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HomeMy WebLinkAbout20052116 Ver 3_WRC Comments_201711139 North Carolina Wildlife Resources Commission 0 Gordon Myers, Executive Director 13 November 2017 Mr. Perry Isner Wetlands & Waters, Inc. 2712 Minden Road Pleasant Garden, North Carolina 27313 SUBJECT: Pre -Construction Notification for Caleb's Creek Mixed -Use Development; Forsyth County; USACE Action ID: SAW -2015-01697; DEQ Project No. 200521160. Dear Mr. Isner, Biologists with the North Carolina Wildlife Resources Commission (NCWRC) have reviewed the subject document. Comments are provided in accordance with provisions of the Clean Water Act of 1977 (as amended) and Fish and Wildlife Coordination Act (48 Stat. 401, as amended; 16 U.S.C. 661-667e). Wetlands & Waters, Inc, on behalf of BOMA North Carolina, LLC, has submitted a revised Pre - Construction Notification (PCN) application for a mixed-use development on approximately 875 acres located south of Interstate 40 and on both sides of Teague Road in Kernersville, Forsyth County, North Carolina. The proposed project consists of mixed-use development, residential, commercial/office areas, public school, and large amenity center. A total of 185 acres are proposed as common, passive -use open space, which will include 5.7 miles of greenway walking trails and 3.4 miles of greenway biking trails. The revised PCN is for dam rehabilitation and public thoroughfare roads (Nationwide Permit 3 and 14, respectively). The dam rehabilitation would permanently impact approximately 350 linear feet (lf) of a perennial unnamed tributary to Abbotts Creek and 0.75 acres of several impoundments for the improvements to the outlets, spillways, and intake of associated dams. The project would also permanently impact 365 if of Abbotts Creek and its unnamed tributaries and 0.046 acres of wetlands for the installation of culverts for the roads. Abbotts Creek and the unnamed tributaries to Abbotts Creek occur in Yadkin — Pee Dee River basin. Abbotts Creek is classified as a Water Supply III stream by N.C. Division of Water Resources (NCDWR). We have no known records for federal or state rare, threatened, or endangered species at or within the vicinity of the site. However, the lack of records from the site does not imply or confirm the absence of federal or state -listed species or state Species of Greatest Conservation Need listed in the 2015 State Wildlife Action Plan(http://www.ncwildlife.org//plan). An on-site survey is the only definitive means to determine if the proposed project would impact rare, threatened, or endangered species. Mailing Address: Habitat Conservation Division • 1721 Mail Service Center • Raleigh, NC 27699-1721 Telephone: (919) 707-0220 • Fax: (919) 707-0028 Page 2 13 November 2017 Caleb's Creek Mixed -Use Development USACE Action ID: SAW -2015-01697 We offer the following recommendations minimize impacts to aquatic and terrestrial wildlife resources. 1. Maintain a minimum 100 -foot undisturbed, native, forested buffer along perennial streams, and a minimum 50 -foot buffer along intermittent streams and wetlands. Maintaining undisturbed, forested buffers along these areas will minimize impacts to aquatic and terrestrial wildlife resources, water quality, and aquatic habitat both within and downstream of the project area. Also, wide riparian buffers are helpful in maintaining stability of stream banks and for treatment of pollutants associated with urban stormwater. 2. Minimize or avoid further impacts to streams and wetlands. Placing fill in aquatic resources can alter hydrology, result in significant negative impacts to downstream areas, and eliminate aquatic and terrestrial wildlife habitat. Additional impervious surface results in an increase in stormwater runoff that can exert significant impacts on stream morphology. This will cause further degradation of aquatic habitat through accelerated stream bank erosion, channel and bedload changes, altered substrates, and scouring of the stream channel. In addition, pollutants (e.g., sediment, heavy metals, pesticides, and fertilizers) washed from developed landscapes can adversely affect and extirpate species downstream. 3. Use bridges for all permanent roadway crossings of streams and associated wetlands to eliminate the need to fill and culvert, where practicable. If culverts must be used, the culvert should be designed to allow aquatic life passage. Aquatic life passage should be assured during low flow or drought conditions. Any riprap used should not interfere with aquatic life movement during low flow. 4. Consider removing all or some of the existing dams and restore the stream to its natural hydrological function by using state-of-the-art natural channel design and restoration techniques. The restoration of the stream may be used as mitigation to offset impacts from the proposed development. 5. If the dams are not removed, we recommend the dams be designed to maintain an instream flow regime appropriate for the stream. Furthermore, plant only native, submerged aquatic vegetation in the impoundments. 6. Concrete is toxic to aquatic life and should not be allowed to come into contact with surface waters until cured. 7. Use non-invasive native species and Low Impact Development (LID) technology in landscaping. Using LID technology in landscaping will not only help maintain the predevelopment hydrologic regime, but also enhance the aesthetic and habitat value of the site. LID techniques include permeable pavement and bioretention areas that can collect stormwater from driveways and parking areas. Additional alternatives include narrower roads, swales versus curbs/gutters and permeable surfaces such as turf stone, brick, and cobblestone. Compared to conventional developments, implementing appropriate LID techniques can be more cost-effective, provide space -saving advantages, reduce runoff, and protect water quality (Roseen et al. 2011). Also, NCWRC's Green Growth Toolbox provides information on nature -friendly planning. (http://www.ncwildlife.org/Conservin Programs/GreenGrowthToglbox.aspx) 8. Limit impervious surface to less than 10% or use stormwater control measures to mimic the hydrograph consistent with an impervious coverage of less than 10%. Where feasible, trees and shrubs should be planted around stormwater ponds, or implement LID techniques. This would provide habitat benefits that offset those functions lost by development, partially restore aquatic habitats, reduce exposure of the water surface to sunlight to minimize thermal pollution, and provide essential summer and winter habitats. 9. Avoid the removal of large trees at the edges of construction corridors. Re -seed disturbed areas with seed mixtures that are beneficial to wildlife. Consider planting native, wildflower seed Page 3 13 November 2017 Caleb's Creek Mixed -Use Development USACE Action ID: SAW -2015-01697 mixes and plants that will create pollinator habitat. Avoid fescue -based mixtures because fescue is invasive and provides little benefit to wildlife. 10. Design the trails to reduce impact on environmentally sensitive areas, such as wetlands and streams. The trails should be located outside the stream buffer (see Recommendation #2) and they should be surfaced with pervious materials. Avoid or minimize fragmentation of wildlife habitat. Further information can be found at hitps://www.railstotrails.orgibuild-trails/trail- building-toolbox/trail-building-and-design/developing-trails-in-sensitive-areas/. 11. Sediment and erosion control measures should be installed prior to any land clearing or construction. The use of biodegradable and wildlife -friendly sediment and erosion control devices is strongly recommended. Silt fencing, fiber rolls and/or other products should have loose -weave netting that is made of natural fiber materials with movable joints between the vertical and horizontal twines. Silt fencing that has been reinforced with plastic or metal mesh should be avoided as it impedes the movement of terrestrial wildlife species. These measures should be routinely inspected and properly maintained. Excessive silt and sediment loads can have numerous detrimental effects on aquatic resources including destruction of spawning habitat, suffocation of eggs, and clogging of gills of aquatic species. The NCWRC encourages the applicant to consider additional measures to protect wildlife species in developing landscapes. The NCWRC's Guidance Memorandum to Address and Mitigate Secondary and Cumulative Impacts to Aquatic and Terrestrial Wildlife Resources and Water Quality details measures to minimize secondary and cumulative impacts to aquatic and terrestrial wildlife resources: htt 2://www.ncwildlife.org/portals/0/Conserving/documents/2002_ GuidanceMemorandumforSecondaryan dCumulativelmpacts.pdf (August 2002). Thank you for the opportunity to comment on this permit application. Further information on native plants, environmental friendly developments, and other free technical guidance from the NCWRC, please contact me at (336) 290-0056 or olivia.munzer(&ncwildlife.org. Sincerely, Olivia Munzer Western Piedmont Habitat Conservation Coordinator Habitat Conservation Program Literature Cited Roseen, R. M., T. V. Janeski, J. J. Houle, M. H. Simpson, and J. Gunderson. 2011. Forging the Link: Linking the Economic Benefits of Low Impact Development and Community Decisions. University of New Hampshire Stormwater Center, Virginia Commonwealth University, and Antioch University New England. ec: Sue Homewood, NCDWR Jean Gibby, U.S. Army Corps of Engineers Byron Hamstead, U.S. Fish and Wildlife Service Kory Reimann, BOMA North Carolina, LLC