquatic and connected terrestrial biodiversity across the seasons, in addition to the water needs of a river for providing the social and environmental services.
23. Suggestions that are bad in Law The IMG report shows several projects as “Under Construction” (Annex VI B) category, when they do not even have statutory clearances and hence cannot even legally start the work. This is a ploy to make these projects a fait accomplice when these projects are perfectly amenable to review and rejection since the project work has not started. In fact to categorise such projects without having all the statutory clearances (e.g. Vishnugad Pipalkoti does not have forest clearance) as under construction project is plain illegal.
24. Wrong representations The IMG has shown several projects in Annex VI C, as “Hydropower projects with EC/FC Clearances and others”, basically a ploy to push the projects that do not even have all the statutory clearances. None of these projects have all the statutory clearances and are certainly not in position to start construction and hence these projects are the ones where dropping of the projects or modifications in dam location, dam height, FRL, HRT length, e-flows, capacities etc are still possible. But IMG did not do it for any of the projects. As mentioned above, four of these projects have been recommended by WII to be dropped, and IMG should have recommended dropping these or should have categorized them as ‘to be reviewed’.
25. No mention of impact of peaking operation of hydropower projects The IMG has missed many crucial environmental impacts. One crucial one that it has missed is the issue of peaking operation of hydropower projects on the downstream people, environment, flood plains, geo morphology, biodiversity and other aspects of the river. This is very important since one of the Unique Selling Proposition (USP) of hydropower projects is supposed to be that they can provide peaking power. However, peaking operation means sudden changes of huge magnitude of flows in downstream river, having far reaching impacts including those on safety of people, flood plain cultivation, impacts on cattle and property, impact on ecology, amongst many others. The IMG has completely missed this, which is very strange since this is a huge issue being taken up by people and campaigns in the North East against large hydropower projects there.
26. IMG cannot see through poor work of IIT-R It is well known that IIT-R report on Ganga basin study is of poor quality. In the IMG report there is an attempt to respond to only a couple of the criticism of IIT-R report, but IMG could not even see through the wrong facts presented by IIT-R report. For example, IMG report says, “The requirement of flushing during monsoon is not required in both rivers as all hydro projects except Tehri reservoir are run of river types where silt is not stored.” This is completely wrong. All the projects, even if run of the river, have storage behind the dam where the coarser silt will settle down and will need to be flushed out periodically. The dams are being provided with bottom sluices to facilitate this. A quick perusal of the EIA reports of some of the hydropower projects in the region shows that Vishnugad Pipalkoti, Srinagar, Kotli Bhel 1-A, Kotli Bheal 1-B, to name only a few all have proposed to provide bottom sluices for periodic release of silt accumulated behind the dam. Thus the contention that most projects do not need flushing is wrong. In any case, for all projects, the de-silting chambers would be releasing silt laden water and there is no attempt to assess the cumulative impacts of such actions. IMG’s attempt to provide scope for some defense for the IIT-R has clearly back fired on IMG! Moreover, even in case of Tehri, the biggest project in the region under review, IMG report has nothing at all, about it social, environmental impacts and performance, about its power generation, irrigation, water supply, flood control performance or even its silt management performance.
The contention that all projects except Tehri are ROR is entirely wrong and misleading. Even as per the WII report, out of the 69 projects, a whopping 13 projects are storage projects. This includes the biggest and most problematic projects like Srinagar, KotliBhel IB, KotlibhelIA, Koteshwar, Vishnugad Pipalkoti, Devsari, etc.
27. IMG on Srinagar HEP and Dharidevi Temple The IMG was also asked to “review the impacts of the Alaknanda (GVK) Hydro Power Project on flow of the River and the issues related to the temple relocation.” The IMG gave an interim report on this issue, which was so disappointing that Rajendra Singh and Late Shri Veer Bhadra Mishra both members of the IMG, gave a dissenting note, Rajendra Singh also suggested shelving the project. The IMG rejected the suggestion of its own members without giving any justifiable reasons.
DhariDevi Temple threatened by submergence
28. Time bound action plan for E-flows from existing projects The IMG says that the existing projects should also follow the suggested e-flows and this should be achieved in three years (Para 3.52). However, IMG should have been more clear about the role of different agencies (MoEF, state government, developers, state electricity regulatory commissions and power purchases) and what is the legal backing such a step will have.
29. Lack of understanding of conflicting projects and public protests The IMG report, Annex VI B shows 12.5 MW Jhalakoti (wrongly) as under construction project. In fact the Jhalakoti project has been recommended by WII to be dropped. The IMG seems to have no clue that Jhalakoti project is being strongly opposed by the local communities and no work has started on the project. The under construction status given by IMG for this project is clearly wrong. If the Jhalakoti HEP comes up then the existing 40 KW Agunda micro HEP will no longer be able to function. Many of the other projects including the Devsari and Vishnugad Pipalkoti HEP are also facing strong opposition, but the IMG has not taken note of these or any of the social impacts of the projects in the Upper Ganga basin.
Peoples protests against Large dams on Ganga. Photo: Matu Jansangathan
30. IMG onTOR on pollution abatement in Ganga It is good to see that IMG has suggested that “all users must be forced to plan for water needs based on what the river can spare, not what they can snatch.” However this should not mean an advocacy for more big dams and storages on the rivers. This seems to be the case when we read the IMG recommendation that says, “The government then has a choice to build storages to collect monsoon water for dilution within its territory or to ‘release’ water to rivers and make other choices for use in agriculture, drinking or industry”. Storages can come in many forms and sizes and IMG should be careful not to recommend more big storages on the rivers. The suggestion that “there will be a clear conditionality in Central government funding, which is matched to the quantum of ecological flow released by the state in the river” is welcome. Linking of JNNURM-II and National Mission for Clean Ganga to the above norm, incentivisation of use of innovative bioremediation and in-situ drain treatment are also welcome. However, IMG has shown no interest in understanding or tackling the real problem in river pollution: Lack of participatory, democratic governance in urban water and pollution control regime.
IMG has recommended in Para 6.7(i), “Ecological flow will be mandatory in all stretches of the river.” This is welcome. IMG goes on to suggest some norm for the urbanized stretches of rivers, but no norms are suggested for the non urbanized stretches of river in the lower river basin.
31. Report does not reflect the discussions in IMG? The dissent note by Shri Rajendra Singh, a member of IMG says that on several aspects, IMG report does not reflect what transpired in the IMG meetings. This is a very serious charge that puts a big question mark on the IMG report and its recommendations, particularly since Rajendra Singh is the lone independent voice in the IMG after the sad demise of Shri Veer Bhadra Mishra[3].
32. Incomplete project list The IMG does not seem to have full information about the existing, under construction and planned hydropower projects in the Upper Ganga basin in Uttarakhand. Some of the projects not listed in the IMG report include:
A. Operating projects under 1 MW: According to the website of UJVNL (Uttarakhand Jal Vidhyut Nigam), the state has 12 such projects with total capacity of 5.45 MW, see for details: http://www.uttarakhandjalvidyut.com/cms_ujvnl/under_operation1.php. Most of these projects are in Upper Ganga basin, though it is not clear how many.
B. UJVNL has larger list of schemes under development by UJVNL including in the Upper Ganga basin, not all of them are included in the IMG list, see: http://uttarakhandjalvidyut.com/bd2.pdf.
D. There is another “full list” of hydropower under development in Uttarakhand including sub-MW size projects, see: http://uttarakhandjalvidyut.com/bd5.pdf. Some of the projects here in Upper Ganga basin do not figure on IMG list.
One would expect better information base of the IMG than what they have shown.
33. No specific recommendation to save the prayags There are five holy prayags (confluence of rivers) along Alaknanda river in Uttarkhand, including Deoprayag, Vishnuprayag, Karnaprayag, Rudraprayag and Nandprayag.
Vishnuprayag has already been destroyed by the 400 MW existing Vinshnuprayag HEP of Jaiprakash Associates, rest would be destroyed by the projects listed by IMG. The IMG keeps talking about cultural importance of the rivers, but has not said a word about how it plans to save these culturally important confluences and how it plans to rejuvenate the Vishnuprayag already destroyed.
34. “Alternative View” in Annexure 21: How much of an alternative is it? In Annexure XI of IMG report, a note authored by one of the IMG members, Sunita Narian of Centre for Science is given, it is titled: “TOR (ii): Alternative View: Environment flow”. The Annexure opens with the line “The recommendations of this IMG report are not acceptable.” It is not clear if this sentence applies to all the recommendations of the IMG or about environment flows mentioned in the title or it applies to TOR (ii) that applies to all environmental aspects, not just environmental flows. The Annexure also deals with some issues besides environment flows, so one assumes this “alternative view” is about environmental aspects of hydropower projects.
The Annexure XI seems to give an impression that, principles of distance between dams, ecological flow and limit on % of river than can be “affected” will lead to “sound hydropower development, balanced for energy and environment”.
One of the three principles listed in the note says: “Distance between projects: 3-5 km”. The note does not say how this distance has been arrived at or how this distance is to be measured, the least the note should have mentioned was that this is not distance between projects but distances of flowing river between the Tailwater level of upstream and full reservoir level of downstream project. No elaboration is given about this criterion at all. Most importantly, there is not even any attempt to apply this criterion to the projects that IMG is supposed to look into. On the contrary, the note says that “The projects under construction can be built” (point 7(ii)) and “projects with EC and FC clearances can be taken up for construction” (point 7(v)). So in fact there is absolutely no application of the criterion to the projects on hand. The conclusion that this is half baked and non serious criterion is inescapable.
Another of the three principles listed in Annexure XI is: “Maximum intervention allowed in river length: 50-60 per cent”. Again there is no elaboration as to how these figures are arrived at, why there is a range, what is meant by “intervention”, which lengths it will apply and so on. Again, the note does not bother to apply this criterion to the rivers under review and actually says in point 7(ii) and 7(v) described above, that projects in Annexure VI (B) and VI(C) can go ahead without even checking if in that case this criterion will be violated or not. Again the conclusion that this is also a half baked and non serious criterion is inescapable.
The whole of the Annexure XI is basically devoted to application of the third principle: “Ecological flow regime: 30/50 per cent (high and lean period)”. About this, the annexure says: “The engineering design of the uninterrupted flow would take into account the need for sediment and fish transfer”, not clear how this will be achieved. The Annexure does not suggest any new measure of achieving compliance with its recommendations. The note mentions “design changes incorporated to maximize energy generation during high discharge season” but does not elaborate what these would mean.
Annexure XI says that IIT-R tried to suggest that e-flows must be low and in this effort did “big and large manipulation of data”. This is good. However, it would have been better if the full data and notes from IIT-R were annexed here to illustrate how the manipulation was done.
Bullet point 3 in Annexure XI reads, “It is important to consider that water of a river is similar to the coal or gas as raw materials used in thermal plants”. This statement needed to be qualified that the impact of taking out coal or gas from its source is not comparable to taking out water from the river, the latter’s impact is much more severe, since river is not equal to just water flowing in it.
Since Annexure XI does not raise objection to any other conclusions and recommendations of the IMG except the three principles mentioned above, it would not be incorrect to assume that author agrees to the rest of the IMG report. This, when taken together with the fact that at least two of the three principles in the alternative view note have not been applied to the projects under review, leads to the conclusion that there is not much of an alternative in “alternative view” note and this won’t help the cause of the river, people, environment or even sustainable and sound development.
35. Conclusion A broad conclusion is inescapable that the IMG report (except the dissent note by Shri Rajendra Singh) is largely an exercise in deception, with a pro-hydropower bias. While this note points out key negative aspects of the IMG report, the IMG report is not without some positive aspects. One of the positive aspect of this report is that possibly for the first time heads of central organizations like CWC and CEA have sat with some non government members to discuss some important subjects that have remained contentious for these official agencies.
However, as noted above, on most positive aspects, while IMG has been less than sincere, there is a huge potential to take the environment flow movement forward.
The MoEF and NGBRA should, considering all the above points, take some positive aspects forward. Some of the positive retrievable aspects of the IMG report include the following, on each of which there is a lot of scope for serious action:
Ensuring at least 50% E-flows in non monsoon months in all rivers.
Keeping some rivers in pristine form, stopping all ongoing and planned projects on suggested rivers and time bound decommissioning of existing projects on such rivers that are to be in pristine form. This should be immediately implemented on the rivers recommended by IMG and also in other selected rivers in all river basins.
Rejecting planned and under construction projects which have high impact on terrestrial and aquatic biodiversity, as per score developed by WII Report as well as projects which irreversibly impact spiritual and religious places like rivers, prayags, places of worship and ghats.
Give deadline of one year and maximum of two years for all the existing dams, diversions and hydropower projects across the Ganga basin (& other rivers) to achieve the suggested e-flows with clear inbuilt mechanisms for monitoring and compliance with participation of river basin communities, as a first step.
Accepting BBM as the standard methodology for E-flows assessment, e-flows to mimic the river flows and involving communities as an important stakeholder in this methodology.
Ensuring Aviraldhara.
Ensuring rivers have adequate free flow time between projects to regenerate itself. Mandating at least 5 km free flowing river between any two projects as an immediate measure pending site specific studies and reviewing all under construction, under clearance and under development projects in the basin keeping this in mind.
Releases based on daily flows rather than monthly or seasonal averages in all rivers. Define uninterrupted flows to arrive at uninterrupted daily flows.
Monitoring of e-flows and other environmental compliance by independent group involving at least 50% of the monitoring group from local communities.
Assuring that e-flows through well designed fish passages (taking consideration of Guideline 7, Annex IX).
The IMG has recommended that a technical group may be made to study alternatives including the alternative suggested by Prof Bharat Jhunjhunwala that only partial dams across rivers may be allowed. This should happen expeditiously. The proposed projects should be stopped till this is done.
[3] One of the members of the IMG started discussing the report in public domain through her writings even before the report was in public domain, see: http://www.downtoearth.org.in/content/training-engineers-not-ganga and http://www.downtoearth.org.in/content/ganga-saga-part-ii-redesign-dams-not-rivers. This can create misleading impression about the report, when the readers do not have benefit of cross checking what the report is actually saying. The articles in any case are full of serious errors, for example it said: “Most of the proposed projects are run-of-the-river schemes, which are seemingly benevolent as compared to large dams”, not understanding that EACH of the so called run of the river schemes ALSO involves a dam, most of them are large dams as per international definition. It incorrectly said, “Run-of-the-river projects, which used flowing water as the raw material for energy”, in reality NONE of the so-called ROR projects generate power from flow of the water in the river, they all dam and divert the water away from the river to produce power. It also tried to dilute the impact of the projects on rivers (akin to killing of rivers) by saying projects “affect” rivers. It misleadingly wrote, “The hydropower engineers argued for 10 per cent e-flow” without mentioning that the EAC of MoEF is prescribing 20-30% of mean season flows. The article claimed that figures of water flow and tariffs were modified by IIT-Roorkee, but in the entire IMG report, (except the Annexure XI written by author of the articles), there is no mention of any of these. The article talks about engineers’ claims that “this source provides power during peak demand hours”, but as we noted above the IMG has not even looked at the impact of peaking generation. There is not even an attempt to understand how much of the current generation from hydropower projects is happening during peaking hours, or what is the generation performance of hydropower projects, issues that SANDRP has been raising for many years.
This post is based on a submission made by SANDRP and our colleagues on the HLWG Report on Western Ghats. 20th May 2013 is the last date to submit comments on this. Comments need to be sent to: amit.love@nic.in. We request groups and individuals to make as many submissions as possible.
Comments on HLWG Report with a focus on Water issues
SUB: Comments on the High Level Working Group Report with respect to water sector
This is in response to announcement posted on MoEF website about submitting comments on the HLWG report under the Chairpersonship of Dr. Kasturirangan. These comments mainly deal with water in Western Ghats: One of the most critical issues for Western Ghats States.
A lady collecting drinking water from a sacred grove in Western Ghats Photo: SANDRP
Unfortunately, we have to note that recommendations of the HLWG Committee in response to WGEEP Report as well as some of HLWGs omissions and commissions are detrimental to the well-being of rivers, wetlands and dependent communities in the Western Ghats and hence, for related sectors like ecology, water supply, irrigation, hydropower, etc. This is elucidated in the following points:
HLWG does not comment on any other issue related to water except hydropower:
While the Gujarat, Maharashtra, Goa, Karnataka, Kerala and Tamilnadu are facing multiple issues with respect to rivers, drinking water, irrigation, loss of biodiversity and livelihoods, dam-induced displacement, etc., the only issue HLWG report has commented upon is Hydropower. The WGEEP report has dealt with a number of issues related to the water sector from democratic community driven bottom up governance, watershed development, opposition to large dams in ESZ I and II, drinking water, fisheries, etc. However, the HLWG does not comment on any of these recommendations of the WGEEP, nor does it offer its own position on these. This is a serious lacuna in the HLWG Report.
In the absence of such recommendations, we request that MoEF adheres to WGEEP recommendations.
Fishing in Vashishthi Estuary, Western Ghats. Photo: SANDRP
HLWGs recommendations about Hydropower are ad hoc, unscientific and misleading
HLWG claims that all Hydropower is “renewable and clean.”
This is a completely incorrect statement and it’s surprising to see that it comes from HLWG. The world over, the myth of Hydropower as clean source of energy has been busted.[1],[2] Hydropower projects have huge impacts on environment, ecology, forests, rivers, biodiversity and livelihood security of the people. Studies have proved that methane emissions from reservoirs formed by hydropower dams in tropical countries can have significant global warming potential, methane being about 21 times more potent global warming gas than CO2. Dams emit methane at every draw down.[3] With tropical forests in the Western Ghats (WG) under submergence and otherwise destruction by such projects, this threat is even more serious. Already WG has some of the biggest hydropower plants in the country including the Koyna, Bhandardara, Ghatghat HEPs and three Tata HEPs in Maharashtra, Linganmakki, Gerisouppa, Bhadra, Tungabhadra, Upper Tunga, Talakalale, Kabini, Harangi, Chakra, Supa, Varahi, HEPs in Karnataka, Idukki, ldamalayar, Lower Periyar, Poringalkuttu, Sholayar HEPs in Kerala and Bhavani HEPs in Tamil Nadu. All these projects have not only contributed to greenhouse gas emissions, but have also adversely affected communities, forests, rivers and ecosystems in Western Ghats. There are numerous pending cases of rehabilitation from these dams (for example Koyna in Maharashtra) till date involving tens of thousands of people and communities in many areas are still suffering from erratic water releases from these projects (downstream communities near Jog Falls d/s Linganmakki).
Hydropower dams in WG are in many cases transferring water across the basin for power generation, making it unavailable of the original basin and its inhabitants (For example: Interbasin transfers from Koyna and Tata Hydropower dams in Maharashtra). Every hydropower project has finite life. Thus, for the basin dwellers and everyone else, Hydropower not much renewable either.
HLWG is not justified in giving a ‘clean and renewable’ certificate to hydropower.
Jog Falls on Sharavathy: Dried and diverted by the Linganmakki HEP in Karnataka Western Ghats. Photo: SANDRP
HLWG allows Hydropower projects in ESAs while not looking at performance of existing projects
While the WGEEP did not allow large dams and hydropower projects in ESZ I and II, HLWG has allowed hydropower projects in its demarcated ESAs. This is unacceptable. Western Ghats are already ravaged by dams and at least the areas of high biodiversity value should now be protected from the same onslaught. But the HLWG has rejected WGEEP recommendations about this. While doing so, they have not looked at the performance of the existing HEPs in WG. SANDRP has been studying performance of HEPS in India for some time now based on generation data from Central Electricity Authority. The performance of existing hydropower plants in WG is dismal as can be seen below:
In Koyna Basin, the per MW generation in 2010-11 has dropped by a huge 56.79% from the highest per MW generation achieved in the year 1994-95.[4]
In Kali Nadi projects, the per MW generation has dropped by 46.65% from the highest per MW generation achieved in 1994-95[5]
In Sharavathi Basin projects, per MW generation in 2010-11 has dropped by 37.60% from the highest per MW generation achieved in the year 1994-95[6]
Same situation is true for most other hydropower projects.
Most of these projects are performing far below the level at which the projects were given techno-economic clearances.
There is no assessment as to how much of the generation from such hydropower projects is during peaking hours. Nor is there any attempt at optimising the peaking power from these projects.
It is clear that there is huge scope to make the existing projects more efficient, rather than destroying ESAs in WG with more projects.
We request that in line with WGEEP report, large dams should not be permitted in ESAs of Western Ghats.
Recommendation about mitigating impacts of Hydropower are extremely weak
The HLWG has recommended 30 % of lean season flow as the minimum flow throughout the year as a conditionality for allowing hydro power projects in the ESA. This is contradictory to the recommendation for ecological flows by the HLWG. Ecological flows means trying to mimic the natural flow regime in the river as far as possible and that would include arriving at different seasonal flows based on studies and consultation with the river communities and other stakeholders, using the Building Block Methodology which even the Inter Ministerial Group on Ganga Basin has said is the most appropriate for India. Moreover, the IMG has recommended 50% releases in lean season flows, applicable for all existing projects. MoEF should accept these norms immediately for all existing projects.
The MoEF should be recommending ecological flows / environmental flows as in the WGEEP report and not minimum environmental flows and this should be determined through holistic methodologies like Building Block Methodology and local participation.
The HLWG recommendation of 3 km minimum distance betweendams is totally ad hoc, arbitrary and hence unacceptable. Firstly, the HLWG should have mentioned min 3 km of flowing river between projects. The minimum distance is river specific and would depend upon a basin level study of the river including the altitudinal profile of the river, the riparian forest status, the aquatic habitats and biodiversity, the present dependability and many such criteria. More significantly, the cascade hydropower dam menace which is destroying rives in Himalayas need not be replicated in western ghats. We would like to reiterate that no large dams should be allowed in the ESA of WG.
The MoEF should recommend for arriving at river specific studies while accepting 5 km of free flowing river between projects as minimum distance of free flowing river between projects. The best case is not to allow any further large dams in Western Ghats.
No flows in Sharavathy downstream Linganmakki Dam and Jog Falls. Photo: SANDRP
The HLWG does not stress the need for Environmental Clearance for Mini hydel Projects
Hydro projects less than 25 MW are currently exempt from Environmental Clearance due to a dangerous omission in the EIA Notification 2006. WG is currently facing a severe threat due to a flood of these unplanned cascades of Mini Hydel Projects. Ecosystems and communities in rivers like Netravathi, Kumaradhara, Krishna and Cauvery are facing impacts of these projects, many of which are fraudulent.[7] Netravathi has more than 44 mini hydel projects planned and under operation. Kerala has plans to set up around 100 mini Hydel projects on its rivers. The threat of these projects on river systems in Western Ghats is so high that in March 2013, the Karnataka High Court, has banned any new mini hydel projects in Karnataka Western Ghats[8].
WGEEP had recommended no mini hydel projects in ESZ I and II. HLWG has not done this. While the HLWG makes a rather vague statement “There is a need to redesign and reevaluate small hydropower projects – below 25 mw as these often have limited impact on energy generation and can lead to huge impacts on ecology’, it has not recommended that these projects should need an EIA and EC process, like it has said for Wind Energy. This is a very serious omission. SANDRP and many organizations have written about this to the MoEF several times.
The MoEF should amend the EIA Notification 2006 and include all hydel projects above 1 MW in its purview.
Pristine Forests set for submergence under the 24 MW Kukke Mini hydel Plant in Dakshin Kannada, Karnataka. Photo: SANDRP
The HLWG does not stress the need of Environmental Clearance (EC) for Drinking Water and Industrial supply dams
HLWG has not looked at water as a sector, but has only confined itself to hydropower. This has resulted in several loopholes. Many dams are being constructed in Western Ghats for Drinking Water and Industrial water supply. These are also exempt from EC process as per the EIA Notification 2006. Dams like Kalu, Shai, Balganga, Khargihill, Pinjal, Gargai are set to submerge more than 6000 hectares of forest in ESAs and Protected Areas in Northern Western Ghats in Maharashtra.
WGEEP Report had recommended no large dams in ESZ I and II, but the HLWG does not talk about these dams at all. Their impacts on WG forests and communities are entirely ignored. This is another serious lapse of the HLWG report.
The MOEF should amend the EIA Notification 2006 to include all large dams, irrespective of the purpose, including drinking and industrial water supply dams in its purview. No large dams should be planned in ESA of Western Ghats.
Ravines of Vaitarna already submerged by the Middle Vaitarna Dam near Mumbai Photo: SANDRP
HLWG does not recommend eflows from existing projects
Several hundreds of Irrigation, water supply, hydropower dams have transformed the nature of rivers and dependent communities in Western Ghats. While the WGEEP Report mentioned maintaining eflows from existing projects, the HLWG does not make any recommendation for eflows from existing projects.
Hydropower projects in Karnataka like Kali, Linganmakki have affected communities and ecosystems in the region, have driven some species to extinction. There is an urgent need to restore eflows in all WG rivers.
The MoEF should recommend that eflows should be assessed with holistic and participatory methodology like BBM and recommend e-flows for all dammed rivers in Western Ghats with time limit of one year.
HLWG does not apply its mind to dam decommissioning
The HLWG has chosen to ignore the recommendations on dam decommissioning. While the states have rejected the recommendation the MoP (Ministry of Power) and Central Electricity Authority has noted that dam decommissioning in a phased manner is worth considering.
There are several irrigation and hydropower dams in the Western Ghats which are severely underperforming or incomplete after two decades, or more than 100 years old, and/or unsafe. For example, several experts have opined than large irrigation projects in Konkan region of Maharashtra are severely underutilized. Tillari Interstate Project between Maharshatra and Goa which has come up affecting a wildlife corridor and which has still not rehabilitated its affected population, has a created irrigation potential of 7,295 hectares in Maharashtra of which farmers are utilizing just 162 hectares, according to the Govt Of Maharashtra’s 2012 White Paper on Irrigation Projects in Maharashtra. This underlines the redundancy of large irrigation projects in the WG.
The HLWG had an opportunity to relook at such projects, which it has not done. The HLWG could have noted that the state governments and the MoEF and MoP should start the process of evolving parameters / criteria towards the process of dam decommissioning.
The MoEF may please recommend the same.
Leaking Khadkhad dam Mahrashtra Western Ghats Photo: Pune Mirror
HLWG does not recommend free flowing rivers for WG
Rivers in Western Ghats are repositories of biological, ecological and cultural diversity. Rivers in WG harbor high endemism and diversity in freshwater fish. They also house several Sacred groves at river origins, river fish sanctuaries, etc., protecting rivers and fish. The freshwater biodiversity remains the most fragmented among all biodiversity and HLWG has taken no note of this state and further risks that freshwater biodiversity faces. The WGEEP had wisely followed a graded approach in tune with the ecological connectivity of river ecosystems. ln the HLWG approach, stretches of rivers would flow out of the natural landscape into the cultural landscape which is open to indiscriminate development and the chance for their restoration or protection would be completely lost out. A river cannot be protected in pieces like this.
Looking at the pressures from dams and water abstractions, there in an urgent need to conserve ecologically, culturally and socially important rivers in their free-flowing condition. This approach is well accepted globally and several countries have created specific legislations for protecting free flowing rivers[9]. It seems that the IMG Committee on Upper Ganga, in which Ms. Sunita Narain (Member of Kasturirangan Committee), was also a member has recommended that some six tributaries of Upper Ganga basin should be kept in pristine state. While rejecting WGEEPs recommendation about dam decommissioning or dam free rivers in the ESZs, HLWG has not recommended keeping even a single river in Western Ghats in its free flowing condition.
MoEF should identify ecologically, culturally and socially important rivers, based on community and ecological knowledge and conserve Heritage Rivers of Western Ghats in their free flowing condition for the current and future generations.
Seetha Nadi, free flowing river in Karnataka Western Ghats. Photo: SANDRP
HLWG allows Inter basin transfers in Western Ghats, without any justification or studies
The HLWG has agreed to inter basin transfers toeing the claims of some of the states. There are ample instances of failed interstate – inter basin transfers in the Western Ghats rivers which have turned into permanent scenes of conflicts like the famous Mullaperiyar, Parambikulam Aliyar, Siruvani interstate inter basin transfers between Kerala and Tamil Nadu. The HLWG while acknowledging the need for ‘ecological flows assessment’ in rivers has failed to note that in all these inter basin transfers, the river / tributary has been completely diverted and has lost its ‘ecological flows’. The HLWG could have recommended a cumulative impact assessment of the existing inter basin transfers which would reveal the ground reality.
HLWG seems to have accepted the contention of states like Maharashtra: “This (stopping IBT) would be a problem, they explained, as many regions of the Western Ghats lie in the rain shadow area and need water to be diverted for irrigation and drinking.”
Reality is that, ALL the interbasin transfers happening in Maharashtra currently (through Koyna and Tata Hydro power projects, an amount more than 4 Billion Cubic Meters Annually) are transferring water FROM the rain shadow area of Krishna and Bhima basins TO water surplus regions in Konkan. If HLWG was concerned about water supply for rain shadow regions, it would have at least recommended that this transfer from deficit area to high rainfall area be immediately reviewed and reversed in a time bound manner. It has chosen not to, showing its complete ignorance of ground reality or its completely pro government and pro vested interests bias.
The MoEF should retain the recommendation for no more inter basin transfers as in the WGEEP report and ask for immediate review of transfer of water from deficit basins to high rainfall areas.
HLWG allows hydro projects in first and second order streams
The HLWG has not said no to hydro power projects in first and second order streams in ESA. Meanwhile the MoP, CEA and WAPCOS all agree that hydro power projects should not be permitted in these highly ecologically sensitive areas which are the ‘origin’ of Western Ghats Rivers.
The MoEF should retain the recommendation for no run of the river schemes in first and second order streams as in the WGEEP report.
HLWG offers no comments of on several water sector recommendations of WGEEP which have been supported by State Governments
Kerala and Maharashtra have accepted many of the recommendations of the WGEEP in water sector (page 14 section 2.3 – point 9) like catchment area treatment plan, protection of high altitude valley swamps, water conservation measures, rehabilitation of mined areas, improved river flows etc. It is surprising to note that the HLWG is silent on these very important measures and has not even endorsed these acceptable recommendations which can significantly contribute towards improving water availability in the Western Ghats.
The MoEF should follow these recommendations of the WGEEP.
HLWG takes an extremely biased stand about Athirappilly and Gundia Hydropower projects, rejected by the WGEEP
The WGEEP had categorically stated that the Athirappilly and Gundia Hydropower project should not come up in Western Ghats, looking at their huge impacts on biodiversity, several studies by local organisations and local opposition. However, ignoring all these, the HLWG has taken a very pro project stand on these projects, stating that they can be considered with some vaguely due process, which the state government would be happy to show they have followed it on paper. This is entirely unacceptable.
The MoEF should not allow Athirappilly and Gundia HEPs looking their impact on ecology and communities and in face of the strong local opposition that they are facing.
Athirappilly Waterfalls on the Chalakudy River Photo; SANDRP
The WGEEP process and report initiated a robust discussion about the paradigm of development and conservation in Western Ghats. Water and Rivers is a cross cutting issue connecting ecosystems and communities, rural areas and urban centers, providing goods and services and supporting freshwater biodiversity, which is most threatened currently.
A proactive position on conserving rivers in Western Ghats will go a long way in protecting and conserving myriad livelihoods and ecosystems that thus depend of them.
We hope the MoEF considers the recommendations made above about the WGEEP and HLWG Reports and helps conserving rivers of the Western Ghats for people and ecosystems urgently. The HLWG Report cannot be accepted the way it stands presently. As a step in this direction, we also suggest that WGEEP should get a formal chance to respond to the points raised about it in the HLWG.
Thanking You,
Yours Sincerely,
Himanshu Thakkar, Parineeta Dandekar, South Asia Network on Dams, Rivers and People, New Delhi and Pune (ht.sandrp@gmail.com , parineeta.dandekar@gmail.com)
Dr. Latha Anantha, River Research Centre, Thrissur, Kerala (rrckerala@gmail.com)
A fantastic documentary shattering the myths of Large Dams as sources of clean energy, Damocracy takes a documentary to the next level. It talks about two dams, separated by thousands of kilometers, united by people’s struggle against destructive and illegal large dams. It traces the story of the Bel Monte Dam on Xingu River in the Amazon Basin of Brazil and the Ilisu Dam on the Tigris River in Turkey.
It takes us through a maze of lies, government repression, plight of communities, strengths and struggles of local communities against these projects which have gone on for decades. While Bel Monte Dam threatens over indigenous tribes and native fish in Brazil, Ilusu Dam, under construction even without an EIA will submerge 300 archeological sites including eth entire city of Hasankeyf.
Dr. Philip Fearnside talks about the popular jingle of Hydropower being ‘clean, green source of energy’. He says “People have heard this myth so many times, that they believe it, because they’ve never heard anything else.” He talks about the impact of Methane on global warming, which is many times more than carbon di oxide.
The film ends with a diverse group of dam activists from all corners of the world actually dismantling a wall built across the Xingu… working together in the scorching Amazon sun to undo work of machines for months. In the end, the XIngu flows again..though symbolic, it a powerful message.
In the words of one of the elated activists seeing the river flow finally “If a small united group could do this, imagine what a united world can do against monster dams.”
An inspiring fim in many ways. A must watch for sure.
The present drought in Maharashtra is dubbed as being worse than the one in 1972. This article conclusively proves that these critical conditions are not due to the rainfall, but due to poor water management decisions. The rainfall in 2011-12 has been more than 1971-72 in most of the worst drought-affected districts. Mismanagement of water in the dams, and irrational promotion of water-intensive sugarcane, unjustifiable west ward water diversions for hydro power generation have all led to the dearth of water to a much larger extent than the quantum of rainfall.
Maharashtra has 209 sugar factories, the highest in any state in India. most of them in worst drought-affected districts. Of its 30 cabinet Ministers, 13 either own sugar factories or have considerable shares in them. This article examines the impact of this hegemony on the state’s farmers and it’s water.
Some of the oldest dams in the world exist in India with around 100 large dams are more than 100 years old. These are increasingly unsafe. MoEF needs to consider dam decommissioning as a viable option for restoring the ecology of rivers
This article analyses the National Register of Large Dams. It is a disturbing situation that the agencies that are responsible for our large dams do not even know for majority of our large dams the names of the rivers on which they are located!
National Chambal Santuary is one of the very few protected river sanctuaries in India.This article describes a project to provide a peer-reviewed and open-access compilation of vertebrate fauna of the Chambal River basin, which highlights the regions ecological significance as also the threats it faces
This article discusses the various conflicts developing in the Indian Sub-continent. International, inter-state, and inter-sectoral conflicts are discussed. The article also discusses the steps that need to be taken to achieve greater water cooperation across the world
The HC order to release water from upstream dams to Ujani dam for mitigating drought in Solapur is examined. Unfortunately, the Maharashtra water resources department is unable to curb unathorised water use, let alone promote equitable usage of water from canals, dams and rivers
PRESS STATEMENT ON WORLD EARTH DAY: APRIL 22, 2013
We the signatories to this statement would like to bring some key issues to the attention of all concerned on the proposed Lakhwar Dam Project on the Yamuna River in Upper Yamuna River Basin in Dehradun district of Uttarakhand state.
The proposed dam involves a massive 204 m high dam with storage capacity of 580 Million Cubic meters, submergence area of 1385.2 ha, including 868.08 ha forest land, at least 50 villages to be affected by submergence of land in the upstream, many more in the downstream area. This site is just about 120 km downstream of the river’s origins from the holy shrine of Yamunotri. The composite project involves, in addition to the Lakhwar dam with 300 MW underground power house, another 86 m high Vyasi dam with 2.7 km long tunnel and 120 MW underground power house and a barrage at Katapathar.
As can be seen from the details below:
a) The project has not undergone basic, credible environment or social appraisal in any participatory manner.
b) It does not have legally valid environment or forest clearance.
c) There has not been any cumulative impact assessment of various existing, under construction and planned dams and hydro-projects in the Yamuna system.
d) There has not been any credible assessment about options for the project.
e) The project is to come up in an area that is seismically active, prone to flash floods and also prone to erosion and land slides.
f) The spillway capacity of the project has been awfully underestimated resulting in significant risks of dam damage / breakage with concomitant risks of unprecedented downstream flooding and destruction. It may be mentioned here that Delhi is a major city standing in the path of the river in the downstream area.
g) The religious and spiritual importance of the Yamuna River is at risk since whatever remains of the river will be completely destroyed both in the upstream and downstream of the project.
h) No agreement exists among the Upper Yamuna basin states about sharing of costs and benefits of the project, which should be a pre-condition for taking up any such project.
i) It is well known that Yamuna River is already one of the most threatened rivers in the country and the project shall further adversely affect the river system.
Recently as well as earlier last year thousands of people from Allahabad/ Vrindavan marched to Delhi, seeking a revival of their river Yamuna. The focus of the authorities should be on ways and means to restore the river Yamuna system rather than take such massive project without even basic appraisal.
We thus urge the official agencies at both the state and at the centre level to not go ahead with this project. We urge them to rather take steps to protect and preserve than destroy one of the biggest and culturally important river, without even basic appraisal at project or basin level or any options assessment carried out in a due participatory manner.
We hope that the government will not go ahead with this project until all the issues mentioned have been satisfactorily resolved.
Dr RK Ranjan, Citizens Concern for Dams and Development, Manipur ranjanrk50@gmail.com Jiten Yumnam, Committee on Natural Resources Protection in Manipur, jitnyumnam@yahoo.co.in
58. Himanshu Thakkar, South Asia Network on Dams, Rivers & People, 86-D, AD block, Shalimar Bagh, Delhi (09968242798, ht.sandrp@gmail.com)
Annexure
DETAILED NOTES
1. No Options Assessment There has been no assessment to show that this project is the best option available for the services that it is supposed to provide, including water supply to Delhi, irrigation in Uttarakhand, hydropower generation and water storage. It was not done during the process preceding the now out-dated environmental clearance given in 1986, nor has it been done subsequently.
It is well known that Delhi has much cheaper, environment friendly and local options that has not been explored with any sense of seriousness. These include reduction in transmission & distribution losses (which stand at 35%), rainwater harvesting (as National Green Tribunal order in April 2013 exposed, even the Delhi Metro is not doing this) including groundwater recharge, demand side management, stopping non essential water use, protection of local water bodies, protection of flood plains, streams and the ridge, recycle and reuse of treated sewage, among others.
As far as irrigation in Uttarakhand is concerned, in this relatively high rainfall area, and considering the local agro-geo-climatic situation and suitable cropping patterns, better options exist. Similarly about other claimed services.
It may be added here that the EIA manual of Union Ministry of Environment & Forests, the National Water Policy and best practices around the world including the recommendations of the World Commission on Dams, require such an options assessment study, including no project scenario, before embarking on such costly and risky projects.
2. No Basin wide cumulative impact assessment or basin study: Yamuna River is already in very bad situation in many senses, including being very polluted for lack of surface water flow. The river basin also has large number of projects existing and under construction, See: http://www.sandrp.in/basin_maps/Major_Hydro_Projects_in_Yamuna_Basin.pdf, for details. Particularly, see the concentration of projects in narrow upper Yamuna Basin. However, there has been no basin wide cumulative impact assessment of projects and water use in the basin in the context of its carrying capacity on various aspects. Without such an assessment, adding more projects may not only be unsustainable, it may actually be worse than zero sum game, since the new projects will have large number of adverse impacts. That we may have already crossed the basin carrying capacity upstream of Delhi seems evident from the worsening state of Yamuna over the past decades in spite of investment of thousands of crores rupees. Adding this project with its massive impacts without such an assessment may actually be an invitation to disaster.
We learn that a Yamuna basin study has been assigned to the Indian Council for Forestry Research and Education (Dehradun). However, it should be noted that in the first place, ICFRE has had poor track record. Its EIA study for the Renuka dam in the same Yamuna basin was so poor that it was based on the poor quality of the study that the National Green Tribunal stayed the work on the project for over a year now.
3. No valid environment clearance, no valid EIA-EMP or Public consultation process
The Composite Lakhwar Vyasi project got environment clearance 27 years back in 1986 without any comprehensive environment impact assessment (EIA) or preparation of environment management plan (EMP) or any participatory process. Some preliminary work started, continued only till 1992 and stopped thereafter for lack of funds.
a) In Sept 2007, the 120 MW Vyasi HEP, part of the original composite project, sought and got environment clearance although the minutes of the Expert Appraisal Committee of MoEF notes a number of unresolved issues. In Nov 2010 EAC meeting, the EAC considered the Lakhwar Dam for Env clearance, and raised a number of questions, none of them were ever resolved. The EAC did not consider the project in any meeting after Nov 2010.
This sequence of events makes it clear that Lakhwar Dam does not have valid environment clearance. The MoEF and project proponent assumption that the Environment Clearance (EC) of 1986 is valid is not correct, since if that EC was not valid for the Vyasi HEP which has sought and received fresh EC in Sept 2007, then how could Lakhwar HEP Dam of which Vyasi HEP is a part, continue to possess a valid EC.
Thus to give investment clearance to Lakhwar dam without valid EC will be imprudent, and might invite long drawn legal challenge to the project, resulting in more delays and in turn unnecessary cost escalations.
b) The project also does not have valid EIA-EMP. What ever assessments were done before the 1986 EC cannot be considered adequate or valid today. The environment standards and also environment situation has hugely changed in the intervening 27 years.
The project did not have any public consultation process in 1986 or anytime there after. Fresh EC will require that and the project must go through that process.
4. Issues raised by EAC remain unresolved: When the 43rd meeting of EAC considered the project for EC on Nov 12-13, 2010, the minutes of the meeting raised a large number of questions, all of them remain unresolved. These issues are fundamental in nature. Without resolving these issues, the project should not go ahead.
Just to illustrate, EAC raised questions about the need and usefulness of various project components. It is clear from the EAC minutes that the project also involves construction of Katapathar barrage downstream from Vyasi Power House at Hatiari. However, just about 10 km downstream from this barrage there is an existing barrage at Dak Pathar. It is not clear why this Katapathar barrage is required, the EAC asked. None of these issues have been resolved.
5. Project does not have valid forest clearance: The composite Lakhwar Vyasi project requires a very large area of forest land, at 868.08 ha, the diversion was originally permitted for the UP irrigation Dept, which was then transferred to Uttaranchal Irrigation Dept upon creation of the separate Uttaranchal State. However, the project has now been transferred to Uttaranchal Jal Vidyut Nigam Limited. The Vyasi Project was earlier transferred to NHPC and now stands transferred to UJVNL.
In Aug 2012 FAC (Forest Advisory Committee is a statutory body under the Forest Conservation Act 1980) meeting, there was a proposal put forward to transfer the clearance for 99.93 ha (out of total forest land of Rs 868.08 ha for composite project) forest land required only for the Vyasi Project to UJVNL from Uttaranchal Irrigation Dept. While discussing this proposal, FAC noted that the Vyasi project was earlier transferred NHPC, without getting the forest clearance transferred in favour of NHPC. In fact FAC has recommended, “State Govt shall examine the reasons for not obtaining prior approval of the Central Govt under the Forest (Conservation) Act, 1980, for change of user agency from irrigation dept to NHPC and fix responsibility”. Secondly what is apparent from the minutes of the Aug 2012 FAC meeting is that even the Catchment Area Treatment Plan for the Vyasi project has not yet been prepared. This shocking state of lack of preparation of basic management plan is the consequence of allowing the project based on outdated clearances. The FAC has now asked the user agency to fulfil all such requirements, before which the project will not be given stage II forest clearance. So the Vyasi Project also so far does not have stage II forest clearance.
Most importantly, the transfer of forest clearance for the remaining 768.15 ha of forest land required for the Lakhwar project from Uttarakhnd irrigation dept to the current project agency UJVNL has not been even sought. So the Lakhwar project does not have valid forest clearance even for first stage, and surely no stage II forest clearance. Under the circumstances, the project does not have legal sanction.
6. Inadeaquate spillway capacity The project spillway capacity is proposed to be of 8000 cumecs, as per official website, see: http://india-wris.nrsc.gov.in/wrpinfo/index.php?title=Lakhwar_D00723. However, as per the latest estimates, the location is likely to experience probable Maximum Flood of 18000 cumecs. This is as per a paper titled “The probable maximum flood at the Ukai and Lakhwar dam sites in India” by P R Rakhecha and C Clark, presented in the year 2000 at an international Symposium. Dr Rakhecha later joined Govt of India’s Indian Institute of Tropical Meteorology in Pune. The paper concludes: “For the Lakhwar dam site there would be significant flow over the dam crest after 12 h from the start of the storm hydrograph and this would be maintained for over 18 h. The maximum depth of flow over the crest would be 4 m which is large enough to cause major if not catastrophic damage to the dam structure.”
Thus the spillway capacity of the project needs to be reviewed and it would not be prudent to go ahead without the same as the new PMF could cause major damage to the dam, the paper says. Any damage to this massive structure will have far reaching consequences all along the downstream area, right upto Delhi and downstream.
In fact even for the Vyasi HEP, while discussing the project in the EAC meeting of Aug 16, 2007, the minutes notes that the clarification sought by EAC on Dam Break Analysis for the project is incomplete, inadequate and far from satisfactory and the EAC desired further concurrence of Central Water Commission. In fact, EAC should not have recommended EC to the Vyasi Project with a flawed study. For the bigger Lakhwar project, there has not even been any such appraisal.
7. No agreement among Upper Yamuna basin states, Unresolved disputes The Lakhwar storage project is part of the Upper Yamuna basin. An interstate agreement was arrived at in 1994 for sharing of water in the Upper Yamuna basin among the basin states of Himachal Pradesh, Uttar Pradesh (now also Uttarakhand), Haryana, Delhi and Rajasthan. Each project under the agreement required separate agreements. However, there has been no agreement on sharing the costs and benefits of the individual projects under the agreement.
On Renuka project also in the same Upper Yamuna basin, there was an agreement that was arrived at in 1994, but the Ministry of Law has said that the agreement is no longer valid. For several years now the Upper Yamuna River Basin Board has been holding meetings, but has failed to arrive at any agreement for sharing the costs and benefits of Renuka dam. For Lakhwar dam there has been not been any serious attempt in that direction. The current project proposal envisages to provide 50% of water (about 165 MCM) to Delhi and 50% to Uttarakhand for irrigation (see: http://www.business-standard.com/article/companies/work-on-300-mw-lakhwar-project-to-begin-by-aug-112062200178_1.html dated June 22, 2012 includes statement from project proponent UJVNL (Uttarakhand Jal Vidyut Nigam Ltd) Chairman). However, this proposal completely ignores the claims of share from the project by Uttar Pradesh, Haryana, Rajasthan and Himachal Pradesh. To go ahead with the project without an inter state agreement on sharing costs and benefits would surely not be prudent.
8. Inadequate cost estimates As per estimate as on March 1996 the cost of the project is Rs 1446 crore out of which Rs 227 crore have been spent (see: official website http://uttarakhandirrigation.com/lakhwar_vyasi_project.html). Note that this cost was for the composite project, including Vyasi HEP. As per UJVNL official webstie http://www.uttarakhandjalvidyut.com/lakhwar.php, the cost of Lakhwar Project alone is Rs 4620.48 crore on Feb 2010. The same site gives the cost of Vyasi HEP at Rs 1010.89 crores, so the cost of combined project at Feb 2010 PL is Rs 5631.37 crores. The cost has thus seen 300% escalation in 14 years between 1996 and 2010. This is a very costly project and the cost is likely to be even higher at current prices. In any case, the estimate should be for current price level and the cost benefit calculations should also be for the latest date.
9. Seismically active area, erosion prone landscape: The project area is seismically active, flash flood, land slides, cloud bursts and erosion prone. In the context of changing climate, all these factors are likely to be further accentuated. When the project was first proposed in mid 1980s, none of these issues as also the issues of biodiversity conservation, need to conserve forests for local adaptation, forest rights compliance, environment flows etc were seen as relevant or important. However, all of these issues are important today. The project clearly needs to be reappraised keeping all these issues in mind.