Tell Trump's FERC: NO MVP Southgate!
The Federal Energy Regulatory Commission (FERC)
For years we've fought against the dirty, dangerous, and unnecessary Mountain Valley Pipeline (MVP). From the halls of the Federal Energy Regulatory Commission (FERC) to the hollers of West Virginia, we tried everything to stop this pipeline. And in 2021, we thought we'd won at least a partial victory when regulators denied state permits for the MVP's Southgate extension.
MVP Southgate is a spur to connect the existing MVP route across the border of Virginia into North Carolina. And despite years of community resistance and no active construction work since 2021, in the summer of 2023 the MVP's owners asked FERC to help them keep the project alive. FERC agreed, as they always do, and rubber stamped the project, again.
More than a year later, but less than a month into the second Trump Administration the MVP submitted an “amendment request” to FERC, asking permission to change the route, size and capacity of the Southgate extension. Clearly, they're banking on Trump's FERC to give them permission to make the pipeline route shorter but cary more gas - making it an even greater danger to our climate and communities.
Because MVP is proposing so many changes, FERC has the opportunity to do the right thing and require a new certificate with extra studies on the impact of the MVP and Southgate extension on public health, environmental justice, cumulative impacts, and climate change. But with a new chair and new Commissioners since that 2023 certificate, will FERC do the right thing? Or will they rubber stamp MVP Southgate like they have so many permits and MVP disasters before?
Sponsored by
To:
The Federal Energy Regulatory Commission (FERC)
From:
[Your Name]
We respectfully ask the Federal Energy Regulatory Commission to deny Mountain Valley Pipeline, LLC’s amendment request Docket No. CP25-60-000, as the Environmental Assessment does not fully or accurately assess impacts to our health, climate, and local communities - especially our water.
The Mountain Valley Pipeline is being allowed to shroud the Southgate’s impacts to protected species, and the assessment is too heavily reliant on its original, and now stale, 2020 environmental analysis. And because there have not been public hearings and a limited public comment period, there has been insufficient public participation from those along the impacted route.
FERC itself has admitted that the Southgate project may be redundant in light of the Southeast Supply Enhancement Project proposed. In light of this, we ask that the Southgate project complete a full application, not an insufficient amendment request and environmental assessment.
We, the undersigned, ask the Commission to deny Mountain Valley Pipeline, LLC’s Amendment Request Number CP25-60.