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Negotiating the NEPA Maze: It Really Is Rocket Science Start.

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Presentation on theme: "Negotiating the NEPA Maze: It Really Is Rocket Science Start."— Presentation transcript:

1 Negotiating the NEPA Maze: It Really Is Rocket Science Start

2 2 Contents I.NEPA Process Overview: Who, What, Where, When, and Why? NEPA Process Overview: Who, What, Where, When, and Why?NEPA Process Overview: Who, What, Where, When, and Why? II.NEPA Documentation: An Interactive Look NEPA Documentation: An Interactive LookNEPA Documentation: An Interactive Look III.Helpful Resources Helpful ResourcesHelpful Resources

3 NEPA Process Overview: Who, What, Where, When, and Why? Next Return to Contents Page Return to Contents Page

4 4 What is NEPA? National Environmental Policy Act (NEPA) is our basic national charter for protection of the environment Two basic objectives –Provide full disclosure and consider consequences of proposed Federal actions –Ensure that environmental information is available to Agency decision makers and the public before decisions are made Return to Contents Page Return to Contents Page Next

5 5 What Does NEPA Require? Federal Agencies must –Consider environmental values in planning before action is taken –Consider alternatives to proposed action –Incorporate environmental considerations with technical and economic factors into decisions –Make environmental information available to public –Prepare thorough and clear statements to assess environmental impacts Return to Contents Page Return to Contents Page Next

6 6 Why Does NEPA Apply to Licensing Actions? Licensing launches, reentries, and launch and reentry sites is considered a Federal action and is therefore subject to the requirements of NEPA AST is responsible for analyzing environmental impacts associated with licensed launches AST’s responsibilities under NEPA are outlined in FAA Order 1050.1D FAA Order 1050.1DFAA Order 1050.1D Return to Contents Page Return to Contents Page Next

7 7 How Does NEPA Affect Licensing Process? Environmental determination, i.e., Finding of No Significant Impact (FONSI) or Record of Decision (ROD) must be made before license can be issued Changes to operations that impact the environment must be evaluated in separate documentation NEPA process can be used to document compliance with other statutory and international requirements  No action can be taken (e.g., start construction) until ROD or FONSI is issued Return to Contents Page Return to Contents Page Next

8 8 Who Prepares NEPA Documentation? Federal agency undertaking program, project, plan, regulation, or licensing/ permitting activity is responsible Agencies may use contractors to prepare environmental documentation; however, document is submitted by the Agency to the Environmental Protection Agency (EPA) Return to Contents Page Return to Contents Page Next

9 9 What Types of NEPA Documentation Exist? Categorical Exclusion - action that normally does not, individually or cumulatively, have significant impact on quality of the human environment Environmental Assessment (EA) - analysis of proposed action and reasonable alternatives (including no action) that could result in preparation of Environmental Impact Statement (EIS) or FONSI FONSI - outcome of EA that documents no significant impact requiring the preparation of an EIS Return to Contents Page Return to Contents Page Next

10 10 What Types of NEPA Documentation Exist (continued)? EIS - detailed analysis of environmental consequences of proposed action and reasonable alternatives (including no action), cumulative impacts, and mitigation actions ROD - concise summary of EIS, alternative selected and reasons for selection Return to Contents Page Return to Contents Page Next

11 11 What are AST’s Responsibilities under NEPA? Assist license applicant in identifying potentially significant impacts Review environmental information submitted by applicant Prepare NEPA documentation, conduct scoping, coordination, and public review Respond to public comments received during the comment period Issue environmental determination Return to Contents Page Return to Contents Page Next

12 12 What Steps Should Applicant Take? Early in the process the applicant should –Consult AST on level and scope of environmental documentation needed –Conduct preliminary studies to determine impact of proposed action and identify reasonable alternatives –Submit applications for all permits or approvals –Notify AST of other Federal, Tribal, regional, state or local requirements that may apply –Notify AST of private citizens and groups interested in proposed action  Contact AST’s environmental specialists Contact AST’s environmental specialists Contact AST’s environmental specialists for guidance for guidance Return to Contents Page Return to Contents Page Next

13 13 When Should NEPA be Initiated? Early in planning process - before decisions are made and actions are taken Prevents prematurely limiting choice of reasonable alternatives Early application of NEPA may prevent subsequent schedule slips  Applicant should contact AST early in process to initiate NEPA review contact ASTcontact AST Back Return to Contents Page Return to Contents Page

14 NEPA Documentation An Interactive Look Return to Contents Page Return to Contents Page Next

15 15 NEPA Process Proposed Action Categorical Exclusion 1 Environmental Assessment Further NEPA Analysis Required Notice of Intent Scoping Process Draft Environmental Impact Statement EPA’s Notice of Availability Public Review (45 days minimum) Final Environmental Impact Statement EPA’s Notice of Availability 4 Record of Decision Public Hearing No Further Documentation 2 Finding of No Significant Impact Proceed with Project Known Significant Impact Yes No Significant Impact 3 Yes 1 – If no extraordinary circumstances 2 – FAA may document categorical exclusions 3 – Or mitigated below level of significance 4 – Publication of FEIS in Federal Register for minimum 30 day public review Minimum 30 day waiting period Next Return to Contents Page Return to Contents Page

16 16 Other NEPA Topics of Interest Supplemental NEPA Documentation Supplemental NEPA Documentation Tiering Environmental Monitoring Environmental Monitoring Written Reevaluation Written Reevaluation Return to Contents Page Return to Contents Page Back

17 17 Proposed Action and Alternatives Describes range of alternatives including proposed action and no action Reasonable alternatives may include but are not limited to –Launch facility locations, –Configuration of the launch facility, –Extent of launch facility operations, –Types of launch vehicles, and –Range of launch trajectories Next Return to Contents Page Return to Contents Page

18 18 Developing Proposed Action and Alternatives To assist applicants in identifying proposed action and alternatives, consider the following questions 1.Where is your preferred site? 2.Have you identified alternative sites? 3.What is your proposed launch manifest? 4.Have you considered using a different number of flights? 5.Have you identified a preferred configuration for the site? 6.Have you considered any alternative site configurations? Next Return to Contents Page Return to Contents Page

19 19 Developing Proposed Action and Alternatives (continued) 7.Have you identified a preferred family or class of vehicle(s)? 8.Have you identified an alternative family or class of vehicle(s)? 9.Have you identified a preferred trajectory for launch(es)? 10.Have you identified an alternative trajectory for launch(es)?  Answering these questions helps define the proposed action Back Return to Contents Page Return to Contents Page

20 20 Written for actions which in the agency’s experience do not individually or cumulatively have a significant impact on the environment and do not require preparation of an EA or EIS Actions that are routine Normally excluded actions may require more extensive review if potential exists for public controversy AST’s categorical exclusions are listed in FAA Order 1050.1D FAAOrder 1050.1DFAAOrder 1050.1D Categorical Exclusion Back Return to Contents Page Return to Contents Page

21 21 Environmental Assessment (EA) Defined as concise document that –Provides analysis to determine if EIS is necessary –Serves as the Agency’s compliance with NEPA when EIS is not necessary –Facilitates preparation of EIS when necessary Addresses environmental effects that are not anticipated to cause significant impacts when no categorical exclusion exists Evaluates actions that have potential effects that can be mitigated to less than significant levels Next Return to Contents Page Return to Contents Page

22 22 EA Continued Less detailed than an EIS but must address similar elements including –Description of proposed action –Purpose and need for action –Alternatives including no action –Description of affected environment –Consequences of proposed action and alternatives –Cumulative and long-term environmental effects –Degree of controversy –Mitigation measures (if appropriate) Next Return to Contents Page Return to Contents Page

23 23 EA Continued Determines whether there will be significant impacts from the proposed action EA process ends in Finding of No Significant Impact (action may proceed) or preparation of EIS EA process generally takes 6-12 months, but depending on complexity can take much longer Back Return to Contents Page Return to Contents Page

24 24 Finding of No Significant Impact (FONSI) Decision document which follows completion of an EA and states Agency’s determination of no significant impact Subject to 30-day review and comment by public if proposed action is –An issue of national concern –Similar to actions which require an EIS –An unprecedented action Back Return to Contents Page Return to Contents Page

25 25 Notice of Intent (NOI) FAA publishes NOI after making decision to prepare EIS Initiates public scoping and EIS process Invites comments on scope of EIS Includes date, time, and location of any planned public scoping meetings Identifies lead agency and any cooperating agencies lead agency cooperating agencieslead agency cooperating agencies Back Return to Contents Page Return to Contents Page

26 26 Lead Agency Responsibility Responsible for facts, opinions, and judgments upon which final environmental determination is based Performs independent review of information provided by applicant Approves contractor for EIS process and develops third party contracting mechanism see 40 CFR § 1506.5(c) and FAA Order 1050.1D paragraph 52 FAA Order 1050.1DFAA Order 1050.1D Back Return to Contents Page Return to Contents Page

27 27 Cooperating Agency Responsibility Participate in the NEPA process at the request of the lead agency Participate in the scoping process Assume responsibility for preparing portions of NEPA analysis at the lead agency’s request Provide staff and funding to participate in the NEPA process Back Return to Contents Page Return to Contents Page

28 28 Scoping Process If an EIS is required, scoping is conducted to –Solicit public opinion and opinions of other agencies –Determine potentially significant impacts to be analyzed in detail –Identify and eliminate from study non- significant issues –Allocate assignments for preparing EIS among participating agencies –Identify environmental review and consultation requirements –Develop a schedule for preparing EIS Back Return to Contents Page Return to Contents Page

29 29 Environmental Impact Statement (EIS) Prepared when a proposed action may result in significant impacts Should be analytical and concise with a level of analysis commensurate with the potential for impact EIS process generally takes 12-18 months but can take much longer if controversial issues or complex analysis are involved Next Return to Contents Page Return to Contents Page

30 30 EIS Continued An EIS should contain –Cover sheet Cover sheetCover sheet –Summary Summary –Table of contents Table of contentsTable of contents –Purpose of and need for action Purpose of and need for actionPurpose of and need for action –Alternatives including proposed action Alternatives including proposed actionAlternatives including proposed action –Affected environment Affected environmentAffected environment –Environmental consequences Environmental consequencesEnvironmental consequences –List of preparers List of preparersList of preparers –List of agencies, organizations, and persons to whom copies of document are sent (Distribution List) List of agencies, organizations, and persons to whom copies of document are sent (Distribution List)List of agencies, organizations, and persons to whom copies of document are sent (Distribution List) –Index Index –Appendices Appendices Next Return to Contents Page Return to Contents Page

31 31 Cover Sheet, Summary, Table of Contents Cover sheet – summarizes proposed action, agency point of contact, abstract, and date by which comments must be received Summary – summarizes EIS analysis stressing conclusions and areas of controversy Table of contents – lists sections of document, figures, and tables Back Return to Contents Page Return to Contents Page

32 32 Purpose of and Need for Action Outlines the purpose and need which FAA is addressing by proposing alternatives and proposed action Defines parameters for a reasonable range of alternatives Forms framework for remainder of document including evaluation of alternatives Back Return to Contents Page Return to Contents Page

33 33 Alternatives Including Proposed Action Describes range of alternatives including proposed action and no action This section should –Define the issues –Inform the public –Provide basis for choice among options, –Explore and evaluate alternatives –Discuss reasons why some alternatives were eliminated from further study Back Return to Contents Page Return to Contents Page

34 34 Affected Environment Baseline description of proposed site and alternative sites Considers issues including –Air quality- Water quality –Land use- Noise –Biological resources- Geology/soils –Cultural resources- Health/safety –Socioeconomic issues- Airspace –Environmental justice Back Return to Contents Page Return to Contents Page

35 35 Environmental Consequences Analyzes impacts resulting from development and operation of launch site and launch activities Addresses resources and issues discussed in the affected environment section Evaluates direct and indirect, cumulative, and beneficial impacts Mitigation measuresMitigation measures must also be considered Mitigation measures Back Return to Contents Page Return to Contents Page

36 36 Mitigation Measures Means by which adverse project impacts can be diminished or eliminated Steps in mitigation planning 1.Identify impacts and determine which can be eliminated or reduced 2.Select mitigation measures based on consultation with agencies and affected parties 3.Implement mitigation measures 4.Monitor and report on effectiveness of measures Back Return to Contents Page Return to Contents Page

37 37 List of Preparers and Distribution List List of Preparers – list of names and qualifications of persons who were primarily responsible for preparing the EIS Distribution List – list of persons or agencies to whom copies of the document were provided Back Return to Contents Page Return to Contents Page

38 38 Index and Appendices Index – Should have a level of detail sufficient to focus on topics of interest Appendix – items may include –Material prepared in connection with EIS –Material to substantiate analysis in EIS –Analysis relevant to facilitate decision making Back Return to Contents Page Return to Contents Page

39 39 Draft EIS Circulate Draft EIS and provide copies to cooperating agencies and Federal, state, or local agencies authorized to enforce environmental standards Request comments from agencies Address, consider, and include or summarize comments in the Final EIS Back Return to Contents Page Return to Contents Page

40 40 Notice of Availability (NOA) Draft and Final EISs must be filed with EPA’s Office of Federal Activities EPA files NOAs in Federal Register weekly EPA’s filing starts public review period for Draft EIS and waiting period for Final EIS No decision can be made until 90 days after publication of NOA for Draft EIS or until 30 days after publication of NOA for Final EIS Back Return to Contents Page Return to Contents Page

41 41 Public Review Comments are solicited from –Federal agencies with jurisdiction –Appropriate state and local agencies –Potentially affected Indian tribes –Any agency that requested copies of document –Applicant –Public –Interested public organizations Back Return to Contents Page Return to Contents Page

42 42 Public Hearing Procedures AST sponsors public meetings or hearings when appropriate or required by statute Criteria for meetings include –Substantial environmental controversy over proposed action or interest in holding meeting –Request for hearing by another agency with jurisdiction over action Hearing held no earlier than 15 days after draft is released Back Return to Contents Page Return to Contents Page

43 43 Final EIS Must consider comments both individually and cumulatively Responses to comments raised during public review must be included in the Final EIS Comments may be received on the Final EIS Back Return to Contents Page Return to Contents Page

44 44 Record of Decision (ROD) Public record of a decision indicating final approval of a proposed action Identifies all alternatives considered by Agency States whether means to minimize environmental harm were adopted Next Return to Contents Page Return to Contents Page

45 45 What Happens Next? Following release of ROD, 30-day waiting/cooling off period starts before action can proceed Agency open to possible legal action Applicants for AST license must still meet other requirements to obtain license Back

46 46 Supplemental NEPA Documentation Prepare supplements to draft or final EISs if substantive changes are made to the proposed action Prepare, approve, circulate, and file in the same manner as draft or final EISs but scoping is not required Back Return to Contents Page Return to Contents Page

47 47 Tiering Agencies are encouraged to tier to eliminate repetitive discussions of issues After Programmatic or other broad EIS has been prepared subsequent EA or EIS only needs to summarize issues previously discussed Back Return to Contents Page Return to Contents Page

48 48 Written Reevaluation AST exercises judgment to determine when this is appropriate May be appropriate when –Proposed action conforms to plans or projects for which prior EISs or FONSIs have been filed –Data and analyses in previous EISs or FONSIs are substantially valid –All conditions and requirements of prior approval have been or will be met in the current action Back Return to Contents Page Return to Contents Page

49 49 Environmental Monitoring FAA may require environmental monitoring as part of the license Monitoring may include pre- and post-launch observation for species of concern, surface water sampling, vegetation surveys, and other actions as appropriate Back Return to Contents Page Return to Contents Page

50 Helpful Resources Next Return to Contents Page Return to Contents Page

51 51 Guidelines Document Aids applicants in understanding FAA’s policies and procedures GuidelinesGuidelines are intended to be used in conjunction with FAA Order 1050.1D, NEPA, and other environmental laws FAA Order 1050.1D GuidelinesFAA Order 1050.1D Next Return to Contents Page Return to Contents Page

52 52 Programmatic EIS Programmatic EIS for Licensing Launches Programmatic EIS for Licensing Launches Addresses environmental impacts of licensing launches and two alternatives Three categories of impacts considered –Atmospheric –Noise –Other environmental effects Considers possible mitigation measures Next Return to Contents Page Return to Contents Page

53 53 Other Environmental Regulations Many environmental regulations and executive orders may apply to actions –E.O. 12114 - Environmental Effects Abroad of Major Federal Actions –Endangered Species Act –Federal Coastal Zone Management Act –Marine Mammal Protection Act –Clean Air Act –E.O. 11990 - Protection of Wetlands –National Historic Preservation Act For a more extensive list refer to Appendix E of the Guidelines Document Appendix E of the Guidelines Document Appendix E of the Guidelines Document Return to Contents Page Return to Contents Page Next

54 54 AST Staff For more information or to discuss a particular proposed project please contact –Michon Washington (202) 267-9305 Michon.Washington@FAA.gov Michon.Washington@FAA.gov –Doug Graham (202) 267-8568 Doug.Graham@FAA.gov Doug.Graham@FAA.gov Visit AST’s Website: http://ast.faa.gov http://ast.faa.gov Back


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