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HomeMy WebLinkAbout20110023_Other Agency Comments_20090527DEPARTMENT OF THE ARMY WILMINGTON DISTRICT, CORPS OF ENGINEERS 69 DARLINGTON AVENUE WILMINGTON, NORTH CAROLINA 28403-1343 REPLY TO ATTENTION OF: May 15, 2009 Regulatory Division Subject: Action ID. 199303077 Dr. Gregory J. Thorpe, Ph.D. Environmental Management Director, PDEA North Carolina Dcpartment of Transportation 1595 Mail Service Center Raleigh, North Carolina 27699-1545 Dear Dr. Thorpe: 17 ? V Please reference the May 7, 2009 e-mail from Ms. Beth Smyre regarding the scheduled May 21, 2009, concurrence meeting to revisit the Least Environmentally Damaging Practicable Alternative (LEDPA) decision made in 2007 for the replacement ol'Herbert C. Bonner Bridge, TIP No. 2500, Dare County, North Carolina. It is our understanding based on the previous March 26, 2009, concurrence information meeting and the May 7 e-mail that NCDOT and FHWA are now asking that the Merger Team reconvene and agree that the Road North/Bridge South alternative represents the LEDPA for the proposed project. In response to this request, we have concluded there are too many significant issues concerning this project which need to be resolved before schedufing and asking for concurrence on this alternative from the merger team members. Accordingly, we strongly recommend that the meeting scheduled for May 21, 2009, be provided as an information only meeting and a formal concurrence meeting be rescheduled for a later date. Our primary concerns regarding the current status of this project are aS follows: The issue of right-of-way Still needs to be resolved on Pea Island National Wildlife 12efuge Property. Based on a recent published news article quoting NCDOT's chief operating officer. NCDOT believes- it has the right, in perpetuity, to place the road on any part of the refuge for future transportation needs. However, based on recent conversations with [lie Department of Interior (DO]), they believe this is an erroneous statement and that there is a set right-of-way for NC Highway 12 with defined metes and bounds. As this raises issues with Compatibility of Use and may dictate where the road can actually be built; we recommend the entire easement conflict issue be discussed among DOI, FHWA and NCDOT, taken to arbitration if necessary, and completely resolved before we are asked to select alternatives under NEPA and Section 404 of the Clean Water Act. 2. A revised Road North/Bridge South alternative has been presented to DOI in the current Section 106 consultation that the Merger team has not had a chance to review. This revised alternative is different from the Road North/Bridge South alternative described in the Final Environmental Impact Statement (FEIS) and the merger team has not received any additional information pertaining to this revised alternative. It appears based on a map that was furnished to us by FHWA in an April 13, 2009, e-mail that the proposed road location for the revised Road North/Bridge South (RN/BS) alternative is west of the current roadway but still east of the impoundments on Pea Island. The original Road North/Bridge South alternative presented in the FEIS impacted all three of the impoundments. Based on thc.new map, it appears the revised RN/BS alternative would be impacted by erosion prior to 2050 based on the current shoreline erosion map. As you are aware, a purpose for this project is that it will "provide a replacement crossing that will not be endangered by shoreline movement through year 2050." It is our opinion that this revised alternative does not meet the purpose and need of the project. The merger team cannot select an alternative that does not meet the purpose and need of the project. 3. It appears that disagreement remains between NCDOT, FHWA, DOI, and SH130 over determinations made regarding Section 106 resources. In the original FEIS it was determined that the Pamlico Sound Bridge had "No Effect" to the Pea Island National Wildlife Refuge. It is FHWA's intent to revise this to an "Adverse Effect" determination against the recommendations of SHPO and DOI. If FHWA and NCDOT wish to re-evaluate alternatives, it is our recommendation that Section 106 determinations on the Pea Island National Wildlife Refuge be resolved before the merger team is asked to select another alternative. 4. We were in agreement with NCDOT and FHWA in 2007 that the Phased Approach represented the LEDPA. We determined at that point based on information presented to the merger team by FHWA and NCDOT that the phased approach was practicable and was the least damaging alternative studied in the FEIS. The difference in the impacts between the RN/BS and phased alternatives to jurisdictional wetlands alone is 50 acres. Other impacts to aquatic resources and the refuge itself, which, in accordance with the 404 b ( I ) Guidelines is considered a special aquatic site, are much greater with the RN/BS alternative when compared to the Phased Approach. In accordance with our regulations, including the 404 b (I) Guidelines, we are unable to authorize projects where it has been demonstrated that a less damaging, practicable alternative CXists, unless that alternative has other significant adverse environmental effects. Finally, it was stated by FHWA at the March 26, 2009, meeting that a re-evaluation of the Record of Decision (ROD) would be accomplished to determine if there were any new significant impacts that would be the catalyst for possibly writing a Supplemental EIS. It is our opinion that if FI-I WA and NCDOT wish to pursue the revised RN/BS alternative and revisit the LEDPA decision, a supplemental EIS may need to be completed. In closing, we strongly believe it would be inappropriate to convene a Merger Team meeting until the issues, as outlined above, have been resolved. 3 If you have any questions regarding this correspondence, please do not hesitate to contact Mr. William Biddlecome at the Washington Regulatory Field Office, telephone (910) 251-4555 or Scott McLendon at (910) 251-4952. Sincerely, . / ' S. Kenneth Jolly Chief, Regulatory Division Copies Furnished: Renee Gledhill-Earley North Carolina State Historic Preservation Office 4617 Mail Service Center Raleigh, North Carolina 27699-4617 Mr. Doug Haggett Division of Coastal Management North Carolina Department of Environment, And Natural ResOUrCeS 400 Commerce Avenue Raleigh. North Carolina 28557-342 1 Mr. Ron Sechler National Marine Fisheries Service 101 Pivers Island Beaufort, North Carolina 25516 Mr. Pete Benjamin U.S. Fish and Wildlife Service Fish and Wildlife Enhancement Post Office Box 33726 Raleigh. North Carolina 27636-3726 Mr. Chris Militscher U.S. Environmental Protection Agency C/O FFIWA, Raleigh Area Office 310 New Bern Avenue, Room 206 Raleigh, North Carolina 27601 4 Mr. Travis Wilson Eastern Region Highway Project Coordinator Habitat Conservation Program 1 142 1-55 Service Road Creedmoor. North Carolina 27522 Mr. Brian Wrenn Ile" Water Quality Secnon North Carolina Division of Environment and Natural Re50m'ees 1650 Mail Service Center Raleigh, North Carolina 27699-1650 N'Ir. Ronald J. Mikaluk. Chief Wetlands Section-Region IV Water Management Division U.S. E11vironmental Protection Agency 61 Forsyth Street, SW Atlanta, Georgia 30303 Mr. Clarence Coleman, PE Federal Highway Administration 310 New Bern Avenue, Suitc 410 Raleigh, North Carolina 27601-1413 Mr. Mike Bryant U.S. Fish and Wildlife Service Pea Island National Wildlife Refuge P.O. Box 1969 Manteo. North Carolina 27954 I