LONG-TERM, CLIMATIC AXD GLOBAL IMPLICATIONS
Finally, it is desirable to point out that alteration of weather
brought about by cloud seeding or other deliberate interference with
atmospheric processes will necessarily be superimposed against the
record of long-term, natural changes of climate and the ubiquitous,
year-to-year variability of climate and, in addition, any inadvertent
effects attributable to human activities. The evolution of natural cli-
matic change and variability and the possibility that society, through
its own actions, may be altering the climate by pushing on certain
leverage points make it more difficult to assess the reality of planned
weather modification, because claimed results may in fact be due to
other causes. Furthermore, the ecological effects of a planned weather
change may be partially masked by unanticipated changes in other
climatic variables. 54
While man lias become generally aware of some of the environ-
mental effects of his polluting the air and waters of the planet, he has
barely begun to credibly study the global implications of long-term
climatic change which may be exacerbated or even caused by his inad-
vertent impacts on global atmospheric and oceanic processes. "While
no solid ecological answers are yet demonstrable, the implications of
industrially caused acid rains, impacts on the carbon dioxide cycle of
deforestation as well as the burning of fossil fuels and similar scale
concerns are all terribly Serious. Cooper has recently articulated some
of these concerns, too. 55
• r - 2 Howell. "Environmental Impacts of Procinitntion Management : Results ami Inferences
From Project Skywater," pp. 491-402 (Note 17).
•"-' ! Ibid,, p. 402.
M fuopor and .Tollv, "Ecological Effects of Weather Modification : A Problem Analysis,'*
p. 17 (Note 1).
w Cooper, "What Mipht Man-Induced Climate Change Mean?" (Note 9).
501
A comprehensive and detailed discussion of inadvertent weather
and climate modification appears in chapter 4 of this CES text on
weather modification.
Summary and Conclusions
This chapter seeks to review a number of recent studies aimed at ad-
dressing and answering questions about the ecological effects of vari-
ous kinds of weather modification activity. In general, the body of di-
rected research with respect to these concerns is still limited but sig-
nificantly greater than was the case a decade or even less ago.
Economically significant weather modification will always have an
eventual ecological effect, although appearance of that effect may be
delayed or hidden by system resilience and/or confounded by system
complexity.
It will never be possible to predict "the ecological effects of weather
modification." However, the more precisely the weather modifier can
specify the effects he will produce in terms of average percentage in-
crease or decrease in precipitation (or other climatic variable), ex-
pected seasonal distribution of the change, expected year-to-year dis-
tribution of the change, geographic distribution of the change, changes
in relative form of precipitation, and the like, the more precise can be
the ecologist's prediction of likely ecological effects.
Ecological effects of weather modification will be the result of
moderate shifts in rates of reproduction, growth, and mortality of
species of plants and animals which are sensitive to weather. Effects
will rarely, if ever, be sudden or catastrophic because plant and ani-
mal communities react to changes in climate much more than changes
in weather. Accordingly, those modifications in the weather which
occur with significant regularity over time — eventually constituting at
least a micro-climatic shift of some degree — are the ones to which bio-
logical communities will react.
Animal populations will rarely be affected directly by weather mod-
ification activities but will rather be indirectly affected as their
habitat is altered as vegetative changes occur.
T\ r eather modification, being a change imposed on an already vari-
able climate, will nevertheless have an inexorable, if subtle, effect on
long-term structure of plant and animal communities as they respond
to average climatic conditions.
Such adjustments of plants and animal communities will usually
occur more slowly in regions of highly variable weather than in those
of relatively uniform weather conditions. Similarly, deliberate pre-
cipitation change is likely to have greater ecological impact in semi-
arid systems and less in humid ones.
Widespread cloud seeding could result in local, temporary concen-
trations of silver in precipitation which are of the same order of mag-
nitude as the natural concentration in surface waters, though the rates
of exchange would remain more than an order of magnitude smaller
than principal exchanges for the aquatic environment. Exchange rates
would be many orders of magnitude smaller than those affecting
plants and soil, even in localized areas of precipitation management.
It is still a reality that our level of ignorance of ecological effects of
changes in weather and climate exceeds our level of knowledge.
APPENDIXES
Appendix A
Statement ox Weather [Modification in Congressional Record of
June 17, 1975, by Congressman Gilbert Gude, Containing White
House Statement on Federal Weather Modification Policy
Weather modification
(Mr. Gude asked and was given permission to extend bis remarks at this
point in the Record and to include extraneous matter.)
Mr. Gude. Mr. Speaker, I would like to bring to my colleagues' attention an
exchange of correspondence Senator Pell, Congressman Fraser, and I have
recently had with the White House concerning Federal weather modification ac-
tivities. On April 23, we wrote the President the following letter urging the crea-
tion of a lead agency to coordinate Federal work on weather modification and
urging that such research be conducted by civilian agencies rather than the De-
fense Department :
House of Representatives,
Washington, D.C\, April 23, 197o.
The President.
The WJiite House.
Dear Mr. President : As authors of several resolutions for outlawing environ-
mental modification as a weapon of war, we now write recommending govern-
ment work in the peaceful uses of such modification that could help to promote-
energy conservation, safeguard the environment and stabilize agricultural produc-
tion. In sending these recommendations, we wish to make clear that we support
continued research, particularly into weather modification for peaceful purposes,
regarding which we believe there currently exist numerous opportunities for its
applications.
The role of weather modification in energy conservation was sharply outlined
in a recent example which came to our attention. Coming from Boston to Washing-
ton, a recent flight was delayed by bad weather and according to one passenger's
calculations, as much fuel was exhausted around Washington while the plane
waited to land as was consumed during the entire flight from Boston. This is only
one example of the energy costs of bad weather, but weather conditions being
what they are, it is a frequent case. Research into fog dissipation is precisely the
kind of work which can reduce those costs.
We are only beginning to research and understand how our own industrial
development has inadvertently modified weather and environment. Studies are
beginning to show differences in temperature and air quality over urban and in-
dustrial areas, which affected the immediate environment as well as influence
weather downwind. There is sufficient growing suspicion that inadvertent environ-
mental modification can help produce extremes of weather, such as drought, to
warrant further investigation and research.
The implications of weather modification for agriculture are obvious and vari-
ous efforts to enhance rainfall have been going on for years. These efforts, how-
ever, need coordination and careful study to help determine what approaches are
productive, what types of weather formation are most susceptible to modification
and how modification in one area affects weather elsewhere. Clearly, the potential
for increased agriculture output — both domestically and worldwide — is great.
(503)
504
Given these opportunities, it is unfortunate that civilian directed research has
been diffused. The fiscal 1975 budget shows weather modification projects in six
agencies and a division by function as follows:
Fiscal year—
1973
1974 1975
Department of Agriculture.
Department of Commerce
Department of Defense
Army
366
4,779
(1,209)
160
270
4, 673
<...«>
150
4, 575
(1,300)
Navy.
Air Force
Department of the Interior
Department of Transportation
National Science Foundation
404
645
6,370
1,067
5,790
399
666
3, 900
1,397
4, 000
555
745
3 445
1,520
4, 270
Total
19,581
15, 401
15,270
DIVISION BY FUNCTION
Fiscal year —
1973 1974
1975 Agencies
Precipitation modification .
Fog and cloud modification 1.
Hail suppression..
lightning modification
Hurricane and severe storm modification
Social, economic, legal, and ecological studies
Inadvertent modification of weather and climate
Support and services.
5,472 3,735
1,541 1,194
2, 860 2, 000
624 330
1,818 1,741
1, 740 1, 310
3, 252 3, 643
2,274 1,475
3,279 DOC, DOI.
1,264 DOD, DOT.
2,100 NSF.
356 DOA, DOD, NSF
1,816 DOC.
1,110 DOI, NSF.
4, 398 DOC, DOT, NSF.
937 DOC, DOI, NSF.
Total
19,581 15,401
15, 270
Although in some respects the National Oceanographic and Atmospheric Ad-
ministration gathers data on all these projects, it does not really function as a
lead agency or exert sufficient direction, coordination or control over the civilian
or military projects. It is clear from the second chart, furthermore, that consider-
able overlap and possible duplication exists. We believe, however, that in a field
as diverse and speculative as this, a greater degree of centralization is desirable.
This same recommendation has been made on a number of occasions by the Na-
tional Advisory Committee on Oceans and Atmosphere:
NACOA finds that, although we appear to stand on the threshold of practical
weather modification, and some facets are operational, in other applications a
sroat deal of complex research still needs to be done. Unless the scientific man-
power and funding are better directed, we assuredly will continue to make very
slow progress towards weather control. NACOA therefore reiterates its recom-
mendations of last year that :
"The many small programs in weather modification now scattered widely
through the Federal agencies be focused and coordinated under NOAA's head ;
basic cloud physics and dynamics be given higher priority; and that the legal,
social, and economic impact of weather modification be thoroughly examined and
;appropriate regulatory and licensing legislation be sought." (A Refrort to the
President and the Congress, NACOA. June 29, 1973, page viii.)
We also believe it is particularly important that any such coordination should
be in the hands of a civilian agency; indeed, that all such research should be
conducted by civilian agencies.
Considerable doubt has been raised in the past over the nature of some of the
research conducted by the Defense Department in the area of weather modifica-
tion. You will recall the not too successful efforts to increase rainfall over the
Ho Chi Minh Trail several years ago at a cost of $21. G million. We have grave
doubts about the merits of any project such as this, but we are also concerned
about the way in which the incident was handled by the Government. The proj-
ect was at first flatly — and repeatedly — denied publicly and before Congress
by the Department of Defense, but the basic facts were ultimately conceded some
505
vears later by former Defense Secretary Laird in a letter to the Senate forfagn
Relations Committee, which confirmed the allegations that had been made.
Such incidents have given rise to continuing concern on our part over the scope
of federal research and development on environmental and weather modifica-
tion What is significant about these incidents is that they continue to occur in
respect to Defense Department research, even though DOD asserts such research
has only peaceful applications, such as airport fog dispersal. If this is the case,
then it would seem both logical and appropriate to place such research in civilian
agencies where it can be carried on with the same degree of precision and success,
since weapons' applications are not involved, and where it would not cause new
suspicions about the real nature of the work.
Weather modification is a field of great potential, promising considerable bene-
fits to agriculture and transportation, to mention only two prime areas of re-
seach. At the same time the potential military applications of weather modifica-
tion research are serious. Last summer's agreement with the Soviet Union to meet
to discuss a ban on weather warfare is most encouraging. We hope that in the
light of that agreement, you will be able to give favorable consideration to our
recommendations.
Sincerely,
Gilbert Gude.
Member of Congress.
Claiborne Pell,
U.S. Senator.
Donald M. Fraser,
Member of Congress.
On June 5, we received the following response from Norman E. Ross, Jr., As-
sistant Director of the Domestic Council :
The White House,
Washington, June 5, 1915.
Hon. Gilbert Gude,
House of Representatives,
Washington, D.C.
Dear Mr. Gude : The President has asked me to respond to your letter of April
23, 1975, in which you recommended a coordinated program of governmental work
in the peaceful uses of weather modification.
A considerable amount of careful thought and study has been devoted to the
subject of weather modification and what the Federal role and, in particular, the
role of various agencies should be in this area. As a result of this study, we have-
developed a general strategy for addressing weather modification efforts which
we believe provides for an appropriate level of coordination.
For the most part, as your letter points out, we are just beginning to under-
stand the possibilities for weather modification and the complexities that are in-
volved. Inadvertent modification of weather and environment through industrial
development is indeed a prime example.
There are many problems generated by various weather phenomena such as
loss of crops through hail damage and destruction of property caused by hurri-
canes and flooding. In many cases the approaches to solving the problems
may or may not be best met through weather modification techniques. Other
solutions such as community preparedness, better land use planning, and pro-
tective measures may more effectively and realistically achieve the objectives.
For this reason, we believe that the agency which is charged with a particular
national problem should be given the latitude to seek the best approach or solu-
tion to the problem. In some instances this may involve a form of weather modi-
fication, while in other instances other approaches may be more appropriate.
While we would certainly agree that some level of coordination of weather
modification research efforts is logical, we do not believe that a program under
the direction of any one single agency's leadership is either necessary or de-
sirable. We have found from our study that the types of scientific research con-
ducted by agencies are substantially different in approach, techniques, and type-
of equipment employed, depending on the particular weather phenomena beings
addressed. For example, there is very little in common between hurricane sup-
pression and attempting to increase rain or snow. Fog dispersal efforts have al-
most nothing in common with any other weather modification. Each type of
weather modification requires a different form of program management and there?
are few common threads which run among all programs.
.506
To tlie extent that there are common problems and solutions among the pro-
grams, the Interagency Committee on Atmosphere Sciences (ICAS) is bringing
together agency representatives who are involved in weather modification re-
search, for the purpose of sharing their ideas and approaches to various prob-
lems. In addition, a series of lead agencies have been established to concentrate
efforts in particular areas: Interior in precipitation; Agriculture in lightning
suppression ; Commerce in severe storms, including hurricanes ; NSF in hail re-
search : and Transportation in fog suppression. These lead roles provide for co-
ordination in areas with common characteristics and have gone a long way
toward eliminating duplicative efforts. Although more than one agency is in-
volved in a general area such as inadvertent modification, their efforts are keyed
toward particular objectives.
I hope this information will be helpful to you and I would like to thank you for
sharing your views with us. We would be happy to provide you any additional
information you may need concerning current efforts in the weather modification
area.
Sincerely,
Norman E. Ross, Jr.,
Assistant Director, Domestic Council.
The administration's response is disappointing that it rejects the recommenda-
tion of a lead agency, despite the fact that the National Advisory Committee
on Oceans and Atmosphere has regularly recommended it. The reply ignores
completely the crucial second point of military involvement in weather modifica-
tion research. I commented on this problem in some detail in my testimony of
September 24, 1974, before the Foreign Affairs Subcommittee on International
Organizations and Movements :
"DANGERS OF WEATHER MODIFICATION CONTROL
'•Why should we be so alarmed about a technique that is not nearly as lethal as
other forms of warfare? First, there are distinct control and command problems
associated with geophysical warfare and weather modification in particular. We
simply do not have effective short or long term control over the climates of the
world. We can create certain disturbances, but as civilian experiments have
shown, control is not precise. In a military environment, control over the results
of weather experimentation is even more uncertain in respect to military targets,
and there is practically no hope of preventing military efforts from spilling over
into civilian life with devastating effect, particularly in developing agricultural
countries. Here, wind changes, rainfall changes, or even changes in the composi-
tion of rain could seriously disrupt the livelihood of most of the country's citizens
and create severe food supply problems, all far distant from the chosen military
target. This is partly due to the so-called downwind effect, carrying weather
changes with weather movements. But weather unpredictability — enhanced by
modification efforts themselves — may make it impossible to determine where
'downwind' will be at any given time. This means that the use of weather modi-
fication is inevitably indiscriminate. We cannot flood only military targets or
cause drought in areas producing only military rations. The technology will be
used against people regardless of their uniform or occupation and will inevitably
strike civilians harder than nearby military objectives.
•"The command problem is no less acute. Since the technology to date doe> not
involve great eX pense or sophisticated equipment, it is not difficult to imagine the
use of weather modification by many different military subunits. In fact, there
have been reports that we have trained the South Vietnamese to use weather
modification. There are no double-key sating mechanisms here, no exclusive
possession as with nuclear weapons.
"DANGERS OF WEATHER MODIFICATION — IDENTIFICATION* AM) DETECTION
•"These issues of command and control highlight another disturbing characteris-
tic of weather modification, the difficulty of detection. Unlike other weapons, it
may be possible to initiate military weather modification projects without being
detected. In other words, the military results may not be visibly tied to the initiat-
ing party. This raises the possibility of the clandestine use of geophysical warfare
where a country does not know if it has been attacked. The uncertainty of this
situation, the fear of not knowing how another country may be altering your
507
climate is highly destabilizing. This feeding of national paranoia — a pervading
suspicion of the motives and actions of a neighboring country — could well be
amplified into the laying of blame for any adverse climate conditions or weather
disasters on one's neighbors.
"This was clearly brought home by the recent admission of the Department of
Defense that it had indeed been involved in weather modification activities in
Southeast Asia from 1967 to 1972, even at a time when Department witnesses
were denying such involvement in their congressional testimony.
"In a January 28, 1974, letter to the Senate Foreign Relations Committee,
former Defense Secretary Laird corrected his testimony of April 18, 1972, in
which he stated. 'We have never engaged in that type of activity over North
Vietnam.' Laird admitted that just such activities were conducted over North
Vietnam in 1967 and 1968. It was clearly one of the most useless programs ever
conceived by the Government. This rainmaking effort accomplished nothing except
washing $21.6 million down the drain, and it was undertaken with no thought
as to the very dangerous situations which could evolve from such a policy.
''effects of weather modification research
"There is no question that much valuable research is now being done under the
heading of weather modification. Airport fog dispersal operations, cloud seeding
in farm areas threatened by drought, efforts to increase the winter snow pack,
and experiments in hurricane control are all legitimate scientific efforts that
can meet important domestic and international needs. This work into peaceful
applications of environmental modification technology should continue. Un-
fortunately, Pentagon involvement in weather modification research — whether
classified or for peaceful purposes — has serious consequences for the U.S. civilian
scientific community, the American public, and the international community.
"Geophysical warfare, to use a figure of speech, can poison the atmosphere
surrounding legitimate international programs such as the global atmospheric
research program, the international hydrological decade and meteorology in
general. We have already seen that it caused the U.S. delegation at the Stock-
holm Conference to water down a recommendation on climate changes. The po-
tential for embarrassment is great.
"Our scientific community could come under suspicion or attack at these inter-
national meetings. The fine work and trust built up over the years by our excel-
lent atmospheric scientists could be dispelled in one stroke of Pentagon experi-
mentation.
•'But it is not only our scientists who lose credibility — it is the Defense Depart-
ment itself. Through its involvement in research which may have military appli-
cations, even though it is intended for peaceful purposes, the Pentagon has laid
itself open to allegations of a variety of clandestine activities.
"Two cases will illustrate the point. The Defense Department engages in con-
siderable medical research, some of which is related exclusively to military needs,
while some parallel research carried out by civilian institutions. The Navy, for
example, has had a research unit in Egypt studying equatorial diseases for many
years. By conducting such research 'in-house,' so to speak, instead of obtaining
it through civilian research agencies, the Navy leaves itself open to charges
that it is actually studying or developing germ warfare or the like. As unfounded
as such charges may be. they are very difficult to combat, especially in the cur-
rent climate of suspicion about many Pentagon activities. Yet. there is no reason
why this kind of research could not be conducted by the civilian agencies of
Government and its results made available to the Defense Department. In cases
where Defense required information on subjects not currently under investiga-
tion, it could levy requirements on the National Science Foundation which would
in turn conduct or contract for the needed research, thus reducing the opportu-
nities for controversy to develop, controversy which might itself hamper research,
especially abroad.
"In the area of weather modification. I have been assured that Air Force interest
in these techniques is limited to developing methods for airfield fog dispersal or
suppression and other life-saving measures. These techniques are just as im-
portant to business and civil aviation and the general public, and there is no
reason why such research cannot be conducted by a civilian agency.
"As a general principle, therefore. I would urge that wherever an adequate
scientific base exists for conducting specific types of applied research outside
of the Department of Defense and associated agencies, if would be wise policy
508
to conduct all such research through non-defense agencies, such as NOAA, NIH,.
XSF or private institutions. In addition to helping resolve Pentagon credibility
problems, such a procedure will tend to reduce duplication of effort and may
therefore produce some cost savings.
"Thus, although the subject of this hearing is an international treaty banning
the use of weather modification techniques as weapons, it is important that we
gjo beyond that and deal directly with the development of such research within
our own Government, so as to clearly divorce all weather modification activities
from the military and leave no doubt that American interest in this field is
strictly peaceful and humanitarian."
This administration and its predecessor have made progress toward an inter-
national treaty banning the use of weather modification as a weapon of war,
but neither administration has really understood the important link between
banning weather warfare and taking weather modification research out of the
hands of the military. We cannot credibly negotiate a weather warfare treaty at
the same time we are funding classified Defense Department research projects in
weather modification. Since the Defense Department has maintained that its re-
search only involves peaceful applications, it is difficult to understand why such
research cannot be placed in civilian hands. The administration is unwilling to
move in that direction, and legislative action may be necessary. I am in the
process of preparing just that, and I plan shortly to submit my proposals for
House consideration.
Appendix B
Department of Defense Statement on Position on
Weather Modification
Position on Weather Modification 1
Based on extant theories and demonstrated technology, weather modification
has little utility as a weapon of war. Conventional arms are more effective
instruments of warfare. While weather modification experiments in Vietnam
demonstrated the technical ability to increase rainfall, its military payoff was
nil. Unless there is a major scientific breakthrough which would allow the use
of weather modification as a weapon, we see little value in continued weather
modification development toward this end. However, DoD must continue to
have the option to conduct reesarch and development to exploit emerging tech-
nology and to avoid technological surprise.
Weather modification can enhance the effectiveness of conventional weapons,
particularly aircraft and helicopter forces. The primary impediment to aircraft
operations is the visibility at airfields and visibility over target. The DoD should
pursue technology to dissipate fog and clouds for the purposes of increasing
visibility, and thus conventional weapons effectiveness. We employ operationally
cold fog dissipators at those military airfields affected by cold fog and fund a
significant development program in airfield warm fog dissipation. At the same
time, we continue to work on technology to clear fog and clouds in a battlefield
area.
The future direction of the DoD weather modification program is influenced
not only by our perceptions of the usefulness of the technology, but also by the
Environmental Modification Convention. The Environmental Modification Con-
vention constrains the use of military weather modification activities to those
not having widespread, long-lasting, or severe effects. The effect of the Environ-
mental Modification Convention, when superimposed on our present perceptions
of technology, is to further devalue the development of weather modification
as a weapon of war. As a result, our present efforts are directed solely at fog
and cloud dissipation.
Insights into the future directions and potential of weather modification will
derive from fundamental research in atmospheric physics and atmospheric proc-
esses, and not from applied technology experiments in weather modification.
DoD will continue to support a vigorous program in basic research in cloud
physics and atmospheric dynamics. We are jointly funding with NASA experi-
ments to be conducted in the NASA cloud physics laboratory to be flown on the
space shuttle. DoD laboratories and contract programs fund a broad spectrum
of fundamental research into the atmosphere.
1 Provided April 5, 1978, by Col. Elbert W. Friday, Office of tbe Under Secretary of De-
fense for Research and Engineering, in a briefing to representatives of the Weather Modi-
fication Advisory Board and from several Federal agencies.
(509)
34-857—79 35
Appendix C
Text of United Xatioxs Convention ox- the Prohibition of Mili-
tary or Axy Other Hostile Use of Environmental Modification
Techniques
Text of Resolution 1
The General Assembly.
Recalling its resolutions 3264 (XXIX) of 9 December 1974 and 3475 (XXX)
of 11 December 1975,
Recalling its resolution 1722 (XVI) of 20 December 1961, in which it recognized
that all States have a deep interest in disarmament and arms control negotiations,
Determined to avert the potential dangers of military or any other hostile use
of environmental modification techniques,
Convinced that broad adherence to a convention on the prohibition of such
action would contribute to the cause of strengthening peace and averting the
threat of war,
Noting with satisfaction that the Conference of the Committee on Disarmament
lias completed and transmitted to the General Assembly, in the report of its
work in 1976, the text of a draft Convention on the Prohibition of Military or Any
Other Hostile Use of Environmental Modification Techniques,
Noting further that the Convention is intended to prohibit effectively military
or any other hostile use of environmental modification techniques in order to
eliminate the dangers to mankind from such use,
Bearing in mind that draft agreements on disarmament and arms control
measures submitted to the General Assembly by the Conference of the Committee
on Disarmament should be the result of a process of effective negotiations and
that such instruments should duly take into account the views and interests of all
States so that they can be joined by the widest possible number of countries,
Bearing in mind that article VII of the Convention makes provision for a con-
ference to review the operation of the Convention five years after its entry into
force, with a view to ensuring that its purposes and provisions are being realized.
Also bearing in mind all relevant documents and negotiating records of the
Conference of the Committee on Disarmament on the discussion of the draft
Convention.
Convinced that the Convention should not affect the use of environmental modi-
fication techniques for peaceful purposes, which could contribute to the preserva-
tion and improvement of the environment for the benefit of present and future
generations,
Convinced that the Convention will contribute to the realization of the purposes
and principles of the Charter of the United Nations,
Anxious that during its 1977 session the Conference of the Committee on Dis-
armament should concentrate on urgent negotiations on disarmament and arms
limitation measures,
1. Refers the Convention on the Prohibition of Military or Any Other Hostile
Use of Environmental Modification Techniques, the text of which is annexed to
the present resolution, to all States for their consideration, signature and
ratification :
2. Requests the Secretary-General as depositary of the Convention, to open it
for signature and ratification at the earliest possible date :
1 A/RES/31/72 (text from U.N. floe. A/31/382, report of the First Committee on agenda
''•'■!•' A Convention on the prohibition of military or any other hostile use of environmental
modification techniques-) ; adopted by the committee on Dee. 3 by a recorded vote of 89
fTT.S.) to 11, with 2."» abstentions, and by the Assembly on Dee. 10 by a recorded vote of 96
(V.S. i to S. with :;0 ahstentions.
(510)
511
3. Expresses its hope for the widest possible adherence to the Convention ;
4. Galls upon the Conference of the Committee on Disarmament, without
prejudice to the priorities established in its programme of work, to keep under
review the problem of effectively averting the dangers of military or any other
hostile use of environmental modification techniques ;
5. Requests the Secretary-General to transmit to the Conference of the Com-
mittee on Disarmament all documents relating to the discussion by the General
Assembly at its thirty-first session of the question of the prohibition of military
or any other hostile use of environmental modification techniques.
Annex
Convention ox the Prohibition of Military or Any Other Hostile Use of
Environmental Modification Techniques
The States Parties to this Convention,
(lidded by the interest of consolidating peace, and wishing to contribute to the
cause of halting the arms race, and of bringing about general and complete dis-
armament under strict and effective international control, and of saving mankind
from the danger of using new means of warfare,
Determined to continue negotiations with a view to achieving effective prog-
ress towards further measures in the field of disarmament,
Recognizing that scientific and technical advances may open new possibilities
with respect to modification of the environment,
Recalling the Declaration of the United Nations Conference on the Human
Environment, adopted at Stockholm on 16 June 1972,
Realizing that the use of environmental modification techniques for peaceful
purposes could improve the interrelationship of man and nature and contribute
to the preservation and improvement of the environment for the benefit of pres-
ent and future generations,
Recognising, however, that military or any other hostile use of such techniques
Could have effects extremely harmful to human welfare.
Desiring to prohibit effectively military or any other hostile use of environ-
mental modification techniques in order to eliminate the dangers to mankind
from such use. and affirming their willingness to work towards the achievement
of this objective.
Desiring also to contribute to the strengthening of trust among nations and
to further improvement of the international situation in accordance with the
purposes and principles of the Charter of the United Nations,
Have agreed as follows :
Article I
1. Each State Party to this Convention undertakes not to engage in military
or any other hostile use of environmental modification techniques having wide-
spread, long-lasting or severe effects as the means of destruction, damage or
injury to any other State Party.
2. Each State Party to this Convention undertakes not to assist, encourage
or induce any State, group of States or international organization to engage in
activities contrary to the provisions of paragraph 1 of this article.
Article II
As used in article I. the term "environmental modification techniques'' refers
to any technique for changing — through the deliberate manipulation of natural
processes — the dynamics, composition or structure of the earth, including its
biota, lithosphere, hydrosphere, and atmosphere, or of outer space.
Article III
1. The provisions of this Convention shall not hinder the use of environmental
modification techniques for peaceful purposes and shall be without prejudice to
generally recognized principles and applicable rules of international law con-
cerning such use.
2. The States Parties to this Convention undertake to facilitate, and have the
right to participate in. the fullest possible exchange of scientific and techno-
logical information on the use of environmental modification techniques for
peaceful purposes. States Parties in a position to do so shall contribute, alone
512
or together with other States or international organizations, to international
economic and scientific co-operation in the preservation, improvement, and
peaceful utilization of the environment, with due consideration for the needs of
the developing areas of the world.
Article IV
Each State Party to this Convention undertakes to take any measures it con-
siders necessary in accordance with its constitutional processes to prohibit and
prevent any activity in violation of the provisions of the Convention anywhere
under its jurisdiction or control.
Article V
1. The States Parties to this Convention undertake to consult one another and
to co-operate in solving any problems which may arise in relation to the objec-
tives of, or in the application of the provisions of, the Convention. Consultation
and co-operation pursuant to this article may also be undertaken through appro-
priate international procedures within the framework of the United Nations and
in accordance with its Charter. These international procedures may include the
services of appropriate international organizations, as well as of a consultative
committee of experts as provided for in paragraph 2 of this article.
2. For the purposes set forth in paragraph 1 of this article, the Depositary
shall, within one month of the receipt of a request from any State Party, con-
vene a consultative committee of experts. Any State Party may appoint an
expert to this committee whose functions and rules of procedure are set out in
the annex, which constitutes an integral part of this Convention. The commit-
tee shall transmit to the Depositary a summary of its findings of fact, incorpo-
rating all views and information presented to the committee during its pro-
ceedings. The Depositary shall distribute the summary to all States Parties.
3. Any State Party to this Convention which has reasons to believe that any
other State Party is acting in breach of obligations deriving from the provisions
of the Convention may lodge a complaint with the Security Council of the United
Nations. Such a complaint should include all relevant information as well as all
possible evidence supporting its validity.
4. Each State Party to this Convention undertakes to co-operate in carrying
out any investigation which the Security Council may initiate, in accordance
with the provisions of the Charter of the United Nations, on the basis of the
complaint received by the Council. The Security Council shall inform the States
Parties to the Convention of the results of the investigation.
5. Each State Party to this Convention undertakes to provide or support assist-
ance, in accordance with the provisions of the Charter of the United Nations,
to any Party to the Convention which so requests, if the Security Council decides
that such Party has been harmed or is likely to be harmed as a result of violation
of the Convention.
Article VI
1. Any State Party may proposed amendments to this Convention. The text
of any proposed amendment shall be submitted to the Depositary, who shall
promptly circulate it to all States Parties.
2. An amendment shall enter into force for all States Parties which have ac-
cepted it, upon the deposit with the Depositary of instruments of acceptance by
a majority of States Parties. Thereafter it shall enter into force for any re-
maining State Party on the date of deposit of its instrument of acceptance.
Article VII
This Convention shall be of unlimited duration.
Article VIII
1. Five years after the entry into force of this Convention, a conference of the
State Parties to the Convention shall be convened by the Depositary at Geneva.
The conference shall review the operation of the Convention with a view to en-
suring thfit its purposes and provisions are being realized, and shall in particular
examine the effectiveness of the provisions of article T. paragraph 1. in eliminat-
ing the dangers of military or any other hostile use of environmental modification
techniques.
513
2. At intervals of not less than five years thereafter, a majority of the States
Parties to this Convention may obtain, by submitting a proposal to this effect to
the Depositary, the convening of a conference with the same objectives.
3. If no review conference has been convened pursuant to paragraph 2 of this
article within 10 years following the conclusion of a previous review conference,
the Depositary shall solicit the views of all States Parties to this Convention on
the holding of such a conference. If one third or 10 of the States Parties, which-
ever number is less, respond affirmatively, the Depositary shall take immediate
steps to convene the conference.
Article IX
1. This Convention shall be open to all States for signature. Any State which
does not sign the Convention before its entry into force in accordance with para-
graph 3 of this article may accede to it at any time.
2. This Convention shall be subject to ratification by signatory States. Instru-
ments of ratification and instruments of accession shall be deposited with the
Secretary-General of the United Nations.
3. This Convention shall enter into force upon the deposit with the Depositary
of instruments of ratification by 20 Governments in accordance with paragraph
2 of this article.
4. For those States whose instruments of ratification or accession are deposited
after the entry into force of this Convention, it shall enter into force on the date
of the deposit of their instruments of ratification or accession.
5. The Depositary shall promptly inform all signatory and acceding States of
the date of each signature, the date of deposit of each instrument of ratification
oi^ of accession and the date of the entry into force of this Convention and of
any amendments thereto, as well as of the receipt of other notices.
6. This Convention shall be registered by the Depositary in accordance with
Article 102 of the Charter of the United Nations.
Article X
This Convention of which the Arabic, Chinese, English, French, Russian, and
Spanish texts are equally authentic, shall be deposited with the Secretary-General
of the United Nations who shall send certified copies thereof to the Govern-
ments of the signatory and acceding States.
In Witness Whereof, the undersigned, duly authorized thereto, have signed
this Convention.
Done at On
Annex to the Convention
Consultative Committee of Experts
1. The Consultative Committee of Experts shall undertake to make appro-
priate findings of fact and provide expert views relevant to any problem raised
pursuant to article V, paragraph 1. of this Convention by the State Party re-
questing the convention of the Committee.
2. The work of the Consultative Committee of Experts shall be organized in
such a way as to permit it to perforin the functions set forth in paragraph 1 of
this annex. The Committee shall decide procedural questions relative to the
organization of its work, where possible by consensus, but otherwise by a ma-
jority of those present and voting. There shall be no voting on matters of
substance.
3. The Depositary or his representative shall serve as the Chairman of the
Committee.
4. Each expert may lie assisted at meetings by one or more advisers.
5. Each expert shall have the right, through the Chairman, to request from
States, and from international organizations, such information and assistance
as the expert considers desirable for the accomplishment of the Committee's
work.
Appendix D
State Statutes Concerning Weather Modification
Twenty-nine States were found which have some type of statute discussing
weather modification. These state statutes were found by an examination of the
indices to the state codes under the topics weather modification, climate control
and cloud seeding. Statutes which have been repealed are not included. 1
The following chart divides the types of weather modification statutes into
three main categories : comprehensive, licensing and other. The comprehensive
category would include those statutes which include provisions relating not only
to licensing but also to general policy, liability, etc. State statutes put in the
licensing category are entirely, or almost entirely, concerned with the licensing
of weather modifiers. The "other" category would include States like Hawaii
which discuss weather modification in some manner but have neither a com-
prehensive statute nor one concerning licensing. States for which no provisions
concerning weather modification were found contain a notation of "no provisions"
on the chart. The exact text of those provisions follows the chart.
It should be noted that in most cases the State codes were current through
the 1976 sessions, however, in some cases the most current material available
was from the 1975 sessions.
Types of weather modification statutes
States Comprehensive Licensing Other
Alabama No provisions
Alaska No provisions..
Arizona Arizona Rev. Stat. §§45-
2401—45-2405.
Arkansas. No provisions
California. California Water Code §§ 400-
415; § 235. California Gov-
ernment Code § 53063. Cal-
ifornia Pub. Res. Code
§ 5093.36.
Colorado Colorado Rev. Stat. §§ 36-20-
101—36-20-126.
Connecticut Connecticut Gen. Stat, Ann*
§ 24-5-24-8.
Delaware. No provisions
Florida Florida Stat. Ann. §§ 403.281-
403.411.
Georgia No provisions
Hawaii Hawaii Rev. Stat. §174-5(8).
Idaho Idaho Code §§ 22-3201-22-
3202; 22-4301-22-4302.
Illinois Illinois Ann. Stat. ch. 146 3/4,
§§ 1-32.
Indiana No provisions
Iowa Iowa Code Ann. §§361.1-
361.7.
Kansas Kansas Stat. §§ 19 212f; 82a-
1401-82a-1425.
Kentucky No provisions..
Louisiana Louisiana Rev. Stat. Ann.
§§ 2201-2208.
Maine... No provisions.
Maryland No provisions
Massachusetts No provisions
Michigan No provisions.
Minnesota Minnesota Stat. Ann. 42.01- . ... .
42.14.
Mississippi No provisions..
Missouri No provisions
Montana... Montana Rev. Codes Ann.
§§ 89 310—89 331.
Nebraska Nevada Rev. Stat. §§ 2 2401—
2 2449; 81 829.45.
1 This search w.-is completed In May ii>77.
(514)
515
Types of weather modification statutes
States Comprehensive Licensing Other
Nevada Nevada Rev. Stat. §§ 544.010-
544.240; 244.190.
New Hampshire - New Hampshire Rev. Stat.
Ann. § 432:1.
New Jersey No provisions
New Mexico New Mexico Stat. Ann. §§ 75- .
37-1-75-31-15.
New York. New York Gen. Mun. Law
§ 119-p.
North Carolina No provisions .
North Dakota. North Dakota Cent. Code
§§ 2-07-01-2-07-13; 37-
17.1-15; 58-03-07.
Ohio. No provisions..
Oklahoma Oklahoma Stat. Ann., title 2,
§§ 1401-1432.
Oregon Oregon Rev. Stat. §§ 558 010-
558.990; 451.010; 451.420.
Pennsylvania Pennsylvania Stat. Ann , title
3, §§ 1101-1118.
Rhode Island No provisions
South Carolina No provisions..
South Dakota. South Dakota Compiled Laws
Ann. §§ 38-9-1—38-9-22;
1-40-8; 10-12-18.
Tennessee No provisions _
Texas Texas Water Code, title 2,
§§14.001-14.112; Texas
Civil Code, title 120A.
§ 6889-7(16).
Utah Utah Code Ann. §§73-15-3—
73-15-8.
Vermont No provisions
Virginia No provisions
Washington Washington Rev. Code Ann
§§ 43.37.010-43.37.200; 43.
27A.080(6); 43.27A.180(1).
West Virginia West Virginia Code §§ 29 2B-
1-29-2B-15.
Wisconsin... Wisconsin Stat. Ann. § 195.40.
Wyoming Wyoming Stat. §§ 10-4—10-6,
§§ 9-267-9-276.
Arizona
Ariz. Rev. Stat. §§ 45-2401-45-2405
§ 45-2401. License required
No person or corporation, other than the United States and its administrative
agencies or the state shall, without having first received a license from the
Arizona water commission, conduct any weather control or cloud modification
operations or attempt artificially to produce rainfall. As amended Laws 1971,
Ch. 49, § 25.
§ 45-2402. Application for license
Any individual or corporation who proposes to operate weather control or cloud
modification projects or attempts to artificially induce rainfall shall, before
engaging in any such operation, make application to the Arizona water commis-
sion for a license to engage in the particular weather control or cloud modification
operation contemplated. As amended Laws 1971, Ch. 49, § 26.
Effective April 13, 1971.
§ 45-2403. Application fee; statement accompanying application
At the time of applying for the license, the applicant shall pay to the Arizona
water commission a fee of one hundred dollars, and shall file an application in
the form prescribed by the Arizona water commission and furnish a statement
showing :
1. The name and address of the applicant.
2. The names of the operating personnel, and if unincorporated all individuals
connected with the organization, or if a corporation the names of each of the
officers and directors thereof, together with the address of each.
516
3. The scientific qualifications of all operating or supervising personnel.
4. A statement of all other contracts completed or in process of completion at
the time the application is made, giving the names and addresses of the persons
to whom the services were furnished and the areas in which such operations have
been or are being conducted.
5. Methods of operation the licensee will use and the description of the aircraft,
ground and meteorological services to be utilized.
6. Names of the contracting parties within the state, including :
(a) The area to be served.
(b) The months in which operations will be conducted.
(c) The dates when evaluations will be submitted. As amended Laws 1071.
Ch. 49, § 27.
§ 45-2404- Reports required from licensees; failure to file; revocation of license
Each licensee shall within ninety days after conclusion of any weather control
or cloud modification project, file with the Arizona water commission a final
evaluation of the project. Each six months during the operation of any project
which has not been completed, each licensee shall file a report evaluating the
operations for the preceding six months in the project. Failure to file such reports
constitutes grounds for immediate revocation of the license. As amended Laws
1071, Ch. 49, § 28.
§ 45-2405. Equipment license; fee; application; reports required; revocation of
license
A. Any individual or corporation engaging in manufacturing, selling or offering
for sale, leasing or offering to lease, licensing or offering to license equipment and
supplies designed for weather control or cloud modification shall, before engaging
in such manufacture, sale or offering for sale, procure a license from the Arizona
water commission. The license shall be issued upon payment of a license fee of
ten dollars and the filing of an application which shall show :
1. The name and address of the applicant.
2. The full description of the type and design of the equipment and sup-
plies manufactured and sold by the applicant.
3. The operating technique of the equipment or supplies.
B. Within sixty days after issuance of an equipment license and semi-annually
thereafter, the licensee shall file with the commission a copy of all advertising
material used in selling or offering for sale, leasing or offering for lease, licensing
or offering for license the equipment and supplies manufactured or sold by it.
C. The holder of a license shall within ten days after each sale of equipment or
supplies report to the commission, in writing, the exact character and quantity
of equipment or supplies sold, the date of the sale and the persons to whom the
sale was made.
D. Failure to file a copy of advertising material or reports required in this
section constitutes grounds for immediate revocation of the equipment license)
A s a mended Laws 1071, Ch. 49, § 29.
Effective April 13, 1971.
California
Cal. Water Code §§ 400-415; 235
Regulation of Rain-Making and Rain-Prevention
Sec.
400. Legislative finding.
401. Department ; person.
402. License : necessity.
403. License ; application : fee.
404. License : contents of application.
40."). License ; issuance : duration;
400. License : renewal ; fee.
407. Notice of intention.
405. Notice of intention ; contents.
409. Notice of intention : publication.
410. Notice of intention ; proof of publication.
411. Record of operations.
412. Evaluation statement.
413. Emergency nucleation project ; fire fighting.
413.5 Proutrbt emergency.
414. License : revocation or suspension ; procedure.
415. Violation ; offense.
517
Chapter 4 teas added by Stats. 1953, c. 139, p. 903, § 1.
§ 400. Legislative finding
The public interest, health, safety, welfare, and necessity require that scientific
experimentation in the field of artificial nucleation, and that scientific efforts to
develop, increase, and regulate natural precipitation be encouraged, and that
means be provided for the regulation and control of interference by artificial
means with natural precipitation of rain, snow, moisture, or water in any form
contained in the atmosphere, within the State, in order to develop, conserve, and
protect the natural water resources of the State and to safeguard life and
property.
(Added by Stats. 1953, c. 139, p. 903, § 1.)
§ J/01. Department ; person
As used in this chapter :
(a) "Department" means the Department of Water Resources.
(b) "Person" means any person, firm, association, organization, partner-
ship, company, corporation, private or public, county, city, city and county,
district, or other public agency.
(Added by Stats. 1953, c. 139, p. 903, § 1. Amended by Stats. 1959, c. 1269, p. 3415,
§2.)
§ 1/02. License ; necessity
No person, without first securing a license from the department, shall cause or
attempt to cause condensation or precipitation of rain, snow, moisture, or water
in any form contained in the atmosphere, or shall prevent or attempt to prevent
by artificial means the natural condensation or precipitation of rain, snow, mois-
ture, or water in any form contained in the atmosphere.
(Added by Stats. 1953, c. 139, p. 903, § 1.)
§ 403. License; application; fee
Any person desiring to do any of the acts specified in Section 102 may file with
the department an application in writing for a license. Each application shall be
accompanied by a filing fee fixed by the department with the approval of the
Department of General Services but not to exceed fifty dollars ($50) and shall be
on a form to be supplied for such purpose by the department.
(Added by Stats. 1953, c. 139, p. 904, § 1. Amended by Stats. 1965, c. 371, p. 1599,
§292.)
Share with your friends: |