modification groups.
While a contracting firm is customarily responsible for most aspects
of an operational project if funded privately or by State or local tax
assessments, its participation in a Federal research project is more
often limited to one or a few specialized services which it can provide
especially well, based on its unique experience. Such services are usual-
ly of the operations type and include aircraft support, seeding, equip-
ment maintenance, data gathering, or other field services. Some high-
ly specialized companies assist with project design, meteorological
measurements, data analysis, and report preparation. The overall
project planning and design, project monitoring, integration of par-
ticipant responsibilities, and final evaluation are usually managed by
the responsible field personnel of the Federal agency itself, while spe-
cialized analyses, evaluations, and related studies are most often per-
formed by scientists and other experts associated with participating
universities or research organizations.
Weather Modification Organizations
professional organizations
There are three professional organizations in the United States to
one or more of which most weather modifiers and others interested in
weather modification belong and through which scientific, technical,
and legal problems and findings are aired and discusssed. In addition.
17 Ibid., p. 68.
1S See p. 250.
390
v arious other matters are addressed by these groups, including state-
ments on weather modification policy, opinions on pending legisla-
tion, social implications, and professional standards and certification.
These organizations are the Weather Modification Association, the
American Meteorological Society, and the American Society of Civil
Engineers. The first of these three is concerned exclusively with
weather modification, while the latter two represent professional in-
terests and activities across a wide range of meteorological and en-
gineering fields, respectively; however, each of the larger societies has
a committee concerned particularly with weather modification. Two
of these professional organizations are discussed below.
Weather Modification Association
Recently the following four stated purposes of the Weather Modi-
fication Association (WMA) were given in testimony : 19
1. Promotion of research, development, and understanding of
weather modification for beneficial uses ;
2. Encouraging and promoting the highest standards of con-
duct, including certification of individual members qualified to
execute field experiments and operations in weather modification ;
3. Serving as a clearinghouse and dissemination agent for
weather modification oriented literature and information ; and
4. Assuming an active role and maintaining a strong voice in
the production and dissemination of policy statements concerning
all aspects of weather modification practice.
The WMA was conceived in April 1951 at a meeting of weather
modifiers and their clients in Riverside, Calif., called to discuss pos-
sible methods of organizing and controlling weather modification
operations and evaluations in California in order to raise the stand-
ards of those engaged in cloud seeding operations. At that meeting an
organization, tentatively called "The Artificial Precipitation Opera-
tions Association," was formed; a second was held later the same
month and the name was changed to the "Weather Control Research
Association." In the following years the organization developed, its
activities increased, and its membership grew and became more repre-
sentative of other parts of the country. Its current name was adopted
in March 1967. 20
Current membership in the WMA is approximately 250, including
both individuals and corporations interested in the field of weather
modification. Members are mostly from the United States ; however,
there are members from some foreign countries as well. The diverse
interests and backgrounds of the members range from concerned water
users to university professors. 21
The WMA conducts semiannual business and technical meetings,
usually in the West or the Midwest, where weather modification proj-
ects are more common and where the membership is more heavily
represented. The 1977 meetings were held in April in Salt Lake City
and in October in Champaign, 111. The latter meeting was conducted
jointly with the Sixth Conference on Planned and Inadvertent
19 Griffith, Don A.. Thomas J. Henderson. Theodore B. Smith, and Arnett S. Dennis, testi-
mony hefore the U.S. Department of Commerce Weather Modification Advisory Board, Cham-
paign 111.. Oct. 13. 1977.
20 "Background of the Weather Modification Association," the Journal of Weather Modi-
fication, vol. 9, No. 1. April 1977, p. 207.
- l Griffith, et al., testimony hefore the Weather Modification Advisory Board, 1977.
391
Weather Modification of the American Meteorological Society, of
which the WMA was one of two cosponsors. The 1978 spring meeting
of the WMA is to be held in Tucson, Ariz.
Beginning in 1969, the WMA has published the Journal of Weather
Modification. While it has been the practice of the association to pro-
duce a single annual issue of the journal in most years, usually in
April, two issues were published in 1975 and 1976. 22 Another recent
publication of the WMA is a brochure, which presents the basic con-
cepts of weather modification, discusses the involvement of various
levels of government, and relates some facts on the WMA itself. 23
Since 1968 the WMA has officially supported the concept of develop-
ing a model law for regulation of weather modification activities at
the State and/or Federal level. A main feature of such a law would be
the establishment of a weather modification board, whose membership
would be selected mainly from the private sector, representing inter-
ests concerned with water resources as they affect agriculture and in-
dustry. The envisioned board would perform various functions such as
licensing, review, and recordkeeping. The WMA also supported the
formation of the Advisory Board on Weather Modification by the
Secretary of Commerce to conduct the study and prepare the report
required by the National Weather Modification Policy Act of 1976. 24
One of the purposes of the WMA is to certify individual members
who are deemed to be qualified to direct weather modification opera-
tions and/or experiments. Certification is granted only upon the
unanimously favorable vote by a certification board, which examines
each applicant in the areas of knowledge, experience, and character.
The WMA considers certification to be desirable in order to "* * *
accomplish other purposes of the association, namely, promoting re-
search and engineering advancement, encouraging and promoting the
highest standards for professional conduct, and assisting in arrang-
ing liability insurance upon application from members performing
operations or experiments." 25 As of April 1977 the WMA had cer-
tified 35 of its "members, the majority of whom are officers and/or
meteorologists with weather modification contractors ; however, others
are associated with universities or w T ith various public and private
organizations. Two of the certified members are Mexican, and the re-
mainder are from the United States. 26
The WMA has been considering the adoption of a statement on
standards and ethics for weather modification operators. A draft
statement, prepared by the WMA committee on standards and ethics,
was presented to the members at the 1977 fall meeting for review and
comment and will be considered for its adoption or further modifica-
tion at the 1978 spring meeting. Copies of the WMA proposed draft
statement on standards and ethics for weather modification operators,
the WMA constitution and bylaws, and the qualifications and proce-
dures for certification by the WMA are all contained in appendix N.
22 The latest available issue of The Journal of Weather Modification is vol. 10, No. 1,
April 1978. All previous issues of the journal are available from the Weather Modification
Association, P.O. Box 8116. Fresno, Calif. 93727.
23 Weather Modification Association. "Weather Modification; Some Facts About Seeding
Clouds." Fresno. Calif.. August 1977, 16 pp.
24 Griffith, et al., testimony before the Weather Modification Advisory Board, 1977,
25 Qualifications and procedures for certification bv the Weather Modification Association,
the .lo-irnal of Weather Modification, vol. 9, No. 1, April 1977, p. 202.
26 "Weather Modification Association : Certified Members," the Journal of Weather Modi-
fication, vol. 9, No. 1, April 1977, p. 208.
392
In July 1977, the Chairman of the U.S. Department of Commerce
Weather Modification Advisory Board invited the officers of the
WMA to provide testimony on the purposes and activities of the as-
sociation. A series of questions was also forwarded to the WMA, ask-
ing that responses be provided to the Board when its officers appeared
at its October meeting. The responses to these questions, prepared by
the executive committee of the WMA, serve to provide an insight into
the current position of the WMA on weather modification policy is-
sues. The questions from the Weather Modification Board and the
WMA responses follow : 27
A. What should be the role of the Federal Government in support-
ing emergency operations? In supporting long-term location projects?
What should the State role be?
1. What should the role of the Federal Government be in support-
ing emergency operations?
The WMA has had a rather longstanding policy statement relevant
to this subject. The statement was originally prepared a few years ago
when drought conditions in the Midwest began to seriously impact on
the agricultural community. In general, this WMA position dealt with
the feasibility of cloud seeding programs during drought conditions,
the preferred choice of operational capabilities, and the availability of
equipment and professional personnel. The following points sum-
marize the WMA position :
Cloud seeding should not be considered a panacea for drought relief
although the technology may produce some economic benefit if the
programs are properly designed and conducted during drought
periods.
Cloud seeding should be considered one of many water resources
management tools available for use when meteorological conditions
indicate a reasonable potential for beneficial results.
The Federal Government should support emergency operations
through a close interface with individual State agencies. However,
there needs to be a strong recognition that seedable clouds are probably
scarce during drought periods and opportunities may be minimal.
The extensive field experience within the private sector should be
called upon to provide a strong operational input to these emergency
operations if it is finally decided that such programs have a reasonable
chance of producing a beneficial result.
Because of the Federal Government's historic role in weather modifi-
cation research, the appropriate Government agencies should provide
backup capability to these programs in the form of monitor and
evaluation systems. If the Federal Government is to accept respon-
sibility for initiating emergency programs, it must also accept respon-
sibility for potential damage liability covering the results.
2. In support of long-term local projects?
Here again, the WMA has developed over the years some specific
position papers with respect to long-term local programs. Some of the
primary points are: The WMA supports Federal Government inputs
to local long-term programs, particularly if these inputs are research
oriented and are designed to provide information which can improve
future operations plus assist in the careful evaluation of results.
What should the State role be?
27 Griffith, et al., testimony before the Weather Modification Advisory Board, 1977.
393
The WMA supports a strong State role in weather modification.
Where States have demonstrated a reasonable willingness to organize
and administer weather modification activities, the Federal Govern-
ment should encourage and assist these programs, particularly in the
areas of research, monitoring, and evaluations.
States should develop statutes which address licensing and permit
requirements. There is a high priority requirement for strong adminis-
tration of these statutes through a set of rational rules and regulations.
The States should be responsive to cooperative Federal Government
assistance in the form of research activities and should make their pro-
grams available to such "piggy back" activities.
B. Are Federal regulations, permits, licensing, and so forth, desir-
able?
1. Federal regulations are presently limited to reporting of weather
modification activities including times, amounts, locations, and pur-
poses. These activities have been valuable and have apparently not
placed undue burden on most operators. These reporting activities
should be continued with due consideration being given to a consolida-
tion or uniformity of State and Federal reporting requirements to
eliminate unnecessary duplication. No other Federal regulations are
considered to be necessary at this time.
2. Permits to operate are considered to be essential in order to have
a mechanism for resolving potential conflicts in local interests. Because
of the urgent need to respond effectively to these local problems it is
considered necessary that the permits be granted at a State level.
Federal permits do not appear to be a viable solution.
3. Licenses, as well as permits, are granted by a number of States.
The license has the role of passing judgment on the operator, while
the permit is granted on a project basis. The requirements for licensing
are generally very loose in keeping with our limited ability to define
the caliber of the operator in definitive terms. The mechanism for
examining the qualifications of operators, however, exists in a number
of States and can be utilized to screen out the incompetent operators,
if needed. As our ability to evaluate operators becomes more definitive,
the machinery exists to become increasingly demanding of the appli-
cants' qualifications. The licensing function is intimately associated
with the permit process and should stay at the State level for the
present.
4. A principal argument for Federal permits and/or licensing
relates to interstate transport of seeding material and potential extra
area effects. The few cases of this type which have arisen have been
handled on a case basis. At such time as the regular seeding operations
become more widespread and when the evidence of downwind effects
becomes better documented, the need for the Federal licensing or
permit process may become apparent. For the time being, it is the
opinion of the WMA that the process should be left in State hands but
be made more uniform so as to include separate licensing and permit
functions.
5. The concept of an independent, licensed designer for each project
was vigorously opposed by a number of WMA members. These mem-
bers felt that the required expertise for the proper design of a specific
program frequently rested within one individual group by reason of
394
experience or background. An independent designer, called in from
the outside, could not be expected to know the specific meteorology
and terrain of each area as well as those already experienced in the
area or in similar storm types. There was no objection expressed by
this group to the concept of a licensed group or individual within the
group being required for project design. The concept of an independent
designer with infinite wisdom for a variety of projects, however, was
st rongly re j ect ed .
A further consideration is the damage that such a concept would
have to the opportunities for growth in technical competence for the
private weather modification operator. Importation of the outside
designer would severely restrict the operator from developing the in-
ternal technical stature and strength so vital for the development of
competency in the field.
C. Are there established professional standards for weather modi-
fiers? Does the WMA have an active ethics review process?
Although there are no established standards for weather modifiers,
this matter has received considerable attention within the WMA. At
the 1977 spring meeting an ad hoc Committee on Standards and Ethics
was established. Two meetings of the committee with some correspond-
ence in the interim resulted in a draft statement which was submitted
to the membership at the 1977 fall meeting on October 10. The draft
was referred back to the ad hoc committee and is expected to come up
again at the 1978 spring meeting. The code of ethics contained in the
proposed statement covers relationships between WMA members and
governmental agencies, the general public, clients, and other members
of the meteorological profession. While there has been no active ethics
review process so far, it is expected that such a process will be activated
following adoption of a code. The proposed statement also sets forth
standards for individual projects, covering such points as staffing,
public disclosure of methods, and the need for evaluation.
For the last several years, the WMA has sought to improve profes-
sional standards by a certification program. It is hoped that this cer-
tification program will be strengthend by the adoption of a code of
ethics and a statement of requirements for individual projects.
D. Is communication between, weather modification pperators and
scientsts a problem? If so, how can it be improved?
The WMA has provided an effective channel for communications
between weather modification operators and scientists. These individ-
uals come from diverse backgrounds. In addition to twice yearly meet-
ings, the WMA publishes an annual Journal of Weather Modification
which receives widespread distribution.
Communications between operators and scientists could, of course,
be improved. The need for improved communications is due in part
to the expansion of weather modification operations and the recent
increased awareness of man's impact on his environment.
Other means of communications available (outside of the WMA)
include the scientific literature, scientific conferences, personal contact,
and the publication of informational pamphlets and policy statements.
Interdiscipline conferences on weather modification should be en-
couraged. Scienl ists should be directly exposed to field programs when-
ever possible to gain firsthand knowledge of the modification tech-
395
niques employed and the problems encountered by the weather modi-
fication operators.
American Meteorological- Society
The stated purposes of the American Meteorological Society (AMS)
are : The development and dissemination of knowledge of meteorology
in all its phases and applications, and the advancement of its profes-
sional ideals. The society shall be a nonprofit organization and none of
its net income or net worth shall inure to the benefit of its members. In
event of dissolution, any property belonging to the society shall be
donated to some organization or organizations of a similar purpose
and character, and in no event shall any of such property be distributed
to members of the society. 28
Members of the AMS number about 900 and include meteorologists
and other scientists whose interests and activities cover the complete
range of atmospheric sciences and services, well beyond the scope of
weather modification. The organization of the AMS was recently re-
viewed in the Bulletin of the American Meteorological Society. 29 Con-
siderable attention has been given to weather modification within the
AMS, however, and a number of its members are or have been partici-
pants in research and operational aspects of the field. While some
AMS members are engaged full-time in weather modification activi-
ties others are partly or intermittently involved, depending upon their
current interest, research funding, or particular management respon-
sibilities.
The AMS took an early interest in weather modification when it
was urged by the Director of the Weather Bureau to look into what
were considered extravagant claims of Langmuir on the effects of his
cloud seeding operations. 30 Accordingly, the AMS issued its first pol-
icy statement on weather modification, which was somewhat conserva-
tive in tenor, and. without refuting Langmuirs claims directly, stated
that it was not yet proven that cloud seeding could produce econom-
ically significant amounts of rain. 31
The AMS provides a means for exchange of ideas and findings, par-
ticularly in the research aspects of weather modification, through its
journals and other publications, through professional meetings, and
through the deliberations within its committees and governing bodies.
The society has a Committee on Weather Modification, established in
1968, which is quite active and has from time to time produced public
statements on the state of the art of weather modification. Some of
these have been adopted by the council of the AMS, the most recent
one in January 1973. (Policy statements of the AMS may not neces-
sarily coincide with those of its subordinate committees, such as the
one on weather modification.) The 1973 AMS policy statement is re-
produced in appendix O ; it summarizes the status of planned weather
modification, inadvertent weather modification, public issues, and rec-
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