Presented to: By: Date: Federal Aviation Administration Environmental Document Preparation WETLANDS BEST PRACTICES 33 rd Annual Airports Conference Marie.

Slides:



Advertisements
Similar presentations
U.S. Army Corps of Engineers Regulatory Program Regulatory Program.
Advertisements

US Army Corps of Engineers BUILDING STRONG ® Restoration and Regulation Discussion Joseph P. DaVia US Army Corps of Engineers-Baltimore Chief, Maryland.
Coal Mining Activities Mark A. Taylor Huntington District Corps of Engineers.
Innovative Approaches to Wildlife/Highway Interactions The “Seven Dwarfs”
Introduction to EIS/EA Managing the Environmental & Project Development Process Presented by the Ohio Dept. of Transportation.
Presented to: AIP Grant Process Workshop By: Roxane Wren and Edward Gabsewics, CEP Date: December 2009 Federal Aviation Administration Grant Application.
Objectives Terminal Objective
Environmental Project Commitments The Alberta Experience
BUILDING STRONG ® Mitigation in a Modern World or 33 CFR 332 and You Presented by Jayson M Hudson To the Texas Association of Environmental Professionals.
Presented to: 2010 Airports Conference By: Sue McDonald With slides by Tom Klin, CH2M HILL Date: March 3, 2010 Federal Aviation Administration Cumulative.
Modified Charleston Method (MCM)
Bill Orme, Senior Environmental Scientist, State Water Board Liz Haven, Asst. Deputy Director, Surface Water Regulatory Branch, State Water Board Dyan.
Presented to: 32nd Annual Airport Conference Hershey, PA By: Patricia Henn, AIP/PFC Program Manager Date: March 4, 2009 Federal Aviation Administration.
Wildlife Hazard Management ACI-NA CONFERENCE, MARCH 16, 2004.
UNRESTRICTED Infrastructure Assessment as Viewed by Technology Holders IAEA Technical Meeting December 10-12, 2008 R. Godden.
California’s New Onsite Wastewater Treatment System Policy Richard Sanchez, REHS, MPH President California Conference of Directors of Environmental Health.
What is an In Lieu Fee Program ? Clean Water Act - Section 404 : “no overall net loss” of wetland acreage and functions. One mechanism for providing Compensatory.
Clean Water Act Section 404: An O&G Perspective Andrew D. Smith SWCA Environmental Consultants.
KEY CONCEPTS OF MITIGATION BANKING March 27, 2003 US Army Corps of Engineers Jacksonville District.
Environmental Consultants BMI Environmental Services, LLC AN OVERVIEW OF THE WETLANDS REGULATORY PROCESS AS IT RELATES TO THE PROPOSED OCEAN SPRINGS HIGH.
Natural Resource Reviews Threatened or Endangered Species Natural AreasWetlands.
“Insert” then choose “Picture” – select your picture. Right click your picture and “Send to back”. The world’s leading sustainability consultancy Legislation.
1 Wetland Regulatory Programs Department of Natural Resources Legislative Audit Bureau July 2007.
Water Allocation and Protection of the Environment: Is a Collaborative Approach Possible? William E. Cox Professor of Civil Engineering Virginia Tech.
Coastal Zone Federal Consistency The most powerful permitting program you’ve probably never heard of…
Presented to: Hershey Aviation Conference By: Ed Gabsewics, Charlie Campbell & Suki Gill Date: March 3, 2010 Federal Aviation Administration Environmental.
Clean Water Act Section 404 Basics Clean Water Act Section 404  Regulates discharges of dredged or fill material into waters of the U.S., including.
US Army Corps of Engineers BUILDING STRONG ® Lee Anne Devine Chief, South Section Regulatory Branch Louisville District Coal Mining Activities and Section.
Governor’s Executive Order: Supporting and Strengthening the State’s Wetland Policy 6 th Annual Wetlands Conference January 30, 2013 Dave Weirens,
Lecture(3) Instructor : Dr. Abed Al-Majed Nassar
Wetlands Mitigation Policy Sudbury Wetlands Administration Bylaw April 27, 2015.
WETLANDS and ODOT Environmental Services Oregon Department of Transportation.
Section 404 of the Clean Water Act 404(b)(1) Guidelines Field Exercise
WETLANDS and LOCAL PROGRAMS Environmental Services Oregon Department of Transportation.
Our mission ead and execute environmental programs and provide expertise that enables Army training, operations, acquisition and sustainable military communities.
HABITAT CONSERVATION PLANNING Charles J. Randel, 1 III, Howard O. Clark, Jr., 2 Darren P. Newman, 2 and Thomas P. Dixon 3 1 Randel Wildlife Consulting,
Presented to: 2012 Pacific Aviation Director’s Workshop, Guam By: Juan S.A. Reyes, A.C.E., ACSI Date: March 13-15, 2012 Federal Aviation Administration.
Endangered Species Act Section 7 Consultations. The Endangered Species Act Sec. 2:Purpose Sec. 3:Definitions Sec. 4:Listing, Recovery, Monitoring Sec.
Federal Aviation Administration Advisory Circular 150/5370-2F Operational Safety on Airports During Construction Presented to: Eastern Region 35 th Annual.
Building Strong! 1 US Army Corps of Engineers Regulatory Program Kimberly McLaughlin Program Manager Headquarters Operations and Regulatory Community of.
State Permitting Issues for Wind Developments Southeast and Mid-Atlantic Regional Wind Summit 19 September 2005 Jennifer A. DeCesaro Energy Policy Specialist.
Clean Water Act Section 404 How it affects your airport during project implementation.
Presented to: By: Date: Federal Aviation Administration Airports Division Eastern Region Grant Closeout Guidance 33 rd Annual Airports Conference Patricia.
CHAPTER 1 FOUNDATION. 1.1 National Environmental Policy Act (NEPA) “An act to establish a national policy for the environment, to provide for the establishment.
INTRODUCTION TO SECTION 4(f) Presented by Ian Chidister Environmental Program Manager FHWA – Wisconsin Division December 4, 2013.
Integrating Other Laws into BLM Planning. Objectives Integrate legal requirements into the planning process. Discuss laws with review and consultation.
Number of Copies Agency Submissions & Comments. Coordination ESRs are reviewed by OES and coordinated with resource agencies as part of the NEPA review.
U.S. Army Corps of Engineers Decision Authority l All permit decisions, scope of analysis, 404(b)(1), mitigation, alternatives, jurisdiction -- Corps.
The Clean Water Act © Dr. B. C. Paul (Jan. 2000).
APPLICATIONS OF WATER QUALITY REGULATIONS Module 22, part c – Applications.
Overview of the 401 WQC Process. Main Topics Relationship between Clean Water Act Sections 404 and 401 State permitting processes Specifics of Kentucky’s.
Recreational Trails Program Federal Requirements.
1 Implementing the Concepts Environment Pre-Conference Workshop TRB MPOs Present and Future Conference August 27, 2006 Michael Culp FHWA Office of Project.
Ohio Wetland Real Estate Issues. Definition Definition Federal Regulations Federal Regulations Permits Permits Solutions Solutions Legal Statues Legal.
Presented to: 34 th Annual Airports Conference By: Ed Gabsewics, CEP Date: March 3, 2011 Federal Aviation Administration Planning and Environmental Guidance.
MONTERY COUNTY 2005 GENERAL PLAN UPDATE STUDY SESSION July 21, 2005.
Federal Aviation Administration ARP SOP No SOP for CATEX Determinations Effective Date: Oct. 01, 2014 February 2016.
1 Calcasieu River & Pass, Louisiana Dredged Material Management Plan (DMMP) Kick off Meeting February 2, 2005 Project Manager Mireya Laigast, Civil Engineer,
Legislative History. First enacted in 1934  Enacted due to concerns over the loss of commercial and sport fisheries from water resource developments.
Overview of Everything You Need to Know About Mitigation.
Wetlands Focus Group. Responsibilities and Goals   Growth Managements Act (Chapter 163, FS) of 1985   Included the adoption of the State Comprehensive.
Draft Environmental Assessment Report for Bradley International Airport October 2016
Barriers and Challenges to Developing Renewable Energy Projects
State of Minnesota Section 404 Assumption Feasibility Study
Coal Mining Activities
THE CORPS REGULATORY AUTHORITY
Coal Mining Activities
Michigan Dept. of Environmental Quality Water Resources Division
National Act Regulated by EPA
Port of Portland properties and facilities
Presentation transcript:

Presented to: By: Date: Federal Aviation Administration Environmental Document Preparation WETLANDS BEST PRACTICES 33 rd Annual Airports Conference Marie Jenet, Environmental Specialist, NYADO March 3, 2010

2 Federal Aviation Administration Environmental Document Preparation – Wetlands Best Practices 33 rd Annual Airports Conference - March 3, Areas Of Deficiency Impact Assessment Alternatives Clean Water Act Section 404 Permit Mitigation Hazardous Wildlife Attractant

3 Federal Aviation Administration Environmental Document Preparation – Wetlands Best Practices 33 rd Annual Airports Conference - March 3, Impact Assessment Jurisdictional Wetlands Non-Jurisdictional Wetlands State Regulated Wetlands All Wetlands Are Natural Resources That Must Be Assessed Regardless Of Permit Requirements

4 Federal Aviation Administration Environmental Document Preparation – Wetlands Best Practices 33 rd Annual Airports Conference - March 3, Impact Assessment Airport Actions Affect Wetlands If –Require Structure in Wetlands –Require Dredging, Filling or Draining of Wetlands –Require Disturbing the Water Table of Wetlands –INDIRECTLY AFFECT Wetlands Remember To Assess All Wetland Impacts, Especially Temporary And Construction Related Impacts

5 Federal Aviation Administration Environmental Document Preparation – Wetlands Best Practices 33 rd Annual Airports Conference - March 3, Alternatives A Practicable Alternative Is One That Is Possible After Considering –Safety Aspects –Project Objectives –Accepted Standards (Design, Engineering, Environmental, Economic) An Alternative Must Be Pursued If –It Achieves Project Purpose and Need –Avoids or Minimizes Wetlands Impacts

6 Federal Aviation Administration Environmental Document Preparation – Wetlands Best Practices 33 rd Annual Airports Conference - March 3, Alternatives Additional Cost Alone Does Not Make An Alternative Impractical The Cost May Be Recognized As Necessary And Justified To Meet National Wetland Policy Objectives Long Term Costs Associated With Wetlands Mitigation Are Considered

7 Federal Aviation Administration Environmental Document Preparation – Wetlands Best Practices 33 rd Annual Airports Conference - March 3, CWA Section 404 And State Permits Permit Issuance Is Not Needed To Complete The Environmental Document Document Must Contain Permit Status Including Pre-Application Meeting Information FAA Must Have Reasonable Assurance The Permit Requirements Can Be Met

8 Federal Aviation Administration Environmental Document Preparation – Wetlands Best Practices 33 rd Annual Airports Conference - March 3, CWA Section 404 And State Permits Lack Of Coordination Leads To –Delay in Environmental Determinations –Expiration of Environmental Determinations –Delay or Possible Loss of Funding –Delay in Project Implementation Overall Losses in Time, Energy, and Money

9 Federal Aviation Administration Environmental Document Preparation – Wetlands Best Practices 33 rd Annual Airports Conference - March 3, Mitigation An Option ONLY When Wetland Losses Are Unavoidable Sequence –Replacement –Enhancement –Wetland Banking All Mitigation Options Are Expensive

10 Federal Aviation Administration Environmental Document Preparation – Wetlands Best Practices 33 rd Annual Airports Conference - March 3, Mitigation Need To Identify Availability Of Possible Mitigation Sites In The Document Need Assurance From The Corps That Mitigation Option Is Viable If Banking Is Suitable, Include A Copy Of The Banking Agreement

11 Federal Aviation Administration Environmental Document Preparation – Wetlands Best Practices 33 rd Annual Airports Conference - March 3, Mitigation Banking Agreement –Verify Bank Meets Defined Success Criteria –Identify Number of Credits to be Withdrawn –Verify Purchase of Credits Will Satisfy Mitigation Requirements –Verify Mitigation Will Not Create Wildlife Hazards to Aviation

12 Federal Aviation Administration Environmental Document Preparation – Wetlands Best Practices 33 rd Annual Airports Conference - March 3, Hazardous Wildlife Attractants FAA Recommends Against Land Use Practices Within Defined Siting Criteria That Attract Or Sustain Hazardous Wildlife (See AC150/ ) This Includes Wetland Mitigation Exceptions To Locating Mitigation Within The Siting Criteria Are Rare.

13 Federal Aviation Administration Environmental Document Preparation – Wetlands Best Practices 33 rd Annual Airports Conference - March 3, Wetlands Best Practices Early Consultation With The Involved Agencies (FWS,NMFS, EPA, State) Helps Identify Options For Dealing With Wetland Issues Better Consideration Of The Common Areas Of Deficiency Will Lead To The Proper Preparation Of The Wetlands Portion Of The Environmental Document