Haleakala Telescope Testimony
To: Dr.
Craig Foltz, ATST Program Manager June 22, 2009
National
Science Foundation, Division of Astronomical Sciences
4201
Wilson Boulevard, Room 1045, Arlington VA 22230
From: Professor (Emeritus) Dick Mayer, Economics and Geography Tel.
[phone/email/address]
RE: FED./STATE
SUPPLEMENTAL D.E.I.S. -- ATST (Haleakala Solar Observatory)
1. The views that I express below are
my own and not necessarily those of any organization or association.
2. SCOPING
MEETINGS There were
problems with the scoping meetings: the public was not well informed
about the actual height of the telescope facility and the attached
service building. In fact, it appears that there was an actual
attempt to mislead the public. The photos and sketches shown to the
public were all aerial shots which gave the impression that the
telescope was actually shorter than the top of the mountain. (The
telescope actually will rise to a height about 100' above the highest
natural point on the mountain!!) Furthermore, when asked the height
of the telescope at the scoping meeting, the figure given by the ATST
spokesperson was approximately 93 feet; the actual height is
approximately 50 percent greater.
Because the public was mis-lead on the
height, it was less able to comment accurately on the enormous visual
impact of the planned facility. It was not until several weeks later
that the Maui News reported accurately on the actual telescope
height, too late for the scoping meetings.
3. SITE
SELECTION It would seem
that a space-based telescope would have many of the advantages which
were found at Haleakala and would avoid the need for “adaptive
optics”. The Sup-DEIS does not adequately explain why the
space-based telescope is not completely evaluated as one of the
alternative sites. A space-based solar telescope should BE included
in the Final EIS as an alternative site.
4. SITE
SELECTION The Sup-DEIS
has limited its evaluation only to the 18 acre site operated by the
UH IfA. The Sup-DEIS then attempts to make a careful analysis
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between two almost similar sites,
both in the 18 acre HO location. Consequently, a potentially
superior site, perhaps in the saddle to the southwest of the 18 acre
site, was only mentioned and certainly was not seriously evaluated.
This alternative site could potentially avoid many of the visual
problems of being located so close to the Haleakala National Park.
The site also may avoid some of the problems with Hawaiian cultural
sites. It was prematurely dismissed. Being located in the 18 acre
site requires a CDUA permit, just as a site in the “saddle” would
require a CDUA permit.
5. HEAT
AVOIDANCE CAUSING EXCESSIVE HEIGHT Despite the fact that since 1996 there has been a 35' height limit
in the Upcountry Community Plan district, the proposed telescope
would violate this ordinance. It would be the tallest building in
Maui County. The Sup-DEIS describes the telescope’s “143 feet
height” as being necessary to avoid being too close to the ground
where there is considerable heat coming off of the dark lava rock.
In literature supplied at one of the
scoping meetings it was mentioned that a potential solution to the
considerable ground heat would be the installation of a white apron
extending approximately 10 meters from the telescope’s base. It is
further stated that this white apron would provide numerous other
benefits, such as containing spilt lubricating oil and collecting
water runoff.
Unfortunately, this white apron was
not discussed in the Sup-DEIS. If it had been included in the
building design, evaluated and discussed, it might be possible to
reduce the height of the telescope, maybe also the proposed illegally tall service building,
and perhaps even the overall cost of the project. If the white apron
were built, what would be the needed telescope height?
6. SPIRITUAL AND CULTURAL”
SIGNIFICANCE I will
limit my own comments about the “spiritual and cultural”
significance of the Haleakala Summit site because
so
many others with far more knowledge will be commenting on this
matter. However, I would encourage those who are evaluating the
Final EIS, to consider
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their own personal reaction if this
telescope was being proposed to be located on the Mall in Washington
D.C. in front of the Lincoln Memorial, or perhaps at a site
considered sacred to members of their own religion, such as on
Calvary Hill in the city of Jerusalem, or besides the Wailing Wall
also in Jerusalem, or in the city of Mecca. (Would these sites even
be considered as potential locations for a grand scientific
experiment that might benefit all of humankind? If the answer is
“NO!”, then why is Haleakala even being considered?)
7. LAND
OWNERSHIP When discussing
the ownership of these lands, the Sup-DEIS indicates that the
University of Hawaii was given these lands by Gov. Quinn’s
Executive Order # 1987. The Sup-DEIS states that the U. H. is now
the “fee owner” of these lands.
What the Sup-DEIS neglects to point
out is that the Hawaii State Governor may not have had the right to
give away these lands in 1961 since neither he nor the State of
Hawaii owned the lands. The lands at the summit of Haleakala are
“ceded lands” which have numerous implications, not the least of
which is the need by users to pay a “fair-market” rent. The
University of Hawaii pays only $1 per year for the whole 18+ acres.
Furthermore, the courts may rule someday that users of these lands
may need to pay reparations to the Hawaiian Kingdom that was
overthrown in January 1893 by United States naval forces.
8. OFF-SITE
CONNECTIONS AND CUMULATIVE EFFECTS Several references are made in the Sup-DEIS to physical connections
to off-site facilities. The references are to some kind of “base”
for communication, to an off-site computer “server”, and to a
vague facility at an undetermined site where many of the telescope’s
workers will be employed. Although the Sup-DEIS refers to these
locations, there is no description or evaluation of these off-site
locations. In fact, the Sup-DEIS says that
the details of the connectivity have
not yet been determined. How then can the Sup-DEIS claim in the same
section that there is “NO IMPACT”?
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Is the connectivity referring to the
military’s computer located in Kihei (South Maui)? To the Waiakoa
Astronomy facility in Kula? To the new astronomy building
constructed in Kula Malu in Pukalani? All of these locations? Or
none of them?
Until the cumulative impacts of this
project and its use of other sites, the EIS will be incomplete. For
example, is the design and construction of the “military financed”
Kihei-Upcountry Highway connecting the ATST telescope to the Kihei
computer actually a portion of this project?
Without the often mentioned support
sites (outside the 18 acre site) being located, described and
evaluated, the section on and analysis of “cumulative impacts” is woefully incomplete.
9. MILITARY
RELATED COMPONENTS and SECURITY IMPLICATIONS In several places within the Sup-DEIS, there are indications that
there may be military connections to this project. For example,
there is a discussion of communication links via a fiber optic cable.
Does this mean that this telescope will be digitally tied to the
military computer located in Kihei (South Maui)? There was also
mention made that the telescope lenses will periodically be serviced
by the Air Force’s Mirror Coating Facility which is located at the
Hawaii Observatory. Finally, the scientific results from the ATST’s
observation and analysis of the “solar mass ejections” and solar
wind would be of great use to the United States’ emerging
“militarization of space”. Is the ATST actually part of the
federal government’s military program?
The close ties of the ATST to the
military will result in potential security concerns for the facility,
the workers, the “connections” to other facilities, and one
million plus tourists who visit the area. Security issues must be
addressed in the Final EIS.
10. SCOPING
MEETING TRANSCRIPTS The Final EIS should contain the complete, unedited, transcripts from
each of the Sup-DEIS meetings held in 2009. During those meetings
much valuable testimony was given by the public; a recorder was
present and took down all the comments verbatim.
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11. ELECTRICITY UPGRADES AND THE
MAUI RESIDENTS An upgrade to MECO’s HO
sub-station is mentioned. However, no mention is made as to who will
pay for this upgrade. Will the burden fall on the general population
of Maui who will see the capital cost of MECO rise, with a subsequent
increase in resident’s electric power rates?
12. CUMULATIVE
IMPACTS FROM OTHER NEW FEDERAL and UH ACTIVITIES There are other projects in addition to the ATST: Pan-STARRS; NASA
Transportable Laser Ranging System; and the AEOS Mirror Coating
Facility.
Are there traffic concerns?
Biological considerations? Cultural considerations? Disrupted view
corridors? Etc.? Does each of them have a separate CDUA? If yes,
how will the DLNR Board be able to consider cumulative impacts?
Since these are all on the same
University of Hawaii leased site, Hawaii HRS 343 requires a
cumulative impact review/analysis.
13. HALEAKALA NATIONAL PARK
IMPACTS A major
deficiency of the Sup-DEIS is the inadequate treatment of the effects
of the ATST on the Haleakala National Park. The National Park
Service will be contributing its own comments on the DEIS. However,
I would like to reinforce their concerns. The Sup-DEIS has
trivialized the impact of the ATST on the disruption to the view
plane and the reduced quality of the tourist (and resident)
experience.
The Red Hill lookout is the highest
point on Haleakala. The proposed ATST site is a mere 1,500 feet from
Red Hill where over one million tourists come each year to
view one of the most beautiful and
unique views on the planet. Even the astronauts who were planning to
go to the moon came to this location because of its very special
environment. Unfortunately, the Sup-DEIS grossly underestimates the
impact of the “in-your-face” 143 feet high telescope and the
adjacent service building. Maui County law in the form of the
Upcountry Community Plan states as a Land Use Policy (P. 18), “Recognize the value of open space, including agricultural lands
and view planes to
preserve the region’s rural character.”
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Furthermore, the Red Hill overlook
is located within the 55 db noise contour emanating from the 7 years
of the ATST construction. Although this is noise level revealed, it
is in “exceedance of the state standard for maximum permissible
daytime sound levels in class A zones”. The Sup-DEIS describes
this as being only disturbance. It is NOT!
And furthermore, there is the matter
of the 250' crane and a number of smaller 100' cranes that will be
utilized for many years during construction. These will be a
further blight on the visual enjoyment of this very special place.
These visual and aural disturbances
(individually and in combination) at the major viewing site in a
United States National Park are unacceptable, and definitely a most
significant environmental impact. The fact that the Sup-DEIS
trivializes these impacts (in the form of its flawed visitor survey)
seriously undermines the quality of the entire document. Over the
course of 7 year construction period, over 7,000,000 visitors will
be impacted.
14. VISITOR
SURVEY IS FLAWED As
noted in the Sup-DEIS (See 3-46), Haleakala National Park (HALE) has
“indicated that [the visitors survey you included in the SDEIS] is
significantly flawed and likely biased and there are significant
technical errors in the instrument and related reporting.” HALE
further asserted that “the conclusions are based on an
insufficiently designed and administered survey.”
This survey should not even be
considered in the Final EIS. If you do insist on including it,
however, then you must also include the potential impact of your
proposal
that was part of this survey to allow those interested in touring
the ATST facility to do so, which apparently is up to 75% of the 1.7
million visitors that come to the Park each year, as set out in the
survey. Where is the impact study on the effect these people
touring the facility will have on the noise, on the land, on the
Kanaka Maoli Practitioners trying to practice at the ahus, on the
parking lot, on the traffic, etc?
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You cannot make a bold statement that
most visitors would not “care” if the facility is built based
upon information gained from this flawed survey. Furthermore, you
should not be able to use such faulty reasoning as a basis to try to
offset the clear major adverse long-term effect this project will
have on the Maui visitor industry, which is already declining.
15. SUPER
WHITE REFLECTIVE PAINT The Sup-DEIS is silent on the type of paint to be used in coating
the exterior of the telescope facility. However, it was made clear
in previous meetings that a “super-bright” white paint was being
utilized on the telescope’s exterior.
I could find no discussion in the
Sup-DEIS of the impact of that white paint on the visibility of the
telescope. In discussions during the scoping, it was pointed out
that
the white paint would be “extremely
reflective”, much more so than the highly visible, neighboring
AEOS telescope. Consequently, the visual impact of the 143 feet
high ATST will be amplified by its reflected radiance. The final
EIS must report on this undesired effect.
16. ECONOMIC
IMPACTS ON MAUI’S TOURIST INDUSTRY It is expected that an EIS will examine carefully the economic
impacts of a proposed project. The ATST Sup-DEIS is woefully
lacking in economic analysis. It does not even describe the major
basic economic activity on Maui, the industry which brings in most
of the income and provides most of the jobs, namely tourism. Is
there even a reference to tourism, tourist employment, and tourism
dependency? NO!
If the tourism industry had been
accurately considered in the Sup-DEIS, it would have indicated that
Maui Island has for many years been considered the “Number One”
tourist destination island in the whole world. (See last ten years
of Conde Nast magazine’s selections.) Tourists come to Maui for both the
special cultural experience as well as the incredible scenic beauty
of the island. The summit of Haleakala is probably the most visited
spot on the island, and at the summit lookout the ATST will be a
direct assault on that tourist experience. There will be
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consequences: a serious erosion of
the visual experience. This is not just some mere “subjective”
observation, as the Sup-DEIS attempts to portray the view plane. It
is why more than a million people each year come to see the views.
It is why there is a substantial Haleakala summit tour business.
Moreover, the tranquility of the
overlook will be engulfed by the nearby construction noise. And
finally, and not insignificantly, tourist traffic up the mountain
will be seriously impacted by the very heavy, slow-moving concrete
trucks and other even heavier and wider trucks that will be unable to
pull-over to allow a long line of tourist cars to pass.
All of these effects will impact the
quality of Maui’s tourism industry. Consequently, there may be
fewer tourists coming to Maui, less money being spent and fewer jobs
available. It is inappropriate that the Sup-DEIS has totally
neglected to even mention this, Maui’s major industry. I expect
the Final EIS to comprehensively study the impact of the ATST on the
tourist industry.
In this regard the (Upcountry)
Makawao-Pukalani-Kula Community Plan states (P. 12), “this
Community Plan region is the home of significant resources, including
water shed areas and the Haleakala National Park, which is
significant in terms of its
resource preservation, enhancement
and protection values. From an economic standpoint, the National Park
is viewed as an important component of the region’s economy.”
17. EXCAVATED
SOIL There seems to be some
confusion as to what will happen with the excavated soil from the
proposed site. It is suggested that it will be deposited at a nearby
site. However, the site has been given two different functions: as a
site for soil placement, and as the “construction staging” area.
Which is it?
18. RESIDENT
AND COMMUNITY PREFERENCE FOR RURAL AMBIENCE There is a strong feeling among residents in the surrounding
community that this whole area
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should NOT be impacted by urban,
large or industrial-type facilities. These feelings have been
expressed in the vision of the Kula Community Association (which
includes the ATST site within its community). The KCA vision
statement reads as follows: “The
vision of the Kula Community Association is to preserve open space,
support agriculture, maintain a rural residential atmosphere, and to
work together as a community.”
These
sentiments also form a basis for the legally adopted and enforceable
Maui County General Plan (of which the Upcountry
Makawao-Pukalani-Kula Community Plan is a component). The Community
Plan governs the use of land in the district which includes the
summit of Haleakala and the ATST site.
It states as a problem (P. 11),
“LOSS OF RURAL CHARACTER.
One of the primary attributes which make the Makawao-Pukalani-Kula
region unique to the island is the rural and serene environment which
defines Upcountry Maui’s character. The loss of this rural ambiance
is of significant concern to the region’s residents.”
Furthermore, as a Policy and
Objective under Economic Activity, it states on page 17, “Recognize the rural, open space character of the Upcountry region
as an economic asset of the island.”
Consequently the proposed ATST would
violate Maui County law.
19. MASTER
PLAN FOR THE WHOLE SUMMIT AND FOR ALL THE ACTIVITIES The (Upcountry) Makawao-Pukalani-Kula Community Plan which governs
the use of land in the region that includes the ATST site, the whole
UH IfA site, the Haleakala summit, and the Haleakala National Park
indicates the direction for use of the environment. It states
clearly on Page 24 as the Goal for the Environment,
“ENVIRONMENT
Goal Protection of Upcountry’s natural resources and environment as a means of preserving and
enhancing the region’s unique beauty,
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serenity, ecology, and
productivity, in order that future generations may enjoy and
appreciate an environment of equal or higher quality.”
To achieve this Goal, it specifies an
Objective and Policy (P. 25), “Encourage
Federal, State and County cooperation in the preparation of a
comprehensive Haleakala summit master plan to promote orderly and
sensitive development which is compatible with the natural and native
Hawaiian cultural environment of Haleakala National Park.”
In the year 2001 the Maui County
Council passed Resolution 01-45 entitled, “Urging the State of
Hawaii to Fund Master Planning for Haleakala”. Unfortunately,
to-date the Master Plan is only for the 18 acre IfA site. There is
an obvious need to plan not just the IfA 18 acres, but the whole
summit region of Haleakala. Only in this way will the interaction
among the various activities be known and the problems mitigated.
This Supplement to the original DEIS has yet to grasp the multiple
impacts of the ATST on other activities at the summit.
20. DRAFT
MAUI ISLAND PLAN After
conducting numerous studies and hearing public comments from people
throughout the island over a three year period, the General Plan
Advisory Committee (a twenty-five member citizen panel appointed by
the either the Maui County Mayor or County Council to set out
recommendations for the Maui County General Plan for the County of
Maui for the next 20 years) adopted a county wide policy plan that
includes language to “immediately provide and encourage laws to
preserve and enhance the summit of Haleakala with no
new buildings.”
[Emphasis added] (Policy No. 5031).
21. 35-FOOT
HEIGHT LIMITATION THROUGHOUT THE REGION The height and the scale
of the proposed 143' ATST facility and the approximately 70'
adjoining service building violate an important design guideline
contained within the (Upcountry) Makawao-Pukalani-Kula Community
Plan. In fact, the Sup-DEIS totally
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21. 35-FOOT
HEIGHT LIMITATION THROUGHOUT THE REGION The height and the scale
of the proposed 143' ATST facility and the approximately 70'
adjoining service building violate an important design guideline
contained within the (Upcountry) Makawao-Pukalani-Kula Community
Plan. In fact, the Sup-DEIS totally ignores this guideline, perhaps
because its impact can NOT be mitigated by the proposed project. The
guideline (Page 30) reads as follows, “Enforce
a two-story or 35-foot height limitation throughout the region,
except for public/quasi-public uses such as auditoriums, gymnasiums,
and fire stations.”
Since I was vice chairman of the
Citizens Advisory Committee that recommended the restrictive
guideline, I know that the guideline clearly applies to the ATST
facility. Although it is a publically owned facility, it is not one
used by the general public as do those in the examples given
(auditoriums, gymnasiums, and fire stations).
Since the Community Plan is a Maui
County ordinance and because a CDUA permit requires that every
application must conform to ALL State and County ordinances, the ATST
would be ineligible to receive a CDUA permit from DLNR. (NOTE: Neighboring HO telescopes, such as the 110' AEOS telescope
were permitted before the adoption of the 35' maximum in the 1996
Community Plan.)
Mahalo
for your consideration of these comments; I look forward to the
appropriate revisions in the Final EIS.
Sincerely,
Prof. (Emeritus) Richard “Dick”
Mayer dickmayer@earthlink.net
1111 Lower Kimo Dr. Kula, Maui, HI 96790
CC.
Office of Environmental Quality Control, Hawai’i Dept. of Health
Mr. Mike Mayberry, UH IfA
Dr.
Charles Fein, KC Environmental Inc.