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

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Presentation on theme: "Presented to: By: Date: Federal Aviation Administration Environmental Document Preparation WETLANDS BEST PRACTICES 33 rd Annual Airports Conference Marie."— Presentation transcript:

1 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 2 Federal Aviation Administration Environmental Document Preparation – Wetlands Best Practices 33 rd Annual Airports Conference - March 3, 2010 2 Areas Of Deficiency Impact Assessment Alternatives Clean Water Act Section 404 Permit Mitigation Hazardous Wildlife Attractant

3 3 Federal Aviation Administration Environmental Document Preparation – Wetlands Best Practices 33 rd Annual Airports Conference - March 3, 2010 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 4 Federal Aviation Administration Environmental Document Preparation – Wetlands Best Practices 33 rd Annual Airports Conference - March 3, 2010 4 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 5 Federal Aviation Administration Environmental Document Preparation – Wetlands Best Practices 33 rd Annual Airports Conference - March 3, 2010 5 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 6 Federal Aviation Administration Environmental Document Preparation – Wetlands Best Practices 33 rd Annual Airports Conference - March 3, 2010 6 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 7 Federal Aviation Administration Environmental Document Preparation – Wetlands Best Practices 33 rd Annual Airports Conference - March 3, 2010 7 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 8 Federal Aviation Administration Environmental Document Preparation – Wetlands Best Practices 33 rd Annual Airports Conference - March 3, 2010 8 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 9 Federal Aviation Administration Environmental Document Preparation – Wetlands Best Practices 33 rd Annual Airports Conference - March 3, 2010 9 Mitigation An Option ONLY When Wetland Losses Are Unavoidable Sequence –Replacement –Enhancement –Wetland Banking All Mitigation Options Are Expensive

10 10 Federal Aviation Administration Environmental Document Preparation – Wetlands Best Practices 33 rd Annual Airports Conference - March 3, 2010 10 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 11 Federal Aviation Administration Environmental Document Preparation – Wetlands Best Practices 33 rd Annual Airports Conference - March 3, 2010 11 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 12 Federal Aviation Administration Environmental Document Preparation – Wetlands Best Practices 33 rd Annual Airports Conference - March 3, 2010 12 Hazardous Wildlife Attractants FAA Recommends Against Land Use Practices Within Defined Siting Criteria That Attract Or Sustain Hazardous Wildlife (See AC150/5200-33) This Includes Wetland Mitigation Exceptions To Locating Mitigation Within The Siting Criteria Are Rare.

13 13 Federal Aviation Administration Environmental Document Preparation – Wetlands Best Practices 33 rd Annual Airports Conference - March 3, 2010 13 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


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