Title: Groundwater Management in Texas
1Groundwater Management in Texas
2Common Law
- No Tort LiabilityThe East Case
- No Wasting WaterPleasanton v. Corpus Christi
- No negligent pumping (that causes
subsidence)Friendswood Development v Smith
Southwest Industries
3Common Law
- Corollary to Absolute Ownership Doctrine
- Own everything from heaven to hell
- Ownership with no protection from a trespass?
- Does Absolute Ownership still apply?
4Ownership Issues
- Who owns groundwater in situ and how is it
protected? - Cannot build a fence around groundwater.
- Courts wont protect your property rights (East
and Sipriano). - Only option is to have a Groundwater Conservation
District.
5Ownership Issues
- Lawsuits trying to define the ownership interest
- City of San Marcos v. TCEQgroundwater is like
wild animals wandering from property to property - EAA v Day McDanieltakings claim based on
absolute ownership of groundwater
6Ownership Issues
- Lawsuits trying to define the ownership interest
- Bragg v EAA Takings Claim.
- Judge issued preliminary ruling that Braggs are
owed over 700,000 for denying one permit and
issuing the other at less than the amount
requested. - 7KX Investments v TxDOT
- Condemnation case where damages for groundwater
taken exceeds 7,000,000.
7Ownership Issues
- Will these lawsuits help or hurt landowners?
- Force GCDs to issue permits based on pure
correlative rights? - Are GCDs a threat to property ownership?
- Which is the bigger threat?
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10Groundwater Hydrology
11Typical Sandstone Aquifer
12Domestic and Livestock
13DL and Irrigation
14Add Major Municipal Use
15Typical Recharge Zone-Down Dip Aquifer
16Key Consideration Aquifer Levels in Recharge
Zone
17Overproduction or Drought
18Mining the Aquifer
19Gulf Coast Aquifer
20Multiple Aquifers
21Surface Water SystemPre-Development (Gaining
Stream)
22Surface Water System Post-Development (Losing
Stream)
23Groundwater Storage
- Estimated value
- Area of aquifer
- Saturated thickness
- Storativity (or specific yield)
24Width
Length
Saturated Thickness
25Aquifer
Groundwater
26Drainable Groundwater
- Distinct from groundwater storage estimate
- Dependent on
- Well spacing
- Well depth
- (Economic) ability to withstand decreasing
pumping rates
27Drainable Groundwater
- Drainable groundwater is same as groundwater
storage when - Infinite number of wells, each pumping an
infinitesimal amount to drain all storage
28Groundwater Budgets
- Accounting of
- Inflows
- Outflows
- Storage Change
29Predevelopment
Groundwater System
Inflow
Outflow
Equilibrium Inflow Outflow
30Postdevelopment
Pumping
Decreased Outflow
Increased Inflow
Decreased Storage
31Dynamic Changes Due to Pumping
- Increased inflow
- e.g. induced stream recharge
- Decreased (natural) outflow
- e.g. decreased spring discharge
- Change in storage
- e.g. decreased groundwater levels
Relative increases and decreases are aquifer
specific
32Groundwater Conservation Districts
33Groundwater Conservation Districts
- Conservation AmendmentArticle XVI, Section 59
- Chapter 36, Water Code
- Local Control of groundwater supplies
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35Current Planning Efforts
- Step 1 State divided into groundwater management
areas
36Groundwater Management Areas (GMA)
37Current Planning Efforts
- Step 2 Each area establishes a Desired Future
Condition (DFC) - Step 3 TWDB runs models to determine the
Managed Available Groundwater (MAG)
38Current Planning Efforts
- Desired Future Conditions
- Condition of the Aquifer in 50 years
- Policy decision
- What is a Desired Future Condition?
- No drawdown
- No more than X amount of drawdown
- Maintain springflow (gaining streams)
- Maintain springflow during droughts
39Current Planning Efforts
- Managed Available Groundwater
- Generated by TWDB through Groundwater
Availability Models - Used for Regional Planning
- Used by GCDs for permitting
40Current Planning Efforts
- Results
- MAG limit to the amount of groundwater
withdrawals - Eventually 100 of available water will be
permitted - As exempt withdrawals grow, permits will shrink
- GCDs must decide how to allocate available
supplies -
41Current Planning Efforts
- Allocation options
- Protect historic uses to the maximum extent
practicable 36.116(b) - Protects investment-backed expectations
- Cannot be transferred to another place of use or
purpose of use (Guitar v. Hudspeth) - Based on acreage or tract size, or acre-feet per
acre (allocation correlates to land ownership) -
42Current Planning Efforts
- Once 100 of the MAG is allocated, what then?
- Stop issuing permits?
- Continue issuing permits by reducing existing
permits? - Exempt all Historic users from reductions?
- How will this affect 30-year transportation
permits (municipal use)? -
43GCD Powers
44Section 36.116, Water Code. Regulation of Spacing
and Production
- In order to minimize as far as practicable the
drawdown of the water table or the reduction of
artesian pressure, to control subsidence, to
prevent interference between wells, to prevent
degradation of water quality, or to prevent
waste, a district by rule may regulate - (1) the spacing of water wells...
- and
- (2) the production of groundwater....
45Regulation of Spacing is accomplished by
- siting new wells minimum distances from property
lines/adjoining wells - imposing minimum distances based on production
capacity, pump size - other spacing requirements adopted by the board.
46Regulation of Production is accomplished by
- imposing per-well or well-field production
limits - limiting production based on acreage or tract
size - limitation based on maximum water to be produced
from a defined number of acres assigned to an
authorized site
47Regulation of Production is accomplished by
(cont.)
- by "managed depletion" or
- by "limiting the maximum amount of water that may
be produced on the basis of acre feet per acre or
gallons per minute per well site per acre. (well
capacity)
48- What exactly is a "beneficial use"?
-
- agriculture
- gardening
- domestic
- stock raising
- municipal
- mining
- manufacturing
- commercial
- recreational
- "pleasure purposes".
49- "Beneficial" use also includes all the Railroad
Commission regulated activities (oil, gas) and
sulphur or other minerals. - And "any other purpose that is useful and
beneficial to the user." -
50"WASTE" is defined by the Texas Legislature
(Section 36.001(8), Water Code) to include
- pumping at a rate and volume that causes or
threatens intrusion of - water unsuitable for gardening, agriculture,
stock raising or human consumption - pumping groundwater without putting it to a
beneficial use - allowing the groundwater to move to a geologic
strata where it cannot be recovered - polluting or contaminating the groundwater with
salt or any other deleterious matter - willfully or negligently allowing groundwater to
"escape" into a creek, river, roadside ditch,
sewer, lake, etc. - allowing irrigated groundwater to escape as
tailwater onto adjoining property without the
landowner's permission - for groundwater pumped from an artesian well,
willfully causing or - allowing the water to run off the well owner's
land or to "percolate through the stratum above
which the water is found".
51Section 36.113. Permits for Wells Permit
Amendments.
(c) A district may require that the following be
included in the permit or permit amendment
application (4) a water conservation
plan or a declaration that the applicant will
comply with the district's management plan
and (7) a drought contingency plan.
52Section 36.1131. Elements of Permit.
(b) The permit may include (9) any
conservation-oriented methods of drilling and
operating prescribed by the district (10) a
drought contingency plan prescribed by the
district
53Conclusion
- Planning process will put a finite number on
groundwater available for permitting - State will continue to create GCDs to manage
aquifers - Lawsuits will continue to be filed until all of
these issues are answered