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HomeMy WebLinkAbout20080915 Ver 1_ExtensionRequest - FWQIP and WQMP_20160429I Om Emma= 160 SO 041 rA Federal Energy Regulatory Commission 888 First Street N.E, Washington, DC 20426 WATER STRATEGY, HY19RO LICENSING AND LAKE SERVICES Duke Energy Corporation 526 South Church Streel Adad Code FC 12Y Charlotte, NC P8202 Re: Duke Energy Carolinas, LLC Catawba-Wateree Hydroelectric Project ® Project No. 2232 Request for Extensions of Time to file the Flow and Water Quality Implementation Plan (FWQIP) and the Water Quality Monitoring Plan (WQMP) ZZMEMEMMy= Duke Energy Carolinas, LLC (Duke Energy) is required by the New License for the Catawba- Wateree Hydroelectric Project (Project) issued by the Federal Energy Regulatory Commission (FERC or Commission) on November 25, 2015 to file both a Flow and Water Quality Implementation Plan (FWQEP) and a Water Quality Monitoring Plan (WQMP) by May 23, 2016 (180 days following issuance of the New License). For the reasons explained below, Duke Energy respectfully requests an extension of time to file both of these plans. New License Appendix E, Section A-2.0 (Flow Articles), Flow and Water Quality Implementation Plan Article (A) requires: Within 180 days following the issuance of this license, the Licensee must file with the Coninfission, for approval, a Flow and Water Quality Implementation Plan (FWQIP) for coA,rJetiny at Project developments. Current FWQIP requirements are contained in Comprehensive Relicensing Agreement (CRA) Appendix L, which is included in both the North Carolina and South Carolina water quality certifications (New License Appendices A and B) and are therefore requirements of the New License. New License Appendix E, Section A-5.0 (Water Quality Article), Water Quality Monitoring Plan Article (A) requires: Kimberly D. Bose, Secretary April 29, 2016 Page 2 Within 180 days follovving the issitance of this license, the Licensee must file with the Coninfission, for appi-oval, a Water Quality Monitoring Plan (WQMP) to nlonitol- compliance vith water quality requirements. Current WQMP requirements are contained in CRA Appendix F, which is included in both the NC and SC water quality certifications (New License Appendices A and B) and are therefore requirements of the New License. In the interim since these requirements were developed in 2006, the status of these requirements has changed significantly. One driver behind these changes is current timelines for vendors to design, fabricate, and deliver major components such as the new minimum flow units at the Wylie and Wateree Developments are different than in 2006. A major additional D driver is uke Ener has alreadgi im(clemented ma�or items such as flow and water ,nts at the Bridgewater Development (at both the Bridgewater Hydro Station and the Catawba Dam), the Rhodhiss Development, and the Oxford Development as well as installing water quality monitors at the Bridgewater, Lookout Shoals, and Mountain Island Developments. All these implementations occurred substantially ahead of original schedules, which were years after issuance of the New License. Duke Energy obtained Commission approval for early implementation of these requirements, included in the CRA and Application for New License and recommended in the Commission's July 2009 Final Environmental Impact Statement via amendments to the Original License. These two drivers result in changes to the FWQIP and WQMP schedules as originally included in both state water quality certifications and in the New License. oil u4nall I I 'IN 111111IM30111 11111111 11 Lit V*L11 SLULC TTMCIL-�JUam . . . . . 11:111DIVU 11*1 Uteln Lit 1111111MIJ a111001t UICH CCILHICUL11*11S. Energy hopes to file these amendments simultaneously so these processes can proceed in parallel and be completed later this year. For the preceding reasons, Duke Energy respectfully requests an extension of time from May 23, 2016, to December 31, 2016 (provided water quality certification amendments are uncontested) to file these plans. Duke Energy takes this opportunity to advise the Commission it is also processing stakeholder -requested changes to the CRA, some of which will also require water quality certification amendments and New License amendments. The requested extension date reflects the coordinated schedules for the FWQIP, WQMP, and CRA changes concluding with a consolidated New License amendment and implementation plan filing with the Commission. Kimberly D. Bose, Secretary April 29, 2016 Page 3 Please contact Mark Oakley at fflqr� Q, It @Duke -Ener,(,; 11 if you have questions or require additional information. Sincerely, . .. . ......... Jeffrey G. Lineberger, P.E. Director, Water Strategy and Hydro Licensing Duke Energy cc: Thomas McCoy, United States Fish and Wildlife Service Fritz Rhode, National Marine Fisheries Service Dick Christie, South Carolina Department of Natural Resources Bill Marshall, South Carolina Department of Natural Resources Heather Preston, South Carolina Department of Health and Environmental Cont Chris Gouau, North Carolina Wildlife Resources Commission I dre Fred Tarver, North Carolina Department of Environmental Quality Bryan Tompkins, Unitei is d States Fish and Wildlife Service V I,, Vodl C'W*14121