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HomeMy WebLinkAbout20220228_Delineation_Concurrence2/24/22, 9:52 AM Yahoo Mail - Fw: SAW-2019-02270 (Mitchum Tract Sand Mine) Delineation Concurrence Fw: SAW-2019-02270 (Mitchum Tract Sand Mine) Delineation Concurrence From: Tony Harris (tony.harris@americanmaterialsco.com) To: ncgeology@yahoo.com Date: Thursday, January 27, 2022, 08:31 AM EST Tony Harris American Materials Company 1395 Turkey Hwy Clinton, NC 28328 910-592-0180 Office 910-592-9461 Fax 910-990-7928 Mobile tony.harris@americanmaterialsco.com From: Wyatt Brown <brownenvgrp@gmail.com> Sent: Monday, December 27, 2021 2:15 PM To: Tony Harris <Tony.Harris@ americanmaterialsco.com>; Lee Langston <Lee.Langston@ americanmaterialsco.com> Subject: Fwd: SAW-2019-02270 (Mitchum Tract Sand Mine) Delineation Concurrence This message originated from outside your organization Please see Corps concurrence email and attachment for Mitchum 2. Hope you had a Happy Christmas and will have a blessed New Year. Thanks Wyatt Wyatt Brown, LSS, CPESC Pres., Brown's Environmental Group, Inc. (919)524-5956 Begin forwarded message: From: "Thompson, Emily B CIV USARMY CESAW (USA)" <Emily.B.Thompson@usace.army.mil> Date: December 27, 2021 at 9:01:50 AM EST To: wyatt brown <Brownenvgrp@gmail.com> Subject: SAW-2019-02270 (Mitchum Tract Sand Mine) Delineation Concurrence Dear Mr. Brown (on behalf of Mr. William Mitchum, Jr. via agent authorization), Reference is made to ORM ID SAW-2019-02270 (Mitchum Tract Sand Mine), please reference this number on any correspondence regarding this action. 1/4 2/24/22, 9:52 AM Yahoo Mail - Fw: SAW-2019-02270 (Mitchum Tract Sand Mine) Delineation Concurrence On November 17, 2021, we received information from you requesting the Wilmington District, Regulatory Division to review and concur with the boundaries of an aquatic resource delineation. We have reviewed the information provided by you concerning the aquatic resources, and by copy of this e-mail, are confirming that the aquatic resources delineation has been verified by the Corps to be a sufficiently accurate and reliable representation of the location and extent of aquatic resources within the identified review area. The location and extent of these aquatic resources are shown on the attached delineation map, labeled "Mitchum Property 2 Preliminary Wetland Map" and dated November 14, 2021 with revisions submitted on December 22, 2021. An existing PJD was issued on December 3, 2019 for the remainder of the parcel. Regulatory Guidance Letter (RGL) 16-01 https://usace.contentdm.ocic.org/utils/getfile/collection/p16021co119/id/1256 provides guidance for Jurisdictional Determinations (JD) and states "The Corps generally does not issue a JD of any type where no JD has been requested". At this time, we are only verifying the delineation. This delineation may be relied upon for use in the permit evaluation process, including determining compensatory mitigation. 'This verification does not address nor include any consideration for geographic jurisdiction on aquatic resources and shall not be interpreted as such. This delineation verification is not an Approved Jurisdictional Determination (AJD) and is not an appealable action under the Regulatory Program Administrative Appeal Process (33 CFR Part 331). However, you may request an AJD, which is an appealable action. If you wish to receive a Preliminary Jurisdictional Determination (PJD), or an Approved Jurisdictional Determination (AJD) please respond accordingly, otherwise nothing further is required and we will not provide any additional documentation. The delineation included herein has been conducted to identify the location and extent of the aquatic resource boundaries and/or the jurisdictional status of aquatic resources for purposes of the Clean Water Act for the particular site identified in this request. This delineation may not be valid for the Wetland Conservation Provisions of the Food Security Act of 1985, as amended. If you or your tenant are USDA program participants, or anticipate participation in USDA programs, you should discuss the applicability of a certified wetland determination with the local USDA service center, prior to starting work. Sincerely, Emily Emily B. Thompson Regulatory Specialist U.S. Army Corps of Engineers Washington Regulatory Field Office 2407 W. 5th Street Washington, NC 27889 (910)251-4629 Emily.B.Thompson@usace.army.mil We at the U.S. Army Corps of Engineers Regulatory Branch are committed to improving service to our customers. We would appreciate your feedback on how we are performing our duties. Our automated Customer Service Survey is located at: https://regulatory_ops.usace.army.mil/customer-service-survey/ Thank you for taking the time to visit this site and complete the survey. From: wyatt brown <brownenvgrp@gmail.com> Sent: Thursday, December 23, 20218:26 AM To: Thompson, Emily B CIV USARMY CESAW (USA) <Emily.B.Thompson@usace.army.mil> Subject: [URL Verdict: Neutral]Re: [Non-DoD Source] Preliminary 1D Request, Pitt County Emily 2/4 2/24/22, 9:52 AM Yahoo Mail - Fw: SAW-2019-02270 (Mitchum Tract Sand Mine) Delineation Concurrence I have revised the corrections you made. I did them in red on the forms. I'm attaching the package back to you. Thank you for catching my mistakes on the data forms and ('apologize for them. A concurrence email will be fine. Hope you have a great Christmas. If you need anything else don't hesitate to ask. thanks Wyatt On Wed, Dec 22, 2021 at 5:06 PM Thompson, Emily B CIV USARMY CESAW (USA) <Emily.B.Thompson usace.army.mil>wrote: Good afternoon Wyatt, Thank you for reaching out and understanding my delay in getting back to you. It appears that the data point locations are mapped in the existing mine instead of the upland and wetland points and I've made a few other comments on the JD package (attached) — could you fix these please? I'm reviewing the file and comparing to desktop resources, but may be able to turn around a delineation concurrence email if that is sufficient for their needs sometime next week or so if I don't run into any other questions. I hope you have a very Merry Christmas, Emily Emily B. Thompson Regulatory Specialist U.S. Army Corps of Engineers Washington Regulatory Field Office 2407 W. 5th Street Washington, NC 27889 (910)251-4629 Emily. B.Thompson @usace.army. mil We at the U.S. Army Corps of Engineers Regulatory Branch are committed to improving service to our customers. We would appreciate your feedback on how we are performing our duties. Our automated Customer Service Survey is located at: https://regulatory.ops.usace.army.mil/customer- service-survey/ Thank you for taking the time to visit this site and complete the survey. From: wyatt brown <brownenvgrp@gmail.com> Sent: Thursday, December 9, 20218:55 PM To: Thompson, Emily B CIV USARMY CESAW (USA) <Emily.B.Thompson usace.army.mil> Subject: Re: [Non-DoD Source] Preliminary JD Request, Pitt County Emily I hope you are doing well during these busy work and holiday times. I know your workload is severe, the people at American Materials, Mitchum Tract 2 asked me to contact you because they are applying for the mining permit and were wondering when they might expect a concurrence email of the PJD. I hate to even bother you but as their consultant I'm doing what they want. When I received the receipt email they didn't include a SAW number for this project. Thanks for your help. Wyatt On Wed, Nov 17, 2021 at 10:09 AM WashingtonNCREG<WashingtonNCREG@usace.army.mil> wrote: 314 2/24/22, 9:52 AM Yahoo Mail - Fw: SAW-2019-02270 (Mitchum Tract Sand Mine) Delineation Concurrence On 16 November 2021 we received your request for a PJD and forwarded it to Ms. Emily Thompson for further processing. Thanks, Robert From: wyatt brown <brownenvgrp@gmail.com> Sent: Tuesday, November 16, 20219:40 AM To: WashingtonNCREG<WashingtonNCREG@usace.army.mil> Subject: [Non-DoD Source] Preliminary JD Request, Pitt County Hello Please see attached the Preliminary JD request for Mitchum Tract #2 in Ptii County. Thankyou Wyatt Wyatt Brown, LSS, CPESC Brown's Environmental Group, Inc 919-524-5956 Wyatt Brown, LSS, CPESC Brown's Environmental Group, Inc 919-524-5956 Wyatt Brown, LSS, CPESC Brown's Environmental Group, Inc 919-524-5956 ®SAW-2019-02270 DC Map 2021.pdf 1.6MB 4/4