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HomeMy WebLinkAbout20080915 Ver 3_Basin Advisory Commission Comments_20161104IMED.-T-4-0 Serving as administrative support for the Catawba/Wateree River Basin Advisory Commission, please accept the enclosed letter being sent through my office on their behalf. Please let me know if you have any questions. M= I Cataw6a-WatereeRiver Basin Advisory Commission Barry Gullet, Chairman 42Z2Westmont Drive Charlotte, INC 28317 October 27, 2016 Ms. Karen Higgins 4O1&Buffer Permitting Branch Supervisor Division mfWater Resources Department ofEnvironmental Quality 512N.Salisbury Street, Suite 942-E Raleigh, WC376O4 Ms. Heather S.Preston, Director South Carolina Department ofHealth and Environmental Control Water Quality Division Bureau ofWater 26DOBull St. Columbia, SC 29201-1708 Subject� Water Quality Certification Amendments Catavvbu/VVmtmreeHydroelectric Project Dear Ms. Higgins and Ms. Preston: The Catawba-Wateree River Basin Advisory Commission is writing in support of the request filed by Duke Energy to amend Water Quality Certifications associated with the Federal Energy Regulatory Commission (FERC) License issued for the operation of the Catawba-Wateree Hydroelectric Project (FERC Project No. 2232). Duke Energy has presented and the Advisory Commission has reviewed information about changes to the Comprehensive Relicensing Agreemient (CRAi and proposed amendments to their FERC license. The CRA changes havebeenapp/ovedbyaUnftheparties1otheCRA. The CRA changes and other proposed modifications listed below affect portions of the CRA incorporated by reference as conditions of the original Water Quality Certifications, Specifically, the proposed changes related to the Water Quality Certification include: Improving regional drought resiliency by raising reservoir summer target elevations on Lake James, Norman, and Wylie by an additional 6 inches from May I — October I and improving public safety by modifying the 6,000 cubic feet per second (cfs) recreation flow release frorn the VVy|}e Development to 3,000ds. 2. Modifications tothe Low Inflow Protocol (LIP) and the Maintenance and Emergency Protocol (KHEP)based onexperience gained during voluntary implementation of1heseprotoco|smince 2006 and consistent with recommendations from the Water Supply Master Plan prepared by the Catawbo-VVateeeWater Management Group, 3. Charges to the Water Quality Monitoring Plan (WQMP)and Flow and Water Quality Implementation Plan (FWQIP) provisions to reflect changes in status and implementation schedule since they were originally developed in 2006, The Commission believes the requests made by Duke Energy are appropriate and beneficial and requests your timely approval. Sincerely,