Just to be clear: eating food grown in contaminated soil may not result in contaminated food…
Even though petrochemical aromatic hydrocarbons (PAH) are largely unstudied “likely” carcinogens–some of which have been found to move through the soil easily into water; and that contamination can move from soil to food to animals.
Petrochemical Aromatic Hydrocarbons (PAH) include chemicals like Benzene, Naphthalene, Xylene, and other chemicals which are part of a complex and ever-changing family of petroleum-derived products.
While we know that lead, mercury, arsenic, and other heavy metals can concentrate in root vegetables, causing various ailments. The effects of PAH have not be sufficiently researched or linked to the varying illnesses of those living in and around former brownfields and industrial complexes, or exposed to contaminated soils.
While everyone is so excited to line up for their #landback/#rematriatetheland photo ops, ask yourselves if this is the land that you actually want back.
Proper remediation, decontamination, and detoxification of these places must be done by the city/government and/or corporations “giving” this land back.
It helps no one to turn a blind eye to the real-world challenges behind soil and water contamination.
Exposing us to contaminated soil through dust, accidental ingestion, or to the detritus which accumulates on vegetables and fruit above the ground, is not healing. It’s a slow death.
Furthermore, a substance doesn’t just have to be “carcinogenic” to cause harm. Some mutagenic substances can be carried down through generations.
Part of a proper #landacknowledgement not only mentions the @MuwekmaOhloneTribe; it admits to the harms western society committed against the environment during colonization and industrialization.
On December 6, 2022, at 5:00 PM, Alameda City Council will hold a special meeting to conduct a “Listening Session“, and discuss partnership opportunities with Local Indigenous People and Ohlone Tribes.
Three tribal organizations have been invited to attend: Ohlone Tribe, INC., headed by Andrew Galvan; the Muwekma Ohlone Tribe of the San Francisco Bay Area; and the Confederated Villages of the Lisjan Nation, INC.
This listening session will seek to address a number of topics, including the City of Alameda’s commitment of $22,000 to the Sogorea Te Land Trust; Ohlone Land Acknowledgment; Possible Cultural Conservation Easement; and the creation of an action plan to raise awareness of, and educate the citizens of Alameda about Native American history and culture.
The stakes are high for the Muwekma Ohlone Tribe; as they’ve already seen interlopers raise their flags in Albany and Berkeley; as well as gain land at Sequoia Point, in Oakland, in the form of a cultural easement granted by Oakland City Council–without any regard to the Muwekma Ohlone Tribe, which has over 600 enrolled members, and documented history going back at least 7,000 years.
Not only is a similar monetary commitment to the Muwekma Ohlone Preservation Foundation on the table…. This could be the last chance Muwekma has to be included in the planning of cultural easements and official recognition by the City of Alameda for decades to come.
Muwekma Ohlone Tribal Members unveiling first Trail Marker in their language, Čočeño (Chochencyo), at Coyote Hills Regional Park (aka Máyyan Šáatošikma)
On Sunday, November 27, 2022, we gathered at Máyyan Šáatošikma (aka Coyote Hills Regional Park, in Fremont) to witness the unveiling of the first of 35 trail markers, redesigned, and translated into Čočeño (Chochenyo).
Čočeño is the official language of the Muwekma Ohlone Tribe of the San Francisco Bay Area, once recognized as the Verona Band of Indians, and comprised of all of the known surviving American Indian lineages aboriginal to the San Francisco Bay region who trace their ancestry through the Missions Dolores, Santa Clara, and San Jose.
It was through the work of J.P. Harrington, and Ohlone Ancestor Jose Guzman, that the Čočeño language was preserved, and survived centuries of attempted erasure.
The renaming of these 35 trail markers–which account for all of the trail markers in the Coyote Hills Regional Park–are the culmination of decades of (continuing) partnership with the East Bay Regional Park District.
The Muwekma Ohlone Tribe of the San Francisco Bay Area is a bonafide tribe, with more than 600 enrolled members. Muwekma holds elections for their leaders, who are now Charlene Nijmeh (Chairwoman), Monica Arellano (Vice Chairwoman). Muwekma has a strong Tribal Council, made of elders and enrolled members; without whom the re-awakening of the Čočeño language, and traditions, such as almost-forgotten dances, would not be possible.
As supporters of Tribal Sovereignty, of Ohlone People’s struggle for recognition, for Land Back, and those who wish to Decolonize, and Rematriate The Land: Remember that Muwekma is a bonafide tribe–and not a corporation, like the Confederated Villages of the Lisjan “Nation”, INC.; or the Sogorea Te Land Trust.
The important distinction between these groups is that Muwekma has been here since time immemorial. That Muwekma can trace its lineage in the San Francisco Bay Area back to at least 7,000 years ago. That Muwekma accounts for hundreds of Ohlone People. That Muwekma holds regular elections, and–most importantly–Muwekma can back all their claims with extensive documentation, including pictures going back to at least the 1930’s.
Picture of Jose Guzman in Niles, California; taken 1934. Unknown Photographer.
Resources for Supporting the Muwekma Ohlone Tribe of the San Francisco Bay Area:
We sent out numerous letters to City of Oakland Officials, today. [Here’s the contact list we used.] This is what the letter said:
Alameda Native History Project 2201 Shoreline Drive #6334 Alameda, California 94501 (510) 747-8423 info@alamedanativehistoryproject.com
October 31, 2022
Oakland City Council Oakland City Hall 1 Frank H. Ogawa Plaza Oakland, CA 94612
-VIA EMAIL-
Re: Proposed Cultural Conservation Easement at Joaquin Miller Park (Agenda Item #1022-0849)
Dear City Council Members, and Staff,
I am writing to ask you to include all Ohlone people in the planning and consultation for the proposed cultural easement at Sequoia Point, in Joaquin Miller Park. Currently, there are only plans recognizing one Ohlone tribal group, the Confederated Villages of the Lisjan Nation, INC.
However, if Sequoia Point is to be treated as a Tribal Cultural Resource, then Tribal Consultation should take place with all of the Ohlone tribal groups. I know that you are familiar with Tribal Notification Requirements; so it’s especially dismaying that Tribal Consultation was not solicited from any or all of the groups in the Native American Heritage Commission’s Tribal Consultation Lists.
These groups include, but are not limited to:
Amah Mutsun Tribal Band of Mission San Juan Bautista
Confederated Villages of the Lisjan
Costanoan Rumsen Carmel Tribe
Indian Canyon Mustun Band of Costanoan
Muwekma Ohlone Indian Tribe of the San Francisco Bay Area
Northern Valley Yokuts Tribe
The Ohlone Indian Tribe
Granting exclusive rights to use, and access, a Tribal Cultural Resource, as an easement in perpetuity, without consulting with other real parties in interest ( i.e., these other tribal groups) is a serious mistake that does not have to be made.
Please reach out to other affected tribes before granting exclusive rights to their land.
Sincerely,
Gabriel Duncan
Alameda Native History Project 2201 Shoreline Drive #6334 Alameda, California 94501 (510) 747-8423 info@alamedanativehistoryproject.com
Introduced by Senator Cortese (Coauthor: Senator Wieckowski) (Coauthors: Assembly Members Kalra, Lee, and Low)
March 07, 2022
Relative to the Muwekma Ohlone Tribe.
LEGISLATIVE COUNSEL’S DIGEST
SJR 13, as amended, Cortese. Muwekma Ohlone Tribe: federal recognition.
This measure would urge the United States Congress and the Department of the Interior and its Bureau of Indian Affairs to reaffirm and restore the Muwekma Ohlone Tribe as a federally recognized Indian tribe and include the Muwekma Ohlone Tribe in the Federal Register as a recognized tribe.
Fiscal Committee: NO
WHEREAS, The United States Federal District Court of the District of Columbia recognized in Muwekma Tribe v. Babbitt (2000) 133 F.Supp.2d 30 that “The Muwekma Ohlone Tribe is a tribe of Ohlone Indians indigenous to the present-day San Francisco Bay Area. In the early part of the Twentieth Century, the Department of the Interior recognized the Muwekma Tribe as an Indian tribe under the jurisdiction of the United States. In more recent times, however, and despite its steadfast efforts, the Muwekma Tribe has been unable to obtain federal recognition, a status vital for the Tribe and its members.”; and
WHEREAS, The United States Federal District Court of the District of Columbia recognized in Muwekma Ohlone Tribe v. Kempthorne (D.D.C. 2006) 452 F.Supp.2d 105 that “The following facts are not in dispute. Muwekma is a group of American Indians indigenous to the San Francisco Bay area, the members of which are direct descendants of the historical Mission San Jose Tribe, also known as the Pleasanton or Verona Band of Alameda County (the “Verona Band”). From 1914 to 1927, the Verona Band was recognized by the federal government as an Indian tribe. Neither the United States Congress nor any executive agency ever formally withdrew federal recognition of the Verona Band.”; and
WHEREAS, The Muwekma Ohlone people, who never left their aboriginal land and were once pronounced extinct by anthropologists, have retained their culture and social identity for the past 230 years; and
WHEREAS, The Muwekma Ohlone people have left a record of approximately 13,000 years of human history; and
WHEREAS, The United States government maintained a “trust” relationship with three Costanoan tribal groups, including the Muwekma Ohlone Tribe, historically identified as the Verona Band, by the Bureau of Indian Affairs from 1906 to 1927; and
WHEREAS, The Muwekma Ohlone Tribe was wrongly removed from the Federal Register in 1927 despite its “trust” relationship and its previous efforts to foster and secure federal recognition as an Indian tribe; and
WHEREAS, The Muwekma Ohlone Tribe enrolled with and was approved by the Bureau of Indian Affairs during the years between 1928 and 1933, inclusive, 1948 and 1957, inclusive, and 1968 and 1971, inclusive, under the 1928 California Jurisdictional Act, attended Indian boarding schools between 1930 and 1950, inclusive, and have since organized according to the Bureau’s directives, but still have no right to be legally considered an Indian tribe without first obtaining reaffirmation and formal acknowledgment by the Secretary of the Interior; and
WHEREAS, There are over 600 individual descendants of the Muwekma Ohlone Tribe in the San Francisco Bay Area who have been identified by the Bureau of Indian Affairs; and
WHEREAS, European migration led to the near decimation of the Muwekma Ohlone Tribe and the lack of formal recognition after 1927 by the Department of the Interior suggests a disregard for the cultural diversity and historical presence that the Muwekma Ohlone Tribe has offered to our state, including service in the United States Armed Services in previous wars and military conflicts spanning from World War I through the present day; and
WHEREAS, Several California counties and elected officials have officially supported the Muwekma Ohlone Tribe in its efforts for recognition through legislation commending their efforts and historical and social accomplishments, supporting requests for historical claim by the Muwekma Ohlone Tribe, and urging the federal government to reaffirm and restore the Muwekma Ohlone Tribe as a federally recognized tribe; and
WHEREAS, It is imperative that the Department of the Interior and the federal government officially recognize the historical and social history of the Muwekma Ohlone Tribe through its efforts to attain federal recognition; now, therefore, be it
Resolved by the Senate and the Assembly of the State of California, jointly, That the Legislature does hereby urge the United States Congress and the Department of the Interior and its Bureau of Indian Affairs to reaffirm and restore the Muwekma Ohlone Tribe as a federally recognized tribe and include the Muwekma Ohlone Tribe in the Federal Register as a recognized tribe; and be it further
Resolved, That the Secretary of the Senate transmit copies of this resolution to the President and Vice President of the United States, to the Secretary of the Interior, to the Speaker of the House of Representatives, to the Majority Leader of the Senate, and to each Senator and Representative from California in the United States Congress.
This text of the Senate Joint Resolution Number 13 was taken directly from the California Legislative Information website. You can find more information about the Senate Joint Resolution for Federal Recognition of the Muwekma Ohlone Tribe–as well as read the current text of the resolution–on the official CA Legislative Information website, at:
This might seem like a repeat of the circumstances which led to the hostile take-over of the Confederated Villages of the Lisjan, INC.: A well-known non-profit organization with dubious claims of tribal sovereignty, and a lack of transparency which was suspended as a corporation by the California Franchise Tax Board for failure to pay taxes and/or file required financial documents.
The fact that Sogorea Te Land Trust is subject to a California Franchise Tax Board Tax Lien was discovered by a Lien Notice filed in Alameda County, on 8/23/2022, as Instrument #2022146941.
It’s unclear if Sogorea Te Land Trust’s Tax Exempt Status will be Revoked, or if the corporation itself will be Suspended by the California Secretary of State (like the Confederated Villages of the Lisjan, INC. was;) but we will continue to provide you with updates as this situation evolves.
In the meantime–if you actually care about whether or not the Land Trust you support (like Sogorea Te Land Trust) adhere to ethical standards, and sound fiduciary conduct, we recommend checking the Land Trust Accreditation Commission’s Website, and searching for the land trust you support.
[Spoiler alert: Sogorea Te Land Trust is not an accredited land trust.]
On Monday, Amy Wooldridge (Director of Alameda Parks & Recreation Department) replied to our open letter concerning the possibility of Sogorea Te Land Trust being given a portion of Linear Park, in Alameda–at the corner of Main Street and Singleton Avenue.
In our preliminary email, asking whether or not this was true, Wooldridge told us: “The Recreation and Parks Department is working with the Sogorea Té Land Trust and Confederated Villages of Lisjan to develop an agreement regarding a section of tule plants in the Main Street Linear Park between Singleton and Stargell streets…. Sogorea Té Land Trust will take responsibility for maintenance of this area which includes removing weeds and invasive plants…. They will also then have the opportunity to cultivate the tule plants that they use for ceremonial dress, boats, roofing, and baskets.”
Our primary objections were two-fold:
The Confederated Villages of the Lisjan Nation, Inc. is not a tribal government; the City of Alameda is Muwekma Ohlone Territory.
Confederated Villages of the Lisjan Nation, INC.
Muwekma Ohlone Tribe of the San Francisco Bay Area
Less than 5 years old.
Documented existence before 1890. (aka “Time Immemorial”)
Represents 1 family.
Thousands of enrolled tribal members.
Corporation
Federally Recognized as a Tribal Nation*
*The Muwekma Ohlone Tribe of the San Francisco Bay Area is currently fighting to restore their Federal Recognition as a Tribe. Find out how you can help.
The site proposed for management by Sogorea Te Land Trust has been subject to soil and groundwater pollution which was never properly cleaned.
2 x 6,000 gallon gasoline tanks removed in
1 x 550 waste oil tank.
These tanks were leaking gasoline and waste oil into the soil at Main Street, and Singleton Avenue, specifically.
Contaminated soil around tanks were used to back-fill holes made from tank removal.
Contaminated groundwater sprayed on contaminated soil for dust suppression during the entire project.
Existence of Toxic Marsh Crust 4-18 below ground surface.
Water table at 3 feet BGS, drainage ditch at least 4 feet deep.
2021 Groundwater Ambient Monitoring and Assessment report finds Benzene, Naphthalene, and other contaminants in ground water at one of the 26 underground storage tanks within 1,000 feet of proposed land management area.
Specific guidance from Alameda County Healthcare Services requiring review of sufficiency of corrective actions before Land Use may be changed.
It was our impression that the City of Alameda had reached out to Sogorea Te Land Trust in another performative display of “restorative justice” to give indigenous people [toxic] land back.
We found out that this was not the case. Sogorea Te Land Trust was not being given land by the City of Alameda.
“This was simply intended as a short, one-year maintenance agreement that also included and allowed for the Sogorea Te Land Trust to cultivate the plants for non-edible purposes.” Amy Wooldridge told us; adding, “They had reached out to me directly with this interest and since this park is in need of more maintenance, it seemed like a good fit.”
However, after being told about the dubious nature of Sogorea Te Land Trust’s intentions to convey trust land to the Muwekma Ohlone Tribe of the San Francisco Bay Area, and being given credible information regarding the suspected contamination of Linear Park, Amy Wooldridge has told us she intends to “pause” plans for collaboration with Sogorea Te Land Trust, “and will keep the Muwekma [Ohlone] Tribe of the San Francisco Bay Area apprised of anything connected with Indigenous People that I’m involved with here in Alameda.”
This news is a victory for the Muwekma Ohlone Tribe of the San Francisco Bay Area, because the City of Alameda falls within traditional Muwekma Ohlone territory.
This is an excerpt of a letter sent to ARPD’s Amy Wooldridge, the Alameda Recreation and Parks Department Director; as well as City of Alameda Mayor Marilyn Ashcraft, Vice Mayor Malia Vella; and Council Members: Tony Daysog, Trish Herrera Spencer, and John Knox White [who made the original announcement concerning the indigenous land management of property on Main Street, between Stargell and Singleton.]
Hey Amy,
Thanks for getting back to me so quickly. I wanted to address two things.
1. The Confederated Villages of the Lisjan Nation, INC. is not a Tribal Government; it is a nonprofit corporation.
The name of the true Ohlone Tribe of this area is the Muwekma Ohlone Tribe of the San Francisco Bay Area.
Muwekma has been known as “Costanoan”, the “Verona Band”; and they have self-identified as “Yo soy lisjannes” [“Chochenyo Field Notes”, Harrington, 1921]. Additionally, the present-day Muwekma Ohlone Tribe is comprised of all of the known surviving American Indian lineages aboriginal to the San Francisco Bay region who trace their ancestry through the Missions Dolores, Santa Clara, and San Jose; and who were also members of the historic Federally Recognized Verona Band of Alameda County. [Muwekma.org; as well as both their BIA petitions for federal recognition.]
Federal Recognition could help Muwekma in the following ways, as they relate to ARPD, and the City of Alameda’s relationship with CVL:
A Land Base would be established for Muwekma in the Bay Area,
This may include ANAS/FISC Alameda property; and other open space in the City of Alameda.
Land Banks held by agencies like the East Bay Regional Park District will be transferred to Muwekma
Muwekma would be endowed with the Legal Standing required to bring suit for the cessation of excavation, destruction and/or development of Tribal Cultural Resources in the City of Alameda–
And, this might leave ARPD and the City liable, should they irrevocably devote land and resources to a corporation that is not actually a tribal government (please be careful, because we need our Parks and Rec Department; it would suck if they lost funding because it was reappropriated as restitution, or a settlement.)
Theoretically, there should also be a conveyance from Sogorea Te Land Trust to the Muwekma Ohlone Tribe of the San Francisco Bay Area at this point–as Federal Recognition would render the necessity/mission of a land trust to hold land for an unrecognized tribe moot.
Aside from the factual issues with recognizing a corporation less than 5 years old as a Tribal Government; there is the political consideration.
Muwekma is a tribal nation that is trying to regain federal recognition. One of the most crucial elements they must prove in their petition is that Muwekma has existed as a continuous group since the last time they were recognized as a tribe; and that the tribal governance structure has retained its political influence on said group. This has been extremely difficult for them to plead at the level the BIA requires. And several prominent politicians have spoken out against what they believe is an arbitrary and capricious refusal by BIA to reconsider Muwekma’s petition for tribal recognition. [This is on top of previous judicial opinions also in favor of reconsideration.] But, there is another way that Muwekma can regain Tribal Recognition; and that is by an Act of Congress.
However, to affect this action, Muwekma must have a broader political influence beyond its own membership. This means they would have to gain wider public support for their cause, in order to effectively encourage congressional representatives to introduce legislation renewing Muwekma’sTribal Recognition.
I believe that the City of Alameda, and ARPD’s public endorsement of the Confederated Villages of the Lisjan Nation, INC. as an Ohlone tribe is an error which is detrimental to the rights and struggles for recognition and sovereignty of the Muwekma Ohlone Tribe of the San Francisco Bay Area insomuch that it lends false validity to a corporation that is fraudulently portraying itself as a Tribal Nation to benefit a small group of people over the needs of thousands of bonafide Muwekma Ohlone Tribal Members.
It also contributes to the erasure of all of the people whose ancestors were ground up to pave Bay Farm Road; grade former train tracks in Jean Sweeney; and fill marshland around Krusi, and Harrington Parks, among others.
It is for these reasons that I strongly suggest ARPD, and The City, reach out directly to the Muwekma Ohlone Tribe of the San Francisco Bay Area before you consider doing anything else.
2. Ongoing Contamination of Soil and Groundwater At or Near Linear Park (On Main Street, between Singleton and Stargell)
I’m concerned about the most recent Groundwater Ambient Monitoring and Assessment data regarding Benzene and Naphthalene found in ground water samples around this site. These chemicals were found in 2021 data, and no mitigation activities have occurred, as this site is now open and being investigated. It’s reasonable to assume that groundwater contamination is transient, and could affect Linear Park because it has a drainage ditch well below the surface of the surrounding land, including all sites appearing on the map below. This is the same drainage ditch Tule grows in now.
Additionally, I would like to note that Linear Park itself has been subject to contamination from leaking underground storage tanks (UST’s); which contained gasoline, diesel, lubricating oil, waste oil, and other hazardous materials; which released harmful chemicals, including the two listed above (among others), into the soil and groundwater directly upon the property now referred to as Linear Park.
There are also 26 points within 1,000 feet of Linear Park which have been affected by soil and groundwater contamination, much of the land surrounding Linear Park are subject to Land Use Restrictions expressly against digging/excavating, or using groundwater. Some of these Land Use Restrictions prohibit Schools or Housing from being built on those parcels because of the risk to human health (specifically to children.)
Additionally, there is the existence of the Toxic Marsh Crust, which lies 4-18 feet below the surface of any given point on the map presented here, and presents an unknown and unmitigated hazard to any plant or animal for the foreseeable future. For your reference, the highest water level sampled for this area was given at 3 feet below ground surface (BGS); and the drainage ditches are at least four feet deep.
Please find the attached PDF “CLOS_L_2002-01-14.pdf” which is a letter from the Alameda County Healthcare Services Agency, Environmental Services, Environmental Protection, Hazardous Material Specialist Eva Chu, addressed to the City of Alameda. This document details the contamination at the point where the tule grows in Linear Park, at Singleton and Main Street. This letter notes current concentrations of hazardous materials, and examines how the underground storage tanks were removed, and the land treated.
On top of the soil used for backfill being contaminated, polluted groundwater pumped from the site was sprayed onto the soil to suppress dust during work… further contaminating an area that was supposed to be cleaned.
All of this points to:
A strong possibility that the soil and groundwater harbor contaminants dangerous to humans;
The certain necessity to test soil and groundwater in this area to determine its safety.
Furthermore, certain safety plans must be created before digging, trenching, or groundwater may be used. The attached report also states that the corrective action for this parcel must be reviewed if land use changes.
Currently this land is technically wetland and flood mitigation for tidal surges which typically flood this area. The proposed use: to grow plants for food, clothing, and medicine to be consumed, inhaled, smudged with (,etc.); is clearly a much different use[–for human consumption vs. flood mitigation]. Therefore the re-evaluation of these parcels is not just a good idea, it is an enumerated necessity, according to Hazardous Materials Specialist Eva Chu.
Please find the attached “Map Showing Past & Present Contamination in City of Alameda Proposed ‘Indigenous Land Management’ Parcels”
It is for these reasons that I strongly object to letting anyone manage any part of, or consume any thing from Linear Park–at all–until the question of contamination has been thoroughly examined, and competently settled.
Thanks for your attention to these matters. If you have any questions, feel free to reach out to me.
Golden Gate & San Pablo Bay Area, California / Showing Hazardous Wast Production Density / National Priority List Superfund Sites
Even though the former Naval Air Station is the largest, and most well-known contaminated in Alameda, Formerly Used Defense Sites were not confined to the footprint of the former Alameda NAS.
Check out CalEnviroScreen 4.0 to learn more about the impacts of pollutants, and contaminants, on our infrastructure, planning, and health.
Envirostor is a California Department of Toxic Substance Control repository of data. It’s pretty good for finding information for specific sites and projects.
Alameda Native History Project releases a new Alameda Shellmound Map Model to show the capability of Augmented Reality, when it comes to virtual classrooms, and independent & remote learning. And to showcase the direction of education, and uses for technology, as we progress further into the 21st Century.
This map is appropriate for use in a K-12 setting; and represents the Alameda Shellmounds, as seen by N.C. Nelson. [“Shellmounds of the San Francisco Bay Region”, Nelson, 1909] This map model was created by Gabriel Duncan, and it was stylized using Adobe Aero.
Alameda Native History Project is not sponsored by, or receiving money from Adobe. This is not a paid product placement. This is an example of how to use the tools already available to you, for free, to make really cool stuff for your class or presentations.
For more information about this model, or how to get a copy, email the Alameda Native History Project.