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HomeMy WebLinkAbout20151065 Ver 1_ Draft EA_20141201December 4, 2014 URS Corporation Southern 7650 W. Courtney Campbell Causeway Tampa, Florida 33607-1462 (P):813-286-1711 (F):813-636-2400 N.C.Pept. of ENR DEC 0 5 2014 Sue Homewood ms's Wrjj �,r -oaiem Environmental Specialist Regional office North Carolina Dept. of Env. and Natural Resources Winston-Salem Regional Office, Division of Water Resources — Water Quality Programs 585 Waughtown Street - Winston-Salem, NC 27107 RE: DRAFT ENVIRONMENTAL ASSESSMENT PROPOSEDIMPROVEMENTS PIEDMONT TRIAD INTERNATIONAL AIRPORT GREENSBORO,NC Dear Ms. Homewood: On behalf of the Piedmont Triad Airport Authority, we are forwarding the Draft Environmental Assessment for Cross -Field Taxiway and Site Development Projects at Piedmont Triad /ntemational -Airport Greensboro, North Carolina for your review and comment. The Draft EA describes the purpose and need for the Proposed Project; alternatives considered; and potential impacts associated with the Proposed Project. -The Notice of Availability for the Draft EA and a Notice of a Public Hearing was published in local newspapers on December 6, 2014. A combined Public Information Workshop / Public Hearing is scheduled to be held on Wednesday, January 7, 2015. The list of federal, state, and local agencies receiving -a copy of the Draft EA is provided in Chapter 6.0 of the Draft EA. Please contact me at (813) 675-6517 if you have any questions regarding the proposed development project or Draft EA. Sincerely, URS CORPORATION Russell P. Forrest, GISP Project Coordinator Enclosures 3 Copy: Piedmont Triad Airport- Authority URS LETTER OF TRANSMITTAL Date: December 4, 2014 To: GSO Draft Environmental Assessment Recipient RE: GSO Draft Environmental Assessment The followina items are beina sent: Job No: 12011299 From: Russell Forrest, GISP Project Coordinator URS CORPORATION 7650 West Courtney Campbell Causeway Tampa, Florida 33607-1462 (813) 286-1711 (x6517) (813) 636-2400 (fax) N C of ENR DEC 0 5 2014 "inon-salem Item Copies Date Description 1 1 12/4/2014 GSO Draft Environmental Assessment — Printed Documentation with Appendices on CD-ROM 2 1 12/4/2014 GSO Draft Environmental Assessment— Electronic Copy on CD-ROM 3 4 5 ❑ As Requested ❑ For Your Use ❑ For Your Approval ® For Review and Comment ❑ Make Corrections Noted ❑ Remarks: On behalf of the Piedmont Triad Airport Authority, we are forwarding the Draft Environmental Assessment for Cross -Field Taxiway and Site Development Projects at Piedmont Triad International Airport Greensboro, North Carolina for your review and comment. Best Regards, Russell Forrest Copy: If enclosures are not as noted, kindly notify us at once. Russell P Forrest Draft Environmental Assessment for Cross -Field Taxiway and Site Development Projects at Piedmont Triad International Airport Greensboro, North Carolina December 2014 PT/ PIEDMONT TRIAD INTERNATIONAL AIRPORT Prepared bv: Piedmont Triad Airport Authority 1000-A Ted Johnson Parkway Greensboro, North Carolina 27409 „-A URS URS Corporation 7650 W. Courtney Campbell Causeway Tampa, Florida 33607-1462 Federal Aviation Administration Memphis Airports District Office 2600 Thousand Oaks Boulevard Suite 2250 Memphis, Tennessee 38118 DRAFT TABLE OF CONTENTS Section Paqe 1.0 PURPOSE AND NEED................................................................................................................. 1-1 1.1 Introduction......................................................................................................................1-1 1.2 Description of Proposed Action........................................................................................1-1 1.2.1 Proposed Improvements.....................................................................................1-1 1.2.2 ASR Relocation................................................................................................... 1-5 1.2.3 Rail Improvements..............................................................................................1-5 1.3 Purpose and Need...........................................................................................................1-6 1.3.1 Need....................................................................................................................1-6 1.3.2 Purpose...............................................................................................................1-9 1.4 Requested Federal Actions..............................................................................................1-9 1.5 Time Frame of the Proposed Project...............................................................................1-9 2.0 ALTERNATIVES ........................................................................................................................... 2-1 2.1 Introduction......................................................................................................................2-1 2.2 Alternatives Screening Process Overview.......................................................................2-1 2.2.1 Level 1 Analysis — Purpose and Need................................................................2-1 2.2.2 Level 2 Analysis — Operations and Constructability............................................2-2 2.2.3 Level 3 Analysis — Environmental Considerations..............................................2-3 2.3 Alternatives Considered................................................................................................... 2-3 2.3.1 Initial Alternative Site Identification.....................................................................2-3 2.3.2 Other Airport Sites............................................................................................... 2-4 2.3.3 Alternatives Evaluated........................................................................................2-5 2.4 Alternatives Eliminated from Further Consideration........................................................2-5 2.4.1 Alternative Site 1 (Southeast)............................................................................. 2-5 2.4.2 Alternative Site 2 (South)..................................................................................2-12 2.4.3 Alternative Site 3 (Southwest)...........................................................................2-13 2.4.4 Alternative Site 4 (Combination/Non-Contiguous Sites)...................................2-15 2.5 Alternatives Retained for Detailed Analysis...................................................................2-16 2.5.1 Proposed Project...............................................................................................2-16 2.5.2 No -Action Alternative........................................................................................2-18 3.0 AFFECTED ENVIRONMENT.......................................................................................................3-1 3.1 Air Quality......................................................................................................................... 3-4 3.1.1 Regulatory Summary..........................................................................................3-4 3.1.2 Criteria Air Pollutants.......................................................................................... 3-4 3.1.3 Air Monitoring Data.............................................................................................3-4 3.1.4 Attainment/Nonattainment Status....................................................................... 3-5 3.1.5 State Implementation Plans................................................................................ 3-5 3.1.6 Transportation Improvement Program................................................................3-6 3.1.7 Sources of Airport Air Emissions........................................................................ 3-6 3.2 Compatible Land Use.......................................................................................................3-7 3.2.1 Northern Portion of GSA.....................................................................................3-7 3.2.2 Central Portion of GSA....................................................................................... 3-7 3.2.3 Southern Portion of GSA.................................................................................... 3-9 3.2.4 Land Use within the DSA ...... .............................................................................. 3-9 3.3 Department of Transportation Section 4(f) and Department of Interior Section 6(f) Resources........................................................................................................................ 3-9 3.4 Fish, Wildlife, and Plants................................................................................................3-13 3.4.1 Biotic Communities...........................................................................................3-13 3.4.2 Threatened and Endangered Species..............................................................3-13 3.5 Floodplains.....................................................................................................................3-17 3.6 Hazardous Materials/Hazardous Waste........................................................................3-17 3.6.1 Hazardous Materials......................................................................................... 3-19 S:\BD\Marketing\Wp_Wpro\12011299_ Piedmont EA\Draft EA\TOC.docx i Piedmont Triad International Airport Environmental Assessment TABLE OF CONTENTS (CONTINUED) Section DRAFT Page S:\BD\Marketing\Wp_Wpro\12011299_ Piedmont EA\Draft EA\TOC.docx Piedmont Triad International Airport Environmental Assessment 3.6.2 Fuel Storage Sites............................................................................................3-19 3.6.3 Solid Waste.......................................................................................................3-19 3.7 Historic and Archaeological Resources.........................................................................3-22 3.7.1 Compliance with Section 106 of the National Historic Preservation Act ........... 3-22 3.7.2 Historic, Architectural, and Archaeological Area of Potential Effect .................3-22 3.7.3 Historic and Archaeological Resources............................................................3-23 3.8 Noise.............................................................................................................................. 3-24 3.9 Social Characteristics.....................................................................................................3-25 3.9.1 Population.........................................................................................................3-25 3.9.2 Racial Composition...........................................................................................3-26 3.9.3 Age Distribution.................................................................................................3-26 3.9.4 Income Distribution...........................................................................................3-26 3.9.5 Socioeconomics................................................................................................3-26 3.10 Water Quality................................................................................................................. 3-28 3.10.1 Potable Water................................................................................................... 3-28 3.10.2 Surface Water...................................................................................................3-28 3.10.3 Groundwater..................................................................................................... 3-31 3.11 Wetlands........................................................................................................................ 3-31 3.11.1 Regulatory Background....................................................................................3-31 3.11.2 Waters of the U.S. and Wetlands in the DSA ................................................... 3-32 3.12 Past, Present, and Reasonably Foreseeable Actions ................................................... 3-32 3.12.1 Airport Development Actions............................................................................3-32 3.12.2 Other Area Development Actions..................................................................... 3-34 4.0 ENVIRONMENTAL CONSEQUENCES.......................................................................................4-1 4.1 Introduction......................................................................................................................4-1 4.1.1 Study Years.........................................................................................................4-1 4.1.2 Evaluation of Impacts..........................................................................................4-5 4.1.3 Resource Categories Not Affected.....................................................................4-5 4.2 Air Quality.........................................................................................................................4-5 4.2.1 Overview of Impacts...........................................................................................4-5 4.2.2 Methodology........................................................................................................4-6 4.2.3 Impacts................................................................................................................ 4-7 4.2.4 Conformity Assessments and Permits..............................................................4-10 4.2.5 Comparison of Significant Impact Thresholds..................................................4-13 4.2.6 Cumulative Effects............................................................................................4-14 4.2.7 Mitigation...........................................................................................................4-14 4.3 Compatible Land Use.....................................................................................................4-15 4.3.1 Overview of Impacts.........................................................................................4-15 4.3.2 Methodology......................................................................................................4-15 4.3.3 Impacts .............................................................................................................. 4-15 4.3.4 Comparison of Significant Impact Thresholds..................................................4-18 4.3.5 Cumulative Effects............................................................................................4-19 4.3.6 Mitigation...........................................................................................................4-19 4.4 Construction Impacts.....................................................................................................4-19 4.4.1 Overview of Impacts.........................................................................................4-19 4.4.2 Methodology......................................................................................................4-20 4.4.3 Impacts .............................................................................................................. 4-20 4.4.4 Comparison of Significant Impact Thresholds..................................................4-24 4.4.5 Cumulative Effects............................................................................................4-24 4.4.6 Mitigation...........................................................................................................4-24 4.5 Department of Transportation Section 4(f) and Department of Interior Section 6(f) Resources......................................................................................................................4-25 S:\BD\Marketing\Wp_Wpro\12011299_ Piedmont EA\Draft EA\TOC.docx Piedmont Triad International Airport Environmental Assessment Section 4.6 4.7 4.9 4.10 4.11 4.12 TABLE OF CONTENTS (CONTINUED) DRAFT Page 4.5.1 Overview of Impacts.........................................................................................4-25 4.5.2 Methodology......................................................................................................4-25 4.5.3 Impacts .............................................................................................................. 4-26 4.5.4 Comparison of Significant Impact Thresholds..................................................4-27 4.5.5 Cumulative Effects............................................................................................4-27 4.5.6 Mitigation...........................................................................................................4-27 Fish, Wildlife, and Plants................................................................................................4-27 4.6.1 Overview of Impacts.........................................................................................4-27 4.6.2 Methodology......................................................................................................4-28 4.6.3 Impacts .............................................................................................................. 4-28 4.6.4 Comparison of Significant Impact Thresholds..................................................4-30 4.6.5 Cumulative Effects............................................................................................4-30 4.6.6 Mitigation...........................................................................................................4-31 Floodplains..................................................................................................................... 4-31 4.7.1 Overview of Impacts.........................................................................................4-31 4.7.2 Methodology......................................................................................................4-31 4.7.3 Impacts .............................................................................................................. 4-32 4.7.4 Cumulative Effects............................................................................................4-35 4.7.5 Comparison of Significant Impact Thresholds..................................................4-36 4.7.6 Mitigation...........................................................................................................4-36 Hazardous Materials/Hazardous Waste........................................................................4-36 4.8.1 Overview of Impacts.........................................................................................4-36 4.8.2 Methodology......................................................................................................4-37 4.8.3 Impacts..............................................................................................................4-37 4.8.4 Cumulative Effects............................................................................................4-40 4.8.5 Comparison of Significant Impact Thresholds..................................................4-41 4.8.6 Mitigation...........................................................................................................4-41 Historic and Archaeological Resources .........................................................................4-41 4.9.1 Overview of Impacts.........................................................................................4-41 4.9.2 Methodology......................................................................................................4-41 4.9.3 Impacts .............................................................................................................. 4-42 4.9.4 Comparison of Significant Impact Thresholds..................................................4-43 4.9.5 Cumulative Effects............................................................................................4-43 4.9.6 Mitigation...........................................................................................................4-43 Light Emissions and Visual Impact ................................................................................4-43 4.10.1 Overview of Impacts.........................................................................................4-43 4.10.2 Methodology......................................................................................................4-44 4.10.3 Impacts .............................................................................................................. 4-44 4.10.4 Cumulative Effects............................................................................................4-46 4.10.5 Comparison of Significant Impact Thresholds..................................................4-46 4.10.6 Mitigation...........................................................................................................4-46 Noise..............................................................................................................................4-47 4.11.1 Overview of Impacts.........................................................................................4-47 4.11.2 Methodology......................................................................................................4-47 4.11.3 Impacts .............................................................................................................. 4-47 4.11.4 Cumulative Effects............................................................................................4-48 4.11.5 Comparison of Significant Impact Thresholds..................................................4-49 4.11.6 Mitigation...........................................................................................................4-49 Secondary (Induced) Impacts........................................................................................4-49 4.12.1 Overview of Impacts.........................................................................................4-49 4.12.2 Methodology......................................................................................................4-49 4.12.3 Impacts .............................................................................................................. 4-50 S:\BD\Marketing\Wp_Wpro\12011299_ Piedmont EA\Draft EA\TOC.docx Piedmont Triad International Airport Environmental Assessment Section 5.0 7.0 TABLE OF CONTENTS (CONTINUED) DRAFT Page S:\BD\Marketing\Wp_Wpro\12011299_ Piedmont EA\Draft EA\TOC.docx iv Piedmont Triad International Airport Environmental Assessment 4.12.4 Comparison of Significant Impact Thresholds..................................................4-55 4.12.5 Cumulative Effects............................................................................................4-56 4.12.6 Mitigation...........................................................................................................4-56 4.13 Socioeconomic Impacts, Environmental Justice, and Children's Environmental Health andSafety Risks............................................................................................................ 4-56 4.13.1 Overview of Impacts.........................................................................................4-56 4.13.2 Methodology......................................................................................................4-56 4.13.3 Impacts .............................................................................................................. 4-57 4.13.4 Comparison of Significant Impact Thresholds..................................................4-61 4.13.5 Cumulative Effects............................................................................................4-61 4.13.6 Mitigation...........................................................................................................4-61 4.14 Water Quality.................................................................................................................4-62 4.14.1 Overview of Impacts.........................................................................................4-62 4.14.2 Methodology......................................................................................................4-63 4.14.3 Impacts .............................................................................................................. 4-63 4.14.4 Cumulative Effects............................................................................................4-71 4.14.5 Comparison of Significant Impact Thresholds..................................................4-71 4.14.6 Mitigation...........................................................................................................4-72 4.15 Wetlands........................................................................................................................4-72 4.15.1 Overview of Impacts.........................................................................................4-72 4.15.2 Methodology......................................................................................................4-72 4.15.3 Impacts .............................................................................................................. 4-72 4.15.4 Cumulative Effects............................................................................................4-74 4.15.5 Comparison to Significant Impact Thresholds..................................................4-74 4.15.6 Mitigation...........................................................................................................4-75 4.16 Natural Resources and Energy Supply..........................................................................4-75 4.16.1 Overview of Impacts.........................................................................................4-75 4.16.2 Methodology......................................................................................................4-75 4.16.3 Impacts .............................................................................................................. 4-76 4.16.4 Cumulative Effects............................................................................................4-77 4.16.5 Comparison to Significant Impact Thresholds..................................................4-77 4.16.6 Mitigation...........................................................................................................4-77 MITIGATION................................................................................................................................. 5-1 5.1 Introduction......................................................................................................................5-1 5.2 Mitigation for Unavoidable Wetland and Stream Impacts................................................5-1 5.3 Mitigation for Residential and Business Relocations....................................................... 5-2 5.4 Mitigation for Unavoidable Floodplain Impacts................................................................5-2 COORDINATION AND PUBLIC INVOLVEMENT........................................................................6-1 6.1 Introduction......................................................................................................................6-1 6.2 Early Agency Coordination.............................................................................................. 6-1 6.3 Agency Coordination Meeting..........................................................................................6-1 6.4 Draft EA Availability for Review....................................................................................... 6-1 6.5 List of Agencies Receiving the Draft EA..........................................................................6-2 6.6 Opportunity for Public Hearing.........................................................................................6-4 6.7 Final EA Availability for Review....................................................................................... 6-5 LIST OF PREPARERS.................................................................................................................7-1 7.1 List of Preparers...............................................................................................................7-1 REFERENCES.............................................................................................................................. 8-1 LIST OF ABBREVIATIONS, ACRONYMS, AND GLOSSARY.....................................................9-1 9.1 List of Acronyms...............................................................................................................9-1 9.2 Glossary of Terms............................................................................................................ 9-2 S:\BD\Marketing\Wp_Wpro\12011299_ Piedmont EA\Draft EA\TOC.docx iv Piedmont Triad International Airport Environmental Assessment DRAFT LIST OF APPENDICES Appendix A Agency Consultation Appendix B Air Quality Appendix C Wetlands, Fish, Wildlife, and Plants Appendix D Historic Resources/Section 106 Coordination Appendix E Alternatives Analysis Cross Field Taxiway Alignment LIST OF TABLES Table 2.3-1 Alternatives Screening Evaluation Summary 3.2-1 Land Uses within the Generalized Study Area......................................................................... 3.2-2 Land Uses within the Detailed Study Area................................................................................ 3.3-1 Potential Section 4(f) Resources within the GSA..................................................................... 3.4-1 Biotic Communities within the DSA........................................................................................... 3.4-2 Threatened and Endangered Species Listed for Guilford County ............................................ 3.6-1 Sites Included in the EPA Hazardous Substances Databases within or Adjacent to the DSA. 3.8-1 Comparison of Aircraft Operations Levels - 2007 Part 150 Study and 2012 FAA ATADS....... 3.9-1 Community Characteristics (2011)............................................................................................ 3.9-2 Top 10 Employers in Greensboro (2011).................................................................................. 4.2-1 Near -Term Construction Air Emissions Inventory..................................................................... 4.2-2 Long -Term Construction Air Emissions Inventory.................................................................... 4.2-3 Operational Air Emissions Inventory for Aircraft....................................................................... 4.2-4 General Conformity de minimis Levels in the Greensboro Nonattainment Area ...................... 4.2-5 Summary of Near -Term Project and Long -Term Project Air Emissions ................................... 4.3-1 Land Acquisition Needed for the Proposed Project.................................................................. 4.6-1 Acres of Impacts to Land Use/Vegetative Cover Resulting from the Near -Term Project......... 4.6-2 Acres of Impacts to Land Use/Vegetative Cover Resulting from the Proposed Project........... 4.7-1 Potential Floodplain Impacts..................................................................................................... 4.8-1 Proposed Project RCRA Sites.................................................................................................. 4.12-1 Examples of Aerospace Companies/Facilities.......................................................................... Page 2-11 ..3-7 ..3-9 3-11 3-15 3-16 3-21 3-24 3-25 3-27 ..4-7 ..4-8 ..4-9 4-11 4-12 4-16 4-28 4-30 4-32 4-38 4-51 SAMMarketing0p_Wpro\12011299_Piedmont EA\Draft EA\TOC.docx v Piedmont Triad International Airport Environmental Assessment DRAFT LIST OF FIGURES Figure Para e 1.2-1 Airport Location Map.....................................................................................................................1-2 1.2-2 Proposed Project Conceptual Development Plan.........................................................................1-3 2.3-1 Site Development Alternatives......................................................................................................2-6 2.3-2 Site Development Alternative 1..................................................................................................... 2-7 2.3-3 Site Development Alternative 2..................................................................................................... 2-8 2.3-4 Site Development Alternative 3..................................................................................................... 2-9 2.3-5 Site Development Alternative 4...................................................................................................2-10 3.0-1 Generalized and Detailed Study Areas......................................................................................... 3-2 3.0-2 Detailed Study Area...................................................................................................................... 3-3 3.2-1 Existing Land Use within the Generalized Study Area................................................................. 3-8 3.2-2 Existing Land Use within the Detailed Study Area......................................................................3-10 3.3-1 Section 4(f) Resources within the Generalized Study Area........................................................3-12 3.4-1 Biotic Communities within the Detailed Study Area....................................................................3-14 3.5-1 Floodplains within the Detailed Study Area................................................................................3-18 3.6-1 Hazardous Substances within the Detailed Study Area.............................................................3-20 3.10-1 Water Resources........................................................................................................................3-29 3.11-1 Water of the U.S. Including Wetlands within the DSA................................................................3-33 4.1-1 Near -Term Project (2015) .............................................................................................................4-2 4.1-2 Long -Term Project (2020).............................................................................................................4-3 4.1.3 Proposed Project (Full Build-Out).................................................................................................4-4 4.3-1 Land Use Impacts within the Proposed Project (Full Build-Out).................................................4-17 4.7-1 Floodplain Impacts within the Proposed Project (Full Build-Out)...............................................4-33 S:\BD\Marketing\Wp_Wpro\12011299_ Piedmont EA\Draft EA\TOC.docx vi Piedmont Triad International Airport Environmental Assessment CHAPTER 1.0 PURPOSE AND NEED 1.1 INTRODUCTION DRAFT Piedmont Triad Airport Authority (referred to in this document as "PTAH" or "Airport Sponsor") proposes to construct taxiways, develop approximately 972 acres of land, and undertake site preparation activities to accommodate additional aviation -related development at the Piedmont Triad International Airport (GSO). This chapter of the Environmental Assessment (EA) describes the proposed airfield and land development improvements at GSO, describes the objectives of the PTAH, and states the need for and purpose of the requested federal actions. 1.2 DESCRIPTION OF PROPOSED ACTION 1.2.1 Proposed Improvements The project proposed by PTAA would improve existing and previously disturbed and developed parcels of land collectively located immediately adjacent to and northwest of the GSO airfield (see Figure 1.2-1). These land areas would be improved to provide approximately 972 acres of land suitable to accommodate existing and anticipated future demand for aviation -related and aviation -allied activities. The use of the approximately 972 -acre development area is predicated upon the development of various taxiway system and infrastructure improvements that would provide unrestricted aircraft operational access to the airport's existing system of runways and supporting taxiways. The Proposed Project will serve to preserve and protect the PTAA's ability to continue the on-going development of the airport for aviation -related use. The exact site layout, composition (number and size of tenants), and development schedule for the aviation facilities cannot be determined at this time. The acreage and site development requirements of each prospective tenant would be influenced by prevailing market conditions, the operational needs of each tenant, and respective business decisions by prospective tenants and the PTAH. However, this EA will evaluate a conceptual build -out of an approximately 900 -acre site that anticipates use of the property by several large aircraft maintenance, repair, and overhaul (MRO) facilities and aircraft manufacturing facilities. This 900 -acre development site also includes construction of a rail transfer facility to support development and operation of the proposed future aviation -related activities. The Proposed Project would be accomplished in two phases, referred to in this EA as the Near -Term Project and Long -Term Project. The remaining 72 acres of the 972 -acre development area will be designated for future aviation use. This 72 -acre site is located between Runway 5R/23L and Highway 68 (Figure 1.2-2). There are no immediate plans for development of this 72 -acre parcel. This area will be reserved for future aviation use and developed when the need arises. However, in order to fully disclose any potential impacts resulting from future development of this 72 -acre parcel, this area has been included as part of the environmental analysis for the Near -Term Project. A conceptual development plan is depicted in Figure 1.2-2. S:\BD\Marketing\Wp_Wpro\12011299_Piedmont EA\Draft EA\Ch 1.docx 1 -1 Piedmont Triad International Airport Environmental Assessment , f Virginia Piedmont Triad International Airport Greensboro Winston-Salem Durham Asheville Raleigh Greenville North Carolina Charlotte Fayetteville South Carolina N Miles w+e Wilmington s o so ,00 Atlantic FORSYTH COUNTY I I I I I l I 1� L DAVIDSONP COUNTY Ocean or t_ Project Site 0 ROCKINGHAM COUNTY "S—u,,,Rffi,ld \ 1 Piedmont Triad 0 International Airport -? GUILFORD COUNTY Q a 0 �o Legend OPiedmont Triad Project Site International Airport Airport Property — Runway Municipality Interstate i rJl County E U.S. Road Water State Road Sources: N - NCDOT, 2009; URS, 2009 W+ E Miles n RA' \% -ncONEmap, 2009 Q - ESRI Streetmap, 2008 S 3 El Legend Conceptual Airport Site Development Plan Taxiway Development Area Rail Development Area Future Aviation Use (72 -acre site) 0 Conceptual Buildings Proposed Project Airfield Pavement Proposed Taxiway Future 1-73 Connector - - Existing Airport Boundary +� Proposed Rail Line Sources: - ESRI, 2013 - URS Corp, 2013 Feet s 0 2,000 1►rel 3 i . f{, �VI'e 1 L i a N PIEDMONT TRIAD PTS INTERNATIONAL AIRPORT PROPOSED PROJECT FIGURE _Q CONCEPTUAL DEVELOPMENT PLAN 1.2-2 Environmental Assessment a DRAFT The Near -Term Project improvements evaluated in this EA are listed below. • Acquisition of approximately 249 acres of land; • Site preparation of approximately 553 acres of land for aviation development, including clearing, grading, and excavation; • Extension of utilities to the Near -Term development area, including electrical, natural gas, water, sanitary sewer, communications, and other related infrastructure; • Extension and/or installation of stormwater collection and treatment infrastructure within the Near -Term development area; • Construction of aircraft parking aprons and associated aviation -related facilities within the Near -Term development area; • Closure of a portion of Joseph M. Bryan Boulevard and other local road closures; • Construction of a cross -field taxiway system linking the proposed Near -Term development area to the existing airfield; Development of aviation support and service facilities as needed to support aviation - related activities associated with the Near -Term development; • Construction of access roads; • Development of a rail spur or a transfer facility connecting the proposed development site to the Norfolk Southern Railroad tracks located to the southwest of GS02; and • Implementation of mitigation measures for unavoidable wetland and stream impacts associated with the Near -Term development. The Long -Term GSO improvements evaluated in this EA (hereinafter referred to as the "Long -Term Projects") include the following: Acquisition of approximately 166 acres of additional land; Site preparation of approximately 407 acres of additional land for aviation -related development; Extension of utilities to the Long -Term development area, including electrical, natural gas, water, sanitary sewer, communications, and other related infrastructure; The acreage figure for the land to be acquired includes the entire tract that PTAA will have to buy for a rail transfer station (discussed below). However, the Proposed Project does not involve any development on that tract other than the transfer facility itself so the remaining land is not included in this EA in the acreage to be developed. 2 Conceptual plans for providing railroad access to the development area are being considered by the PTAA and FAA. One option is to provide direct rail access to the development area by constructing a spur from the existing Norfolk Southern Railroad line. If a spur is determined to not be practicable or feasible, another option entails developing a rail transfer facility south of West Market Street. At the transfer facility, material (i.e., aircraft components) would be off-loaded from rail cars onto vehicles that would transport the material across the airfield to the development site. Because the final selection of a rail option requires substantial planning and coordination, both rail options are consolidated in this EA for the purposes of evaluating and disclosing impacts. SAMMarketing0p_Wpro\12011299_Piedmont EA\Draft EA\Ch 1.docx 1-4 Piedmont Triad International Airport Environmental Assessment DRAFT • Extension and/or installation of stormwater collection and treatment infrastructure within the Long -Term development area; • Construction of aircraft parking aprons and associated aviation -related facilities within the Long -Term development area; • Relocation of GSO's existing airport surveillance radar (ASR) facility from its current location to a new location outside the proposed development area (see below); • Construction of access roads within the Long -Term development area; • Construction of a full-length parallel taxiway on the northwest side of Runway 5L/23R to link the remainder of the new development area to the runway; and • Implementation of mitigation measures for unavoidable wetland and stream impacts. 1.2.2 ASR Relocation Although the relocation of the ASR has been included in the Long -Term Project, PTAA's ability to complete the relocation within the time frame of the other Long -Term Projects is uncertain due to the need for PTAA to secure adequate funding for the relocation and due to the length of time required for PTAA to obtain the use of a temporary ASR tower during the transition from the existing to the new ASR facility. There are only a few temporary ASR towers nationwide and a long lead time is needed before they become available. The ASR would only be relocated for the purpose of constructing new aviation facilities on the existing ASR site. 1.2.3 Rail Improvements The Proposed Action provides for two mutually exclusive options for delivering aircraft components and materials arriving by rail to the proposed development sites: • A spur track that would run from the existing Norfolk Southern line that is south of W. Market Street, cross W. Market Street at grade and then run to the proposed development sites along a route roughly parallel to future Taxiway G as shown on Figure 1.2-2. • A rail transfer facility to be located south of W. Market Street at the location shown on Figure 1.2-2. Rail cargo would be off-loaded from rail cars at the transfer facility onto vehicles, which would then carry the cargo by roadway over W. Market Street across the airfield to the proposed development sites along airfield pavements or the airport perimeter road. The transfer station would include a short spur track, a platform where the cargo would be unloaded, the access road to the airfield, and a bridge for the road to cross W. Market Street. The choice between the spur track and transfer station options depends on future developments, including the needs of future aviation tenants and the availability of funding. For this reason, the combined impacts of both choices are being evaluated in this EA, including the relocation, land disturbance, flood plain, and stream and wetland impacts of both. The potential impacts on Section 106 Resources of both the spur track and transfer station have also been considered. Therefore, when the SABD\Marketing0p_Wpro\12011299_Piedmont EA\Draft EA\Ch 1.docx 1-5 Piedmont Triad International Airport Environmental Assessment DRAFT future choice is made between the two options, their impacts will have been fully considered and accounted for in this EA. Actual impacts of the selected option will be less since the impacts of the other option will not occur. The spur track alternative would cross the Runway 5L Runway Protection Zone (RPZ). At the current time, FAA policy would not permit the crossing at grade and would require the construction of a tunnel for the spur track to pass under the RPZ. The at grade crossing will remain under consideration in this EA in case FAA policy changes to permit such development. Otherwise the spur track alternative contemplated in this EA will be assumed to include the tunnel construction. There is no significant difference in the environmental impacts between an at grade and tunnel crossing of the RPZ so a separate evaluation of the impacts of these two designs is unnecessary. 1.3 PURPOSE AND NEED 1.3.1 Need 1.3.1.1 Provide Suitable Sites with Airfield Access for New Aviation -Related Development For more than 30 years, PTAA has successfully attracted aviation and aviation -allied companies to GSO and has developed a growing cluster of aviation -related facilities, including both aircraft maintenance and aircraft manufacturing operations. In 1989, PTAA entered into a lease with Triad International Maintenance Corporation (TIMCO) for the construction of an aircraft maintenance hangar. Since then, TIMCO has constructed the initial hangar and two additional hangars, has leased a fourth hangar and is now contemplating the construction of two more hangars at GSO for its growing third -party maintenance business. In 1992, Cessna Aircraft Company leased a site for construction of a maintenance and repair facility, which it now operates to service Cessna aircraft. In 2008, an expansion that effectively doubled the Cessna aircraft parking ramp was completed and Cessna continues to consider a similar expansion to the hangar facility. PTAA took another major step in aerospace development in 2007 by attracting Honda Aircraft Company, which has built a research and development facility and aircraft manufacturing hangar at GSO, followed in 2011 with its selection of GSO as the site for its first MRO facility and subsequent construction of the facility. GSO has numerous advantages that make it especially suitable for aviation -related development. GSO is centered along the east coast of the United States (U.S.), with excellent highway access for parts and materials through the convergence of two existing interstate highways and the ongoing construction of a third. GSO is also located in an area that experiences few natural disasters, such as earthquakes and hurricanes that affect airports in other regions of the country. Most importantly, GSO has relatively uncongested airspace and airfield capacity, which enables companies such as aircraft manufacturers to avoid competition from other aircraft traffic while arriving and departing from the airport and conducting aircraft test flights. Approximately 4,000 individuals are now employed in aviation -related industries at GSO, helping to compensate for the loss of manufacturing employment that has occurred over the past few decades in the Piedmont Triad region. Skilled jobs in this industry pay relatively high wages and benefits. In response to the demand for technicians to support the aviation industry, Guilford Technical Community College (GTCC) has enlarged an existing training program for aviation -related employment, now offering 2- and SABD\Marketing0p_Wpro\12011299_Piedmont EA\Draft EA\Ch 1.docx 1-6 Piedmont Triad International Airport Environmental Assessment DRAFT 4 -year degrees in this field. The GTCC program responds to the growing demand for such skills by aircraft manufacturing and maintenance companies and creates the need for new employment opportunities for GTCC graduates. The existing aircraft development, manufacturing, and support sites at GSO are clustered on Taxiway M on the southeast side of Runway 5R/23L. Most of the available space in this sector has now been occupied and PTAA is rapidly exhausting the available sites for future development. Airport growth is constrained on the northeast and southwest sides of the airfield by existing natural and man-made features and facilities, and there are insufficient sites for aviation -related development in these sectors. The size and configuration of important factors for aircraft manufacturing and aircraft maintenance facilities. These type facilities routinely accommodate numerous aircraft and sometimes very large aircraft. Therefore, hangar building and parking requirements for these type of companies often greatly exceed what is necessary for traditional manufacturing facilities. It is not unusual for an aircraft manufacturing company to occupy several hundred acres at an airport. In addition, manufacturing, assembly, maintenance facilities, and other aviation -related development requires access to taxiways and aircraft parking aprons. These taxiways and aprons have FAA -mandated design standards for separation distances, clear areas [i.e., Taxiway Object Free Areas (TOFA)], and building setbacks that can encumber large amounts of land. The configuration of the property is also a critical factor and must provide sufficient depth and flexibility to accommodate the numerous design criteria for aerospace development. The demanding site requirements for aerospace facilities are illustrated by a number of examples from around the country. The Savannah/Hilton Head International Airport (SAV) has approximately 440 acres of land presently dedicated to commercial activity and aircraft manufacturing. Of the 440 acres, approximately 280 acres (64 percent) is occupied by a single aircraft manufacturer. Brookley Aeroplex, located in Mobile, Alabama, has approximately 827 acres of developable land dedicated for logistics and manufacturing, research and training, and aerospace technology (Economic & Planning Systems, et al., 2013). Brookley Aeroplex supports aircraft manufacturing, aircraft maintenance and repair, aircraft engine testing, and air cargo operations. The new Airbus A320 assembly plant at Brookley will initially comprise more than 50 acres of buildings, aprons, and roadways on a 116 -acre site (Airbus, 2012). The JetPlex Industrial Park, an intermodal industrial park complex (air, rail, and truck) at Huntsville International Airport encompasses approximately 4,000 acres (Port of Huntsville, 2013). The importance of sufficient land area and access to airfield facilities and surface transportation systems was demonstrated in a recent request for proposal (RFP) issued by a prospective aerospace tenant. Requirements specified in this RFP include a site consisting of 300-400 contiguous acres, access to a 9,000 -foot runway, direct and rail service to and from the site, and a dedicated and direct rail spur into the site for the movement of materials and equipment. PTAA submitted a proposed response to the RFP along with competing airports. Although GSO was not selected as the site for the facility, this process confirmed the need for PTAA to have sites of comparable size and utility available for prospective aerospace tenants. SABD\Marketing0p_Wpro\12011299_Piedmont EA\Draft EA\Ch 1.docx 1-7 Piedmont Triad International Airport Environmental Assessment DRAFT As revealed in PTAA's 2012 Airport Master Plan Update (the "Master Plan") approved by the Federal Aviation Administration (FAA), the open areas for GSO's future development lie northwest of the airfield, in the vicinity of new Runway 5L/23R, where the Proposed Project would occur. Upcoming construction of the Interstate 73 (1-73) Connector will allow closure of Joseph M. Bryan Boulevard in this area, and further open this area to aviation -related use. Much of the land in this area is already owned by PTAH, including approximately 170 acres on the airfield side of the new connector and approximately 345 acres of the opposite side of the connector, which are available for the aviation sites shown on Figure 1.2-2. This development area can be expanded to approximately 800 acres through the acquisition of adjacent tracts, as called for in Phase I of the Master Plan Land Acquisition Program, and through the closure of Joseph M. Bryan Boulevard and other public roads. The development of this area will prepare sites with necessary infrastructure to accommodate future aviation needs at GSO. 1.3.1.2 Provide Development Opportunities for Use of Idle Land As pointed out above, PTAA currently owns approximately 170 acres on the airfield side of the 1-73 Connector and approximately 345 acres on the opposite side. A considerable public investment has been made in this acreage for future airport development. Much of this land is not immediately available for aviation -related use due to its lack of airfield access and other site development. PTAA has determined that an initial and necessary step for making this area suitable for and attractive to the types of development for which it was acquired is to make it accessible to the existing airfield and to perform basic site preparation, including installation of utilities necessary to support any future development needs. In addition, PTAA needs the ability to offer rail access to potential sites to carry airframe and aircraft components that are too large for highway transport. Due to the lack of the necessary infrastructure and site development PTAA land is either idle or, in the case of the tract on the opposite side of the connector, is currently being used as a golf course. The golf course was purchased by PTAA from a private owner for airport expansion and the golf course has remained in operation solely on an interim basis pending its closure by PTAA to develop the property for aviation use. The taxiways and other development contemplated by the Proposed Project are necessary for this land to be used productively to achieve its optimum use for PTAH. 1.3.1.3 Meet Schedule Needs of Potential Aviation Tenants PTAA would not know in advance the acreage and facility needs of any particular tenant or the combined demands of the aviation -related companies that it hopes to attract. Due to this uncertainty, PTAA must be in a position to offer the entire area proposed for site development to one or more aviation -related companies. Moreover, only a small portion of the land in the subject area has airfield access. Aviation - related manufacturing and development would require such access for departure of newly -constructed aircraft, for arrivals and departures from MRO facilities, and for test flights. To provide such access, a parallel taxiway is needed on the northwest side of Runway 5L/23R, as well as a cross -field taxiway across the 1-73 Connector. Aircraft manufacturing and aviation -allied companies searching for available airport sites typically impose short time frames for site development and construction of their facilities. "Ready to go" sites are in demand as they allow companies to make site selection decisions and provide a higher level of assurance that the company can build what they need in a certain time scenario (Livingston and Alexander, 2013). To remain competitive in attracting aviation -related firms, an airport must prepare SAMMarketing0p_Wpro\12011299_Piedmont EA\Draft EA\Ch 1.docx 1-8 Piedmont Triad International Airport Environmental Assessment DRAFT readily available sites in advance, with airfield access and other necessary infrastructure, for use by such firms. Unfortunately, PTAA is currently not in a position to offer readily available sites due to the absence of airfield access and other infrastructure and the long time frame that would be required for obtaining permits and for site development. Therefore, one of the fundamental needs of the Proposed Project is to provide the necessary sites, with the required infrastructure, so that PTAA can attract new aviation - related companies and continue the on-going expansion of the airport as an aviation research, development, and manufacturing center. 1.3.2 Purpose The purpose of this National Environmental Policy Act of 1969 (NEPA) analysis is to allow the FAA to approve an update to the Airport Sponsor's Airport Layout Plan (ALP) depicting the Airport Sponsor's Proposed Project, as previously defined and depicted in this chapter. A finding by the FAA would allow the Airport Sponsor to proceed with site development activities using non -FAA funding on approximately 972 acres of land as described, and seek federal funding participation for project components as determined eligible by the FAA. 1.4 REQUESTED FEDERAL ACTIONS The requested federal actions considered in this EA include the following: • Memphis Airports District Office (MEM -ADO) intra -FAA coordination and approval of an ALP update depicting the proposed future development not depicted on GSO's previously approved ALP to include changes to PTAA's ALP that are needed for conformity with the Proposed Project or other selected alternative, including taxiway alignments and land use designations; • FAA Eastern Service Area, Planning and Requirements for ASR facilities approval to relocate GSO's existing ASR airport facility; and • FAA acceptance of the NEPA analysis completed to support the proposed action and issuance of an environmental finding necessary to allow federal funding for those projects determined eligible. FAA acceptance of a NEPA analysis document and issuance of a decision document or finding is only a determination that the document satisfies applicable environmental statutes and regulations. Similarly, FAA approval of an ALP does not indicate the FAA will participate in the cost of any development proposed. ALP approval indicates that all existing and proposed airport development shown on the plan meets current FAA Airport Design Standards or a current FAA -approved Modification of Airport Design Standards and that the proposed development is useful and efficient. 1.5 TIME FRAME OF THE PROPOSED PROJECT If approved by the FAA, development of the Near -Term components of the Proposed Project including construction of the cross -field taxiway system linking the Near -Term development area to the existing SABD\Marketing0p_Wpro\12011299_Piedmont EA\Draft EA\Ch 1.docx 1-9 Piedmont Triad International Airport Environmental Assessment DRAFT airfield would begin during Calendar Year (CY) 2014. Future build -out of the Long -Term site would be phased and contingent upon securing aviation -related tenants to occupy the development area. For planning purposes, it is projected that development of the Long -Term Project would be completed in CY 2020. S:\BD\Marketing\Wp_Wpro\12011299_Piedmont EA\Draft EA\Ch 1.docx 1-10 Piedmont Triad International Airport Environmental Assessment CHAPTER 2.0 ALTERNATIVES 2.1 INTRODUCTION Scope of the Alternative Analysis DRAFT This chapter summarizes the screening process used to identify, compare, and evaluate a wide range of alternatives to the Proposed Project. This chapter presents the following: an overview of the structure of the alternatives screening process and analysis used in this Environmental Assessment (EA); a description of reasonable alternatives to the Proposed Project, including the No -Action Alternative; a concise statement explaining why some alternatives were eliminated from further evaluation in the EA; and identification of reasonable alternatives retained for further evaluation in the EA. The alternatives analysis was conducted in accordance with Council on Environmental Quality (CEQ) regulations [40 Code of Federal Regulations (CFR) Section (§) 1502.14] and Federal Aviation Administration (FAA) Order 1050.1 E, Environmental Impacts: Policies and Procedures, which require that federal agencies perform the following tasks: • Rigorously explore and objectively evaluate all reasonable alternatives and, for alternatives which were eliminated from detailed study, briefly discuss the reasons for their having been eliminated. • Devote substantial treatment to each alternative considered in detail, including the Proposed Project, so that reviewers may evaluate their comparative merits. • Include reasonable alternatives not within the jurisdiction of the lead agency. • Include the alternative of "no -action." 2.2 ALTERNATIVES SCREENING PROCESS OVERVIEW The alternatives screening process for the proposed taxiway construction and site development project used a three-level evaluation process. Level 1 of the screening identified those alternatives that would meet the purpose of and need for the Proposed Project. Level 2 of the screening evaluated the alternatives in terms of airfield accessibility, land acquisition requirements, development constraints such as the impact of each alternative on the efficient future development and operation of the airport, the need to relocate existing infrastructure, impacts to existing airport tenants, and constructability. The Level 3 evaluation focused on key environmental resource impacts. 2.2.1 Level 1 Analysis — Purpose and Need As discussed in Section 1.3.1.1, airport aviation facilities vary in size, ranging from less than 100 acres to thousands of acres. The preliminary identification of alternate sites for this EA was influenced by the objective to provide an aviation development site approximately 700 to 800 acres in size. The amount of available land is an important factor in determining a site's suitability to support aviation manufacturing, assembly, and maintenance facilities, and provide access to taxiways, aircraft parking aprons, and other SAMMarketing0p_Wpro\12011299_Piedmont EA\Draft EA\Ch 2.docx 2-1 Piedmont Triad International Airport Environmental Assessment DRAFT airfield facilities. These taxiways and aprons have FAA -mandated design standards for separation distances, clear areas [i.e., Taxiway Object Free Areas (OFA)], and building setbacks that can encumber large amounts of land. The size of developable land is also an important factor for aircraft manufacturing and aircraft maintenance facilities. These type facilities routinely accommodate numerous aircraft and sometimes very large aircraft. For this reason, the Level 1 analysis evaluated whether an alternative would provide sites with sufficient acreage and airfield access for new aviation -related tenants as required by the Purpose and Need for the Proposed Project. Alternatives that failed to meet this test were not subject to further consideration in Levels 2 or 3. 2.2.2 Level 2 Analysis — Operations and Constructability This level of the alternatives screening analysis was designed to determine which alternatives were considered to be feasible and prudent with respect to airport operations, difficulty of providing airfield access, rail connectivity, and land acquisition and relocation issues. Alternatives with fewer impacts on airport operations, more feasible means of providing airfield access, available rail access, and fewer land acquisition impacts were considered more feasible and practical than other alternatives. Level 2 criteria considered the following: Accessibility and Operational Issues - This criterion considered requirements and issues associated with providing taxiway access to each alternate site. This may include the impact of taxiway development on existing airport facilities and tenants, complexity of access taxiway development, potential taxi distances to each alternate site, and/or increased complexity of aircraft ground operations. This criterion also evaluated an alternative's potential to provide rail access to the site development area. Alternatives with fewer accessibility issues would be more favorable than alternatives with more complex accessibility issues. Land Acquisition Requirements - This criterion addressed the need to acquire land for the development each alternative. Land acquisition comparisons were made for the total amount of land to be acquired and the number of business structures and residential structures to be acquired. Potential Interference with Planned Airport Development - This criterion addressed the potential impact of each alternative to directly conflict with planned development at the airport or to reduce the efficient future use of airport lands for aviation -related uses as envisioned in the 2010 Master Plan Update. Alternatives that had substantially higher access issues, substantially higher land acquisition and relocation issues, and/or interfered with planned airport development were not retained for further evaluation in Level 3. SABD\Marketing0p_Wpro\12011299_Piedmont EA\Draft EA\Ch 2.docx 2-2 Piedmont Triad International Airport Environmental Assessment DRAFT 2.2.3 Level 3 Analysis — Environmental Considerations This level of the screening process focused on select environmental resource categories that have regulatory requirements (i.e., avoidance and minimization of impacts) and those resources that are protected under special purpose environmental laws. Alternatives that remained after the Level 3 evaluation are considered in detail in Chapter 4.0, Environmental Consequences, of this EA. Floodplain involvement - This analysis evaluated each of the alternatives based on the 100 -year floodplains that would be impacted. Alternatives that would result in no impacts or less net impacts to floodplains were considered more prudent and feasible than those with greater impacts. Wetlands - This analysis evaluated each of the alternatives retained for Level 3 evaluation based on the approximate acreage of wetlands impacted by each alternative. Alternatives having lesser impacts were considered more prudent and feasible than those generating greater impacts. Historic and Archaeological Resources - The alternatives screening process evaluated each alternative on its potential to result in direct impacts to historic and/or archaeological resources listed on, or eligible for listing on, the National Register of Historic Places (NRHP). Alternatives that resulted in fewer impacts to listed resources were considered to be more feasible and practical than those alternatives that resulted in a greater amount of impact(s). Department of Transportation (DOT) Act Section 4(f) Resources - The alternatives screening process evaluated alternatives based on their potential to result in direct impacts to properties protected under Section 4(f) of the DOT Act. Alternatives that would have no direct impacts to Section 4(f) resources were considered to be more practicable than alternatives that resulted in Section 4(f) resource impacts. Overall, alternatives having lesser environmental impacts were considered more prudent and feasible than those generating greater impacts. At the conclusion of the Level 3 analysis, alternatives considered feasible and prudent were retained for subsequent detailed analysis in this EA. 2.3 ALTERNATIVES CONSIDERED A wide range of alternatives and alternate sites were reviewed to identify those that were considered reasonable and suitable for further consideration. The review of alternate sites included an analysis of aerial photographs and maps to demarcate areas adjoining GSO that would provide feasible development sites. 2.3.1 Initial Alternative Site Identification Potential sites located northeast and east of GSO were not considered reasonable because they are comprised almost entirely of dense residential subdivisions. In addition, potential sites east of GSO generally have limited airfield access, which could result in operational issues and complexity based on their distance from the GSO airfield. In general, these sites would be located 1 mile or more from the airfield and require a taxiway bridge over the Interstate 73 (1-73) Connector. Rail access to potential S:\BD\Marketing\Wp_Wpro\12011299_Piedmont EA\Draft EA\Ch 2.docx 2-3 Piedmont Triad International Airport Environmental Assessment DRAFT development sites located northeast and east of GSO would require construction of more than 2 -miles of rail spur and crossing the 1-73 Connector. Potential sites southeast and south of GSO have dense industrial development, but appeared to have fewer accessibility issues. Although there are a large number of businesses located in these areas, acquisition and redevelopment in these areas would affect fewer residential areas (when compared to potential sites east of GSO). Rail access to these sites could be provided using the Norfolk Southern rail line tracks which parallel West Market Street. Although taxiway access to potential sites in these areas is not optimal and the number of displaced businesses would be high, these sites were analyzed in the multi-level screening process discussed above. Potential sites located to the southwest and west of GSO have moderately dense industrial development. Sites located to the southwest of GSO have the potential to impact the Runway Protection Zone (RPZ) associated with Runway 5L/23R and the planned extension of this runway and its associated taxiways. In addition to the consideration of individual sites which would provide a contiguous site of sufficient size to support future development of aviation -related facilities, alternatives were considered which could provide a combination of two or more relatively large sites (200 to 400 acres each in size) which, in total, would provide sufficient acreage to support future aviation -related development. Development of non- contiguous sites for aviation -related use would require construction of multiple taxiway access points to the airfield at GSO and could limit the range of facilities which could be developed by future tenants. 2.3.2 Other Airport Sites The identification and evaluation of non-contiguous sites also considered several undeveloped areas within the existing airport boundaries, as alternatives to the Proposed Project. In many cases, parcels were small in size, were at scattered locations, or it was apparent the land was associated with other existing or future aviation -related land uses. It was easily determined that aggregating numerous small parcels on the airfield would not contribute in a meaningful way to PTAA's need to provide large sites suitable for development. The GSO Airport Layout Plan designates four areas within the existing airport boundaries for "Future Aviation -Related Development." These four parcels, which range in size from 14 to 105 acres, were not of suitable size to accommodate the large-scale aerospace facilities contemplated in the Project's Purpose or Need, and these parcels are better suited to accommodate expansion of existing facilities or the development of facilities that serve other airport functions. For example, a 54 -acre parcel of land designated in the Master Plan for future aviation -related development is located mid -field, in the vicinity of the passenger terminal area, public parking lots, and general aviation support area. This parcel is better suited to accommodate possible future expansion of these type facilities. Due to the limited size of these sites and the need to retain these sites for other uses, none of them meet the Purpose and Need of the Proposed Project either singly or in combination. SAMMarketing0p_Wpro\12011299_Piedmont EA\Draft EA\Ch 2.docx 2-4 Piedmont Triad International Airport Environmental Assessment DRAFT 2.3.3 Alternatives Evaluated In addition to the No -Action Alternative and the Proposed Project, the alternatives listed below and shown on Figure 2.3-1 were evaluated using the multi-level screening process. • Alternative Site 1 — Southeast (shown on Figure 2.3-2) • Alternative Site 2 — South(shown on Figure 2.3-3) • Alternative Site 3 — Southwest(shown on Figure 2.3-4) • Alternative Site 4 — Combination of sites(shown on Figure 2.3-5) The results of the evaluation of preliminary alternatives are summarized in Table 2.3-1. 2.4 ALTERNATIVES ELIMINATED FROM FURTHER CONSIDERATION Alternatives that were considered, but eliminated from further detailed analysis in this EA are listed below. The discussions summarize relevant issues and/or impacts for which an alternative was eliminated. 2.4.1 Alternative Site 1 (Southeast) This alternative would require the acquisition of approximately 814 acres of land adjoining the southeast side of GSO for aerospace and aviation -related industries (Figure 2.3-2). Airfield access for Alternative Site 1 would be provided through a new access taxiway or taxiways connected to parallel Taxiway M, which serves the southeast side of Runway 5R/23L, or Taxiway C on the northeast side of Runway 14/32. Rail access would be provided via the Norfolk Southern rail line which parallels West Market Street. The site is presently built -out with industrial, commercial, and residential land uses. This alternative includes the acquisition of land, land clearing, and demolition of existing structures and facilities to allow development of taxiways, aprons, and aerospace -related hangars, buildings, and associated facilities. The location of Alternative Site 1 is depicted on Figures 2.3-1 and 2.3-2. The results of the screening process for Alternative 1 are presented in Table 2.3-1. 2.4.1.1 Purpose and Need Although not an optimum alternative in regard to taxiway development, Alternative Site 1 adjoins GSO and could be developed for aviation -related use. Therefore, Alternative Site 1 was retained for Level 2 analysis. 2.4.1.2 Operations and Constructability Issues Alternative Site 1 would require the modification of leases and possibly the removal/modification of existing aviation -related facilities. Access taxiways from parallel Taxiway M to Alternative Site 1 could be constructed between existing facilities; however, this would impact several major airfield drainage way sections. Rail access would be available along the southern border of the site and an existing rail spur which traverses the site. SAMMarketing0p_Wpro\12011299_Piedmont EA\Draft EA\Ch 2.docx 2-5 Piedmont Triad International Airport Environmental Assessment w+. ;ii► WI LL'ARD � TuCKER. GENEVA a -� i . CDAPdRA yi 1 � _ a _ 4 FRA2IER DOWNS _O o � L L4 FRIENDLY L W HILLS U collogp TUCKER F O Q,AKER ACRES GENEVA "4ndly CDAPORATA)N Are f�7ePdly Ave ti Cid ESTWIND AREA �t...' 1 WESTWIND AREA o - . �.� w Marie► St TUCKER F O - �` GENEVA + "FR2DOWNS CDAPORATA)N QUAKER ACRES f�7ePdly Ave A -4 lbI rnAcitn vQwry�k � r, 1 QUAKi u oc € J❑ w FRIENDLY L ll' 1 L F O rvV HILLS GLN IFD(d College QUAKER ACRES f�7ePdly Ave ` Cid ESTWIND AREA �t...' o - . �.� r•� w 814 Total Acres - 0Acres of Airport Property = 814 Acres of Future Acqusition USGS ©AND © 2013 Nokia i PriPIEDMONT TRIAD SITE DEVELOPMENT FIGURE INTERNATIONAL AIRPORT 2 s-2 Environmental Assessment ALTERNATIVE 1 Legend Site Alternative Airport Property —�. Existing Rail Line N W+E Feet 0 1,000 S r•� w 814 Total Acres - 0Acres of Airport Property = 814 Acres of Future Acqusition USGS ©AND © 2013 Nokia i PriPIEDMONT TRIAD SITE DEVELOPMENT FIGURE INTERNATIONAL AIRPORT 2 s-2 Environmental Assessment ALTERNATIVE 1 m �i NRHP Eligible Site 767 Total Acres - 0Acres of Airport Property = 767 Acres of Future Acqusition paiPe�� Service U z Legend Site Alternative Airport Property +� Existing Rail Line N Feet W+ E 0 1,500 s Legend Site Alternative Airport Property +� Existing Rail Line Master Plan Future -- Runways and Taxiway N WE Feet 0 2,000 S 709 Total Acres - 90 Acres of Airport90Acres of Airport Propert. = 619 Acres of Future Acqusition Layer NRHP Eligible Site Corporation © 20 PIEDMONT TRIAD Pri INTERNATIONAL AIRPORT SITE DEVELOPMENT FIGURE 2.3-4 Environmental Assessment ALTERNATIVE 3 a NX 000 r NN NRHP Eligible Site Corporation © 20 PIEDMONT TRIAD Pri INTERNATIONAL AIRPORT SITE DEVELOPMENT FIGURE 2.3-4 Environmental Assessment ALTERNATIVE 3 a Legend Site Alternative Airport Property +� Existing Rail Line IN E W+Feet 0 2,500 S r-11 6..J NRHP Eligible Site 373 Total Acres - 32 Acres of Airport Property = 341 Acres of Future Acqusition Eir- 49 f 446 Total Acres - 0Acres of Airport Property ' = 446 Acres of Future Acqusition PriPIEDMONT TRIAD SITE DEVELOPMENT FIGURE INTERNATIONAL AIRPORT 2.3-5 Environmental Assessment ALTERNATIVE 4 DRAFT t Actual impacts would be dependent on final site layout for the Proposed Project and would be equal to or less than the total wetland acreage. Note: "—" indicates that the evaluation of this criterion is not applicable as the alternative was eliminated in the prior screening level. Source: URS Corporation, 2013. TABLE 2.3-1 ALTERNATIVES SCREENING EVALUATION SUMMARY SAMMarketing0p_Wpro\12011299_Piedmont EA\Draft EA\Ch 2.docx 2-11 Piedmont Triad International Airport Environmental Assessment Site Development Alternatives Alternative Site 3 Alternative Site 4 Screening Level Screening Criteria No -Action Alternative Alternative Site 1 (Southeast) Alternative Site 2 (South) (Southwest) (Combination) Proposed Project The No -Action Alternative would LEVEL 1 Provide suitable sites GSO with airfield not satisfy the need for and Not optimum in regard to Not optimum in regard to Not optimum in regard to Not optimum in regard to The Proposed Project would fully Purpose and p n access for new aviation -related tenants? of the proposed land purpose p p accessibility, but would provide y p accessibility, but would provide y p accessibility, but would provide y p accessibility, but would provide y p meet Purpose and Need Need development and airfield suitable sites. suitable sites. suitable sites. suitable sites. improvement actions. Continue to Level 2 Evaluation? Yes Yes Yes Yes Yes Yes Constructing access taxiways to Constructing an access Alternative Site 1 would require Constructing an access taxiway to Alternative Site 3 The Proposed Project requires the the modification of existing taxiway to Alternative Site 2 from Taxiway A would require construction of a taxiway bridge over leases, if possible, for several would require construction of construction of an elevated Accessibility and operational a new section of 1-73, which is under Airfield operation practices, large aircraft manufacturing and an elevated taxiway bridge over West Market Street and taxiway bridge over West issues would be much the construction. The taxiway access taxiway systems, and/or facility repair facilities. The removal of over an adjoining railroad line Market Street and over an same as those described for necessary for the Proposed Project changes associated with the some buildings and facilities may on the southwest side of West adjoining railroad line on the Alternative Sites 2 and 3. would not affect airport tenants, Accessibility and operational issues Proposed Project would not p � be required. q Market Street. The southwest side of West Market Alternative Site 4 includes two hangars, or aircraft parking apron. occur if the No -Action Alternative Construction of access taxiways removal/modification of some Street. Depending on the final separate land development The Proposed Project includes the was implemented. There would p may be possible between aviation -related buildings and location and layout of the new y areas located on the southeast possible relocation of an existing p g be no accessibility issues and no several of the existing facilities; facilities may be required. access taxiways, the and southwest sides of the airport surveillance radar (ASR) land would need to be acquired. q however, taxiways at these Construction of a planned removal/modification of some airfield. Rail is available in facilityfrom its current location to a locations would impact several parallel runway would be aviation -related buildings and close proximity to the site. new location outside the proposed segments of the airfield drainage precluded. Rail is available in facilities may be required. Rail y q development area. Rail is available in p LEVEL 2 way system. Rail is available in close proximity to the site. is available in close proximity close proximity to the site. Operations and close proximityto the site. to the site. Constructability Land uses affected None Land southeast side of Runway Industrial and commercial land Industrial and commercial land Industrial and commercial land Commercial, industrial, and interim 5R/23L is fully developed with uses occupy most of the site. uses occupy much of the site. uses occupy most of the two recreational land uses occupy a aviation facilities and industrial Some residential land use Residential land use would be development sites. Residential portion of the site. Residential land sites. Residential land use would would be affected. affected. land use would be affected. use would be affected. be affected. Acres of land to be acquired (approximate) 0 814 767 619 787 415 Number of business parcels acquired 0 140 174 67 118 19 Number of residential relocations 0 113 4 217 46 21 Community Facilities 0 0 1 2 2 1 The No -Action Alternative The northern section of precludes planned airport Alternative 1 would not interfere Alternative 2 would not Alternative 3 encompasses Alternative 4 would not The Proposed Project site would not Potential interference with planned airport development that would meet the with planned airport interfere with planned airport land on which the east end of interfere with planned airport interfere with planned airport development demand for suitable on -airport development. development. future parallel runway would be development. development, as depicted on the land for aerospace and aviation- constructed. Airport Layout Plan (ALP). related development. Continue to Level 3 Evaluation? Yes No No No No Yes Floodplain involvement None -- __ __ Floodplain encroachment approximately 17.8 acres Waters of the U.S. None -- -- -- -- 10.4 LEVEL 3 Wetlands' 3.7 Environmental One NRHP eligible property Impacts Historic and archaeological impacts None -- __ __ (Campbell -Gray House and Barn). The potential to impact archaeological resources is considered low. DOT Section 4(f) impacts None -- -- -- -- None Retain for detailed analysis in EA? Yes No No No No Yes t Actual impacts would be dependent on final site layout for the Proposed Project and would be equal to or less than the total wetland acreage. Note: "—" indicates that the evaluation of this criterion is not applicable as the alternative was eliminated in the prior screening level. Source: URS Corporation, 2013. TABLE 2.3-1 ALTERNATIVES SCREENING EVALUATION SUMMARY SAMMarketing0p_Wpro\12011299_Piedmont EA\Draft EA\Ch 2.docx 2-11 Piedmont Triad International Airport Environmental Assessment DRAFT Alternative Site 1 would require the acquisition of approximately 814 acres of land with the following land uses: industrial, commercial, and residential. This alternative would displace approximately 140 business and 113 residential structures. The affected businesses include a wide range of entities, ranging from large manufacturers, suppliers, and distributors to small light industrial shops. This area also includes several commercial sites that include office space, retail shops, and a gas station. In addition to single- family residences, this alternative would also displace residences associated with a large apartment complex near the intersection of West Friendly Avenue and I-73 (Colonial Grand at Autumn Park). Alternative Site 1 would have substantial land acquisition and relocation impacts. The impacts would result from the acquisition of heavily developed land and the displacement of businesses and residential units. The need for substantial land acquisition would increase project costs and the time within which land could be made available to potential tenants who, as discussed in Chapter 1.0, typically need sites to be provided in a short time frame. Therefore, this alternative was not subject to further review and was eliminated from further consideration in this EA. 2.4.2 Alternative Site 2 (South) Development of Alternative Site 2 (Figure 2.3-3) would require the acquisition of approximately 767 acres of land adjoining the south side of GSO. This alternate site would be comparable in size to the Proposed Project site. Industrial and commercial land uses presently occupy approximately 537 acres of Alternative Site 2. The remaining Alternative Site 2 acreage consists of open, previously disturbed land. Airfield access for Alternative Site 2 would be provided through an access taxiway or taxiway connector to parallel Taxiway A serving the southwest side of Runway 4/32. Rail access to this site would be available via a connection to the Norfolk Southern Rail Line that parallel West Market Street. This alternative includes the acquisition of land, land clearing, and demolition of existing structures and facilities to allow development of taxiways, aprons, and aerospace -related hangars, buildings, and associated facilities. The location of Alternate Site 2 is depicted on Figures 2.3-1 and 2.3-3. The results of the screening process for Alternative 2 are presented in Table 2.3-1. 2.4.2.1 Purpose and Need Although not an optimum alternative with regard to airfield accessibility, Alternative Site 2 adjoins GSO and could be developed for aviation -related use. Therefore, Alternative Site 2 was retained for Level 2 analysis. 2.4.2.2 Operations and Constructability Issues Alternative Site 2 may require the removal/modification of existing aviation -related facilities. Development of Alternative Site 2 would require construction of an elevated taxiway bridge over West Market Street and an adjoining rail line. This same rail line could be utilized for development of a rail spur. Alternative Site 2 would require the acquisition of approximately 767 acres of land with the following land uses: industrial, commercial, and institutional land uses. This alternative would displace approximately 174 businesses. The businesses include a wide range of entities, ranging from large manufacturers, suppliers, trucking, and distributing centers to small light industrial shops. This area also includes several SAMMarketing0p_Wpro\12011299_Piedmont EA\Draft EA\Ch 2.docx 2-12 Piedmont Triad International Airport Environmental Assessment DRAFT commercial sites that include office space, retail shops, and a motel. The Guilford Juvenile Detention Center is located within Alternative Site 2 and would be relocated. Four residential buildings would be affected by the development of Alternative Site 2. When compared to the Proposed Project, Alternative Site 2 would have much greater acquisition and relocation impacts. The impacts would result from the acquisition of heavily developed industrial land and the displacement of existing businesses. This impact far exceeds those associated with the Proposed Project. Moreover, the need for substantially greater land acquisition would greatly increase the project costs and the time within which land could be made available to potential tenants. Therefore, this alternative was not subject to further review and was eliminated from further consideration in this EA. 2.4.3 Alternative Site 3 (Southwest) Development of Alternative Site 3 would require the acquisition of approximately 619 acres of land adjoining the south and west sides of GSO, which, when combined with land already owned by PTAH, would yield a site of approximately 709 acres (Figure 2.3-4). This site would provide less acreage for future development than the Proposed Project site. Industrial and commercial land uses on Alternative Site 3 occupy approximately 395 acres. The remaining Alternative Site 3 acreage consists of open, previously disturbed land. Airfield access for Alternative Site 3 would be provided through an access taxiway or taxiway connector to parallel Taxiway A serving the southwest side of Runway 14/32, or development of an access taxiway to the planned parallel taxiway on the northwest side of Runway 5L/23R. Rail access could be provided from the rail line located to the south of West Market Street. Alternative Site 3 could impact the RPZ for Runway 5L/23R. This alternative includes the acquisition of land, land clearing, and demolition of existing structures and facilities to allow development of taxiways, aprons, and aerospace -related hangars, buildings, and associated facilities. The location of Alternative Site 3 is depicted on Figures 2.3-1 and 2.3-4. The results of the screening process for Alternative 3 are presented in Table 2.3-1. 2.4.3.1 Purpose and Need Although not an optimum alternative in regard to accessibility, Alternative Site 3 adjoins GSO and could be developed for aviation -related use. Therefore, Alternative Site 3 was retained for Level 2 analysis. 2.4.3.2 Operations and Constructability Issues Alternative Site 3 provides a somewhat linear, irregularly-shaped development area, which is less efficient and attractive to potential tenants when compared to the Proposed Project. The development of the site would be further restricted by the planned extension of Runway 5L/23R and Taxiway H to the southwest as called for in PTAA's Airport Layout Plan and as shown on Figure 2.3-4. These extensions would shift the Runway Safety Area and instrument approach across the middle of the Alternative 3 site, which would effectively divide this portion of the site into two separate areas without any interior connection for moving aircraft between them. Due to these limitations, this alternative would have far less flexibility than the Proposed Project in meeting site than size and layout needs of potential aviation -related and aviation - allied tenants. SAMMarketing0p_Wpro\12011299_Piedmont EA\Draft EA\Ch 2.docx 2-13 Piedmont Triad International Airport Environmental Assessment DRAFT Alternative Site 3 may require the removal/modification of existing aviation -related facilities. Access to Taxiway A would require construction of an elevated taxiway bridge over West Market Street and an adjoining rail line. Alternative Site 3 would require the acquisition of land with existing commercial and industrial use and two community facilities (a fire station on W. Market Street and a regional transportation facility discussed below). This alternative would displace approximately 67 businesses. The businesses include a wide range of entities, ranging from large manufacturers, suppliers, trucking, and distributing centers to small light industrial shops. This area also includes several commercial sites that include office space and retail shops. A total of 217 residential structures would be affected by this alternative'. The Alternative 3 site would not only cause extensive displacement of private development but of a major public facility of the Piedmont Authority for Regional Transportation (PART), which provides regional bus service for the Piedmont Triad area. PART recently announced an $11 million project to construct an intermodal transportation facility and vehicle maintenance facility along West Market Street (between Arrow and Brush Roads), adjacent to PART's existing administration building. Construction of the facility will begin shortly with funding from the Federal Transit Administration and the N.C. DOT, and the project is scheduled from completion in late 2016. The PART facility is centrally located within Alternative 3, and the entire PART facility would have to be acquired and relocated for PTAA to assemble the Alternative 3 site. In addition to these displacements, Alternative 3 would disrupt a key component of PTAA's long-range plans for the development of the Airport. The northern section of Alternative 3 encompasses land on the east side of a future parallel runway, as contemplated by PTAA's current Airport Master Plan. The location for the runway and connecting taxiway, as depicted in Master Plan, is shown on Figure 2.3-4. The development of Alternative 3 would thereby prevent the fulfillment of the Master Plan and PTAA's ability to meet its long-term needs. As contrasted with the Proposed Project, the majority of which is now owned by PTAH, PTAA only owns 90 acres within the Alternative 3 site and would have to acquire the remaining 619 acres with a total tax value of approximately $181,871,800. This amount greatly exceeds the tax value of the land that PTAA still needs for the Proposed Project ($35,245,551). When compared to the Proposed Project, Alternative Site 3 has substantial development and operational issues, disadvantages, and restrictions. Alternative Site 3 would also have a much greater acquisition and relocation impacts. The impacts would result from the acquisition of developed industrial and commercial land and the displacement of residential buildings and businesses. This impact far exceeds those associated with the Proposed Project. Moreover, the need for substantially greater land acquisition would greatly increase the project costs and the time within which land could be made available to potential tenants. Therefore, this alternative was not subject to further review and was eliminated from further consideration in this EA. This count includes 217 units within a large residential complex that is now being constructed along Regional Road. These units have already been built and occupied as determined by a field survey. The approved plat for this development provides for construction of additional units. SAMMarketing0p_Wpro\12011299_Piedmont EA\Draft EA\Ch 2.docx 2-14 Piedmont Triad International Airport Environmental Assessment DRAFT 2.4.4 Alternative Site 4 (Combination/Non-Contiguous Sites) Alternative Site 4 consists of two non-contiguous parcels of land (Parcels A and B) (See Figure 2.3-1 and 2.3-5). The land associated with Alternative Site 4 — Parcel A totals approximately 446 acres and is located on the southeast side of Runway 5R/23L. Similar to Alternative Site 1, constructing access taxiways to Alternative Site 4 — Parcel A would require the modification of lease areas, if possible, for several large aircraft manufacturing and repair facilities. Depending on the final location and layout of the new access taxiways, the removal of some buildings and facilities may be required. The location of Alternative Site 4 — Parcels A and B are shown in Figures 2.3-1 and 2.3-5. Land associated with Alternative Site 4 — Parcel B is located to the southwest of Runway 4/32 and consists of approximately 373 acres. Of the 373 acres, 32 acres are already owned by the PTAA and 341 acres would be acquired for this alternative. Approximately 230 acres of Alternative Site 4 — Parcel B consists of open, previously disturbed land. Similar to Alternative Site 3, airfield access for Alternative Site 4 — Parcel B would be provided through an access taxiway or taxiway connector to parallel Taxiway A serving the southwest side of Runway 14/32. Development of the two Site 4 parcels would require the acquisition of approximately 787 acres of land. 2.4.4.1 Purpose and Need Although not an optimum alternative in regard to site access and land development issues, Alternative Site 4 — Parcels A and B could be developed to support future aviation -related tenants at GSO. However, limitations would be imposed, when compared to other alternatives, as to the maximum size of available site(s). Alternative Site 4 was retained for Level 2 analysis. 2.4.4.2 Operations and Constructability Issues Development of Alternative Site 4 — Parcel A would require the modification of leases and possibly the removal/modification of existing aviation -related facilities. Access taxiways could also impact airfield drainage ways. Airfield access for Alternative Site 4 — Parcel B would be provided through an access taxiway or taxiway connector to parallel Taxiway A serving the southwest side of Runway 14/32. Constructing an access taxiway to Alternative Site 4 — Parcel B would require construction of an elevated taxiway bridge over West Market Street and over an adjoining railroad line on the southwest side of West Market Street. Both Parcels A and B have rail access from the Norfolk Southern rail line. Depending on the final location and layout of the new access taxiways, the removal/modification of some aviation - related buildings and facilities may be required. As in the case of Alternative 3, Parcel B would be divided by the Runway Safety Area and instrument approach for the planned Runway 5L/23R and taxiway extensions, which would cut off the northern part of Parcel B from the rest of the site, thereby alternative Site 4 would require the acquisition of land with the following land uses: industrial, commercial, and residential land uses. This alternative would displace approximately 118 business and 46 residential structures (single-family residences and residential apartment buildings located near the W. Friendly Avenue and 1-73) and two community facilities, the fire station on W. Market Street and the PART facility discussed in Section 2.4.3.2). The businesses include a wide range of entities, ranging from large manufacturers, suppliers, and distributors to small light SAMMarketing0p_Wpro\12011299_Piedmont EA\Draft EA\Ch 2.docx 2-15 Piedmont Triad International Airport Environmental Assessment DRAFT industrial shops. This area also includes several commercial sites that include office space and retail shops. When compared to the Proposed Project, Alternative Site 4 would have much greater land acquisition and relocation impacts. The impacts would result from the acquisition of heavily developed land and the displacement of businesses and residential properties. Moreover, the need for substantially greater land acquisition would greatly increase the project costs and the time within which land could be made available to potential tenants who, as described in Chapter 1.0, typically need sites to be provided in a short time frame. Therefore, this alternative was not subject to further review and was eliminated from further consideration in this EA. 2.5 ALTERNATIVES RETAINED FOR DETAILED ANALYSIS 2.5.1 Proposed Project The Proposed Project would improve previously disturbed and existing developed parcels of land collectively located immediately adjacent to and northwest of the GSO airfield (see Figure 1.2-2). These land areas would be improved to provide approximately 972 -acres of land suitable to accommodate existing and anticipated future demand for aviation -related and aviation -allied activities. As a part of the development detailed above, the Proposed Project would also prepare approximately 100 acres of land located southeast of Runway 5L/23R for development of a rail spur or transfer facility. A detailed description of the Proposed Project is provided in Section 1.2 of this EA. The results of the preliminary screening evaluation for Proposed Project are presented in Table 2.3-1. 2.5.1.1 Purpose and Need The Proposed Project would have airfield access from the proposed parallel Taxiway G that would serve the northwest side of Runway 5L/23R. Access to a portion of the development area would be provided by a proposed access taxiway and taxiway bridge over a new section of 1-73 (under construction). The Proposed Project would provide suitable sites at GSO for new aviation -related development. Because the Proposed Project met the Purpose and Need criteria, it was subjected to the Level 2 screening evaluation. 2.5.1.2 Operations and Constructability Issues The Proposed Project requires the construction of a taxiway bridge over a new section of 1-73, which is under construction. The taxiway access necessary for the Proposed Project would not affect existing airport tenants, hangars, or aircraft parking aprons. As part of the Proposed Project, a rail spur or transfer station would be constructed that provides access to the Norfolk Southern Railroad tracks located to the south of West Market Street. A rail spur would be constructed to provide access to the development site northwest of Runway 5L/23R.The Proposed Project would require the relocation of an existing ASR facility from its current location to a new location outside the proposed development area. SAMMarketing0p_Wpro\12011299_Piedmont EA\Draft EA\Ch 2.docx 2-16 Piedmont Triad International Airport Environmental Assessment DRAFT The Proposed Project would require the acquisition of 415 acres of land with the following land uses: industrial, commercial, recreation, and residential land uses. This alternative would acquire approximately 19 parcels of business property, 27 residential properties, and one community facility. The businesses include a construction company, small light industrial shops, and several commercial sites that include office space and retail shops. The Proposed Project would not interfere or conflict with planned airport development projects. Overall, site access could be provided to the north side of GSO with minimal impact on existing facilities and little effect on airport operations. Although the Proposed Project would require the acquisition and displacement of businesses and residences, the relatively low number of displacements, when compared to the other alternatives evaluated, was not considered unreasonable. Further, the Proposed Project would be compatible with GSO development plans. Therefore, the Proposed Project was retained for Level 3 screening evaluation. 2.5.1.3 Environmental Impacts Floodplain involvement — The Proposed Project would impact approximately 17.8 acres of floodplains (Zone A-E). Wetlands — The Proposed Project development site contains approximately 10.4 acres of Waters of the U.S., of which approximately 3.7 acres are wetlands. The design of the site and subsequent aviation - related facilities would seek to avoid wetlands to the greatest extent practicable2. Historic and Archaeological Resources — No historic, cultural, or archaeological resources listed in the NRHP are located within the Proposed Project development site. One NRHP eligible property, the Campbell -Gray House and Barn, is located adjacent to the parcel of land designated for development of the rail transfer station. This property is located south of West Market Street and west of Regional Road. Because the property was considered eligible based on architecture and adjoins other industrial properties, adverse effects on this property are not anticipated. Discussions with the State Historic Preservation Officer (SHPO) indicate, based on other surveys in the vicinity of the Proposed Project, that there is low potential to affect archaeological sites. DOT Act Section 4(f) Resources — The Proposed Project will require closure of the Pleasant Ridge Golf Course, located in the northwest corner of the development site. The golf course was purchased by PTAA from a private owner for airport expansion and the golf course has remained in operation solely on an interim basis pending its closure by PTAA to develop the property for its aviation use. Therefore, the golf course is not a Section 4(f) resource and is not subject to the provisions of Section 4(f) of the DOT Act. The Proposed Project would not directly impact any Section 4(f) resources. 2 Based on the final site layout developed by the PTAH, actual impacts may be less. Wetland impacts would also depend on site development needs by tenants, reasonably available avoidance and minimization measures, and permit approvals. SAMMarketing0p_Wpro\12011299_Piedmont EA\Draft EA\Ch 2.docx 2-17 Piedmont Triad International Airport Environmental Assessment DRAFT 2.5.2 No -Action Alternative In accordance with the requirements of CEQ and NEPA, the No -Action Alternative was evaluated for a basis of comparison with other alternatives. The No -Action Alternative would not involve any runway development, taxiway, land clearing, or other construction activities associated with the Proposed Project or its alternatives. 2.5.2.1 Purpose and Need The No -Action Alternative would not provide sufficient land with airfield access for new aviation -related development, would not provide development opportunities for use of idle land at GSO, and would not expand the capabilities of the airport to meet future aviation -related needs. Therefore, this alternative would not satisfy the Level 1 evaluation criteria. However, the No -Action Alternative was retained for further consideration in Level 2 of the alternatives screening process. 2.5.2.2 Operations and Constructability Issues Airfield operation practices, taxiway systems, and/or facility changes associated with the Proposed Project would not occur if the No -Action Alternative was implemented. Therefore, there would be no accessibility issues and no land would be acquired. 2.5.2.3 Environmental Impacts The No -Action Alternative would not involve any construction and would have no impact on wetlands, floodplains, historic and archaeological resources, DOT Act Section 4(f) resources, or protected species. Although the No -Action Alternative did not satisfy the Purpose and Need for the project, the alternative was retained for detailed evaluation in the EA to meet the FAA's NEPA requirements and CEQ regulations. S:\BD\Marketing\Wp_Wpro\12011299_Piedmont EA\Draft EA\Ch 2.docx 2-18 Piedmont Triad International Airport Environmental Assessment DRAFT CHAPTER 3.0 AFFECTED ENVIRONMENT This chapter provides a description of baseline physical and natural conditions and the human environment within Guilford County and discrete study areas established for this Environmental Assessment (EA). For the purposes of describing the baseline conditions, the following study areas were developed. For environmental considerations that deal with broad, indirect impacts and issues, a Generalized Study Area (GSA) was established. The GSA includes a geographic area in which certain potential impacts (e.g., socioeconomic and cumulative) may affect the surrounding community. The GSA is illustrated in Figure 3.0-1. A Detailed Study Area (DSA) was established for environmental considerations that deal with direct impacts, such as land disturbance or construction. Direct impacts could affect stream channels, floodplains, protected species, and biotic communities. The DSA includes an area of approximately 1,285 acres and is illustrated in Figure 3.0-2. The DSA does not include the right-of-way for the proposed Interstate 73 (1-73) Connector planned for construction by the North Carolina Department of Transportation (NCDOT). The environmental baseline characteristics and potential environmental impacts associated with construction of this roadway were addressed in the 1-73 Connector EA (NCDOT, 2012). In addition to the above, an Area of Potential Effect (APE) was established for the evaluation of visual/viewshed impacts to listed or potentially eligible National Register of Historic Places (NRNP) properties within the DSA. The APE encompasses an area extending approximately 0.5 mile from the DSA boundary. The APE is shown on Figure 3.7-1. Resource Cateqories Not Affected All environmental impact categories in Federal Aviation Administration (FAA) Order 1050.1 E: Environmental Impacts — Policies and Procedures, Appendix A and subcategories outlined in Airports Environmental Desk Reference were considered for applicability in defining/establishing the affected environment for the Proposed Project. The applicability evaluation revealed that some resource areas are either not present or would not be measurably impacted by the Proposed Project. Those resources that were determined not present or not measurably impacted by the Proposed Project are listed below along with a brief explanation of the basis upon which this determination was made. Coastal Zone Management/Coastal Barriers — No coastal zone resources occur within the GSA. The Piedmont Triad International Airport (GSO) is located more than 150 miles from the North Carolina coast. Farmlands — Coordination with the Natural Resources Conservation Service (NRCS) Greensboro Service Center District Conservationist, confirmed that no prime or unique farmlands occur within the DSA. SAMMarketing0p_Wpro\12011299_Piedmont EA\Draft EA\Ch 3.docx 3-1 Piedmont Triad International Airport Environmental Assessment QURKF_R HuN ppf £k' Rd WOODLAND HII s BRITISH WO `� • T FRIENOI •FiRENDEr e + S dyes • _ y a �4 l it i.w ESTRIDGE i}{E16H OLD RI GE'' LS' JEFiERSON GARDENS r .�� - HA ILTON u ', .Y ' fid•" FOREST •{ QUAKER RD - HAMILTON FOREST • a _ HAMILTON LIKES yd,., - MAa H .. - smn Ad �•'f a r ♦ E �� I -' a� .sr. .+ .N'� L WOODS' Harndmn HAMILTON HMS DOWNS .. Parks TjTARn � 7 W J,lyllK ST R - • � ` f/R1�D5W000 - $wDOrF BR� � �� 3 � - 1 -r f �.N '1• 'HIGHLAND ARK _ RIVER LANDING AT $AN'Y RIDGE 9 6 Ra. LEGACY AS SA NDT RID E - a Y• a THE THIO KIT _ r 71<. . ' I .T rRRi COTTAA _ �CEPOMONA .. ALDFRIROON ! 1' w.Fe /Le •� .:.Hewer, AREA 1 ,LRLNjEAsk.� �" .-�NT.ia^peP []a'fi5 ASHTON S}.tion Iv V HD NTER HILLS L]LLIEFTEL❑ 1-„k UaKstt �' C a7! .. - II WALNU WALNUT CREEK. T. + V R Du ARES '• I �LATHY LATH r COVENTOAKSWEST DENS AT DEEP RNER FZAN DOM WOOS FRIRVIEI� GkFVSTO NE HIG LAN _ TR - HOMES - RI - 'TkRPPE45 RUN VI [EN PF r1T1Me4RI8 E PENINSULAAT J SEECHC _ • ROFT �I - M.ff"ADOW _." "-" - SOIfFH ~ MORRIS FARM LANDING •. N ,M VALLEY $f •.�••. to - $HnREwooD OAK HOLLOW _ JAMESP wS • •41 CAMOEY PARK 81 Wnl F H[Ef o r HAMPTON' F De R(] PARKSIDE AT s M nIV NOTTING NAM 9 OGeneralizedStudy PAR. iEERF1ELO M" LOW r,ns�., g ATES CA �Pt.ANTATIDN - BAT 3 HICKSWObD F.vk N� ODetailedStudy Area - LIKE FOREST FOREST - THE C TTAGES -J[Ik •!c� ..y ESTATES -^ MEAbOWRIDGE>�Sources 1 13 usnm DOWNS l.,r„�s tfn•,�, . calk •,_ E Fo �P r Paik.r TANT kD OAc .•. 1 WECT&ENO A 'y _ - $ARRINGTON �rNr:1[x"4. 1 I 8,000 IOOpv SHORES E EST `TES lnrAwi„i•i•I.� •c'-_ a DRAFT Wild and Scenic Rivers — Five National Wild and Scenic Rivers are located within North Carolina including the Chattooga River, Horsepasture River, Lumber River, New River, and Wilson Creek. Review of the National Wild and Scenic Rivers System Map (www.rivers.gov) confirms that none of these rivers are located within the vicinity of GSO. Since the above resources are either not present or not measurably affected by the Proposed Project, they are not evaluated in detail in this EA. 3.1 AIR QUALITY This section presents information on existing air quality conditions for the Piedmont Triad area, including the GSA. Included is a brief summary of local air monitoring data; an explanation of the current regulatory status of local air quality conditions with respect to federal air quality criteria; and a discussion of state, regional, and local efforts to manage air quality in this area of North Carolina. Additional details can be found in Appendix B, Air Quality. 3.1.1 Regulatory Summary The regulation and management of ambient (outdoor) air quality conditions in the Piedmont Triad area are shared by a variety of federal, state, regional, and local agencies. The United States (U.S.) Environmental Protection Agency (EPA) and the North Carolina Department of Environment and Natural Resources (NCDENR) have regulatory authority over air quality issues in North Carolina, the Piedmont Triad area, and Guilford County, where GSO is located. The EPA sets the guidelines, policies, and standards under the federal Clean Air Act for protecting air quality conditions across the country. On the state level, the NCDENR Division of Air Quality (DAO) serves to ensure that these guiding principles are met and carried out throughout North Carolina. 3.1.2 Criteria Air Pollutants The EPA has established National Ambient Air Quality Standards (NAAQS) to protect public health, the environment, and the quality of life from the detrimental effects of air pollution. The standards have been set for the following criteria pollutants: carbon monoxide (CO), lead (Pb), nitrogen dioxide (NO2), ozone (03), particulate matter (PM10 and PM2.5), and sulfur oxides (SOx). The NAAQS primary standards (designed to protect human health) and secondary standards (designed to limit environmental effects such as damage to property, plants, visibility, etc.) are contained in Table B-2 of Appendix B. Exceeding these standards would trigger reporting, mitigation, and other requirements established by the EPA and NCDENR. The NCDENR has adopted these same standards and added its own standard for total suspended particulates (TSP) 3.1.3 Air Monitoring Data The NCDENR DAQ operates several ambient air monitoring sites in the Piedmont Triad area and Guilford County as part of its state and local air monitoring programs. These stations are intended to sample and record outdoor levels of the EPA criteria air pollutants discussed above. There are two air monitoring stations located in Guilford County. Table B-3 of Appendix B contains the detailed information and data SAMMarketing0p_Wpro\12011299_Piedmont EA\Draft EA\Ch 3.docx 3-4 Piedmont Triad International Airport Environmental Assessment DRAFT from these monitoring sites including the site locations, distance, and direction from GSO, the pollutants measured, and the highest recorded levels in 2012. No air monitoring stations are located directly on, or adjacent to, GSO. Based on the monitoring data, the highest recorded 8 -hour 03 concentration in 2012 was 0.087 parts per million (ppm) at the Willoughby Avenue site which is located approximately 7.7 miles east of GSO. This value is above the NAAQS, as is the 3 -year design value for 2010-2012; however, EPA has not made new non -attainment areas for Guilford County based on this information. The previous designation of attainment was conducted using 2008-2010 data. All of the measured concentrations for other criteria pollutants in the vicinity of GSO for 2012 were below the standards, including a maximum of 20.7 micrograms per cubic meter (pg/m3) for the 24-hour PM2.5 standard for the Willoughby Avenue location. 3.1.4 Attain ment/Nonattainment Status Based on air monitoring data and in accordance with the Clean Air Act Amendments of 1977, all areas within the State of North Carolina are designated with respect to the NAAQS as attainment, nonattainment, maintenance, or unclassifiable. The current attainment/nonattainment designations for the Piedmont Triad area are summarized in Table B-4 of Appendix B. Guilford County is currently designated as attainment for the criteria pollutants 03, CO, NO2, SOx, PM10, and Pb and maintenance for PM2.5. In April 2004, the EPA designated Guilford as non -attainment for 8 -hour 03. However, the Greensboro Urban Area (GUA) Metropolitan Planning Organization (MPO) had previously entered into an agreement in 2002 with EPA, known as the Early Action Compact (EAC). The compact pledged the County would meet the standard earlier than required by meeting certain criteria and milestones. As a result the County's nonattainment status was deferred until December 31, 2007, the date on which all milestones were to be met. On April 15, 2008, Guilford, along with other Piedmont Triad counties, was designated as attainment for the 8 -hour 03 for successfully meeting all requirements. Effective, April 15, 2009, the Triad area no longer had to demonstrate conformity for the 8 -hour 03 standard. The County was also designated non -attainment for PM2.5 along with Davidson County on April 5, 2005 [EPA, 70 Federal Register (FR) 944]. Although, Guilford County air quality monitors were not exceeding the federal standard, EPA still designated the area nonattainment. However, due to improved monitoring data, this area was re -designated as maintenance for the PM2.5 standard on December 19, 2011. As a result of the PM2.5 maintenance designation, the MPO must show that projects in the Metropolitan Transportation Improvement Program (MTIP) and Long Range Transportation Plan (LRTP) will not exceed federal standards. The formal name for this process is known as Air Quality Conformity Determination. 3.1.5 State Implementation Plans Because portions of the Piedmont Triad area did not previously meet the 1 -hour 03 NAAQS, NCDENR developed a State Implementation Plan (SIP) to help ensure that violations of the standards would no longer occur. The SIP is the cumulative record of all air pollution control strategies, emission budgets, SAMMarketing0p_Wpro\12011299_Piedmont EA\Draft EA\Ch 3.docx 3-5 Piedmont Triad International Airport Environmental Assessment DRAFT and timetables implemented or adopted by government agencies within North Carolina to bring nonattainment areas into compliance with the NAAQS. In support of the change in designation from nonattainment to attainment/maintenance for 1 -hour 03, NCDENR prepared an emissions inventory for the GreensboroMinston-Salem/High Point nonattainment area. This inventory, prepared for and approved by the EPA, called the SIP or Maintenance Plan, projects emissions of NO,, and volatile organic compounds (VOCs) through 2015. Since the Piedmont Triad area met the EAC, it no longer requires a SIP for 03; however, it still needs a Maintenance SIP for PM2.5- On December 22, 2010, the DAQ submitted to the EPA a Supplement to the Hickory and Triad areas' maintenance plan for PM2.5, revising the emission budgets for transportation conformity purposes using the new EPA mobile model Motor Vehicle Emission Simulator (MOVES). NCDENR is currently waiting on EPA's review and approval of this new plan. If NCDENR does not comply with the requirements and time frames of the SIP, this could result in federal sanctions for roadway and other infrastructure projects in the Piedmont Triad area. 3.1.6 Transportation Improvement Program Another requirement for nonattainment areas under the Clean Air Act is the formal demonstration that the surface transportation networks, including the roadway and transit systems, conform to the goals and objectives of the appropriate SIP. In the Greensboro area, the MPO is the agency responsible for making this demonstration. To meet this requirement, the MPO prepared, and has submitted for public comments, the 2008-2012 MTIP, which is part of the 2035 LRTP for the GUA. The conformity analysis concludes that the GUA LRTP and 2008-2012 MTIP conforms to the North Carolina PM2.5 SIP. The MPO is developing the next MTIP for years 2012 to 2018. The development includes an amendment to the LRTP and an updated Air Quality Conformity Determination Report. The MPO's Transportation Advisory Committee approved the 2012-2018 MTIP at its August 24, 2013 meeting. Based on the latest population, employment, and traffic assumptions and using computer modeling of traffic and air quality conditions, the MPO has demonstrated that both the TIP and the LRTP for Guilford County conform to the North Carolina PM2.5 SIP. 3.1.7 Sources of Airport Air Emissions Most airports (including GSO) generate air emissions from the following general source categories: aircraft; ground service equipment (GSE); motor vehicles traveling to, from, and moving about the airport site; fuel storage and transfer facilities; a variety of stationary sources (e.g., steam boilers, back-up generators, etc.); an assortment of aircraft maintenance activities (e.g., painting, cleaning, and repair); routine airfield, roadway, and building maintenance activities (e.g., cleaning, painting, and repair); and periodic construction activities for new projects or improvements to existing facilities. Table B-5 of Appendix B provides a summary listing of these sources of air emissions typically found at airports, the pollutants they emit, and their characteristics. SAMMarketing0p_Wpro\12011299_Piedmont EA\Draft EA\Ch 3.docx 3-6 Piedmont Triad International Airport Environmental Assessment DRAFT 3.2 COMPATIBLE LAND USE An inventory of existing land use configurations and characteristics is necessary to assess compatibility issues in the GSA associated with the Proposed Project. Existing land uses (by zoning categories) within the GSA are illustrated on Figure 3.2-1. The area of each land use type was determined using recent GIS data and is presented in Table 3.2-1. The GSA contains land within the City of Greensboro, the City of High Point, as well as unincorporated area within Guilford County. TABLE 3.2-1 LAND USES WITHIN THE GENERALIZED STUDY AREA Land Use Category Acres Agricultural 2,025 Airport 3,632 Commercial 1,170 Industrial 4,339 Multi -Family Residential 530 Transient Residential 49 Single -Family Residential 10,403 Mobile Home 9 Recreational 248 Institutional/Community Facility 2,374 Vacant Land 312 Road Right -of -Way 2983 Total 28,074 Source: Guilford County Geographic Information System (GIS), 2013. 3.2.1 Northern Portion of GSA The majority of the land use within the northeast portion of the GSA is single-family residential. Recreational areas associated with the Lake Higgins reservoir and trails also are located northwest of GSO. Single-family residential and agricultural land uses uses are most common in the northwest area of the GSA. 3.2.2 Central Portion of GSA The eastern portion of the GSA is within the City of Greensboro city limits. The City of Greensboro boundary extends along the south side of 1-40 to the west. The City's boundary extends northward, east of Pleasant Ridge Road, to approximately Caindale Drive, west of the recently completed Runway 5L/23R at GSO. A variety of land uses are included within this area. Land use to the east of GSO is primarily single-family and multi -family residential with scattered commercial and institutional/community facilities. South of GSO and within the City of Greensboro limits, land use is predominantly industrial and commercial. NC 68 bisects this section of the city. Some areas of single-family residential are also located west of GSO within the city's limits, east of Pleasant Ridge Road and north of Market Street. SAMMarketing0p_Wpro\12011299_Piedmont EA\Draft EA\Ch 3.docx 3-7 Piedmont Triad International Airport Environmental Assessment d ..1 .. l ¢ F �? 0 BRAN OT TRA BRUISH WO( 3 FRIENDL FRIENDLY ACijES 0� r HFEsrF �r ri FO �• GREEN VA VALLEY /J� E CARRIAGE HILLS - � jurgA$ON 10 GARDENS � HkmILrON FOREST _Y •'� - - RO HxMI LrON FOREST A GF -- r- Iw. MAD. IND AREA WOODS Harihon I 1 --`l� HAMILTON HILLS L"k- $ f / Pak r St FRI I-05WOOD Wµ wet St ' I' �//�• 3 vE I HIGHIAN❑�RRE I RIVER ... -'R71 oJ"a 7: b' ( ? THE THICKET y 2 .__ -7 '(�__ • TERRA CO"A�! _-. 1.3 ■PL— C ovE �R GARDENS RT D 6R I {i "Oly 051'; TIM R CENTRE _ MERnow' AN GROVE ' SOL H VALLEY JO !//I , CAMD6 PARK HxN(p E '-• F de -Riv PAR KSIDE AT ❑N PARE Lin. � ` E NOTEING HRM EERFIELD CREEKWOOD g POINTE PETERS COVE HOLLOW Li6eoi. ESTATES CAROL PLANTATION yRJ WE FOREST BRW HICKSWOOD Park N FOREST • OAKVIEW THE COTTAGES MEADOWRIOGE - ESTATES Uak Ha(Inn ` Q= AUSTIN Dtn nS �' ' F r TANTRkD 6RE � •, - � ODDY SHORES fl ESTATES 'v. PIPERS AV B ENRIDGE (LLIAMSAURG R ..,OFN.{ NORTH EARESIOE _ ESTATES 1 ♦ .LIFY - 5 PARk F Oak ENGus" WOOD H"ORW c� L THE ARBORS EIGHTS 6111 i F.ElA DRAFT 3.2.3 Southern Portion of GSA The GSA extends southward to the northeast portion of Oak Hollow Lake. The City of High Point, as well as unincorporated area of Guilford County, are located within this area of the GSA, south of GSO and 1-40. The majority of land use within this area is agricultural and single-family residential. This area also includes institutional/community facility, commercial, industrial, and road right-of-way land uses. 3.2.4 Land Use within the DSA Approximately 67 percent of the land within the DSA is owned by the Piedmont Triad Airport Authority (PTAH). Industrial land uses comprise the next largest portion, about 20 percent of the total area. As shown on Figure 3.2-2 and according to GIS data available from Guilford County, the remaining land within the DSA includes residential, road right-of-way, institutional/community facility, and commercial land uses. A summary of the type and extent of land uses within the DSA is provided in Table 3.2-2. TABLE 3.2-2 LAND USES WITHIN THE DETAILED STUDY AREA Land Use Category Acres* Airport 867 Commercial 9 Industrial 261 Residential 69 Institutional/Community Facility 1 Road Right -of -Way 78 Total 1,285 Source: Guilford County GIS, 2013. * Numbers may not add due to rounding. 3.3 DEPARTMENT OF TRANSPORTATION SECTION 4(f) AND DEPARTMENT OF INTERIOR SECTION 6(f) RESOURCES Section 4(f) of the Department of Transportation (DOT) Act [codified at 49 U.S. Code (U.S.C.) Section 303(c)], provides protection for special properties, including publicly -owned parks, recreation areas, wildlife and waterfowl refuges, or any significant historic sites. Protection also applies to cultural resource sites listed in, or eligible for listing in the NRHP. Section 4(f) states that approval will not be granted for any proposed federal action that requires the use of any these special properties unless there is no feasible and prudent alternative to the use of such lands, and the project includes all possible planning to minimize harm to the resource resulting from such use. The Land and Water Conservation Fund Act (LWCF) provides monies to federal, state, and local governments to acquire land, water, and conservation easements on land and water for the benefit of all Americans. The LWCF, as amended, and 16 U.S.C., Section 460/-8(f)3, more commonly referred to as Section 6(f), requires that all properties receiving LWCF assistance for planning, acquisition, or development be perpetually maintained for public outdoor recreation use. The act requires, in part, that: "No property acquired or developed with assistance under this section shall, without approval of the Secretary of the Interior, be converted to other than public outdoor recreation uses." SAMMarketing0p_Wpro\12011299_Piedmont EA\Draft EA\Ch 3.docx 3-9 Piedmont Triad International Airport Environmental Assessment Ltd, PSMA © 201 E is Legend 0 Generalized Study Area Q Detailed Study Area Land Use 0 Airport D Single Family Residential IIM Commercial 0 Industrial D Institutional/Community Facility Utility/Right of Way Sources: Guilford County GIS, 2013 URS Corp, 2013 N W Feet +E 0 2,000 S PIEDMONT TRIAD PT/, INTERNATIONAL AIRPORT EXISTING LAND USE WITHIN FIGURE THE DETAILED STUDY AREA 3.2-2 Environmental Assessment a DRAFT There are no Section 4(f) or Section 6(f) resources located within the DSA. There are 14 potential Section 4(f) resources located within the GSA. Section 4(f) resources were identified based on the review of National Environmental Policy Act of 1969 (NEPA) documents prepared for previous GSO development activities. City of Greensboro and Guilford County websites, and coordination with the North Carolina Department of Cultural Resources, North Carolina State Historic Preservation Officer (SHPO). Table 3.3-1 provides a brief overview of each potential Section 4(f) site within the GSA. These sites are depicted on Figure 3.3-1 by the corresponding numbers shown in Table 3.3-1. TABLE 3.3-1 POTENTIAL SECTION 4(f) RESOURCES WITHIN THE GSA Site Maintained/ Number' Name Acres Amenities Operated By Greensboro Trails: 7e City of 1 Bald Eagle Trail, Beech Bluff mille s Hiking trails Greensboro Trail, Lake Higgins Trail 2 Lake Higgins Municipal 226 Fishing pier, marina, City of Reservoir and Marina kayak/canoe rental Greensboro Carolyn S. Allen Community Four softball/baseball City of 3 Park & Athletic Complex 38 fields with Greensboro stands/concession 4 Leonard Recreation Center 29.25 Baseball, soccer, gym, City of playground Greensboro 5 Western Guilford High School n/a Baseball, soccer, Guilford County football, open fields 15.1 Guilford County & 6 Bicentennial Greenway Miles Greenway City of Greensboro 7 Southwest Guilford Elementary n/a Gym, baseball, open Guilford County School field 8 Southwest Guilford Middle n/a Gym, baseball, open Guilford County School field 9 Southwest Guilford High School n/a Gym, track, baseball, Guilford County football 10 North Johnson Street Sports 26 Baseball, playground, City of High Point Complex picnic Shelters, game room, 11 Deep River Recreation Center 24 softball fields, athletic City of High Point field, baseball, indoor gymnasium 12 Kernodle Middle School/Allen 36 Baseball/softball, picnic Guilford County/ y of Park shelters, soccer Greensboro 13 Guilford Elementary School 33 Open field Guilford County 14 Campbell -Gray House and Barn 6 House and barn Guilford County Note: 1 Site number located on Figure 3.3-1. Sources: City of Greensboro, 2012; City of Greensboro GIS, 2013; Guilford County, 2012a; and Guilford County GIS, 2013. SAMMarketing0p_Wpro\12011299_Piedmont EA\Draft EA\Ch 3.docx 3-11 Piedmont Triad International Airport Environmental Assessment o .. .... .... . o . 0 SAA r#ield HI . Oak-RKIpR . v QUAKER Ru- . . £�• Rd ." WOO NO HII', - 1C15Pph AIB �,i�" OPLECREEK BRITISH WO FRIENOI T + FRIENDLY S Ar ES i U - m[n[ � ESYREDGE HEIGXhj' --�• Airyprt RI E GA!!N V, ALL ET - DGE CARRIAGE HI LS' . 1EFiERSON GARDiNS .. ,m .,FOREST - ']! •. w RD HAMILTON FOREST EG! - - ■ r - - _ .. • ryf - j 'f HAMILT*N LAKES R • I Aao• • i - �� dr.rr Mari N W000s'I� Haminnn man im - q �A ••, HAMILTON HILLSLake Parks STARn FF(wkeR DOWNS . Fol f G •�� - $AbOIE BRO� � OF � � � a 1 .r _- • • r._ RIVER LANDING AT SANDY RIDGE Rry LEGACY AT SANDY RI❑ EI r f • ALDFRgROON t _ •I A5HTON LJLLIEFiELD {� r .� •'r3r r OAKS m WALNUT CREEKe _ i-.._ r PAR AY: �: LE A[RF 9 VPL • • F P IER, COVENT r GARDFrv' AY DEE. RIVER A ww CEP I HIG . GRFvSTON� •� + 'w I 'TRAPPERS , ERD RUN • RI NIR[ PENINSULA A IANOiNG -"_-- - . . - MEADOW FOUn'. AIN GROVE SO—Hr MORRIS FARM Fill VALLEY SIinRFWDOO 4"K HOLLOW - 1MMEsSF'ORS ._ CAMOEY PARR i�iLIlF FS j PA HA De Rig N N DEEREIiI❑ PARK - KWOOD POI RTll CARDL �£ BAY HI PLANTATION _.-OREST ��� 16 LAKE FOREST F - � FOREST M' 1 THE COTTAGES OW MEADOWRIOG€� Dow OW 5 CIAKVILW ESTATES (?ak aallCx ', '• VSTIN DowNs _' {•III Palk n� E Fo MIR R. ".. 'ANY OA Park, WEST$EN0 p SARRINGTON NI'i[v' 'i.4 . 7pV - a �Y Of17v SNORES _ ESTATES '•' d 1 i Ii•I•IIIi.i DRAFT A privately -owned golf course north of GSO was previously acquired by the PTAA with the intent to develop the property for future airport expansion. The property is designated for future airport expansion in the current Airport Layout Plan (ALP). The property is leased to a private operator to permit interim operation as a golf course until the golf course is closed by PTAA to develop the land for its aviation use. This lease may be terminated at any time by PTAA. There are no sites within the GSA that were identified as Section 6(f) resources. 3.4 FISH, WILDLIFE, AND PLANTS This section describes the biotic communities (general habitat types) within the DSA and discusses threatened and endangered species. 3.4.1 Biotic Communities Biotic communities within the DSA were evaluated through aerial photography and field observations. The analysis of existing land cover identified four principal cover types within the DSA: urban and developed land (commercial and residential development and associated paved roads), recreational (golf course), open field, and disturbed forested communities. The following sections describe the land cover within the DSA. Figure 3.4-1 illustrates the land cover type within the DSA and Table 3.4-1 identifies the acreage of biotic communities with the DSA. Wetlands are described in Section 3.11 of this EA. 3.4.2 Threatened and Endangered Species Previous NEPA studies performed at GSO as part of the 2001 Final Environmental Impact Statement (FEIS) (FAA, 2001) and the Runway 5R Safety Area Improvements EA (FAA, 2007) provided a thorough evaluation of threatened and endangered species on or in the vicinity of GSO. For this EA, data collected in support of the previous NEPA documents were reviewed to identify any threatened, endangered, special concern, or candidate species that might occur within the DSA, as well as a review of the current county lists prepared by the U.S. Fish and Wildlife Service (FWS) and the North Carolina Natural Heritage Program (NCNHP) of the NCDENR, to determine if any species or their habitat have been documented within the DSA. According to correspondence with the NCNHP, dated July 15, 2013, the project site does not contain any records of rare species, natural communities, significant natural areas, or conservation/managed areas (Appendix C). Based on search of the FWS database, the project site does not contain any formally designated critical habitat (FWS, 2013a). Table 3.4-2 identifies the federally -protected species listed for Guilford County. Based on the review performed as part of this EA, it was determined that habitat for one federally -listed species, Small whorled pogonia (Isotria meleucocephalus), may exist within the DSA. A brief description of this species' habitat requirements follows. Correspondence from the FWS dated July 11, 2013 states the project is not likely to affect any federally -listed or endangered species, their formally designated critical habitat, or species currently being prepared for listing at these sites. SAMMarketing0p_Wpro\12011299_Piedmont EA\Draft EA\Ch 3.docx 3-13 Piedmont Triad International Airport Environmental Assessment 4 . I Legend Q Detailed Study Area Type Developed -Com mercia I/ Industrial Oak -Hickory Forest Virginia Pine Forest Yellow Poplar - Sweet Gum Lowland Forest Mixed Hardwood Pine Sere Forest Disturbed Open Field Developed -Recreational Developed -Residential Developed -Paved Road Forested Wetland Open Water Sources: - ESRI, 2013 URS Corp, 2013 N Feet W+E 0 2,000 S PIEDMONT TRIAD PT! INTERNATIONAL AIRPORT BIOTIC COMMUNITIES WITHIN FIGURE THE DETAILED STUDY AREA 3.4-1 Environmental Assessment a DRAFT TABLE 3.4-1 BIOTIC COMMUNITIES WITHIN THE DSA Biotic Approximate Community Description Acreage This area is found in the western portions of the DSA, along Developed Caindale Drive and Regional Road North. This land consists Commercial/ primarily of business offices, commercial warehouses, and paved 145 Industrial parking areas. Some landscape trees, shrubs, and maintained lawn occur in this area. This area is found in the eastern portion of the DSA along Old Oak Ridge Road, Pepperdine Road, Windy Hill Drive, College Lakes Developed Drive, and Valley Lake Drive; within the central portion of the DSA Residential along Caindale Drive, Hollandsworth Drive, and Calico Drive; and 84 along the northern portion of the DSA along Pleasant Ridge Road. These residential areas consist of single-family homes with maintained lawns and various landscape trees and shrubs. This area is found within the northwest portion of the DSA and is Developed associated with the Pleasant Ridge Golf Club. The area consists of 108 Recreational lawn specifically maintained for golf recreation and landscape trees and shrubs. Developed This area is associated with the four -lane, median divided, Joseph Paved Roads/ M. Bryan Boulevard and its maintained right-of-way. A portion of 44 Right -of -Way Caindale Drive within the central portion of the DSA was also delineated as paved road. This area is found within the south-central portion of the DSA adjacent to Joseph M. Bryan Boulevard. This area consists of Disturbed disturbed land that was cleared and graded and re -vegetated with 352 Open Field stabilization grasses. Various successional grasses and shrubs are recolonizing the area. A portion of this area is actively mowed and maintained for the highway right-of-way. This area is found throughout the undeveloped portions of the DSA. The forest canopy is dominated by white oak (Quercus alba), Disturbed northern red oak (Quercus rubra), southern red oak (Quercus Dry-Mesic falcate), mockernut hickory (Carya tomentosa), pignut hickory Oak -Hickory (Carya glabra), red maple (Acer rubrum), tuliptree (Liriodendron 465 Forest tulipifera), and sweetgum (Liquidambar styraciflua). Large areas of (Piedmont this natural community have been cut, and have re-established with Subtype) Virginia pine (Pinus virginiana) and loblolly pine (Pinus taeda). In addition, this community has been fragmented by the surrounding development and numerous dirt roads, paths, and utilities. This area is found in the southern portion of the DSA. Area Disturbed Early dominated by young trees. Virginia pine (Pinus virginiana), red Successional cedar (Juniperus virginiana), red maple (Acer rubrum), and 9 Mixed Hardwood sweetgum are common in the early successional seres. In addition, - Pine Sere this community has been fragmented by the surrounding development and numerous dirt roads, paths, and utilities. SAMMarketing0p_Wpro\12011299_Piedmont EA\Draft EA\Ch 3.docx 3-15 Piedmont Triad International Airport Environmental Assessment DRAFT TABLE 3.4-1 (CONTINUED) BIOTIC COMMUNITIES WITHIN THE DSA Biotic Common Name Approximate Community Description Acreage Isotria medeoloides Small whorled pogonia T T Yes This area is found in the southern portion of the DSA. The Etheostoma collis lepidinion Carolina darter occurrence of Virginia pine in the DSA is due to natural and man - SC Disturbed made influences. Virginia pine is a common early successional Villosa vaughaniana Carolina creekshell FSC E No Virginia Pine species in old fields. Since Virginia pine is suitable for planting and 45 Forest hardier than most pines, it is used for ground cover in poor, dry No sites. Natural monocultures of Virginia pine also occur among existing hardwood associations. Yellow poplar -sweet gum lowland associations occur in ravines at lower altitudes than the oak upland association. In the DSA, the Disturbed Yellow yellow poplar -sweet gum lowland association is found in the south Poplar - Sweet most portion of the DSA. Yellow poplar (Liriodendron tulipfera), 13 Gum Lowland sweet gum, and red maple dominate these areas. Sycamore Forest (Platanus occidentalis), American elm (Ulmus americana), and various oak species are also present. In the DSA, these areas have been previously disturbed. Within the larger Dry-Mesic Oak -Hickory Forest, described above, Piedmont jurisdictional forested and emergent wetlands have been identified Alluvial Forest (see Section 3.11) along riparian corridors. The dominate canopy 12 species include red maple, tuliptree, sweetgum, and American sycamore (Platanus occidentalis). Open Water Several small open water ponds, primarily associated with the water hazards that are within the Pleasant Ridge Golf Club. Total Acreage of Biotic Communities 1,285 Sources: Schafale, 2012. Final EIS for Proposed Runway 5L/23R, Proposed New Overnight Express Air Cargo Sorting and Distribution Facility, and Associated Developments, November 2001. TABLE 3.4-2 THREATENED AND ENDANGERED SPECIES LISTED FOR GUILFORD COUNTY Scientific Name Common Name Federal Status State Status Habitat Present Plant Isotria medeoloides Small whorled pogonia T T Yes Fish Etheostoma collis lepidinion Carolina darter FSC SC No Mollusk Villosa vaughaniana Carolina creekshell FSC E No Bird Haliaeetus leucocephalus Bald eagle BGPA T No Notes: Federal Threatened (T); Federal Special of Concern (FSC); Bald and Golden Eagle Protection Act (BGPA); Endangered (E); Threatened (T); Special Concern (SC) Sources: FWS, 2013b and NCNHP, 2013. SAMMarketing0p_Wpro\12011299_Piedmont EA\Draft EA\Ch 3.docx 3-16 Piedmont Triad International Airport Environmental Assessment DRAFT Small whorled pogonia (Isotria meleucocephalus) Small -whorled pogonia has a greenish -white stem that grows between 3 to 13 inches tall. It gets its common name from the five or six grayish -green leaves that are displayed in a single whorl around the stem. The flowers are yellowish -green with a greenish -white lip. Small whorled pogonia can be limited by shade. The species seems to require small light gaps, or canopy breaks, and generally grows in areas with sparse to moderate ground cover. It grows in mixed -deciduous or mixed-deciduous/coniferous forests that are generally in second- or third -growth successional stages. The soils in which it lives are usually acidic, moist, and have very few nutrients. Habitat for small whorled pogonia exists within the DSA. However, no individuals were observed in a plant -by -plant survey of the proposed cross -field taxiway location in August 2012. 3.5 FLOODPLAINS Executive Order 11988, Floodplain Management, defines floodplains as the "lowland and relatively flat areas adjoining inland and coastal waters, including flood prone areas of offshore islands, including at a minimum, those that are subject to a one percent or greater chance of flooding in any given year" (i.e., area inundated by a 100 -year flood). The Federal Emergency Management Agency (FEMA) manages the National Flood Insurance Program (NFIP) based on maps showing floodplains and hazard areas. Up- to-date maps allow risk premium rates and floodplain management requirements to be based on current data. The 100 -year flood (one percent annual chance) has been adopted by FEMA as the base flood for floodplain management purposes. The 100 -year floodplain corresponds to the boundary of the areas of special flood hazards (Zone AE), and the 500 -year floodplain boundary corresponds to the boundary of areas of moderate flood hazards (Zone X). The floodplain boundaries for the 100 -year storm events, shown on Figure 3.5-1, were obtained from Federal Insurance Rate Maps (FIRMs), panels 3710791600J, 3710782600J, and 3710781500J, published by FEMA for Guilford County and the City of Greensboro. Based on data presented in the FIRM, approximately 28 acres of floodplains (Zone AE) are located within the DSA. 3.6 HAZARDOUS MATERIALS/HAZARDOUS WASTE Facilities at GSO that handle, store, and use hazardous substances are typical of a commercial service airport. Activities at these facilities involve servicing, refueling, and repair of aircraft; building maintenance; airfield maintenance; vehicle and equipment repair and maintenance; rental car maintenance and preparation; and aviation -related industries and commercial enterprises (i.e., aircraft manufacturing). This section of the EA includes a discussion of known or potential sites within or adjacent to the DSA that generate, transport, treat, or dispose of hazardous materials and wastes. This section also provides an overview of solid waste facilities in the vicinity of GSO. SAMMarketing0p_Wpro\12011299_Piedmont EA\Draft EA\Ch 3.docx 3-17 Piedmont Triad International Airport Environmental Assessment © AND © 2012 MapD ita Sciences Pty Ltd, PSMA © 201 :"Wdp Legend Detailed Study Area FEMA Flood Zones AE AE, Floodway Sources: FEMA, 2007 URS Corp, 2013 N Feet W+E 0 2,000 S PIEDMONT TRIAD FLOODPLAINS WITHIN FIGURE Pr, INTERNATIONAL AIRPORT Environmental Assessment THE DETAILED STUDY AREA 3.5-1 a DRAFT 3.6.1 Hazardous Materials For the purposes of this EA, hazardous materials include the regulatory -defined terms of hazardous wastes, hazardous substances, and dangerous goods; environmental contamination to soil, surface waters, and groundwater; as well the range of similarly regulated substances such as fuel and other petroleum-based products commonly associated with airports. Hazardous materials data from PTAA's current Spill Prevention Control and Countermeasures (SPCC) Plan and the November 2007 GSO EA were reviewed and incorporated into this EA (Baker, 2011 and FAA, 2007). According to the SPCC, there are underground storage tanks (USTs), aboveground storage tanks (ASTs), bulk storage, tanker trucks, etc. at GSO with a combined total storage capacity of 216,000 gallons. This includes numerous small tanks (less than 1,000 gallons) of petroleum products (e.g., lubricants and solvents), waste materials (e.g., used oils, cleaning residues, spent batteries), and other chemicals (e.g., pesticides, paints, etc.) that are stored in various locations throughout the airport. In addition to the SPCC Plan and EA, EPA's National Priorities Listing (NPL) and EnviroMapper databases were reviewed for information on potential hazardous substances sites within the DSA. There are 35 sites within or adjacent to the DSA that are listed in the EPA's EnviroMapper database (EPA, 2013). These sites are included in one or more of the EPA's hazardous materials regulation and tracking programs, and are depicted in Figure 3.6-1 and detailed in Table 3.6-1. The review of federal databases did not reveal any sites or facilities within or in the vicinity of the DSA that are included on the National Priorities List (NPL). NPL sites, also referred to as "Superfund Sites" are considered by EPA to have the most significant public health and environmental risks to neighboring areas. Similarly, there are no reported landfills, large-scale industrial or chemical facilities, or sites of widespread contamination in or adjacent to the DSA. 3.6.2 Fuel Storage Sites There is one aboveground storage tank (AST) located within the DSA. The tank is associated with the Federal Aviation Administration's airport surveillance radar (ARS) facility. The 2,000 -gallon tank is reported to contain diesel fuel. 3.6.3 Solid Waste Guilford County has one permitted municipal solid waste (MSW) disposal facility; the Kersey Valley Landfill, located 8 miles south of GSO in the City of High Point in the southwestern part of the County (Guilford County, 2012b). The Kersey Valley Landfill is owned and operated by the City of High Point. SAMMarketing0p_Wpro\12011299_Piedmont EA\Draft EA\Ch 3.docx 3-19 Piedmont Triad International Airport Environmental Assessment DRAFT TABLE 3.6-1 SITES INCLUDED IN THE EPA HAZARDOUS SUBSTANCES DATABASES WITHIN OR ADJACENT TO THE DSA Map ID' Facility Name/Address AIRS/AFS2 PCS/ICIS3 RCRA4 TRIS TSCA6 1 American Express TRS Co., Inc. - - X - - 2 Bombardier Services Corp. - - X - - 3 Epes Transport Systems, Inc. - X X - - 4 Etherington Conservation Ctr. - - X - - 5 Federal Express Corp. - - X - - 6 Federal Express Corp. Facility X - - - - 7 Head, Inc. **Inactive** X - - - - 8 Hilco Transport, Inc. - - X - - 9 Karastan-Bigelow - - X - - 10 Metal Craft of Mayville Southeast, Inc. - - X - - 11 Piedmont Triad International Airport - X - - - 12 PPG Industries Incorporated X - X - X 13 Santaro Industries Airport X - - - - 14 Sonoco Products Co. - - - X - 15 Mar -Tek Industries, Inc. - - X - - 16 Rollins Leasing Corporation - - X - - 17 Proctor & Gamble Mfg Co - - X - - 18 South Atlantic Warehouse - - X - - 19 TE Connectivity - - X - - 20 Fred Turner Racing, Inc. - - X - - 21 Modern Marble & Glass, Inc. - - X - - 22 Colonial Tin Works - - X - - 23 Comair, Inc. - - X - - 24 Federal Express Corporation - - X - - 24 United Parcel Service - - X - - 26 NC Equipment Company - - X - - 27 Southern Logistics and Environmental LLC - X X - - 28 Regional Auto Center - - X - - 29 Impact Enterprise X - X - 30 Larry Dorsett Enterprises - - X - - 31 Analog Devices X - X - - 32 New Home Building Supply Company X - - - - 33 Summit Molded Products X - X X - 34 TRW Incorporated - - X X - 35 Norton Company Coated Abrasives Division - - X -- 36 Sharpe Bros - X - - - Total by Category 8 4 29 3 1 Notes: The listing of a site or facility in this table does not necessarily mean that a spill or discharge has occurred. Rather, these sites are listed because such incidents have been recorded or the facilities are known (or are expected) to contain materials that are classifiable as hazardous or regulated materials. See Figure 3.6-1 for locations. 2 AIRS/AFS — (Air Facility Subsystem) facilities regulated by the EPA that release pollutants into the air. 3 PCS/ICIS — (Permit Compliance System/Integrated Compliance Information System) Water Discharge facilities regulated by the EPA that discharge to Waters of the U.S. 4 RCRA - Facilities regulated by the EPA under the Resource Conservation and Recovery Act (RCRA) that handle materials designated as hazardous waste. 5 TRI — (Toxic Release Inventory) Facilities regulated by the EPA that release toxic substances into the environment. 6 TSCA — (Toxic Substances Control Act) Facilities regulated by the EPA that produce, import, use, and dispose of specific toxic substances including polychlorinated biphenyls (PCBs), asbestos, radon, and lead-based paint. Source: EPA, 2013. SAMMarketing0p_Wpro\12011299_Piedmont EA\Draft EA\Ch 3.docx 3-21 Piedmont Triad International Airport Environmental Assessment DRAFT The City of Greensboro owns and operates the White Street Landfill, which is located approximately 11 miles east of GSO. In September of 2006, the city opened a MSW transfer station. The transfer station transports all MSW (approximately 225,000 tons per year) to the privately -owned and operated Uwharrie Environmental Landfill, located in Montgomery County, North Carolina. Since the transfer station became operational, the City of Greensboro eliminated MSW disposal at its White Street Landfill, and continues to transport all of its MSW tonnage to the Uwharrie Environmental Landfill. Republic Services, the owner of the Uwharrie Environmental Landfill, also owns and operates the Bishop Road Transfer Station, an alternative MSW transfer station located just south of Greensboro. This facility currently receives over 11,000 tons of waste per month, or approximately 135,000 tons per year. The MSW collected at this facility also transports to the Uwharrie Environmental Landfill. In June of 2012, and at the current rate of disposal, the Uwharrie Environmental Landfill was estimated to have a remaining life expectancy of 12.5 years. The City of Greensboro's White Street Landfill continues to accept construction/demolition (C&D) debris, and land -clearing inert debris from the City of Greensboro and Guilford County. In addition to the White Street Landfill, the WCA of High Point C&D Landfill and Processing and Treatment Facility and A-1 Sandrock C&D Landfill are additional disposal sites currently available for C&D material in Guilford County. These facilities have adequate suitable area for C&D capacity to continue operations through the duration of the current 10 -year planning period. There are currently 14 active Land Clearing and Inert Debris (LCID) landfills in Guilford County. The permitting process is not difficult for this type of landfill, and new facilities have been constructed as necessary to meet the demands of development that might occur in the area. 3.7 HISTORIC AND ARCHAEOLOGICAL RESOURCES 3.7.1 Compliance with Section 106 of the National Historic Preservation Act Historic and archaeological resources that are listed or eligible for listing in the NRHP are protected by federal law, primarily the National Historic Preservation Act of 1966 (NHPA), as amended, and its implementing regulations, 36 Code of Federal Regulations (CFR) 800 (June 1999). Under the authority of Section 106 of the NHPA, federal agencies must take into account the potential effects an undertaking may have on properties listed in or eligible for listing in the NRHP. As part of this EA, the PTAA initiated coordination with the SHPO and initiated consultation regarding the identification, evaluation, and treatment of historic architectural and archaeological resources. 3.7.2 Historic, Architectural, and Archaeological Area of Potential Effect To determine the effect an undertaking may have on historic properties, an APE must be identified. A historic property is any prehistoric or historic district, site, building, structure, or object included in, or eligible for inclusion in, the NRHP [36 CFR 800.16(1)]. The APE is the geographic area within which an undertaking may directly or indirectly cause changes in the characteristics of historic properties that make them eligible for the NRHP [36 CFR 800.16(d)]. Such changes may include physical destruction, damage, or alteration of a property; change of the character of the property's use or physical features SAMMarketing0p_Wpro\12011299_Piedmont EA\Draft EA\Ch 3.docx 3-22 Piedmont Triad International Airport Environmental Assessment DRAFT within its setting that contribute to its historic significance; and introduction of visual, atmospheric, or audible elements that diminish the integrity of the property's significant historic features [36 CFR 800.5(a)(2)]. The FAA determined that the undertaking's components would not substantially increase the number of aircraft operations at GSO. In addition, the Proposed Project would not alter runways, flight tracks, aircraft approach profiles, departure profiles, or instrument approach procedures at GSO. Because any potential increase in aircraft operations resulting from the Proposed Project would be modest, the change in noise exposure in the vicinity of GSO is expected to be modest and not result in a significant noise impact. Consequently, there was no need to establish an APE to take into consideration additional aircraft noise impacts that might affect NRHP-listed or -eligible historic properties whose listing or eligibility would potentially be affected by noise. An APE for the Proposed Project was initially established to include those areas proposed for conceptual airport site development and taxiway development (Figure 3 in Appendix D). The APE was subsequently expanded to include the potential development of a rail spur or a transfer facility connecting the proposed development site to the Norfolk Southern Railroad tracks located to the southwest of GSO (Figure 4 in Appendix D). The ultimate APE included the area encompassed by the undertaking and an additional area within which the undertaking might cause alterations in the character or use of historic properties. This additional area extended out approximately one-half mile beyond the footprint of the Proposed Project. The APE for archaeological resources for this EA is defined as all locations associated with the proposed undertaking that will result in the alteration and disturbance of surface and subsurface soils that contain or have the potential to contain archaeological sites. Therefore, the APE for archaeological resources is consistent with the boundaries of the DSA and does not extend beyond them. 3.7.3 Historic and Archaeological Resources Correspondence from SHPO dated July 19, 2013 stated that the SHPO was aware of no historic resources that would be affected by the project (Appendix D). A field survey of the initial APE was conducted in August 2013 to identify any previously unidentified historic architectural resources. Six resources aged 50 years or older were newly identified during the course of this survey. Coordination was undertaken with the SHPO for these resources, which included a presentation on October 21, 2013 and a Reconnaissance -Level Inventory of Potential Historic Resources (Appendix D). Based on the results of the coordination process, the SHPO concurred in a letter of November 5, 2013 that these six resources were not eligible for listing in the NRHP (Appendix D). Within the ultimate APE as extended (Figure 4 in Appendix D), the SHPO GIS Web Service database showed one previously inventoried historic resource, the Campbell -Gray House and Barn. It had received an official Determination of Eligibility (DOE) for listing in the NRHP on December 20, 1995. Fieldwork associated with the extended APE identified this property and four additional resources that were 50 years old or older that had not been previously inventoried. Following the submittal of the Addendum to Reconnaissance -Level Inventory report of May 23, 2014, the SHPO in a letter of June 17, SAMMarketing0p_Wpro\12011299_Piedmont EA\Draft EA\Ch 3.docx 3-23 Piedmont Triad International Airport Environmental Assessment DRAFT 2014 (Appendix D) concurred that the four newly inventoried resources were not eligible for NRHP listing and that the Campbell -Gray House and Barn continued to be NRHP-eligible. SHPO staff reviewed the project for potential effects on archaeological resources in June of 2013, and they concluded that no archaeological studies were needed because the APE, which was plotted upon the footprint of the undertaking, had low sensitivity and was probably previously disturbed. This assessment was intended to be conveyed in their comment letter dated July 19, 2013 (Appendix D), which stated that the SHPO was aware of no historic resources that would be affected by the project. In a phone conversation of October 10, 2013, SHPO staff confirmed that the project had been reviewed for potential effects on archaeological resources and they had concluded that no archaeological studies were needed because the APE has low potential for containing significant archaeological resources and was probably previously disturbed. On January 9, 2014, an additional consultation with SHPO staff was held to confirm that this determination was also applicable to the added portion of the APE that extends to the south of West Market Street. 3.8 NOISE In 2007, GSO completed a Part 150 Noise Compatibility Study (Andrew S. Harris, Inc., 2007), which was approved by the FAA in November 2008. This Part 150 Study included the development of future noise contours representing operational characteristics at GSO for year 2014, including aircraft operations, runway and flight track utilization, and aircraft fleet mix. These contours were based on a forecast of aircraft operations that predicted approximately 174,000 annual operations by 2014. Other than a decrease in the number of aircraft operations at GSO, no significant operational change has occurred since the 2007 Part 150 was approved. A comparison of the actual 2012 aircraft operations to those forecast for 2014 in the 2007 Part 150, as shown in Table 3.8-1, shows that the current level of aviation activity at GSO is far less than that projected in the Part 150 Study for 2014. This indicates that the 2014 Part 150 noise contours more than adequately account for the noise resulting from the current operation of GSO. TABLE 3.8-1 COMPARISON OF AIRCRAFT OPERATION LEVELS — 2007 PART 150 STUDY AND 2012 FAA ATADS User Group 2007 Part 150 Study FAA ATADS 2006 2014 2012 Commercial 72,233 118,231 48,300 Itinerant General Aviation 39,916 44,917 28,751 Itinerant Military 1,000 1,000 1,297 Local General Aviation 8,537 9,414 9,363 Local Military 891 891 446 Total 122,577 174,453 88,157 Sources: Andrew S. Harris, Inc., 2007; FAA, 2013. SAMMarketing0p_Wpro\12011299_Piedmont EA\Draft EA\Ch 3.docx 3-24 Piedmont Triad International Airport Environmental Assessment DRAFT 3.9 SOCIAL CHARACTERISTICS A Socioeconomic Study Area (SSA) was established to comparatively assess social and socioeconomic data. The SSA includes 19 U.S. Census (2010) tracts within the GSA. To describe the social setting population, race, age, income, and education data were summarized for the 19 U.S. Census tracts that intersect the GSA and Guilford County. The State of North Carolina statistics are also included for informational purposes. The U.S. Census Tracts (2010) used to establish SSA include: 161.01, 160.03, 161.02, 162.01, 160.05, 160.09, 163.04, 160.06, 160.07, 160.08, 160.10, 160.11, 162.03, 162.04, 162.05, 163.05, 164.05, 164.06, and 9801. 3.9.1 Population Table 3.9-1 describes the 2007-2011 American Community Survey (ACS) estimate of the population contained in the SSA and Guilford County. The population of the SSA for the year 2011 was 68,069 and Guilford County was 483,081. In 2011, the ACS estimated that 87 percent of Guilford County adults had a high school diploma or higher. Approximately 33 percent of Guilford County adults hold a bachelor's degree or higher. TABLE 3.9-1 COMMUNITY CHARACTERISTICS (2011) Subject Socioeconomic Study Area Guilford County North Carolina Number I Percent Number Percent I Number Percent Total Population 68,069 n/a 483,081 n/a 9,418,736 n/a Average Household Size 2.39 n/a 2.44 n/a 2.50 n/a Race White 51,069 75.0 281,403 58.3 6,560,948 69.7 Black or African American 9,974 14.7 156,148 32.3 2,016,228 21.4 American Indian 304 0.4 2,531 0.5 108,960 1.2 Asian 3,778 5.6 19,180 4.0 202,815 2.2 Native Hawaiian and Other Pacific Island 4 0.0 73 0.0 4,725 0.1 Some Other Race 1,716 2.5 14,840 3.1 336,670 3.6 Two or More Races 1,224 1.8 8,906 1.8 188,390 2.0 Hispanic I 3,745 5.5 33,266 6.9 764,707 8.1 Age < 9 years 7,720 11.3 61,760 12.8 1,253,233 13.3 10 to 19 years 9,665 14.2 68,978 14.3 1,285,131 13.6 20 to 34 years 14,399 21.2 102,459 21.2 1,883,953 20.0 35 to 54 years 20,334 29.9 136,155 28.2 2,682,811 28.5 55 to 64 years 7,934 11.7 54,688 11.3 1,109,469 11.8 +65 years 8,017 11.8 59,041 12.2 1,204,139 12.8 Median Age 37.8 n/a 36.3 n/a 37.3 n/a n/a = not applicable. Source: U.S. Census Bureau, 2011. SABD\Marketing\Wp_Wpro\12011299_ Piedmont EA\Draft EA\Ch 3.docx 3-25 Piedmont Triad International Airport Environmental Assessment DRAFT According to the ACS, there were 30,920 housing units in the SSA and 219,682 housing units within Guilford County. Also based on the 2007-2011 ACS, the SSA and Guilford County have an average household size of 2.39 and 2.44, respectively. 3.9.2 Racial Composition The racial composition of the SSA and Guilford County is also shown in Table 3.9-1. The data for the SSA reveals that the white population comprises approximately 75 percent of the SSA's total population; the black or African American population 14.7 percent; and the combined percentage of American Indian, Asian, and other races is 10.3 percent. The data for Guilford County shows the white population comprising 58.3 percent of the County's total population; the black or African American population 32.3 percent; and the combined percentage of American Indian, Asian, and other races is 9.4 percent. In addition, according to the ACS, all listed races include persons of Hispanic origin. There were 3,745 Hispanics reported living in the SSA and 33,266 living in Guilford County (ACS, 2011). 3.9.3 Age Distribution Age distribution characteristics of the SSA's population are also shown in Table 3.9-1. The SSA has a slightly older population than Guilford County with 25.5 percent of the SSA population under age 19 years and 27.1 percent within the County younger than 19. Within both the SSA and Guilford County, 23.5 percent of the population is over 55 years of age. Approximately half of the population within both the SSA and Guilford County is between the age of 20 and 64. The median age within the SSA is higher than that present in Guilford County. 3.9.4 Income Distribution According to the ACS, Guilford County's median household income is approximately $46,288. The median household income in the SSA was $69,272 (ACS, 2007-2011). Approximately 7.2 percent of the SSA's population is classified as below the poverty level as compared to approximately 16 percent of the county's population. 3.9.5 Socioeconomics The Triad area, as defined by the City of Greensboro Economic Development Partnership, includes 11 counties in addition to Guilford County. These include Alamance, Caswell, Davidson, Yadkin, Davie, Forsyth, Montgomery, Randolph, Rockingham, Stokes, and Surry counties. According to the Piedmont Triad Partnership, the current population of the Triad area includes 1.6 million residents. The annual growth rate of 1.5 percent is anticipated to increase the population of the Triad area to more than 2 million by 2030. Guilford and Forsyth counties are home to the largest concentrations of population. The combined population of the Triad, Charlotte, and Research Triangle metro areas in North Carolina is approximately 5.8 million, slightly below the population of metro Atlanta. SAMMarketing0p_Wpro\12011299_Piedmont EA\Draft EA\Ch 3.docx 3-26 Piedmont Triad International Airport Environmental Assessment DRAFT The Triad area has a labor force of approximately 826,000 persons (Greensboro Economic Development Partnership, 2013). Greensboro is the largest urban center in the region; Greensboro and Guilford County attract thousands of workers commuting from neighboring counties. In comparison, the labor force for Guilford County in 2013 is approximately 258,000 and for the City of Greensboro it is estimated to be 141,000. The average annual unemployment rate for the Triad area has decreased from 11.2 percent in 2009 to 9.6 percent in 2012, and is currently 9.8 percent (2013). The same trend is reported for unemployment rates for the City of Greensboro which declined from 10.3 percent in 2010 to 9.1 percent in 2012. Currently, annual average unemployment in Greensboro is 9.4 percent. The bulk of the current workforce in the Piedmont/Triad area is divided between manufacturing (16 percent); Professional Services and Management (15 percent); Health Care (13 percent); Transportation, Warehousing, and Wholesale Trade (11 percent); Retail Trade (11 percent); and Art, Entertainment, Accommodation, and Food (10 percent). According to the Center for Business and Economic Research, Dixon Hughes Goodman Triad Business Index in July 2013, the number of jobs in the service providing sector has risen only 0.2 percent, compared to a national gain of 1.6 percent. Employment in wholesale and retail trade, transportation, education and health care, and leisure services was higher in this time period. A decline was observed in information, finance, professional and business services, and government. According to the Greensboro Economic Development Alliance website, updated in 2013, six of the top 50 companies in the Fortune 500 have major operations in Greensboro. They include Citigroup, Procter & Gamble, UPS, United Guaranty, AT&T, and United Health Group. The top 10 employers in the Greensboro area are listed in Table 3.9-2. TABLE 3.9-2 TOP 10 EMPLOYERS IN GREENSBORO (2011) Company Name Product/Service Employment Cone Health Health Care 7,776 U.S. Postal Service Mail Processing and Distribution 2,800 High Point Regional Health System Health Care 2,400 Bank of America Financial Services 2,000 UPS Package, Freight & Logistics 2,000 Lorillard, Inc. Tobacco Products 1,800 AT&T Telecommunications 1,600 Citi Credit Card Services 1,500 The Volvo Group Volvo Truck Corp. Headquarters 1,414 VF Corporation Branded Apparel 1,400 Source: ACS, 2007-2011 SAMMarketing0p_Wpro\12011299_Piedmont EA\Draft EA\Ch 3.docx 3-27 Piedmont Triad International Airport Environmental Assessment DRAFT 3.10 WATER QUALITY Data used for the characterization of water resources on and adjacent to the project area was based on information contained in the 2001 Piedmont Triad International Airport FEIS (FAA, 2001), the Piedmont Triad International Airport Stormwater Management Plan (Baker, 2001), and the NCDENR Division of Water Resources (DWR) public information database. The discussion of water resources information presented in this section focuses on the DSA, but also addresses the broader water resource characteristics of the area. Water resources information, including surface water and ground water for the DSA, is described within this section. 3.10.1 Potable Water The Piedmont Triad Regional Water Authority (PTRWA) provides potable water to GSO. PTRWA operates the Randleman Regional Reservoir and the John Franklin Kime Water Treatment Plant (WTP) to meet that purpose. The WTP is located on the shores of the Randleman Regional Reservoir in Randleman, North Carolina. Randleman is located in the Piedmont area of North Carolina adjacent to the Triad area (Greensboro, High Point, and Winston-Salem). The plant provides potable water to a population of over 367,000. The Kime plant treats 10-12 million gallons per day (MGD) flow on average and has a maximum day flow of 13 MGD. The City of Greensboro depends upon three surface water sources to supply drinking water: Lake Townsend, Lake Brandt, and Lake Higgins. These lakes are located in northern Guilford County in the upper Cape Fear River Basin within a protected watershed. When full, Greensboro's three water reservoirs hold about eight billion gallons of water. Water from Lake Brandt is treated at the Mitchell Water Treatment Plant and water from Lake Townsend is treated at the Townsend Water Treatment Plant. Lake Higgins is used to refill Lake Brandt as needed. Greensboro's municipal water system serves approximately 275,000 people with an average daily water demand of more than 30 million gallons per day in 2012. The City of Greensboro also purchases, from time to time, water from Reidsville, Burlington, and PTRWA. 3.10.2 Surface Water The airport is located within the Cape Fear River Basin. Most of GSO and much of the broader area surrounding the airport are located in the Reedy Fork sub -basin which encompasses an area of approximately 562 square miles. The total area occupied by water bodies in this sub -basin is approximately 7 square miles. Surface water features associated with GSO include the main stem and tributaries of Brush Creek and Horsepen Creek (see Figure 3.10-1). Brush Creek and Horsepen Creek flow northeast and discharge into Lake Higgins and Lake Brandt, respectively, northeast of GSO. Horsepen Creek and Brush Creek receive a large percentage of stormwater runoff from such varied urbanized land uses as GSO, single-family and multi -family residential, public/institutional, light and heavy industrial, and commercial land uses. Brush Creek and Horsepen Creek are the only primary tributaries in the Reedy Fork Sub -basin (03-06-02) that drain areas occupied by GSO. The proposed rail transfer facility site, south of West Market Street, is located within the East Fork sub -basin and drains to the south. SAMMarketing0p_Wpro\12011299_Piedmont EA\Draft EA\Ch 3.docx 3-28 Piedmont Triad International Airport Environmental Assessment Service Layer Credits: Image courtesy of USGS ©AND @2013 Nokia ©AND Reedy Fork Basin Brush Creek Sub -Basin 8.13 Sq. Mi. _ C' 17 East Fork Basin Deep River Sub -Basin 17.50 Sq. Mi. 2 0 0/ r a Q Reedy Fork Basin Horsepen Creek Sub -Basin 15.76 Sq. Mi. Legend Q Detailed Study Area Reedy Fork Basin East Fork Basin Drainage Sub -Basin Boundaries Water Supply Watersheds WS -III NSW WS -IV Sources: - Piedmont Triad International Airport FEIS, 2001 Neighboring Concepts, Inc., 2006 URS Corp, 2006 N W+E Feet 0 3,000 S DRAFT Drainage Characteristics of GSO - There are approximately 2,071 and 1,267 acres of airport property that drain to Brush Creek and Horsepen Creek, respectively. The remainder of the airport (320 acres) is located in the Deep River drainage basin. Upon completion of the projects included in the 2001 Piedmont Triad International Airport EIS Record of Decision (ROD), approximately 771 acres of GSO would be covered by impervious surfaces such as runways, roofs, roads, and parking areas. Within the DSA, there are approximately 129 acres of impervious surface. Most of the drainage from the DSA flows to Brush Creek. The remainder flows into the East Fork of the Deep River. The drainage from the new DSA development will be controlled and regulated by inclusion of the stormwater outfalls from the new DSA development in PTAA's National Pollutant Discharge Elimination System (NPDES) Permit, as well as by the stormwater control requirements of PTAA's Water Supply Watershed Management and Protection Rules and its Stormwater Management Plan. The Reedy Fork Sub -basin is classified as a Class WS -III Water Supply Watershed under the State's Water Quality Regulations. The East Fork Sub -Basin is classified as Class WS -IV. In addition, Horsepen Creek, Brush Creek, and East Fork of the Deep River are on the state's listing of impaired streams under Section 303(d) of the Clean Water Act. Pollution Causes and Sources - There are two primary sources of pollutants which could contribute to surface water contamination at GSO. These pollutant sources are characterized as non -point and point sources. Non -point source pollutants include runoff from general airport areas such as grassed fields, apron pavement, and roadways. Point source pollution is flow from a specific location such as a floor drain or runoff that eventually leaves the property from a storm drain or outfall. Activities having the potential to result in the generation of water pollutants at GSO include, but are not limited to, aircraft repair, maintenance and operations, airfield grounds maintenance activities, and aircraft deicing activities. All discharge of stormwater from GSO is regulated by the NCDENR, DWR in accordance with NPDES Permit No: NCS000508, issued July 1, 2010. Discharges covered in the NPDES Permit address stormwater discharges from the current airport operations, as well as additional stormwater discharge points that may be created by further modification or expansion of airport operations. There are a total of 32 permitted discharge points currently included in the permit. As a condition to the GSO NPDES Permit, PTAA has been required to develop a Stormwater Pollution Prevention Plan. PTAA has developed a Stormwater Management Plan for the airport which provides guidelines and design criteria for stormwater management associated with current and future development activities that may occur within land owned by the PTAA. The existing stormwater management system at the airport consists of a combination of open channel and closed storm drains discharging to Brush Creek, Horsepen Creek, and the East Fork of the Deep River. Most of the stormwater runoff from the airport discharges directly from these outfalls to the receiving waters. As needed, GSO has developed and utilizes both wet and dry detention ponds for the management of stormwater. Detention ponds are designed to achieve at least an 85 percent removal of total suspended solids, either alone or in combination with other BMPs, and a post -development peak discharge less than or equal to the pre -developed peak discharge for each storm event up to and including the 10 -year storm event (Baker, 2001). Under NCGS 143.214.7 NCDENR cannot require airports to use stormwater detention ponds "that promote standing waters"; and runways, taxiways, and other airport areas that SAMMarketing0p_Wpro\12011299_Piedmont EA\Draft EA\Ch 3.docx 3-30 Piedmont Triad International Airport Environmental Assessment DRAFT provide for overland stormwater flow are deemed to be permitted under the state's Stormwater Runoff Rules if they "promote infiltration and treatment of stormwater into grassed buffers, shoulders and grass swales." 3.10.3 Groundwater The hydrogeological setting of GSO is defined by the relation between the streams that convey runoff and the rock aquifer system that stores groundwater and functions as a conduit to route groundwater from recharge areas to discharge areas (Daniel, et al., 1998). The aquifer beneath GSO is the Regolith Fractured Bedrock Aquifer. The principal components of the groundwater system in the GSA consist of the upper regolith and lower regolith (transition zone) zones underlain by fractured crystalline bedrock. The upper regolith consists of an unsaturated zone underlain by a saturated zone. The saturated zone generally contains the organic layers of the surface soil. The upper regolith provides the bulk of the water storage because of its porosity. Thickness ranges from zero to more than 150 feet (Daniel, et al., 1998). The lower regolith consists of partially weathered bedrock and lesser amounts of saprolite. The thickness and texture of this zone depend a great deal on the texture and composition of the parent rock. Recharge of the groundwater system varies from month to month and year to year, depending on amounts of precipitation, seasonal distribution, evaporation, transpiration, land use, and other factors. 3.11 WETLANDS 3.11.1 Regulatory Background Section 404 of the Clean Water Act regulates the discharges of dredged or fill material into Waters of the U.S. The U.S. Army Corps of Engineers (USACE) has primary responsibility for implementing, permitting, and enforcing the provisions of Section 404. The 1987 USACE Wetland Delineation Manual (USACE, 1987) defines wetlands as: "Those areas that are inundated or saturated by surface or groundwater at a frequency and duration sufficient to support, and that under normal circumstances do support, a prevalence of vegetation typically adapted for life in saturated soil conditions. Wetlands generally include swamps, marshes, bogs and similar areas (33 CFR 328.3(b) 1986)." Three criteria are used to identify wetland systems: dominant hydrophitic wetland vegetation, hydrology, and hydric soils. Areas with these three attributes are considered wetlands. Section 401 of the Clean Water Act delegates authority to the states to issue a Section 401 Water Quality Certification for all projects that require a federal permit (such as a Section 404 Permit). Section 401 is essentially verification by the state that a given project will not degrade Waters of the U.S. or otherwise violate water quality standards. If the USACE determines that a Section 404 Permit is required because a proposed project involves impacts to wetlands or waters, then a Section 401 Water Quality Certification is also required. The USACE also determines which type of permit is applicable (e.g., Nationwide, Regional, General, or Individual Permit). For each permit, a matching Section 401 Certification must be issued by DWR in order for the Permit to be valid. An Individual Section 401 Water Quality Certification is necessary if an Individual Section 404 Permit is required. SAMMarketing0p_Wpro\12011299_Piedmont EA\Draft EA\Ch 3.docx 3-31 Piedmont Triad International Airport Environmental Assessment DRAFT 3.11.2 Waters of the U.S. and Wetlands in the DSA Waters of the U.S., including wetlands, in the Proposed Project's primary development area were delineated in 2012 and their jurisdictional status and boundaries were verified by the USACE in 2013 (USACE Action ID SAW -2012-01547) (see Appendix C). The area in which the jurisdictional determination was conducted covers a majority, but not all, of the DSA. The portions of the DSA not subject to the jurisdictional determination include the land associated with providing rail access to the development site. This area was reviewed for the presence of jurisdictional waters and wetlands using reasonably available information, including past environmental studies at GSO, aerial photographs, and US Fish and Wildlife Service Nationwide Wetland Inventory (NWI) maps. Based on the jurisdictional delineation and other available information reviewed for this EA, there are approximately 26,991 linear feet of intermittent and perennial streams within the DSA. This includes 8,898 linear feet of intermittent streams and 18,093 feet of perennial streams. Approximately 6.7 acres of open water and 12.95 acres of wetlands are located within the DSA. The wetlands are comprised of 12.79 acres of forested wetlands and 0.16 acre of emergent wetlands. The intermittent and perennial streams are unnamed tributaries to Brush Creek and East Fork Deep River. The majority of the wetlands are located within the riparian floodplain of tributaries to Brush Creek. Most of these wetlands are within a conservation easement area and will not be developed. The identified open waters are primarily associated with the ponds located within the Pleasant Ridge Golf Course. The location and extent of the streams and wetlands are depicted on Figure 3.11-1. 3.12 PAST, PRESENT, AND REASONABLY FORESEEABLE ACTIONS This section describes past, present, and reasonably foreseeable actions for the purpose of considering potential cumulative impacts in Chapter 4.0, Environmental Consequences, of this EA. These projects could be undertaken with or without implementation of the Proposed Project. 3.12.1 Airport Development Actions PTAA maintains an Airport Development Program (ADP) that outlines proposed improvements to the airport. The ADP identifies actions needed at GSO to provide modern and efficient airport facilities. The major development projects listed below are identified in the ADP and would likely be implemented during the study period defined for this EA. However, changes in demand and availability of funding could affect the decision to proceed with a particular project and the timing for implementing a project. 2001 EIS Projects - These projects include a 9,000 -foot runway, FedEx Mid -Atlantic Hub facility, relocation of Joseph M. Bryan Boulevard and Old Oak Ridge Road, and other connected actions. Construction of Runway 5L/23R and Phase I of the FedEx Mid -Atlantic Hub have been completed. Phase II of the Mid -Atlantic Hub and other associated developments have not been undertaken to date. Other Airport Projects — PTAA has implemented a variety of other airport enhancements including numerous taxiway improvements. SAMMarketing0p_Wpro\12011299_Piedmont EA\Draft EA\Ch 3.docx 3-32 Piedmont Triad International Airport Environmental Assessment DRAFT 3.12.2 Other Area Development Actions This section describes other area developments in the vicinity of GSO that have been identified within state and local planning documents (e.g., NCDOT Piedmont Triad Airport Area Transportation Study in 2004). 1-40/NC 68/1-73 Connector - This connector is a proposed new six -lane divided freeway that is proposed to start at the existing 1-40/1-40 Business interchange, cross Market Street, connect to NC 68 with an interchange, and extend to the Joseph M. Bryan Boulevard Relocation/Old Oak Ridge Road interchange. Construction of the segment from NC 68 to Joseph M. Bryan Boulevard (which bisects the DSA) is scheduled to begin in late 2014. This route would provide travelers from the High Point or Winston Salem areas a more direct route to the Greensboro Western Loop. This project is included on the Greensboro Urban Thoroughfare Plan. According to NCDOT's website, right-of-way acquisition began in 2011 and construction is scheduled to begin in 2014. Airport Connector (from 1-40/NC 68 Connector to Forsyth County) — This project proposes a new four -lane divided freeway constructed between NC 150 and the proposed 1-40/NC 68/1-73 Connector. This route would provide travelers on Market Street and Winston-Salem access to the 1-40/NC 68/1-73 Connector, improve access to northern Greensboro, and provide a more direct route to GSO from eastern Forsyth County. This project is included on the Greensboro Urban Thoroughfare Plan and the Winston-Salem LRTP and Thoroughfare Plan. Currently, a schedule for construction and operation for this project is not available. Sandy Ridge Road (SR 1850) Extension - This project proposes a new four -lane divided roadway to be constructed between Market Street and proposed 1-40/NC 68/1-73 Connector. This route would provide travelers on Market Street and High Point access to the 1-40/NC 68/1-73 Connector in conjunction with the Airport Connector. The proposed Sandy Ridge Road Extension would provide a direct route to GSO from West Market Street and High Point. This plan is also included on the Greensboro Urban Thoroughfare Plan (NCDOT, 2004). Currently, a schedule for construction and operation for this project is not available. Greensboro Urban Loop (NCDOT Prosect Numbers U-2524, U-2525) The Greensboro Urban Loop is proposed to improve traffic flow within the City of Greensboro by allowing traffic to bypass the city. The proposed improvements will reduce congestion on existing 1-40, particularly in the area where 1-40, 1-85 Business and U.S. Routes 29, 70, 220, and 421 all run concurrently. The loop provides a more direct route for traffic heading from south and east of Greensboro to destinations north and west of the city. There are four projects in various stages of the construction process which will complete the remaining 15 miles of the 44 -mile long loop around the city. According to the NCDOT website, starting at the western end near GSO and working eastward to US 70, the status of the four projects is shown below. SAMMarketing0p_Wpro\12011299_Piedmont EA\Draft EA\Ch 3.docx 3-34 Piedmont Triad International Airport Environmental Assessment DRAFT 1. Western Loop from north of Joseph M. Bryan Boulevard to US 220 (Battleground Avenue) — NCDOT Project Number: U -2524C NCDOT is currently acquiring right-of-way. Construction is scheduled to begin in 2013. 2. Western Loop from US 220 (Battleground Avenue) to Lawndale Drive - NCDOT Project Number: U -2524D NCDOT is currently acquiring right-of-way. Construction is scheduled to begin in 2017. 3. Eastern Loop from US 29 north of Greensboro to Lawndale Drive - NCDOT Project Number: U -2525C Right-of-way acquisition is scheduled to begin in 2016. Construction is scheduled to begin in 2019. 4. Eastern Loop from US 70 Relocation to US 29 north of Greensboro - NCDOT Project Number: U -2525B Right-of-way acquisition is scheduled to begin in 2012. Construction is scheduled to begin in 2014. Commuter Rail System - The Piedmont Authority for Regional Transportation (PART) has developed the Piedmont Triad Region Mobility Major Investment Study that recommended long-range transit improvements for the region to maintain its mobility. The report included a recommendation for a commuter rail system to serve the City of Greensboro and other regional municipalities. The major facilities of a commuter rail system would include approximately 110 miles of railroad; 80 railcars; 22 station locations and parking lots, bridges, signal improvements; and a yard and shop (PART, 2002). The City of Greensboro Comprehensive Plan, Connections 2025 and PART Triad Intercity Rail Study also have recommendations of a commuter rail system that includes a station or connection to GSO. Currently, a schedule for construction and operation for this project is not available. SAMMarketing0p_Wpro\12011299_Piedmont EA\Draft EA\Ch 3.docx 3-35 Piedmont Triad International Airport Environmental Assessment CHAPTER 4.0 ENVIRONMENTAL CONSEQUENCES 4.1 INTRODUCTION DRAFT The potential environmental impacts resulting from construction and operation of the Proposed Project and the No -Action Alternative are presented in this section. A detailed description of the Proposed Project is provided in Chapter 1.0 of this EA. 4.1.1 Study Years The study years of 2015 and 2020 were selected for analysis in this Environmental Assessment (EA). The 2015 study year represents the initial opening year during which the Near -Term Projects including the proposed cross -field taxiway, rail spur or transfer facility, and related infrastructure would be substantially complete and operational. In addition, it was assumed that the opening year could be accompanied by the development of aviation -related industries on approximately 553 acres of land located in the north/northwest quadrant of the project site. The Near -Term Project also includes the designation of a 72 -acre site located between Runway 5L/23R and Highway 68 for future aviation -related use, and a 100 -acre site for development of a rail spur or transfer facility. As previously noted in Section 1.2 of this EA, there are no immediate plans for development on this 72 -acre parcel. However, this parcel has been included as part of the environmental analysis for the Near -Term Project for full disclosure of potential impacts. To facilitate this analysis, it was estimated that the density of future development on this site would be equal to that projected for other areas included in the Near -Term Project. Potential environmental impacts associated with this aviation -related development were also evaluated as part of the Near -Term Project. Major elements of the 2015 Near -Term Project are depicted in Figure 4.1-1. A detailed listing of activities to be completed as part of the Near -Term Project is provided in Chapter 1.0 of this EA. The Long -Term Project is projected to be developed and become operational by study year 2020. The Long -Term Project includes site preparation and infrastructure development on approximately 407 -acres of land located northwest of the airport and east of Regional Road, construction of a full-length parallel taxiway on the northwest side of Runway 5L/23R, and development of aviation -related industries on the Long -Term Project site (see Figure 4.1-2). A detailed listing of activities to be completed as part of the Long -Term Project is provided in Chapter 1.0 of this EA. As noted in Chapter 1.0 of this EA, the final site layout, composition (number and size of tenants), and development schedule cannot be determined at this time. Development requirements and schedule would be influenced by prevailing market conditions, the operational needs of each tenant, and respective business decisions by prospective tenants and the PTAH). The full build -out of the development area could occur before, or after, study year 2020 (see Figure 4.1-3). However, to disclose potential environmental impacts of the Proposed Project, this EA also evaluated a conceptual full build -out of the Proposed Project by the year 2020. SABD\Marketing0p_Wpro\12011299_Piedmont EA\Draft EA\Ch 4.docx 4-1 Piedmont Triad International Airport Environmental Assessment X �I PIEDMONT TRIAD NEAR-TERM PROJECT PT/ FIGURE INTERNATIONAL AIRPORT (2015) 41-� Environmental Assessment a Legend 0 Proposed Taxiway Conceptual Development Potential Aviation Related Development + Proposed Rail Line X x Road Removal Sources: - URS Corp, 2013 N I� Feet w -E 0 2,000 S �I PIEDMONT TRIAD NEAR-TERM PROJECT PT/ FIGURE INTERNATIONAL AIRPORT (2015) 41-� Environmental Assessment a courtesy 0. b. �►4 1 YW_ VBRIJDrGE X V VOVED 15 :.r ►u LegendProposed Taxiway d ------------ Development Potential Aviation Related Development 1k x Road Removal �f. URS Corp, 2013 q pw6 T ad cel f� S. Feet474 W( 1 2,000 PIEDMONT TRIAD PT/ INTERNATIONAL AIRPORT LONG-TERM PROJECT FIGURE (2020) 4.1-2 Environmental Assessment a cage courtesy -of USGS i I -1 ow. 9 TA I _ A� BRIDG PIEDMONT TRIAD PROPOSED PROJECT PTI FIGURE INTERNATIONAL AIRPORT (FULL BUILD -OUT) 4.1-3 Environmental Assessment a Legend Proposed Taxiway Conceptual Development Potential Aviation Related Development Proposed Rail Line X x Road Removal Sources: `4d - URS Corp, 2013 N I� Feet w—E 0 2,000 S PIEDMONT TRIAD PROPOSED PROJECT PTI FIGURE INTERNATIONAL AIRPORT (FULL BUILD -OUT) 4.1-3 Environmental Assessment a DRAFT 4.1.2 Evaluation of Impacts Direct, indirect, and cumulative impacts associated with the No -Action Alternative and the Proposed Project are identified and disclosed for the environmental resource categories defined in Federal Aviation Administration (FAA) Order 1050.1E and FAA Order 5050.4B. The potential cumulative environmental impacts of other airport and area projects are evaluated for each environmental resource category evaluated in this EA. Specific mitigation measures, if necessary, are discussed in Chapter 5.0, Mitigation, of this EA. 4.1.3 Resource Categories Not Affected As discussed in Chapter 3.0, three environmental resource categories (Coastal Zone Management/Coastal Barriers, Farmlands, and Wild and Scenic River) were considered for purposes of potential environmental impacts; however, it was determined that further detailed analysis in this EA would not be required. 4.2 AIR QUALITY 4.2.1 Overview of Impacts GSO is located in Guilford County, North Carolina. This area is designated as an attainment area for all of the U.S. Environmental Protection Agency (EPA) criteria air pollutant standards with the exception of particulate matter (PM2.5), which is designated as maintenance for the 1997 Standard. When compared to existing conditions, future year air emissions associated with GSO from all sources are expected to increase. This is attributable to forecasted population and economic growth in the Piedmont Triad area, which is reflected in increased aircraft operations at GSO expected with the No -Action Alternative. The Proposed Project would result in further increases in these future year emissions when compared to the future No -Action Alternative. This is mainly attributable to the construction of the Proposed Project. The outcome of the air quality analysis conducted for the proposed improvements to GSO show that total project -related emissions are below the Clean Air Act General Conformity Rule de minimis levels [100 tons per year (tpy)] for PM2.5 and its precursors, nitrogen oxide (NOX), and sulfur dioxide (SO2). This signifies that the proposed improvements at GSO conform to the State Implementation Plan (SIP). The results also show that construction -related emissions would not exceed de minimis thresholds, and that the operational emissions are not regionally significant. Therefore, the General Conformity Rule does not apply and no further demonstration is required to show that the proposed project conforms to the SIP. The Clean Air Act Transportation Conformity Rule requirements were also met for the planned roadway improvements (1-73 Connector) concurrent with this project, as the planned improvements are included in the current and updated Transportation Improvement Programs (TIP) for Guilford County. Hazardous Air Pollutants (HAPs) have also been addressed qualitatively. S:\BD\Marketing\Wp_Wpro\12011299_ Piedmont EA\Draft EA\Ch 4.docx 4-5 Piedmont Triad International Airport Environmental Assessment DRAFT 4.2.2 Methodology Consistent with FAA guidelines, the air quality assessment was conducted following FAA Order 1050.1 E Change 1 (FAA, 2006a), Environmental Impacts: Policies and Procedures (Section 2, Air Quality), FAA Order 5050.413 (FAA, 2006b), the National Environmental Policy Act (NEPA) Implementing Instructions for Airport Actions, the FAA document Air Quality Procedures for Civilian Airports and Air Force Bases (FAA, 1997) (the Air Quality Handbook) and its 2004 Addendum, and the requirements of EPA Region 4 Construction Emissions Inventory Estimated criteria pollutant emissions associated with construction activity, including fugitive dust due to earthmoving activity, were estimated using various methods. Since the exact site layout, composition (number and type of tenants), and development schedule for the aviation facilities to be constructed on the proposed development site cannot be determined at this time, the methods used to estimate construction emissions were based on conceptual designs and general emissions factors and equations, and ratioed using similar projects at GSO and other airports. Since many of the emission factors and data were developed using earlier years (i.e., before 2014), this analysis provides a reasonable estimation of potential emissions because more stringent federal regulations relating to emissions from construction vehicles and equipment and aircraft engines are now in effect. The No -Action Alternative would not involve any of the construction activities connected with the Proposed Project. However, there will continue to be construction activities on-going at the airport that are not associated with the Proposed Project. To the extent these projects have been identified and scheduled for construction, emissions for these projects have been included as part of the No -Action Alternative baseline condition. Fugitive Dust from Earthmoving Activity Earthmoving activity associated with construction projects typically cause emissions of PM in the form of fugitive dust. For this EA, the estimation of a PM emission rate considers the actual level of activity at the site and the effect of construction mitigation measures and controls. For general construction activity, a generally accepted estimate of controlled (50 percent)'. PM10 emissions are 0.11 tons/acre-month of total PM (Countess Environmental, 2006). A more detailed estimate of controlling emissions, which was used for this analysis, is 0.011 tons/acre-month plus 0.059 tons/1,000 cubic yards of cut/fill. A consistent midpoint for construction PM2.5 emissions from PM10 is 10 percent (0.1) as indicated by Thompson Pace, EPA, in the document Examination of the Multiplier Used to Estimate PM2.5 Fugitive Dust Emissions from PM10. These emission and control factors were used to estimate the PM2.5 emissions resulting from construction activity. Further methodology information related to the construction air emissions inventory is located within Appendix B of this EA. 1 The recommended control efficiency for PM emissions is 50 percent based on data presented in the AP -42 manual and the MRI (1999) document. This correction parameter accounts for emission reductions afforded by dust control measures used at construction sites, including watering. SAMMarketing0p_Wpro\12011299_Piedmont EA\Draft EA\Ch 4.docx 4-6 Piedmont Triad International Airport Environmental Assessment DRAFT 4.2.3 Impacts 4.2.3.1 No -Action Alternative Under the No -Action Alternative, there would be no construction or development activities associated with the Proposed Project. Therefore, there would be no impacts to air quality resulting from the No -Action Alternative. 4.2.3.2 Near -Term Project (2015) Construction Impacts The Near -Term components of the Proposed Project which may impact air quality in the vicinity of GSO consist of the following items: site preparation of approximately 553 acres of land for aviation -related development; grading of an approximately 100 acre site for rail -related development; extension of utilities to the Near -Term development area; extension and/or installation of stormwater collection and treatment infrastructure; construction of aircraft parking aprons and associated aviation -related facilities; construction of a 3,500 -foot cross -field taxiway (the total length of taxiway development used for the air quality analysis was 4,640 feet which includes the taxiway connector with Runway 5L/23R); closure and removal of a portion of Joseph M. Bryan Boulevard; construction of 20,403 linear feet (3.1 mi) of rail; construction of 4,223 linear feet (0.8 mi) of roadway associated with the rail; and construction of 3.6 million square feet (SF) of buildings and related access roads. The proposed construction schedule for projects included in the Near -Term Project is provided in Appendix B. The construction -related emissions inventory for the Near -Term Project was developed in accordance with this schedule, and is summarized in Table 4.2-1. The construction period for this alternative is expected to occur over a 2 -year period extending from 2014 to 2015. The results represent the maximum annual construction emissions associated with the project and include emissions from heavy equipment, motor vehicles, paving, and fugitive dust operations. The results are expressed as tpy, by pollutant. TABLE 4.2-1 NEAR-TERM CONSTRUCTION AIR EMISSIONS INVENTORY Year Pollutants (tpy) CO NO), VOC PM10 PM2.5 SO2 Maximum Annual 296 82 32 455 52 21 Total 2014 - 2015 581 149 46 908 103 42 Source: Data derived by DW Environmental Consulting and URS, 2014. Notes: CO = carbon monoxide, VOC = volatile organic compound. All values are in tpy. Construction Equipment emissions were based on similar projects at another airport using AP -42 calculations and the EPA's NONROAD Model. Fugitive dust emissions were calculated using the MRI fugitive dust equations. Paving emissions were based on similar projects at other airports. PM2.5 emissions assumed to be 10 percent of PM10 for fugitive dust calculations, but equal to PM10 emissions for other calculations. As can be seen in Table 4.2-1, the total pollutant emissions (in tons) for PM2.5 and NOxforeach year are less than 100 tpy. In Section 4.2.4, a detailed summary of conformity along with the importance of the 100 tpy threshold is explained. SAMMarketing0p_Wpro\12011299_Piedmont EA\Draft EA\Ch 4.docx 4-7 Piedmont Triad International Airport Environmental Assessment DRAFT Operational Impacts The 2015 Near -Term Project is not expected to result in a substantial increase in aircraft operations at GSO. While the proposed project is expected to include aviation -related activities, it would not be expected to produce large numbers of additional aircraft operations, particularly during the Near -Term development phase when prospective tenant facilities and supporting infrastructure may still be under construction of may be in early stages of operation. Over time, the primary users of the proposed site development areas could include aircraft manufacturing, development, and repair facilities. Even if a major maintenance, repair, and overhaul (MRO) facility were to operate in the area of proposed improvement, the level of operations would not begin to increase operations to a level which could result in a substantial increased air quality emissions impacts. 4.2.3.3 Long -Term Project (2020) Construction Impacts The Proposed Project's Long -Term components which may impact air quality include the following development items: grading and site preparation of approximately 407 acres of land for aviation -related development, relocation of GSO's existing ASR facility, construction of access roads within the Long - Term development area, construction of approximately 2.4 million sf of buildings and construction of a full-length parallel taxiway (7,250 feet) on the northwest side of Runway 5L/23R. The proposed construction schedule for actions included in the Long -Term Project is expected to occur over a 5 -year period extending from 2016 to 2020 (see in Appendix B). The construction -related emissions inventory for the Long -Term Project was developed in accordance with this schedule and is summarized in Table 4.2-2. The results represent the maximum annual construction emissions associated with the project and include emissions from heavy equipment, motor vehicles, paving, and fugitive dust operations. The results are expressed as tpy, by pollutant. As with the Near -Term Project constructions emissions are expected to be below 100 tpy for PM2.5 and NO, An explanation of this threshold level is provided in Section 4.2.4. The worst case scenario year is included as the maximum annual below in Table 4.2-2 with more information provided in Appendix B. TABLE 4.2-2 LONG-TERM CONSTRUCTION AIR EMISSIONS INVENTORY Year Pollutants (tpy) CO NO), VOC PM10 PM2.5 SO2 Maximum Annual 91 57 19 118 18 7 Total 2016-2020 389 119 31 565 66 26 Source: Data derived by DW Environmental Consulting and URS Corporation, 2014. Notes: All values are in tpy. Construction Equipment emissions were based on similar projects at another airport using AP -42 calculations and the EPA's NONROAD Model. Fugitive dust emissions were calculated using the MRI equations. Paving emissions were based on similar projects at other airports. PM2.5 emissions assumed to be 10% of PM10 for fugitive dust calculations, but equal to PM10 emissions for other calculations. SAMMarketing0p_Wpro\12011299_Piedmont EA\Draft EA\Ch 4.docx 4-8 Piedmont Triad International Airport Environmental Assessment DRAFT Operational Impacts - 2020 The 2020 Long -Term Project is not expected to result in a substantial increase in aircraft operations at GSO. However, it is recognized that there may be a small increase in the number of aircraft operating at GSA once the Proposed Project is completed. For purposes of this EA, a 10 percent increase in aircraft operations in 2020 was used to test the effect that such an increase would have on air emission S2. Based on FAA's 2013 TAF, operational activity at GSO in 2020 is projected to be 95,118 operations. A 10 percent increase would represent 9,512 additional operations per year and is well above the likely increase resulting from the Prosed Project. Based on the operational forecast presented in the 2013 TAF and a 10 percent increase in GSO operations following implementation of the Long -Term Project, operational air pollutant inventories for GSO are summarized in Table 4.2-3. TABLE 4.2-3 OPERATIONAL AIR EMISSIONS INVENTORY FOR AIRCRAFT Source Pollutant (tpy) CO NOx PM10 PM2.5 VOC SO2 No -Action Alternative 341 258 3.8 3.8 53 21 Proposed Project 2020 375 284 4.2 4.2 58 26 Net Increase Due to Proposed Project 2020 34 29 0.4 0.6 5 5 1 Based on 95,118 operations as published in FAA's 2013 TAF (No -Action) and 1104,630 total operations based on a 10% increase in operations upon completion of the Long -Term Project in 2020. Source: URS, 2014. Because the types of facilities and processes that future tenants may develop at GSO in the future are unknown at this time, the types of air quality permits which may be required are also unknown. Operational air permits will be obtained by the tenants for all proposed facilities and processes at GSO, as appropriate. 4.2.3.5 Emissions of Hazardous Air Pollutants Emissions of a number of substances, commonly called HAPs, are produced by a wide range of airport sources, including (but not limited to) aircraft, ground support equipment, motor vehicles, and evaporating fuel and paints. The term HAPs refers to pollutants that do not have established National Ambient Air Quality Standards (NAAQS) but present potential adverse human health risks from short-term or long-term exposures. VOCs and particulate emissions can be used as surrogates for measuring changes in HAPs. HAPs effects and potential toxicity vary, and they have or are suspected to have impacts on human health, including risks of cancer, respiratory conditions, and other health effects. The substances referred to here include formaldehyde, acetaldehyde, benzene, and acrolein, among many others. A list 2 Based on the nature of the facilities, the Proposed Project is not expected to substantially increase the number of aircraft operations at GSO, when compared to the No -Action Alternative. The primary tenants anticipated by PTAA include aviation - related manufacturing, maintenance, and repair facilities. These type facilities typically generate a relatively small number of aircraft operations when compared to other airport users, such as airlines, Fixed Base Operators, and cargo operators. Other tenants may generate even fewer aircraft operations. SAMMarketing0p_Wpro\12011299_Piedmont EA\Draft EA\Ch 4.docx 4-9 Piedmont Triad International Airport Environmental Assessment DRAFT of aircraft- and airport -related pollutants can be found in Table 1 of FAA's guidance document Select Resource Materials and Annotated Bibliography on the Topic of Hazardous Air Pollutants Associated with Aircraft, Airports, and Aviation (FAA, 2003). In general, there are no federal or state reporting requirements applicable to airports for HAPs. Airport - related HAP emissions are a very small portion of the HAPs emitted in the region around an airport. Compared to the No -Action Alternative in 2014, overall project -related VOC and particulate emissions from the Proposed Project are projected to only increase by about 1 to 3 percent; thus, project -related emissions of HAPs in 2014 would not be significant with this project. 4.2.4 Conformity Assessments and Permits 4.2.4.1 General Conformity Rule The metropolitan Greensboro area (including Guilford County and GSO) has been designated as a maintenance area for PM2.5. Under the Clean Air Act, each state is required to prepare an air quality management plan for those areas within its borders that do not meet the NAAQS for any criteria air pollutant. Termed a SIP and subject to approval by the EPA, this plan aims to reduce the severity and number of violations of the NAAQS within a defined time frame. The strategies for achieving the goals and objectives of the SIP are also explicitly outlined in this plan. The North Carolina Division of Air Quality (NCDAQ) has submitted a SIP for the area; the goals and objectives of which are to manage the growth of the pollutants and bring the area into attainment with the NAAQS. The final "Redesignation Demonstration and Maintenance Plan for the Hickory and Greensboro/winston- Salem/High Point Fine Particulate Matter Nonattainment Areas" SIP package was submitted to the EPA on December 18, 2009. On December 22, 2010, the NCDAQ submitted to the EPA a Supplement to the Hickory and Triad areas' maintenance plan, revising the motor vehicle emission budgets for transportation conformity purposes using the new EPA mobile model Motor Vehicle Emission Simulator (MOVES). Additionally, the NCDAQ submitted an Errata document to make minor corrections or changes, at the request of the EPA, to the redesignation demonstration and maintenance plan for the fine. Under the provisions of the Clean Air Act General Conformity Rule, federal agencies are prohibited from approving, funding, or promoting any projects or actions that do not conform to the objectives and goals of the SIP. As previously stated, the General Conformity Rule stipulates that federal actions or projects will not cause or contribute to a new violation of the NAAQS, increase the frequency or severity of any existing violation, and/or delay the timely attainment of the standards or other SIP milestones. Applicability Criteria As a means of determining whether or not the requirements of the General Conformity Rule apply, the EPA has established de minimis levels for the nonattainment/maintenance air pollutants. As shown in Table 4.2-4, the applicable de minimis values for the area are 100 tpy for PM2.5 direct particles and 100 tpy for the precursors NO, and SO2. That is, project -related emission levels below these de minimis SAMMarketing0p_Wpro\12011299_Piedmont EA\Draft EA\Ch 4.docx 4-10 Piedmont Triad International Airport Environmental Assessment DRAFT thresholds are presumed to conform to the SIP and the General Conformity Rule is not applicable. In these cases, no further action is required and the federal agency is allowed to approve and/or fund the project or action. TABLE 4.2-4 GENERAL CONFORMITY de minimis LEVELS IN THE GREENSBORO NONATTAINMENT AREA Pollutant de minimis Level (tpy) NO,, (precursor) 100 P M 2.5 100 SO2 100 Sources: 40 Code of Federal Regulations (CFR) Parts 6, 51, and 93, November 30, 1993; 40 CFR Part 52, April 19, 1995. Also, because the area around GSO is designated as an attainment area for CO, PM10, sulfur dioxide (SO2), and lead (Pb), no de minimis values apply to these criteria pollutants and no further discussion of these pollutants is needed with respect to General Conformity. The area is also in attainment for NOx; however, since it is a precursor pollutant for PM2.5, it has been included. Additionally, Guildford County was designated as attainment for ozone in 2011 under the Early Action Compact (EAC) plan. VOC emissions are included for informational purposes to show that they are also less than 100 tpy. Under the applicability test for General Conformity, the sum of future "net project -related direct and indirect emissions" must be evaluated. Net project -related direct and indirect emissions include only those emissions that are explicitly created by the Proposed Project, that are reasonably foreseeable, and are controllable by the federal agency. These emissions are determined by subtracting the future No -Action Alternative emissions from the future Proposed Project emissions. Net project -related emission levels below the de minimis thresholds are presumed to conform to the SIP and the General Conformity Rule is not applicable. However, when the net project -related direct and indirect emissions exceed the de minimis levels, the General Conformity Rule does apply. In these cases, further demonstration must be made in a formal General Conformity Determination to demonstrate that the proposed project conforms to the applicable SIP before the federal agency is allowed to approve and/or fund the project or action. Based on this approach, the outcomes of the General Conformity Rule applicability test for operational and construction -period emissions are treated separately and discussed by alternative. Conformity Assessment The details of the future -year 2020 "operational' emissions for GSO were previously summarized in Table 4.2-3. The construction related emissions associated with the proposed improvements to the airport were presented in Tables 4.2-1 and 4.2-2. From these results, the "project -related" emissions were determined as being the sum of the operational and construction emissions for the Near -Term Project and the sum of the operation and construction emissions for the Long -Terms Project. (Note: operational emissions are the difference between the "Proposed Project" and "No Action Alternative" emissions, as described above.) The results of this analysis are provided in Table 4.2-5 and indicate that SAMMarketing0p_Wpro\12011299_Piedmont EA\Draft EA\Ch 4.docx 4-11 Piedmont Triad International Airport Environmental Assessment DRAFT neither operational nor construction emissions exceed the de minimis thresholds for any of the nonattainment/maintenance pollutants for either the Near -Term Project or the Long -Term Project. Therefore, because the operational emissions and the construction -related emissions are all below the de minimis levels, and because the emissions from the Proposed Project are less than the General Conformity Rule regionally significant test, a General Conformity Determination is not required. TABLE 4.2-5 SUMMARY OF NEAR-TERM PROJECT AND LONG-TERM PROJECT AIR EMISSIONS 1 Maximum annual construction emissions during the construction period. 4.2.4.2 Transportation Conformity Transportation Conformity requirements apply to highway and transit projects that involve the Federal Highway Administration (FHWA) or the Federal Transit Administration (FTA), and these requirements differ from the General Conformity requirements discussed above (40 CFR Part 93). In North Carolina, Transportation Conformity requirements are codified in the North Carolina Administrative Code (NCAC 15A). For surface transportation and transit projects (i.e., roadways, traffic management systems, and rail facilities), conformity to the SIP may be demonstrated by ensuring that the proposed projects are included in a conforming TIP (i.e., a TIP that has been shown to conform to the SIP). A TIP is a comprehensive, region -wide plan that identifies the roadway, transit and other surface transportation improvements proposed for an area in the foreseeable future. For the Greensboro/Winston-Salem/High Point area, the most current TIP is dated December 2011. The TIP is maintained by the North Carolina Department of Transportation (NCDOT) and updated approximately every 2 years. Outside of the GSO proposed projects, is the NCDOT 1-73 Connector Project, for which an EA was submitted in 2012. This connector will run through sections of the GSO property and this roadway improvement is included in the most recent TIP. That is, NCDOT has made provisions for this roadway improvement as part of their area -wide surface transportation system plan for the Greensboro/Winston- Salem/High Point area. Because this roadway improvement is included in the TIP, the air emissions associated with the motor vehicles traveling on it are accounted for in the SIP for the SAMMarketing0p_Wpro\12011299_Piedmont EA\Draft EA\Ch 4.docx 4-12 Piedmont Triad International Airport Environmental Assessment Pollutants (tpy) NOx PM2.5 SO2 Near -Term Project (maximum annual) Construction" 82 52 21 Aircraft Operations <1 <1 <1 Total 82 52 21 Long -Term Project (maximum annual) Construction' 57 18 7 Aircraft Operations 26 0.4 5 Total 83 18.4 12 1 Maximum annual construction emissions during the construction period. 4.2.4.2 Transportation Conformity Transportation Conformity requirements apply to highway and transit projects that involve the Federal Highway Administration (FHWA) or the Federal Transit Administration (FTA), and these requirements differ from the General Conformity requirements discussed above (40 CFR Part 93). In North Carolina, Transportation Conformity requirements are codified in the North Carolina Administrative Code (NCAC 15A). For surface transportation and transit projects (i.e., roadways, traffic management systems, and rail facilities), conformity to the SIP may be demonstrated by ensuring that the proposed projects are included in a conforming TIP (i.e., a TIP that has been shown to conform to the SIP). A TIP is a comprehensive, region -wide plan that identifies the roadway, transit and other surface transportation improvements proposed for an area in the foreseeable future. For the Greensboro/Winston-Salem/High Point area, the most current TIP is dated December 2011. The TIP is maintained by the North Carolina Department of Transportation (NCDOT) and updated approximately every 2 years. Outside of the GSO proposed projects, is the NCDOT 1-73 Connector Project, for which an EA was submitted in 2012. This connector will run through sections of the GSO property and this roadway improvement is included in the most recent TIP. That is, NCDOT has made provisions for this roadway improvement as part of their area -wide surface transportation system plan for the Greensboro/Winston- Salem/High Point area. Because this roadway improvement is included in the TIP, the air emissions associated with the motor vehicles traveling on it are accounted for in the SIP for the SAMMarketing0p_Wpro\12011299_Piedmont EA\Draft EA\Ch 4.docx 4-12 Piedmont Triad International Airport Environmental Assessment DRAFT Greensboro/Winston-Salem/High Point area. Therefore, in accordance with the Transportation Conformity Rule, this improvement to the surface transportation system conforms to the goals and objectives of the SIP and a formal Transportation Conformity determination by the FHWA is not required, since this project is not part of the GSO Proposed Project. Conformity determinations are required for existing non -attainment or maintenance areas every 4 years or whenever a Long Range Transportation Plan (LRTP) or TIP is updated (project scope, horizon year, or termini change during project development — NEPA). This requirement goes away once an area is in maintenance for 20 years. Text taken from the 1-73 Connector EA (February 2012), says that the impacts of air quality conform to the SIPs. The U.S. Department of Transportation (DOT) made a conformity determination on the Greensboro Metropolitan Planning Organization (MPO) LRTP on the High Point MPO LRTP on December 16, 2011; the Burlington MPO LRTP on February 26, 2010; the Greensboro MPO TIP on December 16, 2011; the High Point MPO TIP on December 16, 2011; and the Burlington Graham MPO TIP on December 16, 2011. The current conformity determinations are consistent with the final conformity rule found in 40 CFR Parts 51 and 93. There are no significant changes in the project's design concept or scope, as used in the conformity analyses. A full air quality assessment was conducted, including a qualitative analysis of Mobile Source Air Toxics (MSATs), and appears in its entirety in the document "Air Quality Analysis," dated October 14, 2011, referenced in the 1-73 Connector EA. 4.2.4.3 Transportation Facility Permit The NCDAQ requirement for obtaining a Transportation Facility Permit does not apply to this project at GSO, as they are phasing out this requirement. Therefore, no further action is needed. 4.2.4.4 Other Permits Stationary sources of criteria or hazardous air pollutants (such as power generators, incinerators, paint booths, etc.), if needed, would be installed and operated by the facility owner/operator (tenant). Should these sources be added that require air pollution construction and operating permits from the NCDAQ, these permits will be applied for by the contractor(s) and/or the facility owner/operator (tenant), whichever is appropriate. 4.2.5 Comparison of Significant Impact Thresholds As described in FAA Order 1050.1 E, Change 1, potentially significant air quality impacts associated with an FAA project or action would occur if project -related emissions caused an exceedance of one or more of the NAAQS for any of the time periods analyzed. In addition, the General Conformity Rule (40 CFR Part 93.153) provides de minimis thresholds below which the Proposed Project is presumed to conform to the SIP. The Proposed Project would not generate enough project -related emissions such that de minimis thresholds would be exceeded during routine operations or during construction activities; nor would project -related emissions cause or contribute to an exceedance of any NAAQS. Therefore, both the Near -Term Project and the Long -Term Project would not exceed any threshold indicating a significant impact. SAMMarketing0p_Wpro\12011299_Piedmont EA\Draft EA\Ch 4.docx 4-13 Piedmont Triad International Airport Environmental Assessment DRAFT 4.2.6 Cumulative Effects Near -Term Project and Long -Term Project, along with the implementation of the other on -airport development actions, such as the 2014 1,200 -foot Taxiway M Extension Project, and the off -airport development projects, such as the 1-73 Connector Project, would result in both temporary and permanent impacts to the air quality in the vicinity of GSO. Temporary impacts would result from construction activities and would consist primarily of emissions from construction equipment and vehicles and fugitive dust grading and filling activities. Permanent impacts would consist of the changes in air pollutant emissions occurring during routine operation of the cumulative projects. Impacts on air quality due to construction activities would be temporary and would be minimized through the use of environmental controls in federal, state, and local construction mitigation guidelines. Moreover, the increased emissions from the Proposed Project either involve pollutants of a type that are within the applicable NAAQS for the GSO region and; therefore, fail to result in a significant impact either individually or cumulatively; or in the case of NO, VOC, or PM2.5 involve project increases that are a small fraction of the de minimis levels for the applicable pollutants under the applicable EPA regulations, and are; therefore, not considered to contribute significantly to the cumulative pollutant load or to nonattainment of the NAAQS. For these reasons, it does not appear that the Proposed Project would have any significant cumulative effect on air quality. 4.2.7 Mitigation As the analysis indicates the proposed projects would comply with the General and Transportation Conformity requirements under the federal Clean Air Act, mitigation measures specifically designed to meet these requirements should not be necessary. Although required mitigation for air quality impacts is not anticipated, voluntary measures to minimize air emissions would be implemented by the PTAA to reduce construction -related air emissions. Voluntary minimization measures that are specific and appropriate to site conditions and planned construction methods would be identified during the engineering design of the Near -Term and Long -Term components of the Proposed Project. Examples of common emission minimization measures are listed below. Minimize the amount of exposed soils at any one time by staging construction activities. • Pave, seed, or mulch exposed soils as soon as possible to reduce wind erosion. • Use covered haul trucks for transporting wind -erodible materials. • Curtail excavation and earthmoving activities during periods of high wind conditions. • Prohibit open -burning. • Apply water to soil stock -piles and exposed soils as needed to reduce fugitive dust. Require contractors to inform employees and subcontractors of fugitive -dust minimization measures and ways to reduce equipment exhaust emissions. S:\BD\Marketing\Wp_Wpro\12011299_Piedmont EA\Draft EA\Ch 4.docx 4-14 Piedmont Triad International Airport Environmental Assessment DRAFT • Establish and post publicly a call-in number to report dust, odors, and other construction - related nuisances. • Discourage excess idling of construction equipment and delivery trucks during periods of inactivity. • Substitute low- and zero -emitting equipment whenever possible. • Use electrical drops in place of temporary electrical generators wherever possible. • Utilize vapor -recovery systems for temporary fuel -storage facilities. 4.3 COMPATIBLE LAND USE 4.3.1 Overview of Impacts Under the No -Action Alternative, there would be no changes in off -airport land use within the Detailed Study Area (DSA) other than those resulting from the continuation of routine airport operations. Because the proposed improvements would not be constructed, there would be no increase or change in the level of impacts to off -airport land use as a result of the No -Action Alternative. The improvements associated with the Near -Term and Long -Term Projects would require the acquisition of off -airport land which includes residential, commercial/industrial, institutional/community facility, and road right-of-way land uses. Neither the Near- or Long -Term Projects nor full build -out of the Proposed Project would result in significant noise impacts. Therefore, the implementation of the Proposed Project is not anticipated to result in impacts to land use compatibility due to aircraft noise. 4.3.2 Methodology The land use analysis considered existing and future land use plans from jurisdictions within the DSA along with the various environmental analyses conducted in conjunction with this EA. Parameters evaluated include potential changes in land use due to factors such as noise, socioeconomic, and air quality impacts. Details regarding the environmental analyses for these and other environmental resource categories are provided in the applicable methodology discussion for each resource category. 4.3.3 Impacts 4.3.3.1 No -Action Alternative Under the No -Action Alternative, development of the Proposed Project would not occur. Therefore, the No -Action Alternative would not result in direct land use impacts. SAMMarketing0p_Wpro\12011299_Piedmont EA\Draft EA\Ch 4.docx 4-15 Piedmont Triad International Airport Environmental Assessment DRAFT 4.3.3.2 Near -Term Project (2015) Noise As discussed in Section 4.11, the Near -Term Project improvements would not involve a significant increase in aircraft noise. Therefore, the implementation of the Near -Term Project is not anticipated to result in impacts to land use compatibility due to aircraft noise. Off -Airport Land Use Figure 4.3-1 depicts the area within the DSA that would need to be acquired for the implementation of the Near -Term Project. The Near -Term Project would result in the acquisition of approximately 249 acres of off -airport land. This includes areas that are of residential, industrial, commercial, institutional/community facility, and road right-of-way land use that are not currently within the existing airport property. Table 4.3-1 lists the acreage by land use type that would be acquired due to implementation of the Near - Term Project. Acquisition of these properties would convert these land uses to airport use. Given the existing and planned land use patterns in the vicinity of the airport and across Guilford County, conversion of this small amount of residential, industrial, and road right-of-way land uses to airport use would not have a significant effect on land use patterns or create incompatible land use concerns in the areas adjacent to the airport. Development patterns in the area are well established and would not be adversely affected by the improvements. The Near -Term Project would not significantly affect surface transportation patterns, result in community disruption, or long-term impacts to businesses (see Section 4.12 for further details). TABLE 4.3-1 LAND ACQUISITION NEEDED FOR THE PROPOSED PROJECT Land Use Proposed Project Near -Term Project Acquisition Acreage (2015) Long -Term Project Acquisition Acreage (2020) Full Build -Out of the Proposed Project Acquisition Acreage Residential 36 32 68 Industrial 169 92 261 Commercial 0 9 9 Institutional/Community Facilit 1 0 1 Road Right -of -Way 1 44 33 77 Total 1249 166 415 Note: Numbers may not add due to rounding. Sources: Guilford County GIS, 2013. URS, 2013. SAMMarketing0p_Wpro\12011299_Piedmont EA\Draft EA\Ch 4.docx 4-16 Piedmont Triad International Airport Environmental Assessment 1 2014 Nokia ©AND Legend Near -Term Potential Development Area Long -Term Potential Development Area Land Use D Airport 0 Single Family Residential Commercial Industrial D Institutional/Community Facility Right of Way Sources: Guilford County GIS, 2013 URS Corp, 2013 N W n E Feet 4Vi' 0 2,000 S PIEDMONT TRIAD LAND USE IMPACTS Pri. INTERNATIONAL AIRPORT WITHIN THE PROPOSED FIGURE 4.3-1 a Environmental Assessment PROJECT (FULL BUILD -OUT) a DRAFT Neither the number of aircraft operations nor fleet mix for the 2015 planning period would differ significantly from that forecast for the No -Action Alternative. Therefore, significant impacts to compatible land use due to aircraft noise are not anticipated to occur as the result of the Near -Term Project. 4.3.3.3 Long -Term Project (2020) Noise As discussed in Section 4.3.3.2, neither the number of aircraft operations or fleet mix for the 2020 planning period associated with the Long -Term Project would differ significantly from that forecast for the No -Action Alternative. Therefore, significant impacts to compatible land use due to aircraft noise are not anticipated to occur as the result of the Long -Term Project. Off -Airport Land Use Figure 4.3-1 depicts the area within the DSA that would need to be acquired for the implementation of the Long -Term Project. The Long -Term Project would result in the acquisition of approximately 166 acres. This includes areas that are of residential, industrial, commercial, and road right-of-way land uses that are not currently within the existing airport property. Table 4.3-1 lists the acreage by land use type that would be acquired. The direct impact of acquiring these properties would convert these land use to airport use. Conversion of this relatively small amount of residential, industrial, commercial, and road right-of-way land uses to airport use would not have a significant effect on land use patterns or create incompatible land concerns in the areas adjacent to the acquisition areas. Development patterns in the area are well established and would not be adversely affected by the improvements. The Long -Term Project would not significantly affect surface transportation patterns, result in community disruption, or long-term impacts to businesses (see Section 4.12 for further details). 4.3.3.4 Proposed Project (Full Build -Out) Upon completion of the Near -Term and Long -Term Projects, all site development associated with the Proposed Project would be complete, and the site would either be occupied or would be available for occupancy by aviation -related businesses and tenants. At full build -out, the Proposed Project does not include any land development actions or improvements beyond those that have already been undertaken in the Near -Term and Long -Term Projects. Figure 4.3-1 depicts all areas within the DSA that would need to be acquired for the implementation of both the Near -Term and Long -Term Projects. Table 4.3-1 lists the total acreage by land use type that would be acquired for implementation of the Near -Term and Long - Term Projects. The Full Build -Out condition would not result in additional impacts to land use compatibility in 2020 or beyond. 4.3.4 Comparison of Significant Impact Thresholds A compatible land use threshold indicating a significant impact is not clearly defined in FAA Order 1050.1 E, Change 1; however, for this EA, it was determined that a significant impact would occur if the project required the acquisition of residential properties or if noise sensitive sites were exposed to noise levels of Day -Night Average Sound Level (DNL) 65 A -weighted decibels [dB(A)] or greater and experienced a DNL noise increase of 1.5 dB or greater. Because there would be no significant aircraft SAMMarketing0p_Wpro\12011299_Piedmont EA\Draft EA\Ch 4.docx 4-18 Piedmont Triad International Airport Environmental Assessment DRAFT noise -related impacts due to the implementation of the Proposed Project (as discussed in Section 4.11), land use compatibility impacts would be restricted to the acquisition of off -airport residential parcels. The Proposed Project does include off -airport property acquisition that includes areas of residential land use. However, land acquisition and relocation of the residential and business properties would be undertaken in accordance with the Uniform Relocation Assistance and Real Property Acquisition Policies Act of 1970, as amended (Uniform Act). Therefore, there would be no significant compatible land use impacts associated with the Proposed Project. 4.3.5 Cumulative Effects The discussion of noise impacts developed for this EA and discussed in Section 4.11, takes into account all noise generated by aircraft operations at the airport and, therefore, reflects the full cumulative effect of Proposed Project in combination with other factors affecting exposure to aircraft noise at GSO. Since the assessment of future noise conditions fails to indicate any significant effect from the project reviewed on a cumulative basis, there would be no cumulative land use impact resulting from the project. In summary, the off -airport land use impacts associated with Proposed Project, when considered cumulatively with other potential on- or off -airport projects, would not to lead to substantial land use impacts. 4.3.6 Mitigation The Proposed Project would result in the conversion of off -airport residential, commercial, and industrial land uses to airport use. To mitigate for the impacts to the residences, as well as the businesses that would be affected, the properties would be purchased and relocation assistance would be provided. Land acquisition and relocation of the residential and business properties would be undertaken in accordance with the Uniform Act. For further discussion on the proposed mitigation, see Chapter 5.0, Mitigation, of this EA. 4.4 CONSTRUCTION IMPACTS 4.4.1 Overview of Impacts Under the No -Action Alternative, construction activities associated with the Airport Sponsor's Proposed Project would not occur. Construction of the Near -Term Project would generate temporary and unavoidable impacts related to noise, air quality, water quality, and solid waste. Construction -related impacts associated with the Near -Term Project would occur by 2015. Construction impacts associated with Long -Term Project would be generated by 2020. Potential impacts associated with development of the Long - Term Project would include temporary and unavoidable impacts related to noise, air quality, water quality, and solid waste. There would also be unavoidable impacts to land use and biotic resources within the proposed development site. Once development of the Long -Term Project is complete the would be no further construction associated with the Proposed Project. SABD\Marketing0p_Wpro\12011299_Piedmont EA\Draft EA\Ch 4.docx 4-19 Piedmont Triad International Airport Environmental Assessment DRAFT Measures specified in FAA Advisory Circular (AC) 150/5370-10F, Standards for Specifying Construction of Airports (FAA, 2011), and project -specific design criteria and best management practices (BMPs) to minimize erosion and sedimentation will be specified by the Airport Sponsor and implemented by the selected contractor to minimize potential construction -related impacts. Therefore, significant, long-term construction -related impacts would not occur under either Near - Term or Long -Term phases of the Proposed Project. 4.4.2 Methodology Construction activities required for development of the Near -Term and Long -Term Projects were evaluated to determine potential construction -related impacts. The following environmental resource categories were evaluated to determine the potential to incur adverse impacts: noise, air quality, water quality, traffic disruption, and construction -related wastes. Potential impacts are discussed in greater detail in the appropriate environmental impact category in this chapter of the draft EA. 4.4.3 Impacts 4.4.3.1 No -Action Alternative Under the No -Action Alternative, construction activities associated with neither the Near -Term or Long - Term Projects would not occur. The No -Action Alternative does not include any land development actions or improvements beyond those that have already been undertaken by the Airport Sponsor, planned, environmentally reviewed, and/or that are needed for safety, security or maintenance reasons. This alternative would not result in construction related impacts in 2015. 4.4.3.2 Near -Term Project (2015) The Near -Term Project would include construction of the cross -field taxiway, site preparation and facility development on approximately 553 acres of land for aviation -related use. The Near -Term Project would also include development of a rail spur or transfer facility, access road improvements, site drainage improvements, utility extensions, and construction of aircraft parking areas and associated aviation - related facilities. In total, 725 acres of land would be developed as part of the Near -Term Project. Construction could be accomplished over a period of approximately 2 years; however, the construction schedule will be determined by the Airport Sponsor and airport tenant needs. It is assumed that construction of the Near -Term Project would be completed by 2015. Construction of the Near -Term Project would result in temporary, unavoidable impacts related to air quality, noise levels, water quality, solid waste, and traffic. Construction activities would involve the use of vehicles, heavy construction equipment, and machinery; the use and storage of fuels, solvents, paints, and lubricants; and the use and storage of common construction materials. Construction methods would employ common techniques, equipment, and materials, and would occur mostly during daylight hours, although nighttime work may be required for certain construction elements. The following is a discussion of the temporary construction -related impacts that would occur with the implementation of the Near -Term Project. SABD\Marketing0p_Wpro\12011299_Piedmont EA\Draft EA\Ch 4.docx 4-20 Piedmont Triad International Airport Environmental Assessment DRAFT Noise Temporary increases in noise associated with earthwork and construction would affect only the immediate project area, which would be within GSO property and newly acquired property. Single-family and multi -family residences located on the northwest side of Pleasant Ridge Road and single family residences on the southwest side of Old Ok Ridge Road will be in close proximity to the boundary of the Near -Term Project development area. At some locations, construction activities (i.e., land clearing, grading) could occur within 200 feet of residences. Within the area designated for construction of the rail spur or transfer station, residential land uses would be approximately 500 feet east of the construction area. To the south and west, there are few residential land uses within 2,500 feet of the construction area. Construction noise would temporarily increase ambient noise levels. Distance rapidly attenuates noise levels, so noise experienced by area residents may include a slight and temporary increase in ambient background conditions. The potential noise impact associated with earthwork and construction may be noticeable, but is not expected to be substantial. To minimize noise impacts, construction equipment would be maintained to meet manufacturers' operating specifications. Impacts related to the delivery of materials may be minimized, to some extent, by requiring that the contractor use designated haul routes to avoid, as much as possible, residential and other noise -sensitive receptors. Overall, construction noise resulting from the Near -Term Project is expected to have a minor, temporary impact. Air Quality Temporary emissions of air pollutants are possible from a variety of sources such as material stockpiles and exhaust from construction equipment and delivery trucks. Common measures can be implemented during construction to control fugitive dust from the construction sites during grading and site -preparation phases. Construction equipment would also be maintained to meet manufacturers' operating specifications to minimize air emissions. A detailed discussion and analysis of construction -related air emission impacts appears in Section 4.2, Air Quality, of this EA. No significant construction -related air quality impacts would occur with the Near -Term Project. Water Quality Short-term and temporary water quality impacts may result from construction activities associated with the Near -Term Project. Potential impacts may include increased sedimentation and turbidity in stormwater- receiving bodies during rainfall events. However, project -specific BMPs; implementation of erosion - control measures specified in FAA AC 150/5370-10E, Standards for Specifying Construction of Airports (FAA, 2011); and the implementation of project -specific design criteria to minimize erosion and sedimentation would prevent and/or minimize potential water quality impacts. The Airport Sponsor will be required to obtain a National Pollutant Discharge Elimination System (NPDES) Permit for construction activities, which requires measures to minimize the potential for exceeding applicable water quality standards during construction activities. Construction -related water quality impacts are also discussed in detail in Section 4.14, Water Quality, of this EA. Significant and long-term water quality impacts resulting from construction activities associated with the Near -Term Project would not occur. Solid Waste Construction wastes associated with the Near -Term Project are expected to be comprised of waste materials normally generated by demolition, earthwork, and paving projects. Construction contractors SAMMarketing0p_Wpro\12011299_Piedmont EA\Draft EA\Ch 4.docx 4-21 Piedmont Triad International Airport Environmental Assessment DRAFT and workers will generate what can be characterized as traditional municipal solid wastes (MSWs) during construction. The volume of this waste stream is expected to be minor during construction. Recycling of paper and plastic products could substantially reduce the amount of the construction -related MSWs. Subject to project -design parameters and product specifications, some demolition materials and wastes could be re -used or recycled into the construction materials for new construction. Potential for this exists if existing concrete can be crushed and used as fill and/or aggregate or if existing asphalt can be recycled into new asphalt mixes. It is anticipated that structural steel from demolished buildings and metals from electrical systems would be recycled at local or regional facilities. Vegetation wastes are expected to be minimal as the vegetated portions of the construction area is comprised of mostly grassed field. These wastes could easily be processed for re -use by composting. Construction waste not diverted, recycled, or re -used would be transported to and disposed of in local permitted construction/demolition facilities or in local waste -to -energy plants in accordance with applicable state and local requirements. Solid waste impacts are further considered in Section 4.8 of this Draft EA. No significant construction -related solid waste impacts would occur. 7—ffi- Haul routes for vehicles and trucks would be primarily on established multi -lane highways and commercial thoroughfares in the vicinity of the airport (e.g., North Regional Road, Pleasant Ridge Road, Old Oak Ridge Road, Regional Road, and W. Market Street). Use of streets in residential neighborhoods and adjacent to noise -sensitive land uses is not anticipated. No road work or lane closures are anticipated to be required. No significant or long-term traffic impacts are anticipated to occur from the construction activities associated with the Near -Term Project. 4.4.3.3 Long -Term Project (2020) The Long -Term Project would include construction of the parallel taxiway to Runway 5L/23R, site preparation and aviation -related facility development on approximately 407 acres of land, access road improvements, site drainage improvements, utility extensions, and construction of aircraft parking areas and associated aviation -related facilities. Construction would be accomplished over a period of approximately 5 years; however, the construction schedule will be determined by the Airport Sponsor based on airport tenant needs. It is assumed that construction of the Long -Term components of the Taxiway Extension and Site Development Project will be completed by 2020. Construction of the Long -Term Project would result in temporary, unavoidable impacts related to air quality, noise levels, water quality, solid waste, and traffic. Construction activities would involve the use of vehicles, heavy construction equipment, and machinery; the use and storage of fuels, solvents, paints, and lubricants; and the use and storage of common construction materials. Construction methods would employ common techniques, equipment, and materials, and would occur mostly during daylight hours, although nighttime work may be required for certain construction elements. The following is a discussion of the temporary construction -related impacts that would occur with the implementation of the Long -Term Project. SABD\Marketing0p_Wpro\12011299_Piedmont EA\Draft EA\Ch 4.docx 4-22 Piedmont Triad International Airport Environmental Assessment DRAFT Noise Temporary increases in noise associated with earthwork and construction would affect only the immediate project area, which would be within GSO property and newly acquired property. Construction noise would temporarily increase ambient noise levels. Multi -family residences located on the west side of N. Regional Road and single family residences on the southwest side of Old Ok Ridge Road will be in close proximity to the boundary of the Near -Term Project development area. At some locations, construction activities (i.e., land clearing, grading) could occur within 200 feet of residences. Distance rapidly attenuates noise levels, so noise experienced by area residents may include a slight and temporary increase in ambient background conditions. The potential noise impact associated with earthwork and construction may be noticeable, but is not expected to be substantial. To minimize noise impacts, construction equipment would be maintained to meet manufacturers' operating specifications. Impacts related to the delivery of materials may be minimized, to some extent, by requiring that the contractor use designated haul routes to avoid, as much as possible, residential and other noise -sensitive receptors. Overall, construction noise resulting from the Long -Term Project is expected to have a minor, temporary impact. Air Quality Temporary emissions of air pollutants are possible from a variety of sources such as material stockpiles and exhaust from construction equipment and delivery trucks. Common measures can be implemented during construction to control fugitive dust from the construction sites during grading and site -preparation phases. Construction equipment would also be maintained to meet manufacturers' operating specifications to minimize air emissions. A detailed discussion and analysis of construction -related air emission impacts appears in Section 4.2, Air Quality, of this EA. No significant construction -related air quality impacts would occur with the Long -Term Project. Water Quality Temporary water quality impacts may result from construction activities associated with the Long -Term Project. Potential impacts may include increases in sedimentation and turbidity in stormwater-receiving bodies during rainfall events. However, project -specific BMPs; implementation of erosion -control measures specified in FAA AC 150/5370-10E, Standards for Specifying Construction of Airports (FAA, 2011); and the implementation of project -specific design criteria to minimize erosion and sedimentation would prevent and/or minimize potential water quality impacts. The Airport Sponsor will be required to obtain an NPDES Permit for construction activities, which requires measures to minimize the potential for exceeding applicable water quality standards during construction activities. Construction -related water quality impacts are also discussed in detail in Section 4.14, Water Quality, of this Draft EA. Significant and long-term water quality impacts resulting from construction activities associated with the Long -Term Project would not occur. Solid Waste Construction wastes associated with the Long -Term Project are expected to be comprised of waste materials normally generated by demolition, earthwork, and paving projects. Construction contractors and workers will generate what can be characterized as traditional MSWs during construction. The volume of this waste stream is expected to be minor during construction. Recycling of paper and plastic SAMMarketing0p_Wpro\12011299_Piedmont EA\Draft EA\Ch 4.docx 4-23 Piedmont Triad International Airport Environmental Assessment DRAFT products could substantially reduce the amount of the construction -related MSWs. Construction waste not diverted, recycled, or re -used would be transported to and disposed of in local permitted construction/demolition facilities or in local waste -to -energy plants in accordance with applicable state and local requirements. Solid waste impacts are further considered in Section 4.8 of this EA. No significant construction -related solid waste impacts would occur. Traffic Haul routes for vehicles and trucks would be primarily on established multi -lane highways and commercial thoroughfares in the vicinity of the airport. Use of streets in residential neighborhoods and adjacent to noise -sensitive land uses is not anticipated. No road work or lane closures are anticipated to be required. No significant or long-term traffic impacts are anticipated to occur from the construction activities associated with the Long -Term Project. 4.4.3.4 Proposed Project (Full Build -Out) At full build -out of the Proposed Project, construction activities associated with the Near -Term and Long - Term Projects would be complete and aviation -related businesses and tenants would occupy the site. The Proposed Project at full build -out does not include any land development actions or improvements beyond those that have already been undertaken by the Airport Sponsor, planned, environmentally reviewed, and/or that are needed for safety, security or maintenance reasons. This alternative would not result in construction -related impacts in excess of those resulting from the Near -Term and Long -Term Projects. 4.4.4 Comparison of Significant Impact Thresholds A threshold indicating a significant impact is not clearly defined in FAA Order 1050.1E, Change 1; however, other environmental resource categories such as noise, air quality, water, fish, plants, wildlife, and other relevant impact categories provide further guidance in assessing the significance of the potential construction impacts. Potential impacts associated with noise, air quality, water quality, traffic, and solid waste are not expected to be significant. Therefore, construction activities associated with the Near -Term and Long -Term Projects are not anticipated to result in significant impacts. 4.4.5 Cumulative Effects Development of off-site projects would also generate construction -related impacts, including noise, dust, stormwater discharges, solid wastes, and potential traffic inconveniences. The cumulative impact of construction activity of the Proposed Project and other off-site development actions is not expected to be significant as each construction project will require approvals from federal, state, and local agencies. When considered in conjunction with other development actions, substantial cumulative construction - related impacts are not anticipated from the Proposed Project. 4.4.6 Mitigation Because no significant impacts related to construction activities would occur with either the No -Action Alternative or the Proposed Project (Near -Term, Long -Term, and Full Build -Out components), no formal SAMMarketing0p_Wpro\12011299_Piedmont EA\Draft EA\Ch 4.docx 4-24 Piedmont Triad International Airport Environmental Assessment DRAFT mitigation measures are warranted and none have been developed by the Airport Sponsor for inclusion in this Draft EA. 4.5 DEPARTMENT OF TRANSPORTATION SECTION 4(f) AND DEPARTMENT OF INTERIOR SECTION 6(f) RESOURCES 4.5.1 Overview of Impacts Under the No -Action Alternative, there would be no construction or development activities associated with the Proposed Project. Accordingly, there would be no direct or indirect impacts to Section 4(f) or Section 6(f) resources. There are no potential lands subject to the provisions of Section 4(f) of the U.S. DOT Act of 1966 [codified at 49 U.S. Code (U.S.C.) Section 303(c)] or provisions in Section 6(f) of the Land and Water Conservation Fund Act (LWCF) located within the DSA. Fourteen potential Section 4(f) resources are located within the Generalized Study Area (GSA). Implementation of the Proposed Project would not require the acquisition or taking of any Section 4(f) resource. In addition, the Proposed Project would not result in significant noise, air, or other indirect impacts on Section 4(f) resources; therefore, the Proposed Project would not result in a constructive use of Section 4(f) resources. Because neither direct nor indirect impacts to Section 4(f) resources would occur, a separate Section 4(f) analysis is not warranted and mitigation measures have not been developed. 4.5.2 Methodology A review was conducted to determine if any public parks and recreation resources would have the potential to be directly or indirectly impacted by the Proposed Project or the No -Action Alternative with regard to the protective provisions of Section 4(f) of the DOT Act [recently re -codified as Section 303(c)] or provisions in Section 6(f) of the LWCF. Section 4(f) of the DOT Act provides that the Secretary of Transportation will not approve any program or project that requires the use of publicly -owned land of a public park, recreation area; or wildlife and waterfowl refuge of national, state, or local significance; or land of an historic site of national, state, or local significance as determined by the officials having jurisdiction thereof, unless: 1. There is no feasible and prudent alternative to use of such land and 2. The program or project includes all possible planning to minimize harm to the park, recreation area, wildlife and waterfowl refuge, or historic site resulting from the use. Land that meets the criteria for Section 4(f) protection includes publicly -owned parks, recreational areas, wildlife and waterfowl refuges, and significant historic sites [properties listed on or eligible for listing on the National Register of Historic Places (NRHP)]. The term "Section 4(f) resource" in this evaluation refers to any specific site or property meeting DOT Act criteria. Use of Section 4(f) land occurs when: • Land is acquired from a Section 4(f) resource for a transportation project, SAMMarketing0p_Wpro\12011299_Piedmont EA\Draft EA\Ch 4.docx 4-25 Piedmont Triad International Airport Environmental Assessment DRAFT • There is a temporary occupancy of Section 4(f) land that is adverse, or • The project's proximity impacts are so severe that the Section 4(f) property is substantially impaired (referred to as "constructive use"). 4.5.3 Impacts 4.5.3.1 No -Action Alternative The No -Action Alternative assumes that the proposed airfield improvements would not be constructed. Therefore, there would be no direct or indirect impacts to Section 4(f) resources. 4.5.3.2 Near -Term Project (2015) Construction of the Near -Term Project would occur entirely within the DSA. No potential Section 4(f) or Section 6(f) resources are located within the DSA. The nearest potential Section 4(f) resources are located within the GSA and include the Campbell -Gray House and Barn (a NRHP-eligible resource) and the open recreational field at Guilford Elementary School and the Greensboro Trails. These sites range in distance from less than 1 mile to approximately 1.5 and 1.8 miles, respectively, from the proposed development site (see Figure 3.3-1, Sites 1, 13, and 14). Accordingly, no direct or indirect impacts to any Section 4(f) resources are anticipated from development of the Near -Term Project. There are no sites within the GSA identified as Section 6(f) resources. Pleasant Ridge Golf Club, a small privately -operated golf course located within the northwest quadrant of the DSA, was previously acquired by GSO in anticipation of the proposed airport development. This area is designated on PTAA's Master Plan as a site for future aviation -related use. The golf course land is leased by PTAA to the golf course operator under a tenancy at will to preserve PTAA's flexibility to use this property at such time when the need arises. 4.5.3.3 Long -Term Project (2020) Construction of the proposed parallel taxiway, and site preparation and aviation -related development on the approximately 407 acres of land designated for the Long -Term Project would occur entirely within the DSA. As discussed above, there are no potential Section 4(f) or Section 6(f) resources located within the DSA. The nearest potential Section 4(f) resources are the Campbell Gray house and barn, the open recreational field at Guilford Elementary School, and the Greensboro Trails. These sites are located within the GSA at distances ranging from less than 1 mile to approximately 1.8 miles, from the proposed development site. Accordingly, no direct or indirect impacts to any Section 4(f) resources are anticipated from the full development of the Long -Term Project. There are no sites within the GSA identified as Section 6(f) resources. 4.5.3.4 Proposed Project (Full Build -Out) As discussed above, there are no potential Section 4(f) or Section 6(f) resources located within the DSA. Accordingly, no direct or indirect impacts to any Section 4(f) resources are anticipated from the development and subsequent aviation -related tenant operations associated with the Proposed Project. There are no sites within the GSA identified as Section 6(f) resources. SAMMarketing0p_Wpro\12011299_Piedmont EA\Draft EA\Ch 4.docx 4-26 Piedmont Triad International Airport Environmental Assessment DRAFT 4.5.4 Comparison of Significant Impact Thresholds A significant impact would occur pursuant to NEPA when a proposed action, involves a physical use of a Section 4(f) property or results in constructive use which substantially impairs the Section 4(f) property. Construction of the Near -Term and Long -Term Projects at GSO will not physically impact any Section 4(f) property or have indirect impacts, including noise and visual impacts, which would result in constructive use of any Section 4(f) property located within the GSA. Similarly, operational activities conducted by tenants upon full build -out of the Proposed Project would not result in noise or visual impacts to any Section 4(f) resources. Therefore, the Proposed Project would not exceed the threshold for a significant impact. 4.5.5 Cumulative Effects Development of the Near -Term and Long -Term Projects at GSO, and facility operations associated with the Proposed Project upon full build -out would not directly or indirectly impact Section 4(f) or Section 6(f) resources within the GSA. Therefore, no cumulative impacts to Section 4(f) or Section 6(f) resources would occur due to development of the Proposed Project when considered in conjunction with other planned or proposed off -airport or on -airport actions. 4.5.6 Mitigation The potential for significant impacts was not identified; therefore, no mitigation measures have been identified. 4.6 FISH, WILDLIFE, AND PLANTS 4.6.1 Overview of Impacts The No -Action Alternative would not result in construction or development activities associated with the Proposed Project. Accordingly, there would be no impacts to biotic communities or threatened and endangered species. Development of the Proposed Project is anticipated to be completed in 2020. Upon completion, the Proposed Project would have the potential to directly impact approximately 1,1323 acres of land located within the DSA resulting from site preparation, and aviation -related development as detailed in Section 1.2 of this EA. Approximately half of the land area within the DSA is characterized as developed commercial/industrial, developed residential, and developed recreational (see Section 3.4) within a greater urban setting. The remainder of the land cover is disturbed upland and wetland forested areas, as well as open field areas. Several unnamed intermittent and perennial streams are located in the DSA that are capable of supporting small non -game fish species. Wildlife using the existing habitat would be those typical of the piedmont region that is adapted to human disturbance and urban development. There are no known threatened or endangered rare plants or animal species in the DSA. In addition, based on review 3 Based on the site development needs of potential future tenants, the actual amount of land affected by site development activities may be less than 1,132 acres. For disclosure purposes, this EA evaluated a potential full build -out scenario. SAMMarketing0p_Wpro\12011299_Piedmont EA\Draft EA\Ch 4.docx 4-27 Piedmont Triad International Airport Environmental Assessment DRAFT of site information from the U.S. Fish and Wildlife Service (FWS), the project site does not contain any formally designated critical habitat. Habitat for one federally -listed species known to occur in Guilford County, small whorled pogonia (Isotria meleucocephalus), may exist within the DSA. Correspondence from the FWS states the Proposed Project is "not likely to affect" any federally - listed or endangered species, their formally designated critical habitat, or species currently being prepared for listing at these sites. 4.6.2 Methodology Potential impacts to fish, wildlife, and plants within the DSA resulting from the No -Action Alternative and the Proposed Project were evaluated through an analysis of aerial photographs, literature and database research, field observations, and coordination with federal and state resource agencies. 4.6.3 Impacts 4.6.3.1 No -Action Alternative The No -Action Alternative would have no impacts on fish, wildlife, or plants since there would be no construction or land disturbance activity associated with this alternative. 4.6.3.2 Near -Term Project (2015) The Near -Term Project would include clearing, grading and site preparation on up to 725 acres of land within the DSA for future taxiway, rail, and aviation -related development. These actions would have the potential to result in impacts to the biotic communities described in Table 4.6-1. TABLE 4.6-1 ACRES OF IMPACTS TO LAND USE/VEGETATIVE COVER RESULTING FROM THE NEAR-TERM PROJECT Vegetative Community/Land Use Description Acres Disturbed Open Field 205 Forested Wetlands 2 Oak Hickory Forest 242 Virginia Pine Forest 15 Yellow Poplar - Sweet Gum Lowland Forest 4 Early -Successional Mixed Hardwood — Pine Sere 5 Open Water 7 Developed — Commercial/Industrial 58 Developed — Recreational 108 Developed — Residential 59 Developed — Paved Road 20 Total 725 Source: URS, 2013. S:\BD\Marketing\Wp_Wpro\12011299_ Piedmont EA\Draft EA\Ch 4.docx 4-28 Piedmont Triad International Airport Environmental Assessment DRAFT There are no known threatened or endangered rare plants or animal species located within the area impacted by activities proposed for the Near -Term Project. In addition, based on review of information from the FWS, the project site does not contain any formally designated critical habitat. Habitat for one federally -listed species known to occur in Guilford County, small whorled pogonia, may exist within the DSA but no specimens were found in a 2012 field survey within the DSA. Correspondence from the FWS, dated July 11, 2013, states the project is "not likely to affect' any federally -listed or endangered species, their formally designated critical habitat, or species currently being prepared for listing. 4.6.3.3 Long -Term Project (2020) The Long -Term Project would potentially impact up to 407 acres of land for site development within the DSA. Site development activities include clearing, grading, stormwater infrastructure improvements, access roadways, and extension of utilities. The project would also include relocation of the existing ASR facility to an area outside of the proposed development site. Approximately half of the DSA is characterized as developed urban/residential/recreational development within a greater urban setting. The remainder of the land cover is disturbed upland and wetland forested areas and open field areas. Several unnamed intermittent and perennial streams occur in the DSA that are capable of supporting small non -game fish species and aquatic macroinvertebrates (see Section 4.15, Wetlands). The majority of the land within the DSA has already been developed, or has been previously disturbed and fragmented. Wildlife within the area designated for development of the Long -Term Project would be typical of those in the Piedmont region that are adapted to human disturbance and urban development. Accordingly, it is anticipated that construction of the Long -Term Project would not result in a significant impact to biotic communities. The estimated areas of impact for the habitat types associated with the implementation of the Long -Term Project are provided below in Table 4.6-2. Threatened and Endangered Species - As discussed in Section 3.4 of this EA, federally- and state - listed species, and federally- and state -designated significant natural heritage areas are not known or expected to exist within the DSA. There are no known threatened or endangered rare plant or animal species in the DSA. In addition, based on review of information from the FWS, the project site does not contain any formally designated critical habitat. Habitat for one federally -listed species known to occur in Guilford County, small whorled pogonia, may exist within the DSA but no specimens were found in a 1982 field survey within the DSA.. Correspondence from the FWS dated July 11, 2013 states the project is not likely to affect any federally -listed or endangered species, their formally designated critical habitat, or species currently being prepared for listing at these sites. SAMMarketing0p_Wpro\12011299_Piedmont EA\Draft EA\Ch 4.docx 4-29 Piedmont Triad International Airport Environmental Assessment DRAFT TABLE 4.6-2 ACRES OF IMPACTS TO LAND USE/VEGETATIVE COVER RESULTING FROM THE PROPOSED PROJECT Vegetative Community/ Land Use Description Near -Term Project (2015) Long -Term Project (2020) Proposed Project (Full Build - Out) Disturbed Open Field 205 139 344 Forested Wetlands 2 2 4 Oak Hickory Forest 242 134 376 Virginia Pine Forest 15 0 15 Yellow Poplar - Sweet Gum Lowland Forest 4 0 4 Early -Successional Mixed Hardwood — Pine Sere 95 0 5 Open Water 7 0 7 Developed — Commercial/Industrial 58 88 146 Developed — Recreational 108 0 108 Developed — Residential 59 22 81 Developed — Paved Road 20 22 42 Total 725 407 1,132 Source: URS, 2013. 4.6.3.4 Proposed Project (Full Build -Out) Upon full build -out of the Proposed Project aviation -related businesses and tenants would occupy the site. No additional site development or construction activities associated with the Proposed Project would occur upon completion of the Long -Term Projects. Table 4.6-2 provides data on the total acreage of habitat type having the potential to be impacted due to implementation of the Near- and Long -Term Projects and following full build -out of the Proposed Project. Based on the data provided in Table 4.6-2 it is anticipated that construction of the Proposed Project (both Near -Term and Long -Term Projects) would not result in a significant impact to biotic communities. 4.6.4 Comparison of Significant Impact Thresholds Thresholds indicating significant impact include actions that would jeopardize the continued existence of threatened or endangered species, result in the destruction or adverse modification of federally - designated critical habitat, or have substantial impacts to non -listed species. The Proposed Project is not anticipated to impact any federally -listed species, convert designated critical habitat, or have substantial impacts to non -listed species. Therefore, thresholds indicating significant impacts would not be exceeded. 4.6.5 Cumulative Effects The DSA is located within an urban region that is already fully built out. The DSA will be bisected by the proposed six -lane, 1-40/NC 68/1-73 Connector. Cumulative impacts to fish, wildlife, and plants could SAMMarketing0p_Wpro\12011299_Piedmont EA\Draft EA\Ch 4.docx 4-30 Piedmont Triad International Airport Environmental Assessment DRAFT occur as a result of the Proposed Project when considered in conjunction with other on- and off -airport development actions. These cumulative projects would result in a permanent alteration of existing habitat. However, as noted above, the existing habitat is already characterized as disturbed and fragmented. The only wildlife species are those that are typically adapted to human disturbance within urban environments. 4.6.6 Mitigation Because no significant impacts to fish, wildlife, and plants were identified, it is not anticipated that mitigation measures for this resource category are required. 4.7 FLOODPLAINS 4.7.1 Overview of Impacts Under the No -Action Alternative, the Proposed Project would not be constructed and there would be no encroachment on 100 -year floodplains. The Near -Term Project would have the potential to impact approximately 1 acre of a 100 -year floodplain. The Long -Term Project would have the potential to impact up to an additional 16.8 acres of floodplain. The full build -out of the Proposed Project has the potential to impact up to 17.8 acres of floodplain. 4.7.2 Methodology Potential floodplain encroachments associated with the Proposed Project were determined from a comparison of the areas of disturbance for both the Near -Term and Long -Term components of the Proposed Project with the geographic information system (GIS) -based FEMA Digital Flood Insurance Rate Maps (DFIRM). Executive Order 11988 directs federal agencies to take action to reduce the risk of flood loss, to minimize flood impacts, and to preserve floodplain values. Department of Transportation Order 5650.2, Floodplain Management and Protection, and FAA Orders 1050.1 E and 5050.413 contain policies and procedures for implementing the Executive Order and evaluating potential floodplain impacts. These orders require the FAA to review potential floodplain impacts, and where encroachment would occur, take steps to minimize potential harm to or within the base floodplain. In case of significant encroachment, a finding is required to confirm there is no practical alternative and all measures to minimize harm are included in the project. FAA Order 1050.1 E states that if a project is not within the limits of a base floodplain, no further analysis is required. However, if the only practicable alternative results in a floodplain encroachment, further analysis is needed. The analysis would consider ways to minimize potential harm and determine if the encroachment is significant or not. A significant encroachment would involve: 1) high probability of loss of life; 2) substantial cost or damage, including interruption of aircraft service or loss of a vital transportation facility; and/or, 3) cause adverse impacts on natural and beneficial floodplain values. If the potential impact is considered significant, a finding would be required to confirm there is no practicable alternative to placing the project in a floodplain and that all measures to minimize harm would be included in the project. SAMMarketing0p_Wpro\12011299_Piedmont EA\Draft EA\Ch 4.docx 4-31 Piedmont Triad International Airport Environmental Assessment DRAFT 4.7.3 Impacts The PTAA and its prospective tenants would generally seek to avoid floodplains as airfield infrastructure and aviation -related facilities are developed. The PTAA and its tenants would also be required under local floodplain management programs to avoid, minimize, and mitigate unavoidable impacts. Because the site development needs of prospective tenants are not fully known at this time, and for purposes of disclosing potential impacts in this EA, it is assumed that all floodplains within the development site could potentially be affected by the Proposed Project. Because avoidance and minimization measures would be considered in the implementation of the Proposed Project and design of aviation facilities, it is anticipated that floodplain impacts would be less than that evaluated in this EA. 4.7.3.1 No -Action Alternative Under the No -Action Alternative the Proposed Project would not be constructed; therefore, the No -Action Alternative would not affect floodplains. 4.7.3.2 Near -Term Project (2015) The Near -Term Project may result in an encroachment on up to 1.0 acre of 100 -year floodplain (Zone AE4). The 1.0 acre of potential floodplain impacts within the Near -Term development area include approximately 0.1 acres of floodway5. The location and extent of floodplains in the DSA are depicted in Figure 4.7-1 and potential impacts are quantified in Table 4.7-1. TABLE 4.7-1 POTENTIAL FLOODPLAIN IMPACTS FEMA Designation Proposed Project Near -Term Project Long -Term Project Proposed Project (Full Build -Out) Zone AE (Floodplain) 0.9 15.9 16.8 Zone AE (Floodway) 0.1 0.9 1.0 Total 1.0 16.8 17.8 Note: For purposes of disclosing potential environmental impacts, it is assumed that the Proposed Project could affect all of the floodplains within the development area. However, the design of airfield infrastructure and aviation -related facilities would seek to avoid and minimize impacts on floodplain, which would be expected to result in less floodplain impact. Source: URS Corporation, 2013. 4 Zone AE includes areas subject to inundation by the 1 -percent -annual -chance flood event determined by detailed methods. Base Flood Elevations are provided. 5 A "floodway" or "regulatory Floodway" means the channel of a river or other watercourse and the adjacent land areas that must be reserved in order to discharge the base flood without cumulatively increasing the water surface elevation more than a designated height. Communities must regulate development in these floodways to ensure that there are no increases in upstream flood elevations. SAMMarketing0p_Wpro\12011299_Piedmont EA\Draft EA\Ch 4.docx 4-32 Piedmont Triad International Airport Environmental Assessment cage courtesy -of USGS ©201 i P E TA I A BRIDGE M VE 1 . L 7_� i(C I IN Legend Proposed Taxiway Conceptual Development Potential Aviation Related Development Proposed Rail Line FEMA Flood Zones AE AE, Floodway x Road Removal `4d IX Sources: - URS Corp, 2013 N 1 Feet w -E 0 2,000 S PIEDMONT TRIAD FLOODPLAIN IMPACTS Pri. INTERNATIONAL AIRPORT WITHIN THE PROPOSED FIGURE 4.7-1 a Environmental Assessment PROJECT (FULL BUILD -OUT) a DRAFT The potential floodplain encroachments would be on the south corner of the proposed rail transfer facility development area and along two channels on the northwest side of Runway 5L/23R for construction of a rail spur. A comparison of recent aerial photography and FEMA floodplain boundary information shows that the mapped floodplains have since been modified by airfield development, including the construction of Runway 5L/23R. The floodway is located at the southerly corner of the rail transfer facility development area. Based on its location, it is likely that the future design of the rail transfer facility could avoid the floodway. 4.7.3.3 Long -Term Project (2020) The Long -Term Project may result in a substantial encroachment on up to 16.8 acres of 100 -year floodplain. Approximately 5 acres of floodplain would be associated with the development of the parallel taxiway and approximately 11.8 acres would be associated with the development of aviation -related facilities. The 5 acres of potential floodplain impacts associated with the development of the parallel taxiway includes approximately 1 acre of floodway. The floodplain and floodway affected by the proposed parallel taxiway have been modified previously by airfield development, including the construction of Runway 5L/23R. 4.7.3.4 Proposed Project (Full Build -Out) The full build -out of the Proposed Project has potential to impact up to 17.8 acres of floodplains6. This includes up to 16.8 acres of floodplain and 1.0 acre of floodway encroachment. In accordance with FAA Order 1050.1E, measures to minimize potential harm were considered and an analysis was made to determine if the encroachment is significant or not. A significant encroachment would involve: 1) high probability of loss of life; 2) substantial cost or damage, including interruption of aircraft service or loss of a vital transportation facility; and/or, 3) cause adverse impacts on natural and beneficial floodplain values. If the potential impact is considered significant, a finding would be required to confirm there is no practicable alternative to placing the project in a floodplain and that all measures to minimize harm would be included in the project. Although, as discussed below, no significant floodplain impact is expected, the Proposed Project also mets the avoidance and minimization tests. Alternatives Considered to Minimize Harm —The development of alternatives to the Proposed Project included an evaluation of reasonable alternatives. As discussed in Chapter 2.0, there are no feasible alternatives to the Proposed Project that would achieve its Purpose and Need. Therefore, no practicable alternative avoiding floodplain encroachment was identified. Methods to Minimize Adverse Effect — The Proposed Project's site preparation design process and the subsequent site design for individual tenants would seek to avoid floodplains and floodways. Where floodplains and floodways cannot be avoided, measures to minimize impacts will be considered. The Proposed Project design will incorporate Best Management Practices (BMPs) to meet applicable state 6 As stated previously, the PTAA and its prospective tenants would generally seek to avoid floodplains during site layout and preparation and as subsequent airfield infrastructure and aviation -related facilities are developed. It is anticipated that floodplain impacts would be less than that evaluated in this EA. SAMMarketing0p_Wpro\12011299_Piedmont EA\Draft EA\Ch 4.docx 4-34 Piedmont Triad International Airport Environmental Assessment DRAFT stormwater discharge requirements (i.e., attenuation). Mitigation measures would be implemented, as necessary, to offset unavoidable floodplain impacts. Potential Significance of Impact — Based on FEMA and FAA guidance, floodplain impacts are considered significant if a proposed project results in: 1) a high probability of loss of human life, 2) substantial encroachment -related costs or damage that cause interruption of aircraft service or loss of a vital transportation facility, and 3) notable adverse impacts on natural and beneficial floodplain values. The analysis of potential floodplain impacts indicates that Proposed Project would encroach on a 100 -year floodplain and its associated floodway. However, this unavoidable encroachment is not considered to exceed any one of the criteria listed above and a federal finding is not required based on the following conclusions: 1. The Proposed Project does not have a high probability of loss of human life. The PTAA would not approve development of inhabited buildings and structures at GSO that do not meet local floodplain management policies and ordinances. Further, the Proposed Project would not encourage secondary (off -airport) development in a floodplain and would not substantially increase flood potential. Therefore, the Proposed Project does not have a high probability of loss of human life. 2. The Proposed Project does not have substantial encroachment -related costs or damage and would not cause interruption of aircraft service or loss of a vital transportation facility. Substantial encroachment -related costs or damage are not expected. The Proposed Project would not increase the likelihood of interruption of aircraft service or loss of a vital transportation facility. The proposed parallel taxiway would be similar in design and location to the adjacent Runway 5L/23R and include appropriate drainage features, such as box culverts, to accommodate flow volumes. 3. The Proposed Project would not have an adverse impact on natural and beneficial floodplain values. The affected floodplains provide varying levels of value for flood volume storage and infiltration. Natural beneficial values (i.e., habitat) include segments of natural stream channel and stream channel segments containing forested wetlands. The Proposed Project would provide mitigation for unavoidable impacts to wetlands and streams. Mitigation would include participating in state-sponsored mitigation bank programs that restore degraded stream and wetland habitats. Therefore, the Proposed Project would not have a net adverse effect on natural and beneficial floodplain values. 4.7.4 Cumulative Effects Past development actions at GSO, as well as in the vicinity of GSO, have encroached on floodplains to varying degrees. Recent examples include the construction of Runway 5L/23R (36 acres) and nearby road and highway projects. The upcoming 1-73 Connector project would impact less than a tenth of an acre of floodplains. Future projects at the airport may result in additional minor floodplain impacts. However, recent and future unavoidable floodplain impacts would be offset by mitigation. Because the impacts associated with the Proposed Project would be minimized and mitigation measures are SAMMarketing0p_Wpro\12011299_Piedmont EA\Draft EA\Ch 4.docx 4-35 Piedmont Triad International Airport Environmental Assessment DRAFT implemented for unavoidable impacts, cumulative impacts on floodplain values would be reduced to less than significant levels. 4.7.5 Comparison of Significant Impact Thresholds According to FAA Order 1050.1 E, floodplain impacts are considered significant pursuant to NEPA if they result in notable adverse impacts on natural and beneficial floodplain values. The Proposed Project is anticipated to include unavoidable construction within 100 -year floodplains; however, the impacts are not expected to result in notable adverse effect on natural and beneficial floodplain values. In accordance with FAA Order 1050.1 E, the FAA shall provide the public with an opportunity to review the proposed floodplain encroachment. 4.7.6 Mitigation The unavoidable impacts of the Proposed Project FEMA floodplain would require mitigation. Available mitigation measures include storm water detention mitigation, fill mitigation, and floodway conveyance volume offsets. For further details on proposed mitigation for impacts to the floodplain and regulatory floodway, see Chapter 5.0, Mitigation, of this EA. 4.8 HAZARDOUS MATERIALS/HAZARDOUS WASTE 4.8.1 Overview of Impacts The Proposed Project would affect six sites with environmental concerns (four RCRA, one PCS/ICIS, and one AST). None of the RCRA or PCS/ICIS facilities were identified as having open violations. Contaminants relating to their current and/or past operations may be discovered during demolition of these facilities. If contaminants were discovered, their discovery could also result in a regulatory oversight of the remedial effort. The Proposed Project does not appear to have the potential to impact sites involving hazardous materials or environmental contamination. During construction of the Proposed Project Pollution prevention measures will be implemented to minimize the potential for release of hazardous materials or contaminants into the environment. The Proposed Project would not generate additional municipal solid waste or affect collection, transportation, or disposal of these wastes. Substantial impacts associated with the collection, recycling, and/or disposal of construction wastes are not anticipated. The Proposed Project would include the acquisition of several commercial and industrial properties along Business Park Drive, Bentley Road, and Caindale Drive. An additional industrial business currently operated on PTAA land and would be relocated. One industrial site was listed under EPA's AIRS/AFS (Air Facility Subsystem) and Toxic Substances Control Act (TSCA) programs and another was listed under EPA's PCS/ICIS (water discharge facilities) program. Neither site was identified as having recent violations. S:\BD\Marketing\Wp_Wpro\12011299_ Piedmont EA\Draft EA\Ch 4.docx 4-36 Piedmont Triad International Airport Environmental Assessment DRAFT 4.8.2 Methodology Hazardous materials data from PTAA's current Spill Prevention Control and Countermeasures (SPCC) Plan (Baker, 2011) and the November 2007 GSO EA (FAA, 2007) were reviewed for this EA. In addition, environmental databases were reviewed to identify potential sites with environmental concern within and immediately adjacent to the DSA. Sites located within the DSA were then evaluated with regard to the type and extent of the hazardous materials associated with each site and if database records indicate past spills, releases, and/or violations, which would indicate environmental issues and possible contamination'. 4.8.3 Impacts 4.8.3.1 No -Action Alternative Because the No -Action Alternative does not involve construction or land clearing associated with the Proposed Project, there are no anticipated impacts to sites, facilities, or activities involving hazardous and other regulated materials or environmental contamination. Similarly, the No -Action Alternative would not generate solid waste impacts or result in an increase the amount of waste generated. 4.8.3.2 Near -Term Project (2015) The Near -Term Project includes construction of a cross -field taxiway, site preparation, and subsequent aviation -related facilities development on approximately 553 acres of land. The Near -Term Project also includes construction of a rail spur from an existing rail line at West Market Street to the Near -Term Project site or construction of a rail transfer facility south of West Market Street with roadway/taxiway connections to the Near -Term Project site, and designation of a 72 -acre site located between Runway 5L/23R and Highway 68 for future aviation use. RCRA Sites — The Near -Term Project would affect two Resource Conservation and Recovery Act (RCRA) sites$ (see Table 4.8-1). Neither of the sites has violations reported for the last five year period, which indicates a low potential for hazardous materials issues and contamination. However, there is some potential that contaminants relating to current and/or past operations may be discovered during demolition of these facilities. Their discovery could result in some regulatory oversight and remedial efforts during the design and permitting phases of the project. This overview was prepared for NEPA disclosure purposes only and is not meant to serve as, or replace, a formal Environmental Site Assessment (ESA) or environmental compliance audit. For this reason, the information should not be solely relied upon to evaluate the absence, presence, or extent of hazardous materials and environmental contamination in the study area, should they exist. 8 The EPA RCRA database lists facilities that store, generate, transport, treat, and dispose of hazardous wastes. It should be noted that sites included in this database do not necessarily involve contamination. SAMMarketing0p_Wpro\12011299_Piedmont EA\Draft EA\Ch 4.docx 4-37 Piedmont Triad International Airport Environmental Assessment DRAFT TABLE 4.8-1 PROPOSED PROJECT RCRA SITES Source: US Environmental Protection Agency, 2013. 1 Compliance and enforcement information available in the EPA ECHO report is only available for previous five- year period. Regulated Materials — The Near -Term Project would not affect sites with listed fuel storage tanks. During construction, contractor staging areas will be located at various locations in the DSA. The staging areas will likely include portable aboveground storage tanks (ASTs) for fuel storage. The construction contractor(s) will be required to implement pollution prevention, spill prevention, and response plans documenting the measures that will be taken to prevent accidental releases to the environment and, should they occur, the actions that will be undertaken to minimize the environmental impact. In addition, new aviation -related tenants would, in most cases, be required to implement site-specific pollution prevention plans (i.e., Spill Prevention Control and Countermeasures Plan) that reduce the potential for substantial impacts associated with regulated materials. See Section 4.4, Construction Impacts, and Section 4.14, Water Quality, for more information on pollution prevention measures available to minimize construction phase and operational impacts. Other Environmental Concerns — A tenant on the PTAA-owned 72 -acre site was identified in EPA's database as water discharge source under the PCS/ICIS (Permit Compliance System/Integrated Compliance Information System). The facility report lists no PCS/ICIS violations. Tenant Facility Development - At this time, the number and type of tenants that may develop facilities in association with the Near -Term Project are unknown. Future tenants may engage in activities that include the use, transport, or storage of hazardous materials and/or the generation of hazardous wastes that are regulated under federal and state programs. This may include the storage of fuel and chemicals and use of paints, solvents, degreasers, and cleaning materials. Tenants will be required to obtain and comply with any required federal and state permits and registrations necessary for their operations. SAMMarketing0p_Wpro\12011299_Piedmont EA\Draft EA\Ch 4.docx 4-38 Piedmont Triad International Airport Environmental Assessment Compliance/ Site Handler ID/ Enforcement ID EPA ID Name/Address Generator List Issues' Near -Term Project 10 NCR000011460 Metal Craft of Mayville Southeast Inc. Inactive None 110004059410 7055 Caindale Drive NCR000004853 Fred Turner Racing Small Quantity 20 10004055076 107 Brush Road Generator - None Active Long -Term Project NCD9820975111 PPG Industries Incorporated Small Quantity 12 0018558988 7601 Business Park Drive Generator - None Active 4 110012278347 Etherington Conservation Center Inactive None 7609 Business Park Drive Source: US Environmental Protection Agency, 2013. 1 Compliance and enforcement information available in the EPA ECHO report is only available for previous five- year period. Regulated Materials — The Near -Term Project would not affect sites with listed fuel storage tanks. During construction, contractor staging areas will be located at various locations in the DSA. The staging areas will likely include portable aboveground storage tanks (ASTs) for fuel storage. The construction contractor(s) will be required to implement pollution prevention, spill prevention, and response plans documenting the measures that will be taken to prevent accidental releases to the environment and, should they occur, the actions that will be undertaken to minimize the environmental impact. In addition, new aviation -related tenants would, in most cases, be required to implement site-specific pollution prevention plans (i.e., Spill Prevention Control and Countermeasures Plan) that reduce the potential for substantial impacts associated with regulated materials. See Section 4.4, Construction Impacts, and Section 4.14, Water Quality, for more information on pollution prevention measures available to minimize construction phase and operational impacts. Other Environmental Concerns — A tenant on the PTAA-owned 72 -acre site was identified in EPA's database as water discharge source under the PCS/ICIS (Permit Compliance System/Integrated Compliance Information System). The facility report lists no PCS/ICIS violations. Tenant Facility Development - At this time, the number and type of tenants that may develop facilities in association with the Near -Term Project are unknown. Future tenants may engage in activities that include the use, transport, or storage of hazardous materials and/or the generation of hazardous wastes that are regulated under federal and state programs. This may include the storage of fuel and chemicals and use of paints, solvents, degreasers, and cleaning materials. Tenants will be required to obtain and comply with any required federal and state permits and registrations necessary for their operations. SAMMarketing0p_Wpro\12011299_Piedmont EA\Draft EA\Ch 4.docx 4-38 Piedmont Triad International Airport Environmental Assessment DRAFT Solid Wastes — Most solid waste and debris from land clearing, construction, and demolition activities would be recycled. Construction and demolition materials that cannot be recycled would be disposed at permitted Construction and Demolition (C&D) landfills in the area. Because the type of potential tenants is unknown at this time, it is difficult to estimate the types and amounts of additional municipal solid wastes that would be generated at GSO if the Near -Term Project was implemented. However, it is estimated that the Near -Term Project could create up to 10,000 new aviation and aerospace manufacturing jobs at GSO. Further, the types of solid waste generated by potential tenants in the near-term is expected to be similar to that generated by other airport tenants involved in aviation manufacturing and aviation -related services. This may include metals, glass, and plastics; paper, cardboard, and other office wastes; and food wastes. It is anticipated that much of these waste materials would be recycled through existing programs operated by the City of Greensboro. Some production waste (i.e., metals) may also be recycled by the manufacturer and/or specialty recycling companies. Given the availability of recycling programs, it is expected that the local solid waste transfer facilities and landfill would accommodate the additional volume of non -recyclable solid waste without substantial impact. 4.8.3.3 Long -Term Project (2020) The Long -Term Project includes construction of a parallel taxiway on the northwest side of Runway 5L/23R, site preparation, and subsequent aviation -related facilities development on approximately 407 acres of land. RCRA Sites - Site preparation associated with the Long -Term Project would affect two RCRA sites (see Table 4.8-1). Neither site has violations reported for the last five year period, which indicates a low potential for hazardous materials issues and contamination. Regulated Materials — The Long -Term Project would involve the relocation of the FAA ASR facility. The radar facility has a 2,000 -gallon aboveground fuel tank that contains diesel fuel. There are no reported incidents associated with this tank. Because of the relatively small tank size and lack of reported incidents, the risk of encountering contamination at this location during site preparation phase of the Long -Term Project is considered to be low. The storage and handling of fuel and other regulation materials during construction phase and facility operation would be subject to the same controls and requirements as described above for the Near -Term Project. Other Environmental Concerns — PPG Industries Inc., one of the RCRA sites discussed above, was identified in EPA's databases as an air emissions source and as a Toxic Substance Control Act (TSCA) facility. The review also indicated that PPG Industries was classified as a Minor source of air emissions and the site's current status as an air emissions source is Permanently Closed. Although listed in the database as a TSCA facility, the facility report presently lists no TSCA chemicals at the site. Tenant Facility Development - As with the Near -Term Project improvements, it will be incumbent on each future tenant whose operations involve the emission, transfer, transport, storage, and generation of materials regulated under the federal and state hazardous materials programs to obtain all required permits and registrations necessary for their operations. SAMMarketing0p_Wpro\12011299_Piedmont EA\Draft EA\Ch 4.docx 4-39 Piedmont Triad International Airport Environmental Assessment DRAFT Solid Wastes — Same as the Near -Term Project, solid waste and debris from land clearing, construction, and demolition activities would be recycled or disposed of at permitted facilities. The Long -Term Project could employ an additional 3,000 people at GSO. Based on the availability of recycling programs, local transfer and disposal facilities would be capable of handling the additional volume of non -recyclable solid waste generated if the Long -Term Project was implemented. 4.8.3.4 Proposed Project (Full Build -Out) The full build -out of the Proposed Project (Near -Term Project plus Long -Term Project) would affect four RCRA sites and one AST site with a relatively small diesel tank. None of these sites have reported violations or incidents that would suggest contamination or substantial environmental issues. However, there is some potential that contaminants may be discovered during demolition of these facilities and that some level of clean-up may be required. If necessary, the extent of any remedial efforts would be coordinated with applicable state and local regulatory agencies. No sites on the EPA National Priorities List (NPL) are located within or in the vicinity of the DSA. The storage and handling of fuel and other regulation materials during construction will be subject to pollution prevention controls and requirements that would minimize the potential for a release of fuel and regulated materials into the environment. The operation of the aviation -related facilities will also be subject to pollution prevention and regulated materials management requirements. Collectively, these measures reduce the potential for the release of hazardous and regulated materials into the environment. The volume of solid waste generated at GSO would increase as tenant facilities are developed and become operational. At full build -out, approximately 13,000 new employees could work at GSO. Most of the solid waste generated by aviation manufacturing processes and employees would be recycled. Non - recyclable waste would be disposed in local landfills. Overall, local waste handling and disposal facilities could accommodate non -recyclable wastes generated by the Proposed Project. 4.8.4 Cumulative Effects GSO and its surrounding area are largely built -out and a variety of land uses are present in the vicinity of the airport. Sites with known releases and contamination are presumed to be under some level of regulatory oversight and likely subject to monitoring and/or remediation. With the exception of recent runway and highway development projects, past airport, industrial, commercial and residential development in the study area appears to have been mostly conducted on greenfield sites with minor hazardous materials involvement. Future development and redevelopment projects in the vicinity of GSO may involve sites where hazardous materials are used or stored and sites with soil and/or groundwater water contamination. Those projects would be required to comply with federal, state, and local regulations governing hazardous wastes and substances. Future development is expected to result in increased demand for solid waste collection, recycling, and disposal. The relatively low hazardous material, pollution, and solid waste impacts of the Proposed Project, when considered in addition to similar impacts of other on- or off -airport projects, are not expected to lead to substantial cumulative hazardous materials and solid waste impacts. SAMMarketing0p_Wpro\12011299_Piedmont EA\Draft EA\Ch 4.docx 4-40 Piedmont Triad International Airport Environmental Assessment DRAFT 4.8.5 Comparison of Significant Impact Thresholds The need for additional information or analysis is required only if problems are anticipated with respect to meeting applicable local, state, Tribal, or federal laws and regulations on hazardous or solid waste management. Actions involving properties listed (or potentially listed) on the NPL are considered significant by definition. For the Proposed Project, there are no NPL sites affected. Early coordination of the Proposed Project and the analyses conducted for this EA indicate no problems regarding the ability to meet applicable laws and regulations. 4.8.6 Mitigation Because significant impacts associated with the Proposed Project have not been identified, mitigation is not warranted. 4.9 HISTORIC AND ARCHAEOLOGICAL RESOURCES 4.9.1 Overview of Impacts Under the No -Action Alternative, there would be no construction or development activities associated with the Proposed Project. Therefore, there would be no impacts to historic or archaeological resources resulting from the No -Action Alternative. There is one NRHP-eligible historic property within the APE, the Campbell -Gray House and Barn. This property was previously determined NRHP-eligible under NRHP Criterion C for its architecture. FAA has determined that there will be no adverse effect on this property as a result of construction and implementation of the Proposed Project. FAA will continue ongoing consultation with the North Carolina SHPO regarding this determination as required by Section 106 of the National Historic Preservation Act (NHPA) [36 CFR, Part 800.5]. Section 106 coordination between the FAA and SHPO will be concluded and documented in the Final EA. 4.9.2 Methodology Determining potential environmental impacts on historic and/or archaeological resources requires the identification of any NRHP resource, whether listed or eligible for listing, having potential for direct or indirect impacts. According to Section 106 of the NHPA, a proposed action has an effect on a historic property when the action may alter characteristics of the property that may qualify it for inclusion in the NRHP [36 CFR, Part 800.9(a)]. An effect would be considered adverse when it diminishes the integrity of the property's location, design, setting, materials, workmanship, feeling, or association. Adverse effects include the physical destruction of all or part of the property, changes to aspects of the property's setting, or alteration of character -defining features [36 CFR, Part 800.9(b)]. Field surveys of potentially historic aboveground resources within the DSA and APE were conducted as described at Section 3.7.3, above. As a result of these field surveys, the FAA determined and the SHPO concurred that the Campbell -Gray House and Barn was the only NRHP-eligible property included within the APE. This property was determined NRHP-eligible under NRHP Criterion C for its architecture in 1995 (see Appendix D). SAMMarketing0p_Wpro\12011299_Piedmont EA\Draft EA\Ch 4.docx 4-41 Piedmont Triad International Airport Environmental Assessment DRAFT SHPO staff reviewed the project for potential effects on archaeological resources, and they concluded that no archaeological studies were needed because the APE has low potential for containing significant archaeological resources and was probably previously disturbed (see Appendix D). 4.9.3 Impacts 4.9.3.1 No -Action Alternative Under the No -Action Alternative, there would be no construction or development activities associated with the Proposed Project. Therefore, there would be no impacts to historic or archaeological resources resulting from the No -Action Alternative. 4.9.3.2 Near -Term Project (2015) As noted in Section 4.9.2 above, the FAA determined and the SHPO concurred that the Campbell -Gray House and Barn was the only NRHP-eligible property included within the APE. The FAA has determined that the Near -Term Project will not change the characteristics that qualify this property for NRHP eligibility and therefore that the Near -Term Project will have No Adverse Effect upon the property. Section 106 coordination between the FAA and SHPO is on-going regarding this determination and will be concluded and documented in the Final EA. As noted in Section 4.9.2, above, the SHPO has indicated that the Proposed Project (both Near -Term and Long -Term components) has been reviewed for potential effects on archaeological resources and they concluded that no archaeological studies were needed because the APE has low potential for containing significant archaeological resources and was probably previously disturbed. Accordingly, it is anticipated that there would be no impact to archaeological resources resulting from development of the Near -Term Project. 4.9.3.3 Long -Term Project (2020) As noted in Sections 4.9.2 and 4.9.3.2 above, the FAA determined and the SHPO concurred that the Campbell -Gray House and Barn was the only NRHP-eligible property included within the APE. The FAA has determined that the Long -Term Project will not change the characteristics that qualify this property for NRHP eligibility and therefore that the Long -Term Project will have No Adverse Effect upon the property. Section 106 coordination between the FAA and SHPO is on-going regarding this determination and will be concluded and documented in the Final EA. SHPO also indicated that no archaeological studies were needed because the APE has low potential for containing significant archaeological resources and was probably previously disturbed. Based on coordination with the SHPO, it is anticipated that there would be no impact to archaeological resources resulting from development of the Long -Term Project. SAMMarketing0p_Wpro\12011299_Piedmont EA\Draft EA\Ch 4.docx 4-42 Piedmont Triad International Airport Environmental Assessment DRAFT 4.9.3.4 Proposed Project (Full Build -Out) Upon completion of the Near -Term and Long -Term Projects there would be no further site development activities ongoing at GSO related to the Proposed Project. As such, it is anticipated that there would be no impact to historic or archaeological resources following full build -out of the Proposed Project. 4.9.4 Comparison of Significant Impact Thresholds A threshold indicating a significant impact is not clearly defined in FAA's guidance; however, it generally involves a review of specific situations and advice from the SHPO and Advisory Council on Historic Preservation. The FAA has determined that the Proposed Project will have No Adverse Effect upon any National Register -listed or eligible historic properties within the APE. Therefore, at this time, the Proposed Project is not expected to exceed any threshold indicating a significant impact. Section 106 coordination between the FAA and SHPO is on-going and will be concluded and documented in the Final EA. 4.9.5 Cumulative Effects It is possible that other area development actions could have direct or indirect impacts upon NRHP-listed or eligible historic resources. Federal and state funded projects with such potential impacts upon historic properties would require coordination with the SHPO, documentation, and mitigation measures, if warranted. The Proposed Project is not expected to generate impacts to historic resources. Therefore, the project, when considered in addition to potential impacts of other on- or off -airport projects, is not expected to lead to significant cumulative impacts upon historic resources. 4.9.6 Mitigation Based on the analyses conducted for this EA, the Proposed Project would have No Adverse Effect upon NRHP-listed or eligible historic aboveground resources. Also, the Proposed Project is not expected to affect archaeological resources. Therefore, no mitigation is warranted. Section 106 coordination between the FAA and SHPO is on-going regarding this determination and will be concluded and documented in the Final EA. However, if prehistoric or historic artifacts are encountered at any time during construction, the project would cease all activities involving subsurface disturbance in the immediate vicinity of such discoveries and the SHPO will be notified. 4.10 LIGHT EMISSIONS AND VISUAL IMPACT 4.10.1 Overview of Impacts The Proposed Project would develop land and construct aviation facilities adjacent to, and in the vicinity of, residential areas. The anticipated light sources are expected to be similar to that for similar facilities at GSO and as found on existing industrial land uses adjacent to the Proposed Project's development site. Conceptual layouts of the development area include the use of buffers along portions of the site's boundary. Overall, the residential areas in the immediate SAMMarketing0p_Wpro\12011299_Piedmont EA\Draft EA\Ch 4.docx 4-43 Piedmont Triad International Airport Environmental Assessment DRAFT vicinity of the Proposed Project development area would notice some change in lighting and light sources; however, the potential to cause substantial annoyance is considered to be low. New buildings and support facilities would be similar to existing structures at GSO and industrial sites in the immediate vicinity of the DSA. While the visual landscape would change as a result of the Proposed Project, it would be compatible with the airport environs and not result in intrusive visual impacts. 4.10.2 Methodology Airport -related light emissions are considered to have a notable impact if light emissions are directed towards light-sensitive land uses (i.e., residential areas) and have the potential to cause annoyance. Impacts from lighting were determined by evaluating the potential lighting systems as they relate to light- sensitive land uses, especially residences. The number and specific type of lighting systems would be determined in the design process for the new taxiway segments and the facility needs of tenants that would operate within the aviation development areas. The evaluation of visual impacts includes a review of conceptual planning information and existing conditions in the vicinity of the DSA. Landscape character and visual/aesthetic attributes were qualitatively assessed in terms of the anticipated changes associated with the No -Action Alternative and both the Near -Term and Long -Term components of the Proposed Project. 4.10.3 Impacts 4.10.3.1 No -Action Alternative Because the No -Action Alternative would not include airfield changes or aviation -related development associated with the Proposed Project, no impacts to light-sensitive land uses would occur and no change to the visual landscape in the vicinity of GSO would occur. 4.10.3.2 Near -Term Project (2015) Light Emissions Airfield lighting changes associated with the Near -Term Project would consist primarily of the installation of lights along the new sections of taxiway, along new roads in the development area, at the potential development of a rail transfer facility, and around the new aviation facilities and their adjoining aircraft parking aprons and vehicle parking lots. These systems would include the following: • Pole- and building -mounted area flood lights to illuminate building exteriors, portions of aircraft parking aprons, access roads, parking lots, and other related outdoor improvements. • Pole- and building -mounted area flood lights to illuminate buildings and work areas of the rail transfer facility (if developed). • Edge lighting would be installed along new sections of taxiway and entrances to aircraft parking aprons. Lighted directional signs would also be installed to provide directional SAMMarketing0p_Wpro\12011299_Piedmont EA\Draft EA\Ch 4.docx 4-44 Piedmont Triad International Airport Environmental Assessment DRAFT guidance to and from the new taxiways and the aviation facilities in the Near -Term Project development area. • Temporary exterior lighting may also be installed at construction staging areas and project work sites. The area in the vicinity of the DSA contains urban, suburban, and built-up land uses, including multi -lane highways, industrial development, commercial development, and residential neighborhoods. Residential areas adjoin sections of the northeast and northwest sides of the Near -Term development area. Several residential structures would be located within 200 feet or less of the development area boundary. Conceptual layouts of the development area include the use of buffers along portions of the site's boundary, which would provide some physical shielding that would help reduce the view of new light sources. In addition, the use of high-intensity light sources, directional lights, or flashing lights are not anticipated. Overall, the residential areas in the immediate vicinity of the Near -Term development area would notice some change in lighting and light sources; however, the potential to cause substantial annoyance is considered to be low. The proposed rail transfer facility or rail spur would be located in an area that consists of predominantly industrial, airport land uses and transportation land uses, including multi -lane roads and a railroad line. However, several residences and a NRHP-eligible house and barn near the intersection of West Market Street and South Regional Road are located adjacent to the proposed rail transfer facility site. Lighting associated with the proposed rail transfer station is expected to be comparable in its nature and intensity to existing surrounding industrial facilities. For the NRHP-eligible property, a review of its nomination file notes that the house and associated barn were deemed eligible for their architecture. This suggests that changes in lighting sources, even if adjacent to the property, should not affect the property's eligibility standing. Coordination of potential effects of the Proposed Project on this property is on-going and will be finalized before the Final EA is issued and the FAA makes its environmental decision on the Proposed Project. Visual Impacts Because no modifications to runways at GSO are included in the Proposed Project, changes to aircraft flight patterns would not occur. New buildings and support facilities would be developed in context with other existing structures at GSO (i.e., similar size, type and construction). While the visual landscape would change as a result of the Near -Term Project, it would be compatible with the airport environs and not result in intrusive visual impacts. 4.10.3.3 Long -Term Project (2020) ht Emissions The Long -Term Project is expected to include essentially the same site preparation requirements and subsequent facilities as discussed above for the Near -Term Project. Therefore, additional light sources associated with the Long -Term Project would be similar to that described for the Near -Term Project. A multi -family residential apartment complex adjoins a section of the northwest side of the Long -Term development area. For the same reasons discussed above for the Near -Term Project, residents in the SAMMarketing0p_Wpro\12011299_Piedmont EA\Draft EA\Ch 4.docx 4-45 Piedmont Triad International Airport Environmental Assessment DRAFT immediate vicinity of the Long -Term development area would notice some change in lighting and light sources; however, the potential to cause substantial annoyance is considered to be low. Visual Impacts For the same reasons discussed above for the Near -Term Project, changes in the visual landscape would be compatible with airport and industrial land uses and not result in intrusive visual impacts. 4.10.3.4 Proposed Project (Full Build -Out) Based on the evaluation of both the Near -Term and Long -Term components of the Proposed Project, the Proposed Project would develop land adjoining residential areas. However, the anticipated light sources are expected to be similar to that found on existing industrial land uses adjacent to the development site and use of buffers would minimize the potential for substantial annoyance and impact. New buildings and support facilities would be similar to existing structures at GSO and industrial sites in the immediate vicinity of the DSA. While the visual landscape would change as a result of the Proposed Project, it would be compatible with the airport environs and not result in intrusive visual impacts. 4.10.4 Cumulative Effects Other than planned highway improvements, future large-scale airport, public, and private development projects in the vicinity of the DSA, with potential for substantial light emissions and changes in visual setting, have not been identified. Past airport projects that resulted in changes in light emissions and visual setting include the new Runway 5L/23R, new FedEx facility, and aircraft manufacturing and maintenance facilities. Off -airport projects include the intense development of industrial land use in the vicinity of the airport. To a lesser extent, the large residential neighborhoods to the east of GSO have also contributed to a change in light emissions. Given the urban, suburban, and built-up land uses around GSO, the Proposed Project, when considered with other area development, would not result in a significant cumulative lighting or visual impact. 4.10.5 Comparison of Significant Impact Thresholds Thresholds to determine the significance of lighting and visual impacts have not been established by the FAA due to the subjective nature of these impacts. However, a possible threshold indicating the need for further study may include cases with substantial light annoyance, substantial interference with activities, and/or substantial public concern regarding views. The airfield lighting modifications associated with the Proposed Project are not expected to cause changes in light emissions resulting in substantial annoyance or causing interference with normal activities. Although the new facilities associated with this project will be visually noticeable, the visual impact associated with the Proposed Project is not considered significant. 4.10.6 Mitigation The Proposed Project would not result in significant light emission and visual impacts. Therefore, no mitigation is required. However, the PTAA can incorporate design considerations during site preparation SAMMarketing0p_Wpro\12011299_Piedmont EA\Draft EA\Ch 4.docx 4-46 Piedmont Triad International Airport Environmental Assessment DRAFT and subsequent facility development to minimize light impacts and enhance the visual appeal of the development area. 4.11 NOISE 4.11.1 Overview of Impacts The Proposed Project and its Near -Term and Long -Term components are not expected to result in any significant forecast or induced increase in aircraft operations; therefore, there will be no impacts resulting from aircraft noise. Any impacts resulting from construction noise will occur during daytime hours and will be temporary in nature. Potential change in aircraft noise exposure around the airport was not modeled for this EA, as the 2007 Part 150 Noise Compatibility Study (Andrew S. Harris, Inc., 2007) forecast a much higher number of aircraft operations for the 2014 future condition that those expected to occur at GSO in either the Near -Term or Long -Term study years. The Near -Term and Long -Term Projects would not result in significant aircraft -generated noise impacts, and mitigation measures beyond any proposed in the Part 150 Study are not warranted. 4.11.2 Methodology The Proposed Project, at this time, is not expected to generate a significant increase in the number of aircraft operations or substantially alter the aircraft fleet mix at GSO because the aircraft manufacturing and MRO facilities that are expected to result from the project do not generate a high volume of aircraft operations. In addition, the Proposed Project would not alter runways, flight tracks, aircraft approach profiles, departure profiles, or instrument approach procedures at GSO. Therefore, modeling and a detailed analysis of aircraft noise were not performed for this EA. However, the number of aircraft operations at GSO for 2012 was compared to the operational levels evaluated in GSO's 2007 Part 150 Study to gauge whether or not the present level of activity combined with a potential modest increase in activity from the Proposed Project would exceed that documented in the Part 150 Study. 4.11.3 Impacts 4.11.3.1 No -Action Alternative The No -Action Alternative would result in no change in noise exposure at GSO and have no noise related impacts. 4.11.3.2 Near -Term Project (2015) The Near -Term Project will develop aviation facilities at GSO and may induce a modest level of additional activity at the airport. Based on the nature of the facilities, the Near -Term Project is not expected to substantially increase the number of aircraft operations at GSO, when compared to the No -Action Alternative. The primary tenants anticipated by PTAA include aviation -related manufacturing, maintenance, and repair facilities. These type facilities typically generate a relatively small number of aircraft operations, when compared to other airport users, such as airlines, Fixed Base Operators, and SAMMarketing0p_Wpro\12011299_Piedmont EA\Draft EA\Ch 4.docx 4-47 Piedmont Triad International Airport Environmental Assessment DRAFT cargo operators. Other tenants may generate little to no aircraft operations. In addition, the Near -Term Project would not alter runways, flight tracks, aircraft approach profiles, departure profiles, or instrument approach procedures at GSO. Changes to aircraft fleet mix at GSO as a result of the Near -Term Project cannot be accurately predicted. However, it is expected that the MRO and aviation -related manufacturing facilities could involve a range of general aviation jet aircraft and large commercial aircraft models, many of which presently operate at GSO. Because the increase in aircraft operations expected to occur if the Proposed Project was implemented would be modest, the change in noise exposure in the vicinity of GSO is expected to be modest and not to result in a significant noise impact. A review of the FAA's 2012 Terminal Area Forecast for GSO shows that the projected number of aircraft operations at GSO for 2015 (91,543 operations) and 2020 (103,544 operations) are substantially below the 174,453 aircraft operations forecasted for Future Year 2014 in the GSO Part 150 Study (see Table 3.8-1 in Section 3.8 of this EA). This indicates that areas in the vicinity of GSO that may experience some change in noise exposure as a result of the Proposed Project are well within the areas bounded by the noise exposure contours generated for the Part 150 Future Year condition and that the mitigation specified in the Part 150 Noise Compatibility Program should be sufficient for any increase in noise exposure that may result from the Proposed Project. Noise associated with construction activities is discussed in Section 4.4 of this EA. In summary, noise from construction equipment and vehicles would temporarily increase ambient acoustic levels within and in the immediate vicinity of the development site. However, construction -related noise is expected to have a minor, temporary impact. 4.11.3.3 Long -Term Project (2020) The Long -Term Project would further increase the amount of land at GSO for aviation -related development. For the same reasons discussed above, the Long -Term Project is not expected to result in a significant noise impact. 4.11.3.4 Proposed Project (Full Build -Out) The full build -out of the Proposed Project will result in new aviation facilities at GSO and induce activity at the airport. However, the types of anticipated aviation facilities are not expected to substantially increase the number of aircraft operations at GSO. In addition, the Proposed Project would not alter runways, flight tracks, aircraft approach profiles, departure profiles, or instrument approach procedures at GSO. It is expected that the aviation facilities could involve a range general aviation jet aircraft and large commercial aircraft models, many of which presently operate at GSO. Because the increase in aircraft operations expected to occur if the Proposed Project was implemented would be modest, the change in noise exposure in the vicinity of GSO is expected to be modest and not result in a significant noise impact. 4.11.4 Cumulative Effects The Proposed Project is not expected to generate significant aircraft noise impacts. Past projects at GSO have generated significant noise impacts. The 2001 Environmental Impact Statement for new Runway SAMMarketing0p_Wpro\12011299_Piedmont EA\Draft EA\Ch 4.docx 4-48 Piedmont Triad International Airport Environmental Assessment DRAFT 5L/23R documented significant noise impacts in the vicinity of GSO, which required mitigation (e.g., land acquisition, sound insulation, and avigation easements). The FAA's 2008 Record of Approval for the GSO Part 150 Noise Compatibility Program approved operational, land use, and program management measures to address aircraft noise levels in the vicinity of GSO. Other project at GSO have also had varying effects on aircraft noise exposure. Overall, the modest change in noise exposure attributed to the Proposed Project, in conjunction with established noise mitigation programs, indicates the Proposed Project would not have a significant cumulative effect in regard to aircraft noise. 4.11.5 Comparison of Significant Impact Thresholds Since the forecast of aircraft operations provided by the FAA's TAF for this EA are much lower than those used for the 2007 Part 150 Study, and neither the 2015 Near -Term nor 2020 Long -Term Projects are forecast to produce any measurable change in aircraft operational levels, it is reasonable to conclude that no significant impact thresholds will be met or exceeded resulting from the Proposed Project. 4.11.6 Mitigation Because Proposed Project is not expected to generate significant noise impacts, no mitigation is required or proposed. 4.12 SECONDARY (INDUCED) IMPACTS 4.12.1 Overview of Impacts Under the No -Action Alternative, the Proposed Project would not be constructed; therefore, no secondary (induced) impacts would occur. Development of Proposed Project would not involve any construction or development activity in residential areas, and there would be no significant shifts in population movement or increase significantly in the demands for public services. Aircraft operational levels at the airport would not increase significantly above those projected for the No -Action Alternative, consistent with the GSO aviation forecast. Induced impacts from Proposed Project would include a short-term increase in employment, output, and income benefits associated with site development activities. These impacts would be temporary and minor in context of the construction -related job industry in the Piedmont Triad area. Long-term employment at GSO would increase as site development is completed and tenants are secured to utilize the development site. The number and type of employment opportunities projected for the site are contingent upon the type of businesses which locate at the airport. 4.12.2 Methodology The No -Action Alternative, Near- and Long -Term Projects, and the full build -out of the Proposed Project were evaluated for their potential to result in the following secondary (induced) impacts. This included an evaluation of: S:\BD\Marketing\Wp_Wpro\12011299_ Piedmont EA\Draft EA\Ch 4.docx 4-49 Piedmont Triad International Airport Environmental Assessment DRAFT • Shifts in population movement and growth, • Changes in public service demands, • Changes in business and economic activity, and Appreciable change in employment. Secondary impacts in terms of shifts in population movement and growth and changes in public service demands were evaluated through the analysis of impacts associated with other environmental impact categories such as land use. Economic impacts were assessed for the effects of airport development on the local economy and are characterized as direct or indirect impacts. Direct impacts are those realized on-site at the airport that directly relate to construction and operation of new facilities. Indirect impacts are those created by the multiplier or "ripple" effect of spending and result from successive rounds of spending by employees at both direct and indirect facilities. 4.12.3 Impacts 4.12.3.1 No -Action Alternative The No -Action Alternative assumes the Proposed Project would not be implemented at GSO. The No -Action Alternative does not include any land development actions or improvements beyond those that have already been undertaken by the Airport Sponsor, planned, environmentally reviewed, and/or that are needed for safety, security, or maintenance reasons. As a result, there would be no impacts to population centers, roadways, businesses, or land uses. This alternative would not result in secondary induced impacts. 4.12.3.2 Near -Term Project (2015) Population Movement and Growth New or expanded aviation -related and allied industries at GSO would create employment opportunities in several light trades (i.e., aircraft manufacturing and repair, parts assembly, engineering, management). It is expected that a majority of jobs would be filled by people residing in Guilford County and adjoining communities. Although some employees may relocate to the area, the Near -Term Project is not expected to cause a major shift in population, and, therefore, would not place a substantial demand on housing and public services. The Near -Term Project would require the acquisition of approximately 249 acres of land which includes 14 residences and three business parcels. In addition, development of the Near -Term Project would impact the Pleasant Ridge Golf Course and the Sharpe Bros asphalt plant. The golf course was purchased by PTAA for future airport development and is operated under a tenancy at will. Similarly, the asphalt plant located on PTAA land is also operated under tenancy at will. SAMMarketing0p_Wpro\12011299_Piedmont EA\Draft EA\Ch 4.docx 4-50 Piedmont Triad International Airport Environmental Assessment DRAFT The Near -Term Project would require a limited number of residential displacements; however, available replacement housing exists in Guilford County to accommodate the displaced residences. Based on the availability of comparable replacement housing in Guilford County, the Airport Sponsor concluded that the Near -Term Project would not result in significant secondary (induced) impacts in 2015. The Airport Sponsor will develop a relocation mitigation program to oversee the relocation of all residences. All relocation efforts will be consistent with the requirements of the Uniform Relocation Act. Changes in Public Service Demand The Near -Term Project would not increase the number of passengers at GSO, or have a substantial effect on local residential or businesses development patterns or activities within the GSA or Guilford County. Therefore, the Near -Term Project would not have a substantial effect on the provision of, or demand for, public services such as police, fire, and emergency response. The Near -Term Project would require the relocation of Greensboro Fire Station Number 20 which is located on West Market St, within the Near -Term acquisition area. Changes in Business and Economic Activity Three commercial/industrial properties would be acquired as part of the Near -Term Project. In addition, operation of the Pleasant Ridge Golf Course and the Sharpe Bros asphalt plant would be impacted. Both properties on which these facilities are located are owned by the PTAA and designated for future aviation use in the Airport's Master Plan. Both the golf course and the asphalt plant are currently operated under a tenancy at will. Because the exact nature of the tenants and facilities that may be constructed as part of the Near -Term Project are not known, quantification of potential effects on the local economy are difficult to estimate. Table 4.12-1 provides examples of aerospace and aviation -related companies located within the Piedmont Triad area, including companies that need airport sites of the type that are being developed through the Proposed Project. Data for the Savannah, Georgia and Jacksonville, Florida area are also provided for comparative purposes. As this table illustrates, each new facility or tenant could generate a substantial level of revenue. A portion of this revenue would transfer into the local economy in the form of tax revenue, employee salaries, and the purchase of associated goods and services. TABLE 4.12-1 EXAMPLES OF AEROSPACE COMPANIES/FACILITIES SAMMarketing0p_Wpro\12011299_Piedmont EA\Draft EA\Ch 4.docx 4-51 Piedmont Triad International Airport Environmental Assessment Facility Area of Size Number of Company Name Operation (sq. ft.) Business Type/Product Revenue Employees Genesis Aviation, Inc. Piedmont 50,000 Aircraft Part & $6M 40-50 Triad Accessories Cessna Citation Piedmont 45,000 Aircraft maintenance, $20-50M 100 Service Center Triad inspection, and repair Aircraft Manufacturing Local 850 Honda Jet Piedmont 147,000 sq. ft. hangar. Unknown (350 more Headquarters Triad 215,000 World Headquarters ($38M in future 68,000 sq. ft. office world- anticipated) space. wide) SAMMarketing0p_Wpro\12011299_Piedmont EA\Draft EA\Ch 4.docx 4-51 Piedmont Triad International Airport Environmental Assessment DRAFT TABLE 4.12-1 (CONTINUED) EXAMPLES OF AEROSPACE COMPANIES/FACILITIES Sources: LSI, 2013. Arcieri, 2012a -c and 2013a and 2013b. Catanoso, 2013. JAXUSA Partnership, 2013. Manta, 2013a -I. Barron, 2013. Bridgestone, 206. BuzzFile, 2013. Cessna, 2013. Carver, 2013. Darm, 2013. Flightstar, 2013. Honda, 2013. InsideView, 2013. MRO, 2013. Opportunity Greensboro, 2013. TIMCO, 2013. Unison, 2013. Zoominfo, 2013. Area Development Online, 2013. SAMMarketing0p_Wpro\12011299_Piedmont EA\Draft EA\Ch 4.docx 4-52 Piedmont Triad International Airport Environmental Assessment Facility Area of Size Number of Company Name Operation (sq. ft.) Business Type/Product Revenue Employees Triad International Aviation Service Maintenance Company Piedmont Operations/design/ Not (TIMCO) (Facility at Triad 705,000 product testing, Available 1,800 GSO to be acquired by manufacturing HAECO) Local B/E Aerospace Piedmont Hardware Distribution, Unknown (Winston-Salem and Triad 90,000 Aircraft Maintenance/ ($842M 850-1100+ High Point locations) Interior Retrofitting Nation- wide) Bridgestone Aircraft Piedmont 160,000 Manufacturing Aircraft Not 95-100 Tire Triad Tires Available Machine Specialist, Piedmont 150,000 Aerospace Parts — Proto- $3M 140 Inc. Triad tooling/engineering Piedmont Not Manufacturing aircraft General Dynamics Triad Available detection and navigation $20-50M 100-249 equipment Art -Line Service Piedmont NotTriad Aircraft Manufacturing $10-20M 5-9 Available Landmark Aviation Piedmont Not Charter and Aircraft $2M 24 Triad Available Management LSI — Logistics Jacksonville National Headquarters Services International Florida 124,000 Defense Systems 500 Training Neptune Precision Headquarters Aerospace Composites (also Jacksonville 21,000 composites $5 M 25-35 known as Neptune Florida Tech Services, Inc.)manufacturing 350,000 Headquarters Heavy Jacksonville and 1M sq. maintenance and repair 700 Flightstar Florida ft. ramp for commercial aviation Unknown and 200 (Plan 130,000 sq. ft. contractors space expansion) Goodrich -Aerospace, Jacksonville Polymers for aviation $20-$50M Jax Florida industry (Nation- 110 wide) Jacksonville Manufacture of electronic $10M- Unison Industries Florida 183,000 laser ignition and engine $20M 600 electricals stems KCI Aviation Jacksonville 30,000 Aviation Maintenance and Unknown 30 Florida Repair 7,500+ in Gulfstream Aerospace Savannah, 600,000 Aircraft Manufacturing >$113 Savannah, Corp Georgia 11,500+ world-wide Sources: LSI, 2013. Arcieri, 2012a -c and 2013a and 2013b. Catanoso, 2013. JAXUSA Partnership, 2013. Manta, 2013a -I. Barron, 2013. Bridgestone, 206. BuzzFile, 2013. Cessna, 2013. Carver, 2013. Darm, 2013. Flightstar, 2013. Honda, 2013. InsideView, 2013. MRO, 2013. Opportunity Greensboro, 2013. TIMCO, 2013. Unison, 2013. Zoominfo, 2013. Area Development Online, 2013. SAMMarketing0p_Wpro\12011299_Piedmont EA\Draft EA\Ch 4.docx 4-52 Piedmont Triad International Airport Environmental Assessment DRAFT Appreciable Change in Employment During the period of construction, the Near -Term Project would support short-term construction jobs required to implement the proposed improvements. The temporary increase in construction jobs would be expected to be filled by local workers. If needed, temporary non -local workers would be accommodated in the Greensboro area. As noted in Table 4.12-1, the potential post -construction change in employment associated with the Near - Term Project will be highly variable depending on the type of aviation -related business(s) which are developed. Based on the amount of land to be made available as part of the Near -Term Project and the type of facilities which may be constructed, it is conservatively estimated that on-site employment with the Near -Term Project could range from 3,000 to more than 10,000 employees. This increase in jobs would have a positive impact on employment in the GSA. Over the past decade the Piedmont Triad area experienced a greater net job loss than anywhere else in the state of North Carolina, with manufacturing jobs suffering the greatest loss (News 14 Carolina, 2012). During the period ending July 2013, total nonagricultural wage and salary employment in the Piedmont Triad area was essentially flat, as compared to an increase of 1.6 percent annually for national employment (UNCG, 2013). 4.12.3.3 Long -Term Project (2020) Population Movement and Growth New or expanded aviation -related and allied industries at GSO would create employment opportunities in several light trades (i.e., aircraft manufacturing and repair, parts assembly, engineering, management). It is expected that a majority of jobs would be filled by people residing in Guilford County and adjoining communities. Although some employees may relocate to the area, the Long -Term Project is not expected to cause a major shift in population, and, therefore, would not place a substantial demand on housing and public services. The Long -Term Project would require the acquisition of approximately 166 acres of land for the purpose of having a contiguous area of suitable size for future development of aviation -related activities. As part of this acquisition, the Airport Sponsor would acquire 16 parcels of business property and 13 residences. Businesses to be impacted as part of the land acquisition include a construction company, small light industrial shops, and several commercial sites which include office space and retail shops. No off -airport businesses or residential acquisitions or relocations would be required outside of the proposed 166 -acre acquisition area. Based on the limited number of residential and business displacements, the Long -Term Project would not result in a substantial shift in population or influence the pattern of growth in the GSA or Guilford County in 2020. Available replacement housing exists in Guilford County to accommodate the displaced residences. Likewise, sufficient commercial property, both buildable vacant land and improved leasable space, is available in the GSA and Guilford County to accommodate the relocation of the residences and businesses. Based on the availability of comparable replacement housing and business space in Guilford County, the Airport Sponsor concluded that the Long -Term Project would not result in significant secondary (induced) impacts in 2020. The Airport Sponsor will develop a relocation mitigation program to SAMMarketing0p_Wpro\12011299_Piedmont EA\Draft EA\Ch 4.docx 4-53 Piedmont Triad International Airport Environmental Assessment DRAFT oversee the relocation of all residences and businesses. All relocation efforts will be consistent with the requirements of the Uniform Relocation Act. Changes in Public Service Demand The Long -Term Project would not increase the number of passengers at GSO, or have a substantial effect on local residential or businesses development patterns or activities within the GSA or Guilford County. Therefore, the Long -Term Project would not have a substantial effect on the provision of, or demand for, public services such as police, fire, and emergency response. Changes in Business and Economic Activity Development of the Long -Term Project would require acquisition of 16 parcels of business property located within the acquisition area for the Proposed Project. The acquisition of these business parcels would result in a small number of relocations to other areas, possibly outside the GSA. These acquisitions and relocations would have no appreciable impact on the economic makeup of the GSA, the level of economic activity in the GSA, or local tax bases. As noted above, the businesses are expected to be re-established within the County. Eligible business owners would receive payment for relocation and moving expenses in accordance with Uniform Relocation Act. Because GSO possesses a number of the assets including runway facilities, repair operations, and room to grow, which are critical to the development of aviation- and aerospace -related industries, it is anticipated that upon completion of the site preparation activities, aviation -related businesses will develop on the site. As previously discussed, the precise nature of the facilities that new tenants could construct as part of the Long -Term Project are unknown at this time and; therefore, quantification of potential effects on the local economy are difficult to estimate. However, based on data for the aviation -related companies presently operating on, or in the vicinity of GSO and at other airports of similar size (see Table 4.12-1), it is estimated that as many as 1,000 to 3,000 additional on-site workers would be required to support tenant operations under the Long -Term Project in 2020. Appreciable Change in Employment During the period of construction, the Long -Term Project would support short-term construction jobs required to implement the proposed improvements. The temporary increase in construction jobs would be expected to be filled by local workers. If needed, temporary non -local workers would be accommodated in the Greensboro area. Similar to the change in employment associated with the Near -Term Project, the post -construction change in employment associated with the Long -Term Project would be highly variable depending on the type of aviation -related business(es) which are developed. Based on the amount of land to be made available as part of the Long -Term Project and the type of facilities which may be constructed, it is conservatively estimated that on-site employment with the Long -Term Project could range from 1,000 to 3,000 on-site employees based on the potential area for facility development. This increase in jobs would have a positive impact on employment in the GSA. SAMMarketing0p_Wpro\12011299_Piedmont EA\Draft EA\Ch 4.docx 4-54 Piedmont Triad International Airport Environmental Assessment DRAFT 4.12.3.4 Proposed Project (Full Build -Out) Poaulation Movement and Growth Following full implementation of the Proposed Project, development associated with the Near- and Long - Term Projects would be completed. However, it is not anticipated that the Proposed Project would generate substantial growth or movement of the local population beyond that expected in an established community. Changes in Public Service Demand The Proposed Project would not have a substantial effect on the provision of, or demand for, public services such as police, fire, and emergency response with the GSA. However, some increase in demand for public services would exist to support the increased employee and resident populations in the GSA. Full build -out of the Proposed Project would not increase the number of passengers at GSO, or have a substantial effect on local residential or businesses development patterns or activities within the GSA or Guilford County. Changes in Business and Economic Activity Because GSO possesses a number of the assets including runway facilities, repair operations, and room to grow, which are critical to the development of aviation- and aerospace -related industries, it is anticipated that upon completion of the site preparation activities associated with the Near- and Long - Term Projects, aviation -related businesses will develop on the site. As previously discussed, the precise nature of the facilities that new tenants will develop is unknown at this time and; therefore, quantification of potential effects on the local economy are difficult to estimate. However, based on data for the aviation -related companies presently operating on, or in the vicinity of GSO and at other airports of similar size (see Table 4.12-1), it is estimated that as many as 4,000 to 13,000 additional on-site workers would be required to support tenant operations under the full build -out condition at GSO. Appreciable Change in Employment Following development of the Near- and Long -Term Projects, employment associated with the Proposed Project would be variable depending on the type of aviation -related business(es) which are developed. Upon completion of the Proposed Project it is estimated that on-site employment with could range from 4,000 to 13,000 on-site employees. This increase in jobs would have a very positive impact on employment in the GSA. 4.12.4 Comparison of Significant Impact Thresholds No specific thresholds have been established in FAA Order 1050.1E for secondary (induced) impacts. However, the Proposed Project would not include substantial shifts in patterns of population movement or growth, substantial public service demands, or changes in business and economic activity that would have an adverse impact on the community. Since the Proposed Project would not involve substantial induced or secondary impacts on surrounding communities, as described above, a significant impact threshold would not be exceeded. SAMMarketing0p_Wpro\12011299_Piedmont EA\Draft EA\Ch 4.docx 4-55 Piedmont Triad International Airport Environmental Assessment DRAFT 4.12.5 Cumulative Effects While past development projects on and in the vicinity of GSO have resulted in growth and development, present and reasonably foreseeable projects are not expected to generate substantial secondary (induced) impacts (i.e., changes in population movement and growth or changes in public service demands). Secondary (induced) development actions, that may occur if the proposed project was implemented, will be subject to local zoning ordinances, land development regulations, and other applicable approvals and permits. The limited secondary (induced) impacts of the Proposed Project, when considered with respect to similar impacts of other on- or off -airport projects, are not expected to lead to substantial cumulative secondary impacts. 4.12.6 Mitigation Acquisitions of residential and business parcels would occur as a result of both the Near -Term and Long - Term Projects. These acquisitions would be conducted in accordance with the provisions of the Uniform Relocation Act, which provides that eligible individuals, families, businesses, and non-profit organizations displaced by a federal or federally -assisted program shall be offered relocation assistance services for the purpose of locating a suitable replacement property. Eligible displaced persons and businesses are also entitled to reimbursement of moving costs and certain moving -related expenses. The Airport Sponsor would develop and implement an acquisition and relocation program such that the secondary (induced) impacts associated with the Near -Term and Long -Term Projects would not be significant. Mitigation for the relocations associated with the alternatives is discussed in Chapter 5.0, Mitigation, of this EA. 4.13 SOCIOECONOMIC IMPACTS, ENVIRONMENTAL JUSTICE, AND CHILDREN'S ENVIRONMENTAL HEALTH AND SAFETY RISKS 4.13.1 Overview of Impacts The Proposed Project would result in the acquisition and relocation of residents and community businesses. Sufficient replacement commercial property, both buildable vacant land and improved leasable space, is available in the GSA and Guilford County to accommodate the relocation of the commercial businesses. In addition, available replacement housing exists in Guilford County to accommodate the displaced residences. Neither the No -Action Alternative nor the Proposed Project would disrupt local traffic patterns or reduce the levels of service (LOS) of the roads serving the airport and its surrounding communities. There would be no environmental justice impacts or impacts to the health and safety of children as a result of the No -Action Alternative or from the development of the Proposed Project. 4.13.2 Methodology Socioeconomic impacts as a result of the Near -Term, Long -Term Projects, and the Proposed Project (Full Build -Out) were evaluated based on the following FAA Order 1050.1E thresholds of significance (FAA, 2006a): SAMMarketing0p_Wpro\12011299_Piedmont EA\Draft EA\Ch 4.docx 4-56 Piedmont Triad International Airport Environmental Assessment DRAFT • Extensive relocation of residents without sufficient replacement housing, • Extensive relocation of community businesses that would create severe economic hardship for the affected communities, • Disruptions of local traffic patterns that substantially reduce the LOS of the roads serving the airport and its surrounding communities, and • A substantial loss in community tax base. Social impacts were determined through the evaluation of the areas affected by each alternative. Potentially affected land, buildings, and transportation facilities were identified using information from GIS databases and on-site surveys. Environmental justice impacts were evaluated through quantification of populations and households affected by land acquisition and potential noise impacts for each alternative to determine if there would be a disproportionately high adverse impact on minority and low-income populations and households. Census data was used to determine the demographic characteristics and households affected by each alternative. Year 2010 U.S. Census data (which is the most current published Census Tracts and census Block Group data) was used in this analysis. The data for the census blocks within the Socioeconomic Study Area (SSA) described in Section 3.9 was compared to similar information obtained from the 2007-2011 American Community Survey (ACS) for the GSA and the County to assess the potential for disproportionate impacts to minority or low-income families (ACS, 2007-2011). 2010 U.S. Census Block geography was overlaid with the GSA. Executive Order 13045, Protection of Children from Environmental Health Risks and Safety Risk, requires federal agencies to identify and assess environmental health and safety risks that may disproportionately affect children and ensure that their actions address any disproportionate risks. Environmental health risks and safety risks include risks to health or to safety that are attributable to products or substances that a child is likely to come in contact with or ingest, such as air, food, drinking water, recreational waters, soil, or products they might use or be exposed to. This evaluation was based on the alternatives' potential to result in direct impacts to children in a residential or business setting within the GSA. 4.13.3 Impacts 4.13.3.1 No -Action Alternative The No -Action Alternative assumes that the proposed cross -field taxiway and site preparation activities would not occur; however, other on-going or planned actions at GSO that are needed for maintenance, security, or safety reasons would be implemented. Since no off -airport improvements are associated with the No -Action Alternative, no direct off-site impacts would occur. Therefore, the No -Action Alternative would not result in socioeconomic impacts, environmental justice impacts, or risk to children's health and safety. SAMMarketing0p_Wpro\12011299_Piedmont EA\Draft EA\Ch 4.docx 4-57 Piedmont Triad International Airport Environmental Assessment DRAFT 4.13.3.2 Near -Term Project (2015) Socioeconomic Impacts Residential and Business Acquisitions and Relocations Development of the Near -Term Project would require acquisition of approximately 249 acres of land. This acquisition would include three parcels of commercial/industrial property, 14 residential units, and one institutional or community facility. Development of the Near -Term Project would also impact the Pleasant Ridge Golf Course and the Sharpe Bros asphalt plant. Both properties on which these facilities are located are owned by PTAA and designated on the airport's Master Plan as an area for future aviation - related use. Both properties are leased to the respective business operators under a tenancy at will agreement. Acquisition of these parcels and relocation of residences located therein as required to support the Near -Term Project are not considered to constitute "extensive relocations." In addition, available replacement housing exists in Guilford County to accommodate the displaced residences. Disruption of Established Communities and Planned Developments Development activities associated with the Near -Term Project would not result in any disruption of established communities or orderly planned developments within the GSA or Guilford County, nor would the Near -Term Project affect or disrupt essential community services. There would be no substantial adverse impact to local tax bases associated with the Proposed Project. Disruption of Local Transportation Patterns The Near -Term Project would not result in any long-term disruption of local transportation patterns. The NCDOT's planned development of the 1-73 Connector traverses the development site for the Proposed Project. This roadway will provide sufficient access to the Near -Term development area such that additional major roadway modifications would not be needed. Some development of local roadways may be required to meet tenant needs and to provide access to the Near -Term development areas. Roadway improvements to accommodate traffic in and out of the site would depend on several factors, including the location of entrances to the site, the rate of new development at the site, the nature of each business and number of employees, and work shift schedules. Based on these factors, it is likely that sections of Pleasant Ridge Road, Old Oak Ridge Road, and/or Market Street may be upgraded to include turn lanes at ingress/egress points. Based on factors described above, the future installation of traffic signals may also be necessary, as well as widening road sections to three or more lanes. However, specific improvements would only be known at the time potential tenants approach PTAH, individual site development plans are prepared, and traffic is evaluated during the PTAA and local development plan review process. The Proposed Project would not substantially increase aircraft operations at GSO and, with the exception of a minor and temporary increase in vehicular traffic during construction, would not substantially increase traffic or reduce the LOS on any area roads. Environmental Justice Considerations Implementation of the Near -Term Project would not significantly change the type or number of aircraft operations at GSO. Temporary increases in noise associated with earthwork and construction would SAMMarketing0p_Wpro\12011299_Piedmont EA\Draft EA\Ch 4.docx 4-58 Piedmont Triad International Airport Environmental Assessment DRAFT affect the immediate project area, which is largely within airport property. Construction noise would temporarily increase ambient noise levels. However, distance rapidly attenuates noise levels, so noise experienced by area residents may include a slight and temporary increase in ambient background conditions. The potential noise impacts associated with earthwork and construction may be noticeable, but are not expected to be substantial. As discussed below, the residential areas surrounding GSA that would be affected by short-term changes in noise levels associated with the Near -Term Project reflect the ethnic and economic distribution found throughout the County. Therefore, the Proposed Project is not expected to result in a disproportionately high and adverse direct impact to minorities, ethnic groups, Tribal nations, or low-income households. The data for the SSA (discussed in Section 3.9.1 of this document) reveals that the white population comprises approximately 75 percent of the SSA's total population; the black or African American population 14.7 percent; and the combined percentage of American Indian, Asian, and other races is 10.3 percent. The data for Guilford County shows the white population comprising 58.3 percent of the County's total population; the black or African American population 32.3 percent; and the combined percentage of American Indian, Asian, and other races is 9.4 percent. Accordingly, the proposed development of the Near -Term Project is not anticipated to result in a disproportionate impact to minority residents. Children's Environmental Health and Safety Risk The Near -Term Project would not result in the acquisition or relocation of any schools, child care centers, or other similar facilities. Limited acquisition or relocation of residential units would be required. No schools or child care facilities are located in areas that would be affected by significant changes in noise levels associated with the Near -Term Project. The Near -Term Project is not anticipated to increase environmental health and safety risks or exposures to children in the surrounding community. There would be no disproportionate health and safety risk to children resulting from the Near -Term Project. 4.13.3.3 Long -Term Project (2020) Socioeconomic Impacts Residential and Business Acquisitions and Relocations Development of the Long -Term Project would require acquisition of approximately 166 acres of land located to the northwest of Runway 5L/23R and south of the proposed 1-73 Connector. This acquisition would include 16 parcels of commercial/industrial property, and 13 residences. Acquisition of these parcels and relocation of businesses and residences located therein as required to support development of the Long -Term Project in 2020 are not considered to constitute "extensive relocations." Sufficient replacement commercial property, both buildable vacant land and improved leasable space, is available in the GSA and Guilford County to accommodate the relocation of the off -airport commercial businesses. In addition, available replacement housing exists in Guilford County to accommodate the displaced residences. SAMMarketing0p_Wpro\12011299_Piedmont EA\Draft EA\Ch 4.docx 4-59 Piedmont Triad International Airport Environmental Assessment DRAFT Disruption of Established Communities and Planned Developments Development activities associated with the Long -Term Project would not result in any disruption of established communities or orderly planned developments within the GSA or Guilford County, nor would the Long -Term Project affect or disrupt essential community services. The neighborhoods in the vicinity of the proposed cross -field taxiway do not function as organized, cohesive communities. Demographic data suggests the racial makeup of the population in the project area associated with the Long -Term Project is predominately white, with the white population making up a larger percentage of the total than in Guilford County as a whole. There would be no substantial adverse impacts to local tax bases associated with the Proposed Project. Disruption of Local Transportation Patterns The Long -Term Project would not result in any long-term disruption of local transportation patterns. As noted above, the NCDOT's planned development of the 1-73 Connector traverses the 800 -acre site proposed for development as part of the Proposed Project. This roadway will provide sufficient access to the Long -Term development area such that additional major roadway modifications would not be needed. The Proposed Project would not induce activity at GSO and, with the exception of a minor and temporary increase in traffic during construction, would not increase traffic or reduce the LOS on any area roads. Environmental Justice Considerations Implementation of the Long -Term Project would not significantly change the type or number of aircraft operations at GSO. Temporary increases in noise associated with earthwork and construction would affect the immediate project area, which is largely within airport property. Construction noise would temporarily increase ambient noise levels. However, distance rapidly attenuates noise levels, so noise experienced by area residents may include a slight and temporary increase in ambient background conditions. The potential noise impacts associated with earthwork and construction may be noticeable, but are not expected to be substantial. As discussed above and in Section 3.9, the residential areas surrounding GSO that would be affected by short-term changes in noise levels associated with the Long - Term Project have a higher percentage of white population and a higher median income than Guilford County as a whole. Therefore, the Proposed Project is not expected to result in a disproportionately high and adverse direct impact to minorities, ethnic groups, Tribal nations, or low-income households. Children's Environmental Health and Safety Risk The Long -Term Project would not result in the acquisition or relocation of any schools, child care centers, or other similar facilities. Limited acquisition or relocation of residential units would be required. No schools or child care facilities are located in areas that would be affected by significant changes in noise levels associated with the Long -Term Project. The Long -Term Project is not anticipated to increase environmental health and safety risks or exposures to children in the surrounding community. There would be no disproportionate health and safety risk to children resulting from the Long -Term Project. 4.13.3.4 Proposed Project (Full Build -Out) Upon competition of the Near -Term and Long -Term Projects, the development site would be fully prepared and available for occupancy by aviation -related tenants and businesses. Full development of SAMMarketing0p_Wpro\12011299_Piedmont EA\Draft EA\Ch 4.docx 4-60 Piedmont Triad International Airport Environmental Assessment DRAFT the Proposed Project site would require the acquisition of 415 acres of property, and the acquisition and relocation of 19 parcels of commercial property and 27 residential units and the relocation of two businesses that currently operate on airport property under a lease at will agreements. As noted for both the Near -Term and Long -Term Projects, the full development of the Proposed Project would not result in any long-term disruption of local transportation patterns, nor result in environmental justice or children's health and safety risks. 4.13.4 Comparison of Significant Impact Thresholds According to FAA Order 1050.1E, significant impacts would occur if there were disproportionately high and adverse impacts on low-income and minority populations, disproportionate health and safety risks to children, extensive relocation of residents without sufficient relocation housing available, relocation of businesses that would create severe economic hardship, disruption of traffic patterns affecting the LOS on area roads, and a substantial loss in community tax base. The analysis presented above does not indicate that any of these thresholds would be exceeded. 4.13.5 Cumulative Effects Other past, present, and reasonably foreseeable development projects in the City of Greensboro and Guilford County have little potential to generate extensive residential and business relocations, alter or degrade local transportation patterns, or disrupt established or planned communities. The limited socioeconomic, environmental justice, and children's health impacts of the Proposed Project, when considered in addition to those associated with other development projects, is not expected to lead to substantial cumulative impacts. Recent and future transportation projects (i.e., 1-73 Connector) will improve traffic circulation in the vicinity of GSO, improved access to GSO, and reduced congestion on the local highway system. These cumulative projects addressed existing and projected traffic volumes and were subject to detailed planning, justification, and environmental analyses by the federal and state sponsoring agencies. Other development projects on, and in the vicinity of, GSO would have a low to moderate potential to generate an increase in traffic volumes, substantially alter transportation patterns, or require that new major roadways be built. Traffic impacts associated with each project would be addressed locally during the zoning/land use approval process and include mitigation measures as determined necessary (i.e., turn lane improvements or traffic signals). Although the Proposed Project may require some local road and intersection improvements, the Proposed Project is not expected to have an adverse cumulative effect on local transportation patterns. When considered in addition to those associated with other development projects, are not expected to generate a significant cumulative impact. 4.13.6 Mitigation The potential for significant impacts was not identified; therefore, no mitigation measures have been identified. SAMMarketing0p_Wpro\12011299_Piedmont EA\Draft EA\Ch 4.docx 4-61 Piedmont Triad International Airport Environmental Assessment DRAFT 4.14 WATER QUALITY 4.14.1 Overview of Impacts The No -Action Alternative would not involve site development actions or subsequent development of aviation facilities associated with the Proposed Project and there would be no impacts on water resources and water quality. The projected 810 -acre increase in impervious surface at GSO and the associated change in storm water runoff from the Proposed Project's facilities would be substantial when compared to the No - Action Alternative. However, run-off from the new impervious surfaces associated with the Proposed Project can be attenuated and treated adequately via appropriate Best Management Practices (BMPs)9. During the construction phase, erosion and the use of fuels, lubricants, solvents, and other materials have the potential to affect water quality. Measures to minimize erosion, control pollution sources, and maintain water quality throughout the construction phase are available and would be implemented for Proposed Project. Under the Proposed Project, there is a possibility of the release of contaminants to groundwater during construction or during the operation of the new aviation facilities. However, project - specific BMPs to be designed and implemented by the PTAH, construction contractor, and tenants would prevent or minimize the potential release of contaminants into groundwater. Based on average potable water usage rates for aircraft maintenance facilities and the potential number of tenants/employees resulting from the Proposed Project, the demand for potable water resulting from the Proposed Proejct was projected to be 445,000 gallons per day. The City of Greensboro's water plants treat and deliver an average of about 32 million gallons per day to meet local demand. The potential additional demand attributed to the Proposed Project would be 1.4 percent of the system's capacity. The projected increase in water consumption for the Proposed Project can be accommodated by a relatively small increase in production rates at existing public drinking water treatment facilities. Based on average daily wastewater generation rates for industrial park land uses and the potential number of tenants/employees for the two phases of the Proposed Project, the projected increase in daily wastewater generation at GSO was estimated to be 409,500 gallons per day. Because the City's wastewater treatment plants have excess treatment capacity, the plants will be able to accommodate the projected increase in local wastewater generation associated with the Proposed Project. 9 Stormwater BMPs are implemented as a way of treating or limiting pollutants and other damaging effects of stormwater runoff in order to meet North Carolina Administrative Code requirements. The North Carolina Department of Environment and Natural Resources developed a manual to assist designers, developers, owners, contractors, and local officials in determining what stormwater regulations apply to their situation, what the best stormwater BMP to meet those regulations might be, and how to then design and maintain that particular stormwater BMP (DWQ, 2007). The NCDENR Manual includes a chapter entitled "BMP Toolbox for Public Airports" that describes stormwater BMPs that are appropriate to public airports. The airport BMPs provide for effective stormwater management while minimizing wildlife hazards. S:\BD\Marketing\Wp_Wpro\12011299_ Piedmont EA\Draft EA\Ch 4.docx 4-62 Piedmont Triad International Airport Environmental Assessment DRAFT 4.14.2 Methodology Applicable elements of federal, state, and local statutes and regulations regulating water resources and water quality were reviewed for the analysis of potential water quality impacts10. The applicable statutes and regulations establish water quality standards, control discharges and pollution sources, protect drinking water systems, prevent/minimize the loss of wetlands, and protect aquifers. Potential impacts to water quality were assessed based on the location, conceptual site layout plans, and intended function of the Proposed Project. For comparative purposes, the effects of the No -Action Alternative were also evaluated. The proposed disturbed areas and new impervious areas were analyzed to evaluate the short-term construction and long-term operational impacts to surface waters and groundwater. Increases in potable water consumption and wastewater generation were also considered in regard to the capacity of existing water utility systems serving GSO. 4.14.3 Impacts 4.14.3.1 No -Action Alternative Because the No -Action Alternative does not include site development and subsequent development of new taxiways, airfield infrastructure, or industrial sites, the amount of impervious surface, construction activities, potable water use, or wastewater discharge would not increase. Therefore, no consequent impacts to surface water, groundwater, water supply, or waste water would occur under the No -Action Alternative. 4.14.3.2 Near -Term Project (2015) Surface Water Quality The Near -Term Project would create approximately 511 acres of additional impervious surface at GS011 This includes approximately 445 acres of impervious surface in the Near -Term development area, 43 acres of impervious surface in the future aviation area, and approximately 23 acres of impervious surface associated with taxiways, a rail spur, rail transfer facility, and access road. Potential surface water quality concerns associated with the Near -Term Project consist of sediment transport and potential release of pollutants during the construction phase and increased stormwater runoff volumes, and potential release of pollutants following project completion. Stormwater Treatment and Discharge — Because site requirements and the physical footprints of potential tenants that may establish operations during development of the Near -Term Project are not fully known at this time, only preliminary estimates can be made regarding changes in the amount of impervious surface associated with the aviation -related industrial facilities. The projected maximum 10 Statutes, regulations and programs considered for the evaluation of water quality impacts in this EA included, but was not limited to, the Clean Water Act; Federal Water Pollution Control Act; National Pollutant Discharge Elimination System; applicable NC General Statutes regulating water resources and ecosystems; NC Water Supply Watershed Protection Program; and NC Jordan Lake Water Supply Watershed Buffer Rules. 11 The projected amount of new impervious surface was derived from conceptual site layout plans and conceptual site build -out assumptions (i.e., 90 percent impervious surface in aviation facility development areas). These impervious surface estimates are subject to change based on site layout decisions, tenant needs, environmental factors, and other considerations that would be addressed during the design process. The projected amount of impervious surface would likely be less than the amount evaluated in this EA. SAMMarketing0p_Wpro\12011299_Piedmont EA\Draft EA\Ch 4.docx 4-63 Piedmont Triad International Airport Environmental Assessment DRAFT amount of impervious surface, for both taxiways and new facilities, is approximately 511 acres. The change in stormwater runoff from the proposed cross -field taxiway and the near-term aviation development sites would be substantial when compared to the No -Action Alternative. However, run-off from the additional impervious surfaces associated with the Near -Term Project can be attenuated and treated adequately via new and/or expanded BMPs as described in the airport section of NCDENR's Stormwater BMP Manual. It is anticipated that each tenant would be required by the PTAA to comply with applicable stormwater attenuation and treatment requirements within their respective lease areas. Alternatively, the site preparation design process may also result in the development of one or more common use BMPs appropriately sized to accommodate projected runoff volumes. PTAA's Water Supply Watershed Management and Protection Rules require engineered stormwater controls for new development resulting in more than 5 acres of new impervious surfaces. These controls must remove, on an average annual basis, at least 85 percent of total suspended solids. Under PTAA's Stormwater Management Plan, the post development peak discharge from stormwater detention ponds must not exceed the predevelopment peak discharge for any storm event up to and including the 10 -year storm. Taxiways and other development that provide for overland stormwater flow are deemed to be permitted under NGS 143-214.7 but only if these facilities promote infiltration and treatment of stormwater into grassed buffers, shoulder grass swales. Due to the implementation of the required BMPs, the increase in impervious surface resulting from the project should have no more than minimal effect on existing GSO stormwater collection and treatment systems and would have minimal effect on water bodies and wetlands. The PTAA has a National Pollutant Discharge Elimination System (NPDES) permit to discharge stormwater from areas at GSO that service and maintain aircraft, vehicles, equipment and conduct de- icing operations. To comply with the conditions of the permit and protect water quality, the PTAA implements an overall Stormwater Pollution Prevention Plan (SPPP) and monitors stormwater discharge. The SPPP includes a Stormwater Management Plan; a Spill Prevention Control and Countermeasures Plan (SPCC); a Spill Prevention and Response Plan (SPRP); and other BMPs, such as "good housekeeping" and employee training, Because the capture and treatment of stormwater is largely an engineering exercise and because no issues indicating a problem meeting state and local stormwater regulations were identified during early agency coordination conducted for this EA, significant stormwater-related impacts are not expected. Modification of existing water resource permits or the addition of new outfalls to PTAA's existing NPDES permit would be required for the Proposed Project's Near -Term components. An individual NPDES permit for construction activities (e.g., sediment and erosion control) would also be required for the Proposed Project's Near -Term components. BMPs designed for the Proposed Project would meet the requirements of FAA AC 150/5200-33B, Hazardous Wildlife Attractants On or Near Airports, for maximum water detention periods and NCGS 143- 214.7. Operational -Related Water Quality Impacts — From an operational standpoint, the Proposed Project's Near -Term components would increase the potential to introduce new or higher levels of pollutants to surface waters when compared to the No -Action Alternative. Although the Near -Term Project is not SAMMarketing0p_Wpro\12011299_Piedmont EA\Draft EA\Ch 4.docx 4-64 Piedmont Triad International Airport Environmental Assessment DRAFT expected to substantially increase the number of aircraft operations at GSO, there would be a change in the use of taxiways and aircraft parking areas on the airfield. In addition, the Proposed Project would introduce new activities, such as aircraft manufacturing, to new areas on the airfield. In regard to aircraft taxiing and parking at new locations on the GSO airfield, taxiing aircraft are not a substantial source of pollutants, such as oil and grease, on airfield pavements. As noted above, stormwater from the taxiways and aircraft parking aprons would be captured and treated in accordance with state and local regulations, GSO's water quality permits, and other applicable water protection rules and protocols. The new graded surfaces adjoining taxiways would be grassed and maintained in mowable condition, which would assist in stormwater overland flow detention and aid in pollutant filtering and uptake processes12. Stormwater runoff from aircraft parking aprons would be appropriately attenuated and/or treated using suitable Best Management Practices (BMPs) developed for each individual aviation site or conveyed to new communal BMPs. BMPs would be designed and operated in accordance with applicable state and local regulations in regard to attenuation and treatment. Aircraft deicing activities, if needed, would be conducted at locations within the development site that would be designed to comply with applicable requirements. The discharge of "airport industrial facility" stormwater runoff to surface water bodies at or adjacent to GSO is controlled by the airport's NPDES Permit to Discharge Stormwater. Receiving waters include Brush Creek, East Fork Deep River, and Horsepen Creek and their tributaries in the Cape Fear River Basin. The NPDES permit requires quarterly monitoring at stormwater discharge points found throughout the airport and monitoring after a set number of de-icing events. The permit also requires that GSO maintain and implement a SPPP, Stormwater Management Plan, Spill Prevention and Response Plan, and BMPs to minimize the potential for industrial aviation activities to negatively impact stormwater runoff. Notably, water quality in segments of Brush Creek and East Fork of Deep River located within the DSA are designated as "impaired" by the North Carolina Division of Water Resources (DWR). A 2012 NC Integrated Impaired Waters List denotes Brush Creek as Reporting Category 5, where a pollutant(s) impairs the water and Total Maximum Daily Load (TMDL) is required (NCDENR, 2012). The segment of Brush Creek has impaired ecological and biological conditions influenced by non -point pollution sources, habitat degradation, sedimentation, and changes in watershed hydrology. Because new aviation -related industrial development would be required to implement SPPP, Stormwater Management Plans, Spill Prevention and Response Plans, Spill Prevention Control and Countermeasures Plan, and implements BMPs, the potential for substantial operational water quality impacts associated with the Near -Term Project is considered to be low. This is evidenced by the fact that GSO does not have a history of noncompliance in regard to meeting water quality standards from its operational areas. 12 North Carolina General Statutes 143-214.7(c4) deems runways, taxiways, and any other areas that provide for overland stormwater flow that promote infiltration and treatment of stormwater into grassed buffers, shoulders, and grass swales permitted pursuant to the State post -construction stormwater requirements. SAMMarketing0p_Wpro\12011299_Piedmont EA\Draft EA\Ch 4.docx 4-65 Piedmont Triad International Airport Environmental Assessment DRAFT Summary — Based on the ability of the PTAA and/or the prospective aviation -related industrial tenants to design and implement stormwater conveyance and treatment systems that meet applicable state and local requirements, stormwater discharges associated with the Near -Term Project are not expected exceed applicable water quality standards. In addition, the Near -Term Project is not expected to contribute to or further degrade water quality and habitat found in impaired stream segments on or adjacent to GSO. Therefore, the characteristics of stormwater discharges are not expected to be substantially different when compared to the No -Action Alternative. No substantial impacts to surface water quality resulting from operational activities are anticipated. Construction -Related Water Quality Impacts It is anticipated that up to 725 acres of land would be disturbed by clearing, grading, and construction activities associated with the Near -Term Project, including construction of rail facilities providing access to the aviation -related development site. Construction activities are expected to include excavation and fill, site preparation, drainage modifications, and installation of utilities. These construction activities can cause erosion, increased turbidity in water bodies, and sedimentation. Since these activities would also involve the use of vehicles and equipment, fuels and lubricants, and the storage of construction materials, there is a risk of release or spills of construction -related hazardous materials or petroleum substances. In this regard, the Near -Term Project has the potential to exceed applicable state water quality standards 13. This potential exists as areas of disturbed land would be exposed to rainfall which could result in stormwater discharges with suspended solids and sediment transport in excess of applicable water quality standards. Turbidity and sedimentation have the potential to adversely affect water quality, aquatic organisms, and benthic habitats. The site development construction phase is also expected to involve the use of fuels, lubricants, solvents, and other materials during construction. A release, spill, or improper storage would have the potential to introduce these materials and substances into surface waters in excess of state water quality standards. However, measures to minimize erosion and sedimentation and maintain water quality throughout the construction phase are available and would be implemented for the Near -Term Project. These include project -specific design measures and BMPs designed to prevent a project from exceeding applicable water quality standards. BMPs generally fall into two categories, structural and non-structural. Structural BMPs are devices or features that minimize the introduction of pollutants (i.e., suspended solids) and help remove pollutants from stormwater runoff before being discharged from the project site. Non-structural BMPs are measures that reduce the generation or accumulation of pollutants and are sometimes referred to as "source controls." BMPs and construction -related control measures would be specifically designed to minimize water quality impacts during construction of the Near -Term Project and would be incorporated into the erosion and sedimentation control plans that are required by the North Carolina Division of Land Resources for the project as a condition for NPDES construction permits. The development of BMPs for the Proposed Project would incorporate regionally -accepted methods and practices for stormwater discharges. Land development and construction guidance provided in FAA AC 150/5370.1 OF, Standards for Specifying the Construction of Airports, would also be incorporated into the project plans and 13 As promulgated in NCAC, Title 15A — Environmental and Natural Resources, Subchapter 213 — Surface Water and Wetland Standards SAMMarketing0p_Wpro\12011299_Piedmont EA\Draft EA\Ch 4.docx 4-66 Piedmont Triad International Airport Environmental Assessment DRAFT specifications to reduce potential for erosion and minimize construction -related impacts. Specific measures and practices that may be implemented are discussed below. Design Measures — The final design would consider, and include design measures as appropriate, to minimize erosion potential and sediment transport. Measures may include, but not be limited to, maintaining gentle slopes that promote sheet flow and minimizing the limits of construction to reduce exposed land. Construction Sequencing and Erosion Control Measures — Construction sequencing and phasing would be specified in the Proposed Project's final design plan. Construction sequencing is an effective method to minimize erosion by reducing the amount of exposed land at any one time. In addition to construction sequencing, erosion control measures further reduce the potential to exceed water quality standards. These measures consist of reducing erosive effects of rain on exposed soils through the use of temporary and permanent soil stabilization measures, stabilizing slopes, and re-establishing vegetation to stabilize disturbed areas and reduce stormwater flow velocities. Common erosion control measures that may be used during construction of the proposed Near -Term Project include mulching, sodding, and/or seeding to stabilize exposed soils and establish ground cover. Construction would incorporate construction sequencing and erosion control measures, as appropriate, to minimize exposed land and erosion. Structural Controls to Minimize Sediment Transport — The use of structural controls during construction to minimize erosion and sediment transport would be further detailed in the final design plan. Potential water quality impacts may be minimized through the use of structural controls that reduce stormwater velocities and allow settling of solids. Structural controls may include, but not necessarily be limited to: staked hay bales, silt fences, and floating baffles in adjacent water bodies. The Near -Term Project would include the use of structural controls, as appropriate, to minimize erosion and sediment transport. Pollution Prevention and Control — Project -specific pollution prevention and waste management plans would also be developed and implemented by the contractor to provide an effective means to address the storage, handling, and disposal of fuels, lubricants, and other materials used in the construction of the Near -Term Project. This may include, but not be limited to, implementing a construction -phase SPPP, Solid Waste Management Plan, and SPCC. In addition, the contractor would be required to comply with federal, state, and local hazardous materials/waste management regulations to assure proper management of hazardous and other special waste streams for the Proposed Project. Collectively, these erosion control measures, BMPs, and pollution prevention plans would be expected to preclude substantial construction -related water quality impacts and any significant potential for the Near - Term components of the Proposed Project to exceed applicable water quality standards. Groundwater Under the Near -Term Project, the potential for operational impacts to groundwater resources is considered to be negligible. There is a possibility of the release of contaminants to groundwater during construction or operation of the new aviation facilities. However, project -specific BMPs and SPPPs to be SAMMarketing0p_Wpro\12011299_Piedmont EA\Draft EA\Ch 4.docx 4-67 Piedmont Triad International Airport Environmental Assessment DRAFT designed and implemented by the PTAA, construction contractor, and tenants would prevent or minimize the potential release of contaminants into groundwater. The BMPs and SPPPs would require measures to prevent spills, provide swift response to accidental spills, and define acceptable on-site storage of fuel and lubricants. Given the availability of regionally -accepted BMPs and the design of project -specific plans, the Proposed Project would not have a substantial impact on groundwater resources. Water Supply The types of tenants expected to occupy the site include aerospace manufacturers, aircraft parts manufacturers, and other similar aviation -related businesses. These types of operations do not usually have high water demands and do not involve water -intensive industrial processes. However, the potential aviation -related industrial development associated with the Near -Term Project would result in an increase in the use of potable water at GSO. The increased demand for water would primarily result from new water consumption by employees. Based on average potable water usage rates for aircraft maintenance facilities and the potential number of tenants/employees in the Near -Term Project area, the demand for potable water was projected to be approximately 350,000 gallons per day. This was estimated using a rate of 35 gallons per day per employee times approximately 10,000 employees. The City of Greensboro's water plants treat and deliver an average of about 32 million gallons per day (City of Greensboro, 2013), based on demand. The increase in demand attributed to the Proposed Project's Near -Term Project is approximately 1.1 percent of the City's water production capacity. The projected increase in water consumption for the Near -Term Project can be accommodated by an increase in production rates at existing public drinking water treatment facilities. Therefore, the Near -Term Project would not have a significant impact on public drinking water resources or supplies. The development of aviation -related industrial facilities would require the installation of water utilities with the capacity and pressure to meet local fire protection code requirements. This would entail sizing water mains to handle daily potable water consumption and fire protection flows or installation of separate fire protection systems. In either case, water consumption related to fire protection systems would result from periodic system testing and use when responding to fires. In the latter case, it is not possible to predict the frequency of such events or the amount of water consumed. Wastewater Potential aviation -related industrial development associated with the Proposed Project Near -Term Project would result in increased amounts of process wastewater and sanitary wastewater generated at GSO. Based on average daily wastewater generation rates for industrial park land uses and the potential number of tenants/employees in the Near -Term Project area, the projected increase in daily wastewater generation was estimated to be 315,000 gallons per day (90 percent of water demand). Because the City's wastewater treatment plants operate at approximately 46 percent of total treatment capacity, the plants have sufficient capacity to accommodate the projected increase in local wastewater generation associated with the Near -Term Project. Therefore, the wastewater generated by the proposed Near -Term Project would not have a significant impact. S:\BD\Marketing\Wp_Wpro\12011299_Piedmont EA\Draft EA\Ch 4.docx 4-68 Piedmont Triad International Airport Environmental Assessment DRAFT 4.14.3.3 Long -Term Project (2020) Surface Water Quality In 2020, the Long -Term components of the Proposed Project could result in approximately 299 acres of additional impervious surface at GSO. This includes approximately 272 acres of impervious surface in the Long -Term development area and approximately 27 acres of impervious surface associated with the proposed parallel taxiway system. Potential surface water quality concerns associated with the Long - Term Project consist of sediment transport and potential release of pollutants during the construction phase and increased stormwater runoff volumes following project completion. The stormwater attenuation and treatment measures discussed for the Near -Term Project (see Section 4.14.3.2) would also be implemented for the Long -Term Project development area and parallel taxiway. For the same reasons stated for the Near -Term Project, substantial adverse water quality impacts associated with increased stormwater runoff and changes in airport operations would not occur with the implementation of the Proposed Project. Construction -Related Water Quality Impacts Construction activities associated with the Long -Term Project are expected to be similar to that undertaken for the Near -Term Project. Approximately 407 acres of land are projected to be disturbed by construction activities associated with the Long -Term Project. The construction -related water impacts associated with the construction of the Long -Term Project would be similar to that discussed for the Near -Term Project in Section 4.14.3.2. If the area were developed over time, presumably by several tenants, construction -related impacts would not be concentrated in time. Many of the same structural and non-structural BMPs implemented to protect water quality during construction would be implemented. For the same reasons stated for the Near -Term Project, substantial adverse water quality impacts associated with construction activities would not occur with the implementation of the Long -Term Project. Groundwater Similar to the Near -Term Project, the Long -Term Project's potential for operational impacts to groundwater resources is considered to be negligible and project -specific BMPs and SPPPs would prevent or minimize the potential release of contaminants into groundwater. Given the availability of regionally -accepted BMPs and the design of project -specific plans, the Long -Term components of the Proposed Project would not have a substantial impact on groundwater resources. Water Su The potential aviation -related industrial development associated with the Long -Term Project would result in an increase in the use of potable water at GSO over and above that associated with the Near -Term Project. Similar to the Near -Term Project, the increased demand for water would result from new aviation -related companies at the airport and water consumption by their employees. Based on average potable water usage rates for aircraft maintenance facilities and the potential number of tenants/employees in the Long -Term Project's development area, the additional demand for potable water was projected to be 105,000 gallons per day. This was estimated using a rate of 35 gallons per day per employee times 3,000 (approximate) additional employees. The City of Greensboro's water SAMMarketing0p_Wpro\12011299_Piedmont EA\Draft EA\Ch 4.docx 4-69 Piedmont Triad International Airport Environmental Assessment DRAFT plants treat and deliver an average of about 32 million gallons per day to meet local demand. The potential additional demand attributed to the Long -Term components of the Proposed Project would be 0.3 percent of the present daily production. This increase could be accommodated within present production rates or with a minimal increase in production. No substantial impact is anticipated. Similar to that discussed in Section 4.14.3.2, the aviation -related industrial facilities would require the installation of water utilities with the capacity and pressure to meet local fire protection code requirements. This would entail sizing water mains to handle daily potable water consumption and fire protection flows or installation of separate fire protection systems. In either case, water consumption related to fire protection systems would result from periodic system testing and use when responding to fires. In the latter case, it is not possible to predict the frequency of such events or the amount of water consumed. Wastewater Potential aviation -related industrial development associated with the proposed Long -Term Project would result in increased amounts of process wastewater and sanitary wastewater generated at GSO. Based on average daily wastewater generation rates for industrial park land uses and the potential number of tenants/employees for the Long -Term components of the Proposed Project, the projected increase in daily wastewater generation was estimated to be 94,500 gallons per day. The local wastewater treatment plants have capacity to accommodate this increase; therefore the increase in wastewater associated with the Long -Term Project would not have a substantial impact. 4.14.3.4 Proposed Project (Full Build -Out) The Proposed Project's full build -out includes the 2015 Near -Term Project facilities evaluated previously in Section 4.14.3.2 plus the Long -Term components of the Proposed Project. As a result, the total acreage of impervious surface created as a result of the Proposed Project would total approximately 810 acres. Overall, the Proposed Project would disturb up to 1,132 acres of land during construction. As discussed previously in this section, implementation of BMPs would avoid substantial adverse water quality impacts that could occur from construction -phase activities and the resulting increased stormwater runoff and changes in airport operations associated with the full build -out of the Proposed Project. In total, the Proposed Project, including both the Near -Term and Long -Term components, would increase the local demand for potable water by 455,000 gallons per day by 2020. This represents 1.4 percent of present daily production. The projected increase in water consumption for the full build -out could be accommodated by a relatively small increase in production rates at existing public drinking water treatment facilities. Therefore, the full build -out of the Proposed Project would not have a significant impact on public drinking water resources or supplies. The full build -out of the Proposed Project would generate approximately 409,500 gallons of wastewater per day. Because the City's wastewater treatment plants are reported to have excess treatment capacity, the plants will be able to accommodate the projected increase in local wastewater generation associated with the Proposed Project. SAMMarketing0p_Wpro\12011299_Piedmont EA\Draft EA\Ch 4.docx 4-70 Piedmont Triad International Airport Environmental Assessment DRAFT 4.14.4 Cumulative Effects Past and present residential, commercial, and industrial development in the vicinity of GSO has contributed to water quality impacts on surface water bodies. The 1-73 Connector and other reasonably foreseeable development projects could also result in temporary and permanent impacts to water quality and potentially exceed applicable water quality standards. Temporary impacts may result from land clearing, site disturbance, and grading associated with construction activities. Temporary construction impacts could be minimized through use of project -specific BMPs and applicable federal, state, and local construction mitigation guidelines. Permanent water quality impacts could result from stormwater runoff from newly constructed impervious surfaces. Each development project would be expected to comply with applicable state regulations that require on-site attenuation and treatment of stormwater. Because land in the immediate vicinity of GSO is largely built -out, the potential of the development project to substantially increase stormwater discharges and generate considerable impacts is considered low. In summary, the cumulative development projects have potential to generate water quality impacts. However, it is expected that existing programs, policies, and regulatory requirements would prevent and/or minimize the potential water quality impacts to a level below a substantial impact. The limited water quality impacts and minor increase in impervious surface of the Proposed Project, when compared to potential impacts of other development projects, are not expected to lead to substantial cumulative water quality impacts. 4.14.5 Comparison of Significant Impact Thresholds FAA Order 1050.1E states that if the EA and early consultation show that there is a potential for exceeding water quality standards, identify water quality problems that cannot be avoided or satisfactorily mitigated or indicate difficulties in obtaining required permits, an EIS may be required. This statement provides a threshold that can be used to determine if the potential impacts associated with the Proposed Project would be considered significant or not. Measures to maintain water quality are available and would be implemented by the PTAA and tenants to minimize construction and operational impacts. These measures include project -specific design measures, BMPs, and pollution -control plans designed to prevent a project from exceeding applicable water -quality standards. The public drinking water supplies and wastewater treatment systems would accommodate increases in water resource demands associated with the development of the project site. Given the nature of the Proposed Project, it is expected that water quality standards would not be exceeded. Early coordination of the Proposed Project with federal, state, and local regulatory agencies was conducted at the outset of this EA. The early coordination effort did not identify any specific water quality concerns which could not be avoided or mitigated or indicate issues regarding the ability of PTAA or its tenants to obtain necessary permits. SAMMarketing0p_Wpro\12011299_Piedmont EA\Draft EA\Ch 4.docx 4-71 Piedmont Triad International Airport Environmental Assessment DRAFT 4.14.6 Mitigation In consideration of the above information, the Proposed Project is not expected to exceed thresholds indicating a significant impact. Because no significant water quality impacts are anticipated, no mitigation measures are proposed. 4.15 WETLANDS 4.15.1 Overview of Impacts The No -Action Alternative will not impact wetlands. The Near -Term Proposed Project could impact up to 6.7 acres of open water, 2,084 linear feet of intermittent streams, 7,051 linear feet of perennial streams, and 1.2 acres of forested wetlands. The Long -Term Proposed Project could impact up to an additional 7,606 linear feet of perennial streams, 1,573 linear feet of intermittent streams, and 2.5 acres of forested wetlands. The overall Proposed Project, including both Near -Term and Long -Term components, would impact up to 14,657 linear feet of perennial streams, 3,657 linear feet of intermittent streams, 6.7 acres of open water, and 3.7 acres of forested wetlands. Mitigation for unavoidable jurisdictional stream and wetland impacts would be accomplished through participation in wetland mitigation banks and stream mitigation programs operated by the State of North Carolina 4.15.2 Methodology Waters of the United States, including wetlands, in the DSA were delineated in 2012 and the jurisdictional status and boundaries were verified by the U.S. Army Corps of Engineers (USACE) in 2013 (SAW -2012- 01547). The area in which the jurisdictional determination was conducted covers a majority, but not all, of the DSA. The portions of the DSA not subject to the jurisdictional determination include the land associated with providing rail access to the development site. This area was reviewed for the presence of jurisdictional waters and wetlands using reasonably available information, including past environmental studies at GSO, aerial photographs, and FWS Nationwide Wetland Inventory (NWI) maps. The wetland boundaries were compared to the Proposed Project's site boundary to determine the amount of wetlands within the areas subject to site development. 4.15.3 Impacts The PTAA and its prospective tenants would generally seek to avoid wetlands and streams as sites in the study area are developed. The PTAA and its tenants would also be required under federal and state water resource permit programs to avoid and minimize wetland and water body impacts whenever possible. Because the site development needs of prospective tenants are not fully known at this time, and for purposes of disclosing potential impacts in this EA, it was assumed that all wetlands on the development site could potentially be affected by the Proposed Project. Permitting agencies including the USACE will require mitigation for unavoidable impacts. SAMMarketing0p_Wpro\12011299_Piedmont EA\Draft EA\Ch 4.docx 4-72 Piedmont Triad International Airport Environmental Assessment DRAFT 4.15.3.1 No -Action Alternative The No -Action Alternative will not result in construction of any the improvements associated with the Proposed Project. The No -Action Alternative would not impact wetlands. 4.15.3.2 Near -Term Project (2015) The Near -Term Project could result in impacts of up to 6.7 acres of open water; 2,084 linear feet of intermittent streams, 7,051 linear feet of perennial streams, and 1.2 acres of forested wetlands. The open water areas consist of the ponds located on the Pleasant Ridge Golf Course, which is presently owned by PTAH. These ponds, which are jurisdictional `other waters," are included in the calculation of project impacts, but impact to these ponds should not require mitigation. Approximately 18 acres of open water and forested and emergent wetlands, and 26,991 linear feet of intermittent and perennial streams are located within the DSA. The largest intact areas of forested wetlands are located in the eastern portion of the DSA, north of Joseph M. Bryant Boulevard. These forested wetlands are not included in the area to be developed and would not be impacted. This wetland area, streams, and associated conservation easement were dedicated as partial wetland, stream, and buffer mitigation for impacts from the "FedEx Project" (Runway 5L/23R, proposed new overnight express air cargo sorting and distribution facility, and associated developments) previously permitted under Individual 404 Permit (Corps Action ID SAW -2000-21655, 12/08/2003) and related 401 Water Quality Certification (DWR File 00-0846, 11/10/2003). As explained in Chapter 1.0, the Near -Term Project includes the construction of a cross field taxiway linking the existing airfield with the Near -Development area on the north side of the future Interstate 73. The taxiway will cross the highway over a taxiway bridge. The proposed alignment for the cross field taxiway is shown on Figure 1.2-2. This alignment would cross a stream, with impacts to both perennial and intermittent stream segments of the south side of the Interstate. An analysis has been performed to determine if there are any alternatives to the proposed alignment that would have fewer impacts to this stream and its adjacent buffers, while at the same time meeting FAA design criteria and the required clearance of the taxiway bridge above the highway. This analysis concludes that there are no practicable alternatives that would reduce the impacts. The taxiway alternatives analysis is attached to this EA as Appendix E. 4.15.3.3 Long -Term Project (2020) The Long -Term components of the Proposed Project could impact (up to) an additional 7,606 linear feet of perennial streams, 1,573 linear feet of intermittent streams, and 2.5 acres of forested wetlands. The majority of the affected intermittent and perennial streams are unnamed tributaries to Brush Creek. The majority of the wetlands are located within the riparian floodplain of these tributaries. 4.15.3.4 Proposed Project (Full Build -Out) Full build -out of the Proposed Project, which includes both the Near -Term and Long -Term Projects, could impact up to 14,657 linear feet of perennial streams, 3,657 linear feet of intermittent streams, 6.7 acres of open water, and 3.7 acres of forested wetlands. The Proposed project would require permits from the SAMMarketing0p_Wpro\12011299_Piedmont EA\Draft EA\Ch 4.docx 4-73 Piedmont Triad International Airport Environmental Assessment DRAFT USACE pursuant to Section 404 of the Clean Water Act and Water Quality Certification 14 by the North Carolina DWR under Section 401 of the Clean Water Act. 4.15.4 Cumulative Effects The proposed NCDOT 1-73 Connector will connect NC 68 and Bryan Boulevard, west of the Greensboro Western Loop (Future 1-840/1-73) with a new 1.6 -mile, four -lane divided freeway. The proposed alignment bisects the Proposed Project site development area. According to the EA prepared for the road project by NCDOT in March 2012, the proposed connector freeway will impact approximately 470 linear feet of intermittent and perennial streams, 0.3 acre of open water and less than 0.1 acre of other wetlands. While past and present development projects on and in the vicinity of GSO have resulted in a considerable modification to the existing landscape and a reduction in wetlands, reasonably foreseeable projects are not expected to generate substantial changes in natural habitats or result in an appreciable further reduction in wetlands. Potential additional residential, commercial, and transportation developments could result in additional impacts to wetlands; however, the net effect of these projects is expected to be minimal and mitigation for these impacts would be required by both state and federal agencies. Required mitigation would off -set these impacts and result in minimal to no overall impact to wetlands. The wetland and stream impacts associated with the Proposed Project, when considered with past, present and reasonably foreseeable wetland impacts, is not expected to lead to substantial cumulative wetland impacts. 4.15.5 Comparison to Significant Impact Thresholds As noted previously, the site development needs of prospective tenants are not fully known at this time. The PTAA and prospective tenants will be required to obtain permits and provide mitigation for unavoidable wetland impacts associated with the implementation of the Proposed Project. An USACE Section 404 permit will require that applicants demonstrate avoidance and minimization of wetland impacts for each specific project, and provide suitable mitigation to offset adverse effects of any unavoidable wetland impacts. Potential compensatory mitigation strategies to offset wetland, stream, and stream buffer impacts include purchasing credits from a private mitigation bank or the North Carolina Ecosystem Enhancement Program (NCEEP) in -lieu fee mitigation program, or permittee -responsible creating/restoring wetlands and streams. Stormwater controls required by PTAA's Water Supply Watershed Management and Protection Rules will minimize impacts to water quality. The DWR 401 Water Quality Certification required prior to construction will require mitigation if warranted. Based on these considerations, it is anticipated that potential impacts to the stream channel, and wetlands associated with the Proposed Project would not exceed significant threshold impacts. 14 The DWR (Division of Water Resources) is the state agency responsible for issuing 401 water quality certifications (WQC), which are required for any federally -permitted or licensed activity that result in a discharge to Waters of the U.S. When the state issues a 401 certification it certifies that a given project will not degrade waters or violate state water quality standards. SAMMarketing0p_Wpro\12011299_Piedmont EA\Draft EA\Ch 4.docx 4-74 Piedmont Triad International Airport Environmental Assessment DRAFT In regards to the impact thresholds identified in FAA Order 1050.1E, the following statements can be made based on the avoidance and minimization requirements that will apply to the Proposed Project and expected mitigation of any unavoidable impacts: • The Proposed Project would not adversely affect the function of wetlands to protect the quality or quantity of municipal water supplies, including sole source, potable water aquifers. • The Proposed Project would not alter the hydrology needed to sustain the functions and values of wetlands to which they are connected. • The Proposed Project would not substantially reduce the ability of wetlands at GSO or in the vicinity of the Proposed Project to retain floodwaters or storm -associated run-off. Therefore, threats to public health, safety, and welfare are not expected. • The Proposed Project would not adversely affect the maintenance of natural systems that support wildlife and fish habitat or economically -important timber, food, or fiber resources in the affected or surrounding wetlands. • The Proposed Project would not promote development of secondary activities or services that would impact Waters of the U.S. or wetlands. • The Proposed Project would be consistent with applicable state wetland strategies. Pursuant to federal and state wetlands regulations, impacts to wetlands would be avoided to the greatest extent practicable and for those impacts which could not be avoided, they would be minimized. Therefore, wetland impacts associated with the Proposed Project would not appear to exceed significant threshold impacts. 4.15.6 Mitigation Proposed mitigation for unavoidable impacts to jurisdictional streams and wetlands would be accomplished through participation in wetland mitigation banks and stream mitigation programs operated by the North Carolina DWR. See Section 5.0, Mitigation, for more information. 4.16 NATURAL RESOURCES AND ENERGY SUPPLY 4.16.1 Overview of Impacts The No -Action Alternative will not result in a change in energy demands at GSO. The development of aerospace and aviation -related industries facilitated by the Proposed Project would increase the demand for energy, primarily electric power, at GSO. There are no known issues related to local energy suppliers meeting this increased demand for electric power. 4.16.2 Methodology A conceptual estimate of peak electric power demand was made for the Proposed Project. This was compared to the availability and capacity of local electric power providers. SAMMarketing0p_Wpro\12011299_Piedmont EA\Draft EA\Ch 4.docx 4-75 Piedmont Triad International Airport Environmental Assessment DRAFT 4.16.3 Impacts 4.16.3.1 No -Action Alternative The No -Action Alternative would not affect any natural resources or change energy demands at GSO. 4.16.3.2 Proposed Project (2015) There are no known natural resources within the DSA that are unusual in nature or are in short supply. The development of aerospace and aviation -related industries would increase the demand for energy at GSO, including electric power and natural gas. However, at this time it is not possible to accurately predict the actual near-term demand for the types and amounts of energy required by prospective tenants. The development of aerospace and aviation -related facilities at GSO is expected to center around aircraft and aircraft parts manufacturing and aircraft maintenance, repair and overhaul. The facilities would typically include large manufacturing buildings or hangars that require lighting, air conditioning, and power for office equipment and specialized production equipment. Duke Energy, the electric power supplier to GSO, has a network of power generation plants, substations, and distribution lines capable of serving existing and prospective tenants at GSO. The existing infrastructure serving GSO is sized to accommodate the terminal buildings, aircraft maintenance facilities, air cargo facilities, and other large facilities operating at the airport. As the Proposed Project site is developed and prospective tenants are identified, the tenant(s), PTAH, and economic development agencies would help coordinate electric and gas power needs with utility companies and energy suppliers. Based on the specific demands of prospective tenants, existing electric service infrastructure in the vicinity of GSO may need to be upgraded or augmented (i.e., additional substations). At this time there are no known issues related to local energy suppliers meeting the increased demand. Overall, there is sufficient capacity to meet the projected increased energy demand and energy suppliers are expected to accommodate the increased demand. No substantial energy-related impacts are expected with the implementation of the Near -Term Project. 4.16.3.3 Proposed Project (2020) The Long -Term Project would support the development of additional aviation -related industries at GSO, which, in turn, would increase the demand for energy. For the same reasons discussed above, no substantial energy-related impacts are expected with the implementation of the Near -Term Project. 4.16.3.4 Proposed Project (Full Build -Out) By 2024, the PTAA projected a possible increase in peak electric energy demand of 20.25 MW by aerospace and aviation -related industries accommodated by the Proposed Project at full -build -out. As noted above, energy demands would be determined as each tenant plans and develops their facilities. Although it is possible that a single, large tenant approaches the PTAA for facility development, it is assumed that energy demands, and any infrastructure upgrades necessary to meet the demands, would take place over time. Overall, there is sufficient capacity to meet the projected increased energy demand S:\BD\Marketing\Wp_Wpro\12011299_Piedmont EA\Draft EA\Ch 4.docx 4-76 Piedmont Triad International Airport Environmental Assessment DRAFT and energy suppliers are expected to be able to accommodate the increased demand. No substantial energy-related impacts are expected with the implementation of the Near -Term Project. 4.16.4 Cumulative Effects While past and present development projects on and in the vicinity of GSO have resulted in an increase in energy demand, reasonably foreseeable projects are not expected to generate substantial increases in power demand in the vicinity of GSO. Potential new residential, commercial, industrial, and transportation developments could result in additional energy demand; however, the net effect is expected to be minimal because the area immediately surrounding GSO is developed with relatively few open areas available for development. Therefore, the substantial energy demands associated with the Proposed Project, when considered with past, present and reasonably foreseeable development projects, are not expected to lead to substantial cumulative energy-related impacts. 4.16.5 Comparison to Significant Impact Thresholds Although a threshold has not been specifically identified by the FAA, it was determined that the Proposed Project would not have a significant impact on natural resources and energy supplies. The existing infrastructure serving GSO is sized to accommodate large facilities and could accommodate the additional facilities that the Proposed Project is intended to support. As typically done for new facility development, the existing energy supply infrastructure at GSO (or portions thereof) would be upgraded to meet the demand of new tenants. 4.16.6 Mitigation No mitigation is required. SAMMarketing0p_Wpro\12011299_Piedmont EA\Draft EA\Ch 4.docx 4-77 Piedmont Triad International Airport Environmental Assessment CHAPTER 5.0 MITMATIM] 5.1 INTRODUCTION DRAFT Although the Proposed Project would not result in significant environmental impacts, the following sections describe mitigation measures anticipated to be required by the U.S. Army Corps of Engineers (USACE) and the State of North Carolina [through its Division of Water Resources (DWR)] related to potential wetland and stream impacts, as well as mitigation measures for residential and business relocations, and floodplain impacts. Other voluntary mitigation measures that would serve to reduce non- significant environmental impacts are discussed in the Air Quality, Construction Impacts, and Water Quality sections in Chapter 4.0 of this Environmental Assessment (EA). 5.2 MITIGATION FOR UNAVOIDABLE WETLAND AND STREAM IMPACTS The Proposed Project could impact up to 14,656 linear feet of perennial streams, 3,657 linear feet of intermittent streams, 6.7 acres of open water, and 3.7 acres of forested wetlands. The intermittent and perennial streams are unnamed tributaries to Brush Creek and East Fork Deep River. The affected wetlands are located within the riparian floodplain of the Brush Creek tributaries. The areas of open water are associated with the ponds located within the Pleasant Ridge Golf Course and are jurisdictional "other waters" included in the calculation of project impacts. However, impacts to these ponds should not require mitigation. The Proposed Project would require permits from the USACE pursuant to Section 404 of the Clean Water Act and Water Quality Certification' by the North Carolina DWR under Section 401 of the Clean Water Act. Permit applications would need to demonstrate that: 1) unnecessary wetland impacts were avoided and 2) that unavoidable impacts were minimized. After these two steps are satisfied, mitigation can be evaluated for unavoidable impacts. As the site is improved by the PTAA and subsequently developed by prospective tenants, avoidance and minimization would be considerations during site design and permitting phases. As discussed in Section 4.15 of this EA, the site development needs of prospective tenants are not fully known at this time. Therefore the consideration of possible mitigation requirements and measures assumed that all wetlands and streams on the development site could potentially be affected by the Proposed Project. Mitigation options available for unavoidable impacts associated with the Proposed Project include: • Purchasing mitigation credits from an approved mitigation bank. The North Carolina DWR is the state agency responsible for issuing 401 water quality certifications (WQC). When the state issues a 401 certification (which is required for any federally -permitted or licensed activity that may result in a discharge to Waters of the U.S.), this certifies that a given project will not degrade Waters of the State or violate state water quality standards. SAMMarketing0p_Wpro\12011299_Piedmont EA\Draft EA\Ch 5.docx 5-1 Piedmont Triad International Airport Environmental Assessment DRAFT • Purchasing mitigation credits through the North Carolina Ecosystem Enhancement Program (NCEEP)2. • The applicant creating and/or restoring wetlands and streams either at the project site or at an off-site location. The PTAA has unused program credits that can be applied towards mitigation for stream and wetland impacts associated with the Proposed Project. If necessary, the PTAA would purchase additional mitigation credits to satisfy any remaining mitigation requirements through the NCEEP. Credits are presently available through the NCEEP program and the State of North Carolina is continuing to develop new mitigation and watershed projects that would provide additional credit availability. The PTAH, through the permit application process, will work closely with the USACE and DWR to identify mitigation requirements for initial site preparation activities undertaken by the PTAH. Subsequent site development needs of prospective tenants would be subject to separate permit processes and mitigation requirements, as needed. Impacts and mitigation credit requirements would be determined during the Proposed Project's project design phase and permit application process and during any subsequent site development projects that would affect wetlands and/or streams. If for some reason participation in a mitigation bank or NCEEP is limited or not possible (i.e., credits are not available at the time of the permit application), the PTAA would develop an individual mitigation plan. This plan may include, but not be limited to, the creation and/or restoration of wetlands and streams within the affected watershed basin. This could be accomplished on public property in cooperation with local governments or on (off -airport) property purchased by the PTAA for the purpose of implementing the required mitigation. 5.3 MITIGATION FOR RESIDENTIAL AND BUSINESS RELOCATIONS To mitigate the potential social impacts of the land acquisition requirements associated with the Proposed Project, the PTAA will conduct all land acquisition activities and provide all relocation services in compliance with the Uniform Relocation Assistance and Real Property Acquisition Policies Act of 1970, as amended (Uniform Act), Title 49 Code of Federal Regulations (CFR) Part 24, as amended, and in conformance with applicable Federal Aviation Administration (FAA) policies and procedures. FAA policies and procedures are contained in FAA Order 5100.37B, Land Acquisition and Relocation Assistance for Airport Projects and FAA Advisory Circular (AC) 150/5100-17, Land Acquisition and Relocation Assistance for Airport Improvement Program (AIP) Assisted Projects. 5.4 MITIGATION FOR UNAVOIDABLE FLOODPLAIN IMPACTS The Proposed Project could impact up to 17.8 acres of 100 -year floodplains, which includes 1.0 acre of floodway. The Proposed Project would require mitigation for unavoidable floodplain and floodway impacts. Commonly -accepted measures include, but may not necessarily be limited to: 2 NCEEP is a mitigation program designed to restore and protect North Carolina's natural resources while supporting responsible economic development. The multi -agency initiative restores streams, wetlands, and riparian buffers where the need is greatest. SAMMarketing0p_Wpro\12011299_Piedmont EA\Draft EA\Ch 5.docx 5-2 Piedmont Triad International Airport Environmental Assessment DRAFT • Stormwater Detention Mitigation — includes measures to offset the amount of additional storm runoff from a site due to the increase in the amount of impervious cover on the ground. • Fill Mitigation — includes measures to offset the amount of fill material brought on to a site in the floodplain. This may include, but not be limited to, the creation of new floodplain compensation areas (i.e., landscaped low areas or ponds). • Floodway Conveyance Offset Volume — includes measures to offset the potential loss of conveyance in the floodway due to new construction on vacant land. This may include, but not be limited to, the use of appropriately sized culverts and pipes. Because the PTAA cannot predict accurately the type, size, and layout of facilities required by prospective tenants at this time, it is not possible to fully define mitigation requirements and measures necessary to offset floodplain impacts. The PTAA and prospective tenants will evaluate site development plans throughout the planning and design stages to identify unavoidable floodplain impacts, coordinate those efforts with local flood management officials, and develop mitigation measures consistent with local regulations, ordinances, and practices. SAMMarketing0p_Wpro\12011299_Piedmont EA\Draft EA\Ch 5.docx 5-3 Piedmont Triad International Airport Environmental Assessment DRAFT CHAPTER 6.0 COORDINATION AND PUBLIC INVOLVEMENT 6.1 INTRODUCTION Agency coordination and a public involvement program were implemented to ensure information regarding the proposed airport development and potential environmental impact is made available to the general public and public agencies and that input from interested parties is received and considered. The primary components of the agency and public participation program for this Environmental Assessment (EA) include: • Early agency coordination during the development of the Draft EA, • Publication of the Draft EA for public and public agency review, • Public Workshop/Public Hearing, and • Public notice of the Federal Aviation Administration's (FAA's) decision of whether to issue a Finding of No Significant Impact (FONSI) or to prepare an Environmental Impact Statement (EIS). The following summarizes the public involvement and review process. 6.2 EARLY AGENCY COORDINATION Federal, state, and local agencies and local governments were contacted to inform the agencies that an EA was to be prepared, to provide information on the Proposed Project, and to solicit information and preliminary comments. Coordination was conducted for environmental issues having greatest potential for impact and with agencies having specific regulatory authority. A copy of the early coordination letter, a list of recipients, and copies of response letters received during this early coordination phase are contained in Appendix A-1. 6.3 AGENCY COORDINATION MEETING An agency coordination meeting was held on August 12, 2013 at the Airport to present the Proposed Project, a conceptual building development plan, and to answer questions and solicit comments from the represented agencies. A brief slide presentation was made to familiarize attendees with the Proposed Project. A question and answer session followed the presentation. Appendix A-2 includes meeting materials including a list of attendees, printout of the Microsoft PowerPoint slide presentation, and a summary of meeting minutes. SAMMarketing0p_Wpro\12011299_Piedmont EA\Draft EA\Ch 6.doc 6-1 Piedmont Triad International Airport Environmental Assessment DRAFT 6.4 DRAFT EA AVAILABILITY FOR REVIEW This Draft EA will be available for review by the general public and interested parties from December 6, 2014 through January 19, 2015. Notification of the document's availability will be accomplished through legal advertisements in the News & Record, High Point Enterprise, and the Winston-Salem Journal, which are newspapers of local circulation. This Draft EA document was made available for review at the locations listed below. Piedmont Triad International Airport City of Greensboro Central Library Kathleen Clay Edwards Library Hemphill Public Library Anyone wishing to comment on the information and conclusions in this Draft EA may do so at any time during the advertised public review and comment period. All comments should be submitted to Piedmont Triad International Airport (GSO) in written form to the following address: J. Alex Rosser, P.E. Deputy Executive Director Piedmont Triad Airport Authority 1000-A Ted Johnson Parkway Greensboro, NC 27409 The Draft EA comment period will begin on December 6, 2014 and will close on January 19, 2015. All comments must be postmarked by January 19, 2015. 6.5 LIST OF AGENCIES RECEIVING THE DRAFT EA A list of agencies receiving a copy of this Draft EA is provided below. FEDERAL Chief Regional Environmental Officer Regulatory Branch Federal Emergency Management Agency U.S. Army Corps of Engineers Region 4 3331 Heritage Trade Drive, Suite 105 3003 Chamblee Tucker Road Wake Forest, North Carolina 27587 Atlanta, GA 30341 Regional Administrator U.S. Environmental Protection Agency Region IV 61 Forsyth Street, SW Atlanta, GA 30303-8960 U.S. Fish and Wildlife Service Asheville Ecological Service Office 160 Zillicoa Street Asheville, NC 28801 Director Flood Insurance and Mitigation Division Federal Emergency Management Agency Region IV 3003 Chamblee Tucker Road Atlanta, GA 30341 Chief, Environmental Services Staff Office of Trust Responsibilities Bureau of Indian Affairs — US DOI Room 4560, Interior Building 18th and C Street NW Washington, DC 20245-0001 SAMMarketing0p_Wpro\12011299_Piedmont EA\Draft EA\Ch 6.doc 6-2 Piedmont Triad International Airport Environmental Assessment John F. Sullivan, III P.E. Division Administrator North Carolina Division Federal Highway Administration 310 New Bern Avenue, Suite 410, Raleigh, NC 27601 Director Office of Environmental Policy and Compliance U.S. Department of the Interior Main Interior Building, MS 2340 1849 C. Street NW Washington, DC 20240 STATE Sheila Green N.C. State Environmental Review Clearinghouse 1301 Mail Service Center Raleigh, N.C. 27699-1301 Gordon S. Myers Executive Director N.C. Wildlife Resources Commission 1701 Mail Service Center Raleigh, NC 27699-1701 Bobby Walston, PE NCDOT State Aviation Director North Carolina Department of Transportation 1560 Mail Service Center Raleigh, NC 27699-1560 Jennifer M. Fuller, PE Airport Project Manager - North West North Carolina Department of Transportation 1560 Mail Service Center Raleigh, NC 27699-1560 LOCAL Bruce E. Davis County Commissioner, District 1 1010 Greensboro Road High Point, NC 27260 Bill Bencini Vice Chair County Commissioner, District 2 1412 Trafalgar Drive High Point, NC 27262 Linda O. Shaw Board Chair County Commissioner, District 3 PO Box 8618 Greensboro, NC 27419 DRAFT Regional Director Southeast Region National Park Service 100 Alabama St. SW 1924 Building Atlanta, GA 30303 N.C. State Publications Clearinghouse Documents Branch 4643 Mail Service Center Raleigh, NC 27699-4643 Sandra P. Castle Regional Administrative Office Manager North Carolina Department of Environment and Natural Resources 585 Waughtown Street Winston-Salem, NC 27107 State Historic Preservation Officer North Carolina Department of Cultural Resources 4610 Mail Service Center Raleigh, NC 27699-4610 Alan Branson County Commissioner, District 4 3731 Old Julian Road Julian, NC 27283 Jeff Phillips County Commissioner, District 5 6108 Mountain Brook Road Greensboro, North Carolina 27455 Hank Henning County Commissioner, District 6 6412 Woodmont Road Jamestown, NC 27282 SAMMarketing0p_Wpro\12011299_Piedmont EA\Draft EA\Ch 6.doc 6-3 Piedmont Triad International Airport Environmental Assessment DRAFT Carolyn Q. Coleman Zack Matheny County Commissioner, District 7 District 3 City Council Member PO Box 3427 City of Greensboro Greensboro, NC 27402 PO Box 3136 Greensboro, NC 27402-3136 Ray Trapp Nancy Hoffmann County Commissioner, District 8 District 4 City Council Member 1016 W. Meadowview Road City of Greensboro Greensboro, North Carolina 27406 PO Box 3136 Greensboro, NC 27402-3136 County Manager Guilford County Administration Tony Wilkins 301 West Market Street District 5 City Council Member PO Box 3427, Greensboro NC 27402 City of Greensboro PO Box 3136 Robbie Perkins Greensboro, NC 27402-3136 Mayor City of Greensboro Nancy Vaughan PO Box 3136 At Large City Council Member Greensboro, NC 27402-3136 City of Greensboro PO Box 3136 T. Dianne Bellamy -Small Greensboro, NC 27402-3136 District 1 City Council Member City of Greensboro Marikay Abuzuaiter PO Box 3136 At Large City Council Member Greensboro, NC 27402-3136 City of Greensboro PO Box 3136 Jim Kee Greensboro, NC 27402-3136 District 2 City Council Member City of Greensboro PO Box 3136 Greensboro, NC 27402-3136 NATIVE AMERICAN TRIBES Mr. Jeremy Hyatt Principal Chief Assistant Eastern Band of Cherokee PO Box 455 Cherokee, NC 28719 LIBRARIES City of Greensboro Central Library Hemphill Public Library 219 N Church St 2301 W. Vandalia Road Greensboro, NC 27401 Greensboro, NC 27407 Kathleen Clay Edwards Library 1420 Price Park Drive Greensboro, NC 27410 SAMMarketing0p_Wpro\12011299_Piedmont EA\Draft EA\Ch 6.doc 6-4 Piedmont Triad International Airport Environmental Assessment DRAFT 6.6 OPPORTUNITY FOR PUBLIC HEARING The Airport Sponsor and the FAA will afford the opportunity for a formal Public Hearing. The purpose of the hearing is to solicit additional comment regarding the Proposed Project. A notice for the Public Hearing will be published in conjunction with the notice of availability of the Draft EA for public review. The date and location for the Public Hearing will be included in the notice of availability of the Draft EA. 6.7 FINAL EA AVAILABILITY FOR REVIEW This Draft EA will be revised as necessary to summarize and incorporate comments received during the public and agency review period. PTAA and the FAA will consider and address all pertinent comments received from the general public, agencies, and organizations in development of the Final EA. Summaries of comments received, responses, and any necessary revisions to the EA will be incorporated into the Final EA. The Final EA will be submitted by the airport to the FAA for their review and determination of whether to issue a FONSI or to prepare an EIS. S:\BD\Marketing\Wp_Wpro\12011299_ Piedmont EA\Draft EA\Ch 6.doc 6-5 Piedmont Triad International Airport Environmental Assessment CHAPTER 7.0 LIST OF PREPARERS 7.1 LIST OF PREPARERS DRAFT As required by Federal Aviation Administration (FAA) Order 5050.4B, the names and qualifications of the principal persons contributing information to this Environmental Assessment (EA) are identified. It should be noted, in accordance with Section 1502.6 of the Council on Environmental Quality (CEQ) regulations, the efforts of an interdisciplinary team, consisting of technicians and experts in various fields, were required to accomplish this study. Specialists involved in this EA included those in such fields as airport planning, biology, historic/archaeological, water resources, and other disciplines. AIRPORT SPONSOR Kevin Baker, P.E. — Airport Director, Piedmont Triad Airport Authority J. Alex Rosser, P.E. — Director of Planning and Engineering, Piedmont Triad Airport Authority URS CORPORATION- PRIME CONSULTANT Paul Behrens — Project Manager. M.S. Biology, B.S. Marine Science, 31 years of experience in environmental assessment and impact analyses. Responsibilities include project management, agency and public coordination, environmental and aviation planning, environmental impact analyses, and technical writing. Peter Green, AICP — Quality Assurance. B.S. Environmental Resource Management & Planning, MPA Public Administration/Coastal Zone Studies, 24 years of experience in environmental assessment and impact analysis. Responsible for quality assurance. Russell P. Forrest, GISP — Project Coordinator. B.A. Zoology; M.S. Environmental Engineering. 29 years of experience. Responsibilities project management and coordination, public involvement, environmental impact analysis, and document production. Ann Venables, AICP — Senior Transportation Planner, B.S. Biology, M.S. Wildlife Ecology, 28 years of experience in Project Development and Environmental Studies, impact analysis and environmental permitting, responsible for Socioeconomics and Section 4(f) impact assessment. Marvin Brown — Senior Architectural Historian and Historian. B.A. and M.A. American Civilization, J.D. Law, 29 years experience. Responsible for cultural resources impact assessment. Daniel Cassedy, Ph.D. — Archaeologist. Ph.D., M.A., and B.A. in Anthropology, 31 years of experience. Responsible for archaeological evaluation. Daniel Botto — Senior Airport Environmental Planner. B.S. Aviation Business Administration, 16 years of experience. Responsible for noise modeling, noise impact analysis, and technical writing. SAMMarketing0p_Wpro\12011299_Piedmont EA\Draft EA\Ch Tdoc 7-1 Piedmont Triad International Airport Environmental Assessment DRAFT Charles Benton, PWS, VAPWD — Environmental Scientist. B.A., Ecology. 16 years of experience in environmental investigations and environmental permitting. Responsible for Biotic Communities. Rhiannon Kincaid, PE — Environmental Engineer. B.S., Environmental Engineering. 11 years of experience. Assistance with on-site field investigations. Robert Morris — Senior CAD Specialist. 21 years experience. Responsible for CAD, project drawings, and analysis. Dale Edgar — GIS Analyst. B.A. Geography, 10 years of experience. Responsibilities include GIS mapping, database development, and data analysis. Lindsay Herman — Document Specialist. 10 years of experience. Responsible for the overall document production including word processing, editing, and assembly. DW ENVIRONMENTAL CONSULTING — SUB -CONSULTANT Deborah Dutcher Wilson, PMP — Sr. Air Quality Meteorologist. M.S. Meteorology and Project Management Professional (PMP), 22 years of experience in air quality assessments & permitting. Responsible for Air Quality. SAMMarketing0p_Wpro\12011299_Piedmont EA\Draft EA\Ch Tdoc 7-2 Piedmont Triad International Airport Environmental Assessment DRAFT CHAPTER 8.0 REFERENCES ACS, 2007-2011. ACS Demographic and Housing Estimates, 2007-2011 American Community Survey 5 - Year Estimates. http://factfinder2.census.gov/. Airbus, 2012. Brookley Aeroplex's infrastructure will facilitate the production of A320 Family aircraft in the U.S. www.airbus.com/newsevents/news-events-single/detail/brookley-aeroplexs-infrastructure- will-facilitate-the-production-of-a320-family-aircraft-in-the-u/. Accessed 2013. Andrew S. Harris, Inc„ 2007. FAR Part 150 Study for Piedmont Triad International Airport Final Report. Andrew S. Harris, Inc. November 2007. Arcieri, 2012a. "TIMCO Aviation Adding 130 More Jobs at Piedmont Triad International Airport," The Business Journal. Katie Arcieri. September 21, 2012. http://www.bizmournals.com/triad/print- edition /2012/09/21 /ti mco-aviation-adding-130-more-'obs-at.htmI (accessed October 10, 2013). Arcieri, 2012b. "B/E Aerospace Moves into New Offices in Winston-Salem," The Business Journal. Katie Arcieri. November 2, 2012. http://www.biz'ournaIs.com/triad/news/2012/11/02/be-aerospace- finalizes -move-to-new.html (accessed October 10, 2013). Arcieri, 2012c. "Aircraft Co. Breaks Ground on $20 M MRO Facility at PTI," The Business Journal. Katie Arcieri. September 27, 2012. http://www.bizmournals.com/triad/news/2012/09/27/honda-aircraft- co-breaks-ground-on.htmI?page=2 (accessed November 7, 2013). Arcieri, 2013a. "B/E Aerospace Reports Revenue Rise in 1Q," The Business Journal. Katie Arcieri. April 22, 2013. http://www. biz'ournals.com/triad/news/2013/04/22/be-aerospace-reports-1st-grt- revenue. html (accessed November 7, 2013). Arcieri, 2013b. 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AND GLOSSARY 9.1 LIST OF ACRONYMS A FR Federal Register FTA Federal Transit Administration AC Advisory Circular FWS U.S. Fish and Wildlife Service ACS American Community Survey ADP Airport Development Program V AIRS/AFS Air Facility Subsystem (EPA) ALP Airport Layout Plan GIS Geographic Information System APE Area of Potential Effect GSA Generalized Study Area ASR Airport Surveillance Radar GSE Ground Service Equipment AST Aboveground Storage Tank GSO Piedmont Triad International Airport GTCC Guilford Technical Community B College GUA Greensboro Urban Area BGPA Bald and Golden Eagle Protection Act u H BMPs Best Management Practices HAPs Hazardous Air Pollutants C C&D Construction/Demolition CEQ Council on Environmental Quality 1-73 Interstate 73 CFR Code of Federal Regulations ICIS Integrated Compliance Information CO Carbon Monoxide System (EPA) CY Calendar Year INM Integrated Noise Model D L DAQ Department of Air Quality (NCDENR) LCID Land Clearing and Inert Debris dB(A) Decibels A -weighted LOS Level of Service DNL Day -Night Average Sound Level LRTP Long Range Transportation Plan DOT Department of Transportation LWCF Land and Water Conservation Fund DSA Detailed Study Area DWR Division of Water Resources M (NCDENR) MGD Million Gallons per Day E MITL Medium Intensity Taxiway Lights MOVES Motor Vehicle Emission Simulator EA Environmental Assessment MPO Metropolitan Planning Organization EAC Early Action Compact MRO Maintenance, Repair, and Overhaul EPA U.S. Environmental Protection MSATs Mobile Source Air Toxics Agency MSW Municipal Solid Waste MTIP Metropolitan Transportation F Improvement Program MW Megawatt FAA Federal Aviation Administration FEIS Final Environmental Impact A' N Statement FEMA Federal Emergency Management N/A Not Applicable Agency NAAQS National Ambient Air Quality FHWA Federal Highway Administration Standards FIRM Flood Insurance Rate Map NCAC North Carolina Administrative Code SAMMarketing0p_Wpro\12011299_Piedmont EA\Draft EA\Ch 9.docx 9-1 Piedmont Triad International Airport Environmental Assessment DRAFT NCDAQ North Carolina Division of Air Quality ROD Record of Decision NCDENR North Carolina Department of RPZ Runway Protection Zone Environment and Natural Resources NCDOT North Carolina Department of c `7 Transportation NCEEP North Carolina Ecosystem SAV Savannah/Hilton Head International Enhancement Program Airport NCNHP North Carolina Natural Heritage SHPO State Historic Preservation Officer Program SIP State Implementation Plan NEPA National Environmental Policy Act SO2 Sulfur Dioxide NFIP National Flood Insurance Program Sox Sulfur Oxides NHPA National Historic Preservation Act SPCC Spill Prevention Control and NO2 Nitrogen Dioxide Countermeasures NOx Nitrogen Oxide SPPP Stormwater Pollution Prevention Plan NPDES National Pollutant Discharge SSA Socioeconomic Study Area Elimination System NPL National Priorities Listing T NRCS National Resource Conservation Service TAF Terminal Area Forecast NRHP National Register of Historic Places TIMCO Triad International Maintenance Company O TIP Transportation Improvement Program 03 Ozone TRI Toxic Release Inventory (EPA) OFA Object Free Area TSCA Toxic Substances Control Act TSP Total Suspended Particulate P U PART Piedmont Authority for Regional Transportation pg/m3 Micrograms per cubic meter Pb Lead USACE U.S. Army Corps of Engineers PCBs Polychlorinated Biphenyls U.S.C. U.S. Code PCS Permit Compliance System (EPA) UST Underground Storage Tank PM Particulate Matter ppm Parts per Million V PTAA Piedmont Triad Aviation Authority PTRWA Piedmont Triad Regional Water VOCs Volatile Organic Compounds Authority W R WQC Water Quality Certification RCRA Resource Conservation and WTP Water Treatment Plan Recovery Act 9.2 GLOSSARY OF TERMS A partial glossary of terms used in this EA is provided below. The definitions are not to be taken as comprehensive, but solely to aid the non-technical reader. Air Carrier - An airline that provides air transport services for passengers and/or freight. The airline generally operates with a recognized operating certificate or license. Airport Layout Plan (ALP) - A scaled drawing of existing and proposed land and facilities necessary for the operation and development of the airport. The ALP shows boundaries and proposed additions to all areas owned or controlled by the airport operator for airport purposes, the location and nature of existing S:\BD\Marketing\Wp_Wpro\12011299_Piedmont EA\Draft EA\Ch 9.docx 9-2 Piedmont Triad International Airport Environmental Assessment DRAFT and proposed replacement airport facilities and structures, and the location on the airport of existing and proposed non -aviation areas and improvements thereon. Aircraft Operation — An aircraft take -off (departure) or a landing (arrival) conducted at an airport. Airport Reference Code (ARC) - A coding system used to relate airport design criteria to the operational and physical characteristics of a design aircraft (typically the most demanding) intended to operate at the airport. Airspace - the portion of the atmosphere controlled by a particular country over its territory and territorial waters. Controlled airspace exists where air traffic control is exercised over aircraft flying in that airspace. Uncontrolled airspace is airspace in which air traffic control does not exert control, though it may act in an advisory manner. Sections of airspace may be designated restricted and/or prohibit certain aeronautical activities. Approach Lighting Systems (ALS) - A series of lights that assists the pilot when aligning aircraft with the extended runway centerline on final approach at night or during periods of inclement weather. Area of Potential Effect (APE) — The geographic area or areas within which a federal undertaking may directly or indirectly cause changes in the character or use of historic properties, if any such properties exist. Avigation Easement - An easement for certain property rights related to aircraft overflights, including the right to generate noise. In addition, such an agreement usually restricts the property owner from obstructing airspace or an approach to a runway. Base Floodplain - That area subject to a one percent or greater chance of flooding in any given year (i.e., the 100 -year floodplain). Best Management Practices (BMP) - Methods employed during construction and included in the development for ensuring environmental management to the greatest possible extent. Biotic Communities - A group of interdependent organisms (i.e., plants, mammals, birds, reptiles, amphibians, fish, and invertebrates) inhabiting the same area or region and interacting with each other, usually comprising or inhabiting distinct habitat types. Clean Air Act, as amended in 1990 (CAA) - An ambient air pollution control strategy based on the National Ambient Air Quality Standards (NAAQS) and a provision that individual states would develop implementation plans to meet and maintain the standards. Coastal Zone Management - Under the Federal Coastal Zone Management Act (CZMA), the State of Florida reviews Federal actions in light provides for preservation, protection, development, and restoration of the nation's coastal zones. The entire State of Florida is subject to the provisions of this Act. Compatible Land Use - Compatibility of existing and planned land uses in the vicinity of an airport is usually related to the noise impacts associated with the operation of an airport. Evaluation consists of S:\BD\Marketing\Wp_Wpro\12011299_Piedmont EA\Draft EA\Ch 9.docx 9-3 Piedmont Triad International Airport Environmental Assessment DRAFT assuring that proper zoning or other land use controls are being undertaken, to ensure compatible development near the site. Council on Environmental Quality (CEQ) Regulations - Regulations that implement the National Environmental Policy Act (NEPA). Cultural Resources - Cultural resources include historic, historic architectural, and archaeological resources (including prehistoric or historic sites, districts, buildings, structures, or objects), which have been listed in, or determined eligible for listing in, the National Register of Historic Places (NRNP). Cumulative Impacts - Cumulative impacts are considered the incremental effect of an action when added to other past, present, and reasonably foreseeable future actions. Day -Night Average Sound Level (DNL) - DNL is the 24-hour average sound level in decibels using the A - weighted scale (dBA). This average is derived from all aircraft operations during a 24-hour period representing an average annual operational day. Decibel (dB) - A unit of noise level representing a relative quantity. This reference value is a sound pressure of 20 micronewtons per square meter. Dependent Instrument Approaches - allow aircraft to approach parallel runways, but controllers must ensure a minimum separation from aircraft on the adjacent approach path (diagonal spacing) in addition to maintaining standard separation behind aircraft on the same approach path (in -trail spacing). Aircraft may not pass or be passed once they are established on their approaches. All standards require a 1000 - foot vertical separation until established on the appropriate approach path. Individual controllers are not required for each runway, nor are discrete communications frequencies required for each runway (Mitre Corporation, 2006). Department of Transportation (DOT) Section 4(f) and Section 6(f) Lands - Section 4(f) provides that the Secretary of Transportation will not approve any program or project that requires use of any publicly - owned land from a park, recreation area, or wildlife and waterfowl refuge of national, state, or local significance, or land from a historic site of national, state, or local significance, unless there is no feasible and prudent alternative. The project must include all possible measures to minimize harm resulting from the use. Design Aircraft - The most critical aircraft type currently using, or projected to use, an airport. It can either be one aircraft or a group of aircraft. Detailed Study Area (DSA) — The geographic area which includes the areas of the Proposed Project and its reasonable alternatives that is established for environmental considerations that deal with specific and direct construction -related issues such as land clearing, wetlands, floodplains, archaeological resources, and/or hazardous materials and which has the potential for physical disturbance during clearing and construction activities. Environmental Assessment (EA) - A concise document that assesses the environmental impacts of a proposed federal action. It discusses the need for, and environmental impacts of, the proposed federal actions and alternatives. An EA provides sufficient evidence and analysis for a Federal determination whether to prepare an Environmental Impact Statement (EIS) or issue a Finding of No Significant Impact (FONSI). S:\BD\Marketing\Wp_Wpro\12011299_Piedmont EA\Draft EA\Ch 9.docx 9-4 Piedmont Triad International Airport Environmental Assessment DRAFT Environmental Impact Statement (EIS) - A detailed, concise document that provides a discussion of the significant environmental impacts which would occur as a result of a proposed Federal action, and informs decision -makers and the public of alternatives which would avoid or minimize adverse impacts. Federal Aviation Administration (FAA) - FAA is the Federal agency responsible for ensuring the safe and efficient use of the nation's airspace, for developing civil aeronautics and air commerce, and for supporting the requirements of national defense. Federal Aviation Regulation (FAR) - Series of rules and regulations administered by the FAA that govern the operation, maintenance, construction, acquisition, etc. of airports, aircraft, and associated aviation activities. Finding of No Significant Impact (FONSI) - A FONSI is a document briefly explaining the reasons why an action would not have a significant effect on the human environment and for which an EIS, therefore, is not necessary. Fixed Based Operator (FBO) - An FBO is the primary provider of services to general aviation (GA) aircraft and operators at an airport. An FBO may be a private enterprise, municipality, or airport -owner operated. Multiple FBOs may be located at an airport. Fleet Mix - The mix or differing types of aircraft operating in a particular environment. Flight Tracks - The use of established routes for arrival and departure by aircraft to and from the runways at the airport. General Aviation (GA) - GA includes all facets of aeronautical activity except for those carriers certified by the U.S. DOT to provide commercial passenger and air cargo service. GA activities includes corporate aviation, recreational and sport flying, flight training, aerial application flights (crop dusting), aerial mapping, and air ambulance flights. Generalized Study Area (GSA) — The geographic area, for which a broad range of indirect environmental impacts are evaluated such as noise, air quality, and certain socioeconomic factors, and which has the potential for affect beyond the immediate airport environs. Geographic Information Systems (GIS) - An information system that is designed for storing, integrating, manipulating, analyzing, and displaying data referenced by spatial or geographic coordinates. Hazardous Materials - For the purposes of this FEIS, hazardous materials includes regulated hazardous wastes, hazardous substances, and dangerous goods; environmental contamination to soil, surface waters, and groundwater; as well the range of similarly regulated substances such as fuel and other petroleum-based products commonly associated with airports. Independent Instrument Approaches - Simultaneous approaches to parallel or near -parallel instrument runways where radar separation minima between aircraft on adjacent extended runway center lines are not prescribed. S:\BD\Marketing\Wp_Wpro\12011299_Piedmont EA\Draft EA\Ch 9.docx 9-5 Piedmont Triad International Airport Environmental Assessment DRAFT Instrument Approach Procedures (IAP) — An instrument approach procedure is a defined method of air navigation that allow a pilot to land an aircraft on a particular runway in instrument meteorological conditions (IMC) (reduced visibility) or to reach visual conditions permitting a visual landing. The FAA develops and publishes IAPs for airports in the U.S. Approaches are classified as either precision or nonprecision, depending on the accuracy and capabilities of the navigation aids used. Instrument Meteorological Conditions (IMC) - An aviation flight category that describes weather conditions that normally require pilots to fly primarily by reference to instruments and, therefore, under Instrument Flight Rules (IFR), rather than by outside visual references under Visual Flight Rules (VFR). Land Use Compatibility - The ability of land uses surrounding the airport to co -exist with airport -related activities with minimum conflict. Local Operation — An aircraft flight that begins and ends at the same airport. Mean Sea Level (MSL) - The average height of the surface of the sea for all stages of the tide; used as a reference for elevations; also called sea level datum. Mitigation Measures — Action taken to reduce or eliminate environmental impacts of a proposed action. National Ambient Air Quality Standards (NAAQS) - Standards established by the U.S. Environmental Protection Agency (EPA) used for protecting and improving air quality. National Environmental Policy Act of 1969 (NEPA) - The original legislation establishing the environmental review process for proposed Federal actions. National Historic Preservation Act of 1966 (NHPA) —This legislation requires that projects that occur on Federal lands, are funded by Federal monies, or that require a Federally -issued permit, be evaluated for their impacts to historic properties. National Pollution Discharge Elimination System (NPDES) - Federal permit required by the EPA for point source and non -point source stormwater discharges. Navigational Aids (NAVAIDs) - Any facility used by an aircraft for navigation. Object Free Area (OFA) — An area on the ground centered on a runway, taxiway, or taxilane centerline provided to enhance the safety of aircraft operations by having the area free of objects, except for objects that need to be located in the OFA for air navigation or aircraft ground maneuvering purposes. Operation - A take -off or landing by an aircraft. Precision Approach Path Indicator (PAPI) System - a stanchion mounted, directional, high intensity, upward angled, two-color light system producing a bi-color split beam: white above and red below. Record of Decision (ROD) - The ROD is a concise public record that states FAA official's decision and rationale for approving or not approving a proposed action. SABD\Marketing\Wp_Wpro\12011299_Piedmont EA\Draft EA\Ch 9.docx 9-6 Piedmont Triad International Airport Environmental Assessment DRAFT Runway End Identifier Lights (REIL) - Two synchronized flashing lights, one on each side of the runway threshold, which identify the approach end of the runway. Runway Protection Zone (RPZ) - An area, trapezoidal in shape and centered about the extended runway centerline, designated to enhance the safety of aircraft operations. It begins 200 feet beyond the end of the area usable for take -off or landing. The RPZ dimensions are functions of the aircraft, type of operation, and visibility minimums. Runway Safety Area (RSA) - A defined surface surrounding the runway prepared or suitable for reducing the risk or damage to airplanes in the event of an undershoot, overshoot, or excursion from the runway. Scoping - The Scoping process is the initial step in the preparation of an EIS. As a part of the scoping process, formal Scoping meetings are held to obtain input from agencies and the public as to the scope of studies conducted for the EIS and to identify issues of concern. Simultaneous Approaches — approaches that allow aircraft to approach runways independently of adjacent parallel runways. Aircraft may pass or be passed by aircraft on the adjacent approach path, but must maintain standard separation behind aircraft on the same approach path. Social Impacts - Social impacts are those generally associated with property acquisition or relocation, changes to surface transportation, or other community disruptions that may be caused by airport development. Socioeconomic Impacts - Patterns of population movement and growth, public service demands, and changes in business and economic activity may be affected by airport development. Visual Flight Rules (VFR) - A set of regulations which allow a pilot to operate an aircraft in weather conditions generally clear enough to allow the pilot to see where the aircraft is going. Specifically, the weather must be better than basic VFR weather minimums, as published for an airport. If the weather is worse than VFR minimums, pilots are required to use IFR. Wetlands - Those areas that are influenced by surface or ground water at a frequency and duration sufficient to support a prevalence of vegetation typically adapted for life in saturated soil conditions. Wetlands generally include swamps, marshes, bogs, and similar areas. S:\BD\Marketing\Wp_Wpro\12011299_Piedmont EA\Draft EA\Ch 9.docx 9-7 Piedmont Triad International Airport Environmental Assessment APPENDIX A AGENCY CONSULTATION This appendix contains various government agency correspondence related to the development of the EA. A-1 Early Agency Coordination A-2 Agency Coordination Meeting A-3 Comments on Draft Environmental Assessment (To be provided in Final EA) APPENDIX A-1 EARLY AGENCY COORDINATION This appendix contains the Early Agency Coordination letter, a list of Agencies to whom the letter was sent, and responses for the Early Agency Coordination effort. Responses Agency Date U.S. Fish and Wildlife Service (USFWS) July 11, 2013 State Historic Preservation Officer (SHPO) July 19, 2013 Natural Resources Conservation Service (NRCS) August 13, 2013 Piedmont Triad International Airport Environmental Assessment Early Agency Coordination Mailing List Representative Organization 1 Organization 2 Address city Mr. Stanley Meiburg Acting Regional Administrator US EPA, Region 4 Sam Nunn Atlanta Federal Center, 61 Forsyth Street, SW Atlanta, GA 30303 Mr. Brian Cole State Supervisor U.S. Fish & Wildlife Service 160 Zillicoa Street Asheville, NC 28801 Dr. Willie Taylor Director of Env. Policy and Compliance U.S. Dept. of Interior 1849 C Street NW Washington, DC 20240 Ms. Jean Gibby Raleigh Reg. Field Office Chief US Army Corps of Engineers 3331 Heritage Trade Drive, Suite 105 Wake Forest, North Carolina 27587 Dr. Jeffrey Crow State Historic Preservation Officer North Carolina Department of Cultural Resources 4610 Mail Service Center Raleigh, NC 27699-4610 Ms. Chris Baggett N.C. State Publications Clearinghouse Documents Branch 14643 Mail Service Center Ralh ei , NC 27699-4643 Ms. Sheila Green State Env. Review Clearinghouse 1301 Mail Service Center Ralei h, NC 27699-1301 Ms. Dee Freeman Secretary N.C. Dept. of Natural Resources 11601 Mail Service Center lRaleigh, NC 27699-1601 Mr. F. Gary Cox District Conservationist NRCS Greensboro Service Center 3309 Burlington Rd Greensboro, NC 27405-7605 Mr. Jeremy Hyatt Principal Chief Assistant Eastern Band of Cherokee PO Box 455 lCherokee, NC 28719 URS June 21, 2013 «Title» «First Name» «Last Name» «Organization_1 «Organization_ 2» «Address 1» «Address 2» «City», «State» «Zip» RE: EARLY COORDINATION REVIEW FOR ENVIRONMENTAL ASSESSMENT OF PROPOSED NORTHWEST TAXIWAY AND SITE DEVELOPMENT PROJECT AT PIEDMONT TRIAD INTERNATIONAL AIRPORT (GSO), GUILFORD COUNTY, NORTH CAROLINA Dear «Title» «Last Name»: The Piedmont Triad Airport Authority is proposing several airport improvement projects in conjunction with developing approximately 750 acres of land located immediately adjacent to and northwest of the airfield at GSO. The proposed improvements would address the need for expanded airport facilities to accommodate additional aviation - related development at GSO. These improvements would not increase the capacity of the existing airfield at GSO. The proposed improvements include the following actions: • Site preparation of approximately 750 acres of land for future aviation related development, including clearing, grading, and excavation, • Construction of a cross -field taxiway system linking the proposed development area to the existing airfield, • Construction of a full-length parallel taxiway on the northwest side of Runway 5L/23R to link the remainder of the new development area to the runway, • Extension of utilities to the development area, including electrical, natural gas, water, sanitary sewer, stormwater collection and treatment, communications, and other related utilities, • Acquisition of approximately 194 acres of land, • Relocation of GSO's existing airport surveillance radar (ASR) facility from its current location to a new location outside the proposed aerospace development area, and • Implementation of mitigation measures for unavoidable wetland and stream impacts. The enclosed figures show the site location (Figure 1) and the proposed airport improvements and approximate project area limits ((Figure 2). The facility layout illustrated in Figure 2 represents the alignment for the proposed taxiways and a conceptual plan for potential site improvements which may be modified in the future to meet specific the needs of aviation related development. In accordance with the National Environmental Policy Act of 1969 and Federal Aviation Administration (FAA) implementing regulations, the Airport Authority is preparing an Environmental Assessment (EA) to consider and document the potential social, economic, and environmental impacts associated with the Proposed Project. The EA will 7605 West Courtney Campbell Causeway Suite 700 Tampa, FL 33607-1462 Tel: (813) 675-6505 Fax: (813) 636-2400 URS Corporation www.urscorp.com June 12, 2013 Page 2 be submitted to the FAA for acceptance and a decision to issue a Finding of No Significant Impact (FONSI) or to issue a Notice of Intent to prepare an Environmental Impact Statement. URS is the consultant for the EA. During the course of the EA, investigations will be conducted to identify potential Social, Economic, and Environmental (SEE) impacts related to the improvements being considered. As part of our early coordination efforts for the EA, and on behalf of the Airport Authority, URS is attempting to identify key issues that will need to be addressed in the NEPA process. To accomplish this we would like to receive your comments relative to the proposed improvements as they relate to your specific area of expertise or regulatory jurisdiction including permitting or mitigation requirements. In order to sufficiently address key project issues and maintain the project schedule, your written comments are requested by July 22, 2013. Please respond to me at the address provided below and feel free to contact me if you have any questions or concerns. Sincerely, URS CORPORATION Paul J. Behrens Project Manager Enclosures (2) Copy: Dana Perkins, FAA J. Alex Rosser, P.E., Piedmont Triad Airport Authority File United States Department of the Interior FISH AND WILDLIFE SERVICE Raleigh Field Office Post Office Box 33726 Raleigh, North Carolina 27636-3726 July 1 l , 2013 Paul Behrens URS Corporation 7605 West Courtney Campbell Causeway Suite 700 Tampa, FL 33607-1462 Re: EA for Proposed Northwest Taxiway & Site Development Project at Piedmont Triad Airport Authority- Guilford County, NC Dear Mr. Behrens: This letter is to inform you that a list of all federally -protected endangered and threatened species with known occurrences in North Carolina is now available on the U.S. Nish and Wildlife Service's (Service) web page at http://wA,w.fws.gov/raleigh. Therefore, if you have projects that occur within the Raleigh Field Office's area of responsibility (see attached county list), you no longer need to contact the Raleigh Field Office for a list of federally -protected species. Our web page contains a complete and frequently updated list of all endangered and threatened species protected by the provisions of the Endangered Species Act of 1973, as amended (16 U.S.C. 1531 et seq.)(Act), and a list of federal species of concern] that are known to occur in each county in North Carolina. Section 7 of the Act requires that all federal agencies (or their designated non-federal representative), in consultation with the Service, insure that any action federally authorized, funded, or carried out by such agencies is not likely to jeopardize the continued existence of any federally -listed endangered or threatened species. A biological assessment or evaluation may be prepared to fulfill that requirement and in determining whether additional consultation with the Service is necessary. In addition to the federally -protected species list, information on the species' life histories and habitats and information on completing a biological assessment or evaluation and can be found on our web page at http://www.fws.gov/raleigh. Please check the web site often for updated information or changes. I The term "federal species of concern" refers to those species which the Service believes might be in need of concentrated conservation actions. Federal species of concern receive no legal protection and their designation does not necessarily imply that the species will eventually be proposed for listing as a federally endangered or threatened species. However, we recommend that all practicable measures be taken to avoid or minimize adverse impacts to federal species of concern. If your project contains suitable habitat for any of the federally-listed species known to be present within the county where your project occurs, the proposed action has the potential to adversely affect those species. As such, we recommend that surveys be conducted to determine the species' presence or absence within the project area. The use of North Carolina Natural Heritage program data should not be substituted for actual field surveys. If you determine that the proposed action may affect (i.e., likely to adversely affect or not likely to adversely affect) a federally-protected species, you should notify this office with your determination, the results of your surveys, survey methodologies, and an analysis of the effects of the action on listed species, including consideration of direct, indirect, and cumulative effects, before conducting any activities that might affect the species. If you determine that the proposed action will have no effect (i.e., no beneficial or adverse, direct or indirect effect) on federally listed species, then you are not required to contact our office for concurrence (unless an Environmental Impact Statement is prepared). However, you should maintain a complete record of the assessment, including steps leading to your determination of effect, the qualified personnel conducting the assessment, habitat conditions, site photographs, and any other related articles. With regard to the above-referenced project, we offer the following remarks. Our comments are submitted pursuant to, and in accordance with, provisions of the Endangered Species Act. Based on the information provided and other information available, it appears that the proposed action is not likely to adversely affect any federally-listed endangered or threatened species, their formally designated critical habitat, or species currently proposed for listing under the Act at these sites. We believe that the requirements of section 7(a)(2) of the Act have been satisfied for your project. Please remember that obligations udder section 7 consultation must be reconsidered if: (1) new information reveals impacts of this identified action that may affect listed species or critical habitat in a manner not previously considered; (2) this action is subsequently modified in a manner that was not considered in this review; or, (3) a new species is listed or critical habitat determined that may be affected by the identified action. However, the Service is concerned about the potential impacts the proposed action might have on aquatic species. Aquatic resources are highly susceptible to sedimentation. Therefore, we recommend that all practicable measures be taken to avoid adverse impacts to aquatic species, including implementing directional boring methods and stringent sediment and erosion control measures. An erosion and sedimentation control plan should be submitted to and approved by the North Carolina Division of Land Resources, Land Quality Section prior to construction. Erosion and sedimentation controls should be installed and maintained between the construction site and any nearby down-gradient surface waters. In addition, we recommend maintaining natural, vegetated buffers on all streams and creeks adjacent to the project site. The North Carolina Wildlife Resources Commission has developed a Guidance Memorandum (a copy can be found on our website at (http://www.fws.gov/raleigh) to address and mitigate secondary and cumulative impacts to aquatic and terrestrial wildlife resources and water quality. We recommend that you consider this document in the development of your projects and in completing an initiation package for consultation (if necessary). K We hope you find our web page useful and informative and that following the process described above will reduce the time required, and eliminate the need, for general correspondence for species' lists. If you have any questions or comments, please contact John Ellis of this office at (919) 856-4520 ext. 26. Sincerely, �r7 Pete Benjamin Field Supervisor List of Counties in the Service's Raleigh Field Office Area of Responsibility Alamance Beaufort Bertie Bladen Brunswick Camden Carteret Caswell Chatham Chowan Columbus Craven Cumberland Currituck Dare Duplin Durham Edgecombe Franklin Gates Granville Greene Guilford Halifax Harnett Hertford Hoke Hyde Johnston Jones Lee Lenoir Martin Montgomery Moore Nash New Hanover Northampton Onslow Orange Pamlico Pasquotank Pender 4 Perquimans Person Pitt Randolph Richmond Robeson Rockingham Sampson Scotland Tyrrell Vance Wake Warren Washington Wayne Wilson � SSAT� 4 North Carolina Department of Cultural Resources State Historic Preservation Office Ramona M. Bartos, Administrator Governor Pat McCrory Secretary Susan Kluttz July 19, 2013 Paul Behrens URS 7605 West Courtney Campbell Causeway Suite 700 Tampa, FL 33607-1462 Office of Archives and History Deputy Secretary Kevin Cherry Re: Northwest Taxiway and Site Development, Piedmont Triad International Airport, Guilford County, ER 13-1261 Dear Mr. Behrens: Thank you for your letter of June 21, 2013, concerning the above project. We have conducted a review of the project and are aware of no historic resources which would be affected by the project. Therefore, we have no comment on the project as proposed. The above comments are made pursuant to Section 106 of the National Historic Preservation Act and the Advisory Council on Historic Preservation's Regulations for Compliance with Section 106 codified at 36 CFR Part 800. Thank you for your cooperation and consideration. If you have questions concerning the above comment, contact Renee Gledhill -Earley, environmental review coordinator, at 919-807-6579 or renee.gledhill- earley(@ncdcr.gov. In all future communication concerning this project, please cite the above referenced tracking number. Sincerely, �3KRamona M. Bartos Location: 109 lust fones Street, Raleigh NC 27601 Mailing Address: 4617 Mail Service (:enter, Raleigh NC 27699-4617 Telephone/Fax: (919) 807-6570/807-6599 Forrest, Russell From: Cox, Gary - NRCS, Greensboro, NC <Gary.Cox@nc.usda.gov> Sent: Wednesday, August 28, 2013 6:37 AM To: Venables, Ann Subject: RE: Proposed Site Development at Piedmont Triad International Airport - Letter Sent August 13, 2013 - Early Coordination Ann, I have reviewed the soils and land area of the site. There are no prime farmland soils in the area. IF you need something more formal from me I will not be in my office again until Aug 30tH Call my cell if you have questions. I am conducting field reviews in other counties. 1-336-266-0223. Thanks, Gary Gary Cox District Conservationist USDA-NRCS 3309 Burlington Road Greensboro, NC 27405 (336) 375-5401 ext. 104 From: Venables, Ann [mailto:ann.venables(aaurs.com] Sent: Tuesday, August 27, 2013 11:14 AM To: Cox, Gary - NRCS, Greensboro, NC Cc: Behrens, Paul Subject: Proposed Site Development at Piedmont Triad International Airport - Letter Sent August 13, 2013 - Early Coordination Importance: High I Gary, As we discussed, we would appreciate a response to the attached letter. It does not appear that there are any farmlands within the Detailed Study Area, but confirmation that your agency has no concerns would be very helpful for preparation of the Environmental Assessment. If you have any questions, please don't hesitate to call. Sincerely, Ann Venables Ann Venables, AICP Project Manager/Senior NEPA Planner URS Corporation 7650 W. Courtney Campbell Causeway Suite 700 Tampa, Florida 33607 Direct: 813.675.6725 Mobile: 727.410.3289 Main: 813.282.1711 ann. venablesPurs. com This e-mail and any attachments contain URS Corporation confidential information that may be proprietary or privileged. If you receive this message in error or are not the intended recipient, you should not retain, distribute, disclose or use any of this information and you should destroy the e-mail and any attachments or copies. This electronic message contains information generated by the USDA solely for the intended recipients. Any unauthorized interception of this message or the use or disclosure of the information it contains may violate the law and subject the violator to civil or criminal penalties. If you believe you have received this message in error, please notify the sender and delete the email immediately. APPENDIX A-2 AGENCY COORDINATION MEETING This appendix contains materials associated with the Agency Coordination Meeting held on August 12, 2013 at the airport. List of Agencies and People in Attendance Slide Presentation Summary of Proceedings (TO BE PROVIDED) Name Shari Bryant Lyn Hardison Patrick Grogan Matt Gant Toby Vinson Shannon Leonard Aana Taylor -Smith Lisa Elmore Alex Rosser Kevin Baker Richard Darling Larry Allen Amy Euliss Sue Homewood Andrew Williams Lonnie Brooks Jimmy L. Travis Rodger Rochelle Paul Behrens GSO Northwest Taxiway meeting on August 12, 2013 Record of Attendance eencv Phone Email NC WRC 336-449-7625 shari.bryant@ncwildlife.org NCDENR-SEPA 252-948-3842 lyn.hardison@ncdenr.gov NCDENR 704-235-2107 patrick.grogan@ncdenr.gov NC DEMLR LQ 336-771-5000 matt.gantt@ncdenr.gov NC DEMLR LQ 919-707-9220 toby.vinson@ncdenr.gov NC DEMLR LQ 336-771-5037 shannon.leonard@ncdenr.gov NC DEMLR LQ 336-771-5034 aanataylor-smith@ncdenr.gov PTAA 336-665-5639 elmore@gsoair.org PTAA 336-665-5600 rossera@gsoair.org PTAA 336-665-5600 bakerk@gsoair.org Baker 919-481-5740 rdarling@mbakercorp.com Baker 336-662-4242 lallen@mbakercorp.com NCDENR DWR 336-771-4959 amy.euliss@ncdenr.gov NCDENR DWR 336-771-4964 sue.homewood@ncdenr.gov USACE 919-554-4884 andrew.e.williams2@usace.army.mil NC DOT 919-707-6619 (brooks@ncdot.gov NC DOT 919-707-6602 itravis@ncdot.gov NC DOT 919-707-6601 rrochelle@ncdot.gov URS Corp. 813-675-6505 paul.behrens@urs.com ON THE PHONE: Dana Perkins, Rusty Nealis, Peter Hughes, Aaron Braswell, Tommy Dupree, Tim Hester all from the FAA. Provide suitable sites with airfield access for new aviation related development • Achieve highest and best use of idle land • Expand capabilities of the airport F • Site preparation of approximately 750 acres of land for future aviation related development, including clearing, grading, and excavation, • Construction of a cross -field taxiway system linking the proposed development area to the existing airfield, • Construction of a full-length parallel taxiway on the northwest side of Runway 5L/23R to link the remainder of the new development area to the runway, • Extension of utilities to the development area, • Acquisition of approximately 194 acres of land, • Relocation of GSO's existing airport surveillance radar (ASR) facility from its current location, and • Implementation of mitigation measures for unavoidable wetland and stream impacts. F %k q •` Legend 0 3.500 Grdinal( HtlL .ry ' FPS• � ` Q� :E nfry Cl I � r�r.•f �r W owl cr..�`� YR�nn�nd� � 3 X F -j1},�•rrf\^f1\ 1 � �p ERIE . .— —APLE RICGL vt I ,r•ISE � ■a. A � � i' 1�➢R •� onic\ L 1Ei��� 1d � `Ml.00ws Roe c ` ✓ P—N n..p, Re re G -Lon LO—VIEw HILLS Aim �°°'a. tt -_ FF.LE �Zp ■ t �E Qu..Ex Arvfs coLE:ccE L. tin.,• FK ~ _ • � r �• Ti' .. \ � �3 ! ,IyF �.. - r' �WFnenrty ■ ' TLELKER FR PEEPMOnE .�+ •Es r " �'� mwfNo AREA .!�• •% MADISON WOODS PARK CoRPniwiw; ~ •��.✓ '�� _ W- ­A. Ha Hf 8 • 'F—ER ObwHS � �9 • 4! J `' ! ,y c _ �� w. %. � v 4 46 f?aar AEPPbR[0•NI '■� �^ fr _ •• BnE PopW Rd- ^tel _ F�.,f. " 4 .` `• ��`0 5 n . J. Qa FRIEN➢sW[IO[I -' . SADDLE BROOK - � • • ��F •' • � r ! _ _ • .. _.,FRP r...•_ _ f. r _ • � ~.i w — .'.4.I,d�:i��"�"°�°`�`�,uj;j� F j 019000@09 y/79ffle A§�P@179 LEGEND 77"', — Eilatlr�RlghlAFWay/PmpeM1y Z Ong Amort Pmoam �fl I 4 f r+ •' E>Vaeng WnlaMe and streams ��Ex�.tl�Pwenande.ed stra.roa � ^fi��ti lglnmaap ' I i Fuhn I-70 Com0udl n +~ �--- P -..W NCOGT R ghl-0f-way ----- _��----_ Fdwe Air<eld ImPrman gf% Imwst Are a of Taexay Anwsl-79 ' (D—of Proposed [Nher lmpac�d Areas .. vy, �� r �` DwMw e,g PW, 511e \ a payWdpment Plan Proposed Sloe Erpanalan f IPos1A$R Ram Will kN. 7800 Arym)r'Ne Swire 100 h Greanalm-' hdn, INCN87409 Wo I ?"Wo 77— � PRG POS ED FI1LL-LEXGTX PARALLEL lw Iri � lX � I$� Lu O lz a W H O 0. FIGURE 2 Proposed Project (PTI PIEDMONTTRIAD INTERNATIONAL AIRPORT • Feh[ ' ' A Y* � R I 1 C ntE}CIUO' i i•� V 5� fi jaIIA.IP ef�N _ a t � C" �•i ��x � � -1 ��'`� �,~• F....,�. ��� . n �(;f��n'r�q SnIIUIF�PEE Legend ASRSIfingAftemobve Airport Property 4P, ,µ6 P•� ye.'s _ q � 'a'� 1111 �p 1 �F •. / �^-- r U.�; 1 ... s i 3 r WIM 44 - Sfri �;� �=\ME.00ws RoPINAIOGE •--1.. / �- IF{iFPSON • Gwl1Of N5 LO Ll5 GuMo�n Nryllk AJ _ LONGVIEW HILLS Cdlega 116 I x' �F,•�� - G ILFOAO' T �+ Ae -. iY... ■ i f �UPNEa A,11 COLiFGe \y p E { , F.— - g ' e ■ `' F $ a- T.<FFR/�. PIEUMONI •�! ! F V + A'� F A—Mn OISON W000s A 4 J -�' • �• �, � p mwfSrnINO � f COKNOA.11 6AEo A I: '�, - y - '• / �* P­ C. 'FRn11EC GOWNS 9'---.ti _ 'II •I .F"�' I '� [ IBJ y'' _ �• • 40 Am—, ONF •w ■MAul ® R: . •a °wF.. �^d�/• r• �o -Rlo'� e. a � � r * �. •r �`aP°�� ` �' � t/'7r JI� Qa FRILNFrsw000 �r , ,.� j APPENDIX A-3 COMMENTS ON DRAFT ENVIRONMENTAL ASSESSMENT This appendix contains all other project related agency correspondence. (TO BE PROVIDED IN THE FINAL EA) COMMENTS ON DRAFT ENVIRONMENTAL ASSESSMENT (TO BE PROVIDED IN THE FINAL EA) APPENDIX B AIR QUALITY This appendix contains assumptions and tables associated with the air quality analysis performed in this EA. B-1 Existing Conditions B-2 Assumptions and Note Used in the Air Quality Modeling APPENDIX B-1 EXISTING CONDITIONS DW ENVIRONMENTAL IRONME'.ITAL CONSULTING P"—ftr s#rQ�d#0 Date: August 20, 2013 To: Paul Behrens, URS From: Debbie Wilson, DW Environmental Subject: Air Quality Tables for Greensboro, NC (PTIA) Memorandum This memo presents information on existing air quality conditions for the Greensboro area, including the area around PTIA, along with the Tables for Section 4 (Affected Env) for Appendix C — Air Quality. Background Information Regional Climate - The airport is located in Guilford County, NC (part of the Greensboro Triad Area), at an elevation of approximately 926 feet above mean sea level. Based on the NC Normals (1981-2010), the mean annual temperature is 58.1 OF, and average annual precipitation is 42.23 inches. The maximum average high occurs in July and is 87.9 OF, while the minimum average low occurs in January and is 29.5 OF. TARI FS TABLE B-1 AGENCIES INVOLVED IN AIR QUALITY MANAGEMENT IN THE GREENSBORO AREA Agency Air Quality Roles and Responsibilities U.S. Environmental l Federal Agency - Sets national policies and standards under the CAA; Protection Agency (EPA) reviews and approves SIPS. (Greensboro is located in Region 4 of EPA.) North Carolina Department of State agency - Sets and enforces state policies, rules and regulations; Environmental Natural issues operating permits; compiles SIP -related documents and Resources (NCDENR) submits them to EPA for approval; conducts ambient air monitoring. Prepares periodic emissions inventories under the CAA. Greensboro Urban Area Local Agency - The Greensboro Urban Area MPO analyzes the Metropolitan Planning current and anticipated effects of patterns of land use and socio - Organization (GUAMPO) economic activity and their relationship to travel demand; responsible for TIP development in Guilford County. CAA = Clean Air Act, MPO = Metropolitan Planning Organization SIP = State Implementation Plan, TIP = Transportation Improvement Plan Source: URS, 2006, DW Environmental 2013. Page 1 of 5 DW ENVIRONMENTAL IRONME'.ITAL CONSULTING faluii—ft" 7"'YI #r ealitYCwcc— Memorandum EPA has set National Ambient Air Quality Standards for six principal pollutants, which are called "criteria" pollutants. They are listed below. Units of measure for the standards are parts per million (ppm) by volume, parts per billion (ppb) by volume, and micrograms per cubic meter of air (pg/m3). TABLE B-2 NATIONAL AND STATE AMBIENT AIR QUALITY STANDARDS - PRIMARY Secondary standard designed to protect public weltare, where the rest are Nrimary standards, which protect public health. ppm = parts per million. ppb = parts per billion µg/m3 = micrograms per cubic meter. Source: NCDENR and EPA, 2013. (www.epa.gov/air/criteria.html) Note: the Annual SO2 standard was revoked in June 2010. Updated lead standard was established in November 2008. In 1997, EPA revoked the 1 -hour ozone standard (0.12 ppm, not to be exceeded more than once per year) in all areas, although some areas have continued obligations under that standard ("anti -backsliding"). Page 2 of 5 Averaging Standard ppm /m3 Pollutant Times Notes 1 hour 35 40,000 Not to be exceeded more than Carbon Monoxide (CO) once a year. 8 hour 9 10,000 Not to be exceeded more than once a year. Lead (Pb) Rolling 3- --- 0.15 Not to be exceeded. month Avg 1 hour 100 ppb --- 98th percentile, averaged over 3 Nitrogen Dioxide (NO2) ears Annual 0.053 100 Annual Mean - Not to exceed this level Annual fourth -highest daily Ozone (03) 8 hour 0.075 --- maximum 8 -hr concentration, averaged over 3 years Particulate Matter Not to be exceeded more than with a diameter <_ 10 pm 24 hour --- 150 once a year on average over 3 (PMto) years. Particulate Matter 24 hour --- 35 98th percentile, averaged over 3 with a diameter <_ 2.5 pm ears Annual --- 12 Annual mean, averaged over 3 (PM2.5) ears. NCDENR Standard: Total Suspended 24 hour --- 150 Not to be exceeded more than Particulates (TSP) once per year. Annual --- 75 NCDENR Standard: Not to exceed this level 3 hour a 0.50 1,300 Not to be exceeded more than Sulfur Oxides (SO)j once a year. (measured as SO2) 24 hour 0.14 365 Not to be exceeded more than once a year. Secondary standard designed to protect public weltare, where the rest are Nrimary standards, which protect public health. ppm = parts per million. ppb = parts per billion µg/m3 = micrograms per cubic meter. Source: NCDENR and EPA, 2013. (www.epa.gov/air/criteria.html) Note: the Annual SO2 standard was revoked in June 2010. Updated lead standard was established in November 2008. In 1997, EPA revoked the 1 -hour ozone standard (0.12 ppm, not to be exceeded more than once per year) in all areas, although some areas have continued obligations under that standard ("anti -backsliding"). Page 2 of 5 DW ENVIRONMENTAL IRONME'.ITAL CONSULTING P"—ftr s#rQ�d#0 Air Monitoring Data Memorandum The NC-DAQ currently operates three monitoring sites in the Greensboro -High Point MSA. These sites are located at Mendenhall and Colfax (Guilford County), and Bethany (Rockingham County). Colfax is a fine particle monitoring site; Mendenhall is the ozone and particle monitoring site; Bethany is an ozone monitoring site. Colfax site was established in 2007 as the second fine particle monitoring site in the Greensboro -High Point MSA. At that time, the MSA was required to have two fine particle monitors because the design value was greater than 85 % of the NAAQS. TABLE B-3 2012 AIR MONITORING DATA — TRIAD AREA, NC Source: EPA AIRS Database. 2013. Page 3 of 5 Distance Site Monitoring (miles) pollutants Highest Recorded No. Station and Measured Concentrations a Location Direction from PTIA 2127 Sandy 24 -Hour: 19.9 pg/m3 1 Ridge Rd., 4.4 WSW PM2.5 Annual: 8.5 pg/m3 Colfax City 03 1 -Hour: 0.111 ppm 205 8 -Hour: 0.087 ppm PM10 24 -Hour: 28 pg/m3 2 WilBol 7.7 East dghby 24 -Hour: 20.7 pg/m3 Greensboro PM2.5 Annual: 8.5 pg/m3 6371 NC 65 03 1 -Hour: 0.089 ppm @ Bethany 8 -Hour: 0.079 ppm 3 School, 15.2 NNE Rockingham SO2 1 Hour: 23 ppbb Co 24 Hour: 5 ppb NO2 1 -Hour: 52 ppb 03 1 -Hour: 0.102 ppm 1300 Blk. 8 -Hour: 0.087 ppm Hattie SO2 1 -Hour: 32 ppb 4 Avenue, 16.3 W Winston- 24 -Hour: 3 ppb PM10 24 -Hour: 32 Ng/m3 Salem PM2.5 24 -Hour: 22.5 pg/m3 Annual: 8.9 tag/m3 1401 Corporation 1 -Hour: 1.9 ppm 5 Pkwy 18.1 W CO 8 -Hour: 1.3 ppm Winston- Salem Source: EPA AIRS Database. 2013. Page 3 of 5 DW ENVIRONMENTAL CONSULTING .�� IA e-&� C -- Memorandum a A value above the NAAQS does not necessarily represent a violation (see Table C-2, NAAQS). b. S02 values in Greensboro MSA are from 2011, only reported every 3 years. Pg/M3 = micrograms per cubic meter ppm = parts per million ppb = parts per billion 03 = Ozone CO = carbon monoxide PM = particulate mater NO2 = nitrogen dioxide SO2 = sulfur dioxide Attainment/Nonattainment Status Table B-4 ATTAINMENT/NONATTAINMENT DESIGNATIONS FOR GUILFORD COUNTY Pollutant Designation Carbon monoxide (CO) Attainment Lead Attainment Nitrogen oxides (NOX) Attainment Ozone (03) (8 -hr) Attainment Particulate matter (PMjo) Attainment Particulate matter (PM2.5) Maintenance Sulfur oxides (SOX) Attainment Source: EPA, 2013. The geographic limits of the PM2.5 maintenance area for PTIA include Guilford and Davidson Counties. Page 4 of 5 DW ENVIRONMENTAL IRONME'.ITAL CONSULTING P"—ftrsyell�ra Sources of Airport Air Emissions Memorandum TABLE B-5 TYPICAL AIRPORT -RELATED SOURCES OF AIR EMISSIONS Sources Emissions Characteristics = hydrocarbons. • CO • HC Exhaust products of fuel combustion that vary greatly depending Aircraft 0 NOX on aircraft engine type, power setting, and period of operation. = sulfur dioxide. PM Except for short periods of takeoff and approach, aircraft altitude precludes measurable offsite ground -level impacts. • SO2 CO • HC Exhaust products of fuel combustion from passenger and Motor vehicles 0 NOX employee traffic approaching, departing, and moving about the • PM airport site. Emissions vary greatly depending on vehicle type, distance traveled, operating speed, and ambient conditions. SO2 • CO Ground service vehicles • HC 0 NOX Exhaust products of fuel combustion from service trucks, tow • PM tugs, belt loaders, and other portable equipment. • SO2 Formed from the evaporation and vapor displacement of fuel Fuel storage and transfer HC from storage tanks and fuel transfer facilities. Emissions vary facilities with fuel usage, type of storage tank, refueling method, fuel type, vapor recovery, climate, and ambient temperature. CO Exhaust products of fossil fuel combustion from boilers dedicated • HC to indoor heating requirements and emissions from incinerators Stationary Source facilities NOX used for waste reduction. Emissions are generally well • PM controlled with operational techniques and post -burn collection SO2 methods. • CO Construction activities at airports represent temporary sources of • HC emissions primarily associated with the exhaust from Construction activities 0 NOX construction equipment, dust generated during construction • PM activities and land clearing, and evaporative VOCs from asphalt • SO2 paving operations. Source: URS, 2006. Note: Although there are no NAAQS for HC, they are included in this analysis as they are considered to be one of the precursors to the formation of ozone. VOCs are a subset to HC. CO = carbon monoxide. HC = hydrocarbons. NOx = oxides of nitrogen. PM = particulate matter. SO2 = sulfur dioxide. Page 5 of 5 APPENDIX B-2 ASSUMPTIONS AND NOTE USED IN THE AIR QUALITY MODELING Piedmont Triad International Airport Environmental Assessment Air Quality Modeling: Note and Assumptions Year(s) PTIA Construction Projects Reference Source of calculation Notes: 2014-2015 Earthwork over 430 acres with 6,054,365 cu yards Fugitive Dust Equation from MRI (1999) 0.011 ton/acre-month plus 0.059 ton/1000 cu yds of cut/fill Assumed 100 acres of dirt to be disturbed at one time 2014-2015 Earthwork over 67 acres with 1,582,593 cu yards Fugitive Dust Equation from MRI (1999) 0.011 ton/acre-month plus 0.059 ton/1000 cu yds of cut/fill 2014-2015 Earthwork over 225 acres w/ 2,040,000 cu yards Fugitive Dust Equation from MRI (1999) 0.011 ton/acre-month plus 0.059 ton/1000 cu yds of cut/fill 2014-2015 Cross -field taxiways for a total of 4,640 feet IAD Runway 1W/19W (1L/19R) Alt 3 49% of Dulles (IAD) Runway emissions (over 2 yrs) Dulles Runway 1/19 is 9,473 foot long (150 ft wide) 2014-2015 JPaving Emissions for 4,640 ft taxi IAD Runway 1W/19W (1L/19R) Alt 3 49% of Dulles (IAD) Runway emissions (over 1 yr) - also included aprons and other paved areas 2014-2015 Buildings (12) for a total of 3.6 M sf Martin State (MTN) FBO Facility and Corporate Hangar Complex 385% of Building emissions MTN Building complex is 1,167,999 sf 2014-2015 Extension of utilities to the Near-term development area IAD Installation of NAVAIDS (2008, 2010) 100% over 2 year period Assumed equivalent emissions 2014-2015 Linear feet of proposed Railway for Rail project (20,403 = 3.1 mi) Richmond, CA Railroad EA Project (2013) 1 310% of emissions for 1.25 mi Rail Project Richmond (CA) Rail Connector Project EA January 2013 2014-2015 Linear feet of proposed Roadway for rail project (4,223 = 0.8 mi) IAD Runway 1W/19W (1L/19R) Alt 3 33% of Dallas Perimeter Taxi emissions 2014-2015 Paving Emissions for 4,223 ft roadway IAD Runway 1W/19W (1L/19R) Alt 3 45% of Dulles (IAD) Runway emissions Also included with this analysis are projects being conducted currently and over the 2014-1015 timeframe 2014 Taxiway from previous Cat -Ex document of 1,200 ft Runway 1W/19W (1L/19R) Alt 3 13% of Dulles Runway emissions Dulles Runway 1/19 is 9,473 foot long (150 ft wide) 2014 Paving emissions for 1,200 foot taxiway Runway 1W/19W (1L/19R) Alt 3 13% of Dulles Runway emissions 2016-2020 Earthwork for 407 acres with 3,800,000 cu yards Fugitive Dust Equation from MRI (1999) 0.011 ton/acre-month plus 0.059 ton/1000 cu yds of cut/fill Assumed 50 acres to be disturbed at one time. 2016-2020 Parallel Taxiway for a total of 7,250 ft. Runway 1W/19W (1L/19R) Alt 3 77% of Dulles Runway emissions (over 2 years) Dulles Runway 1/19 is 9,473 foot long (150 ft wide) over 2 years 2016-2020 Paving for paralell 7,250 ft taxiways Runway 1W/19W (1L/19R) Alt 3 77% of Dulles Runway emissions Emissions over 1 year 2016-2020 Buildings (12) for a total of 2.4 M sf Martin State (MTN) FBO Facility and Corporate Hangar Complex 128% of Building emissions MTN Building complex is 1,167,999 sf 2016-2020 Closure of a portion of Joseph M. Bryan Blvd. and other local roads (5,600 ft) IAD Concourse Demolition lAssumed 100% Over 3 years 2016-2020 Relocation of GSO's existing airport surveillance radar (ASR) IAD Installation of NAVAIDS 100% over 1 year lAssumed equivalent emissions over 1 year 2016-2020 Extension of utilities to the Long-term development area IAD Installation of NAVAIDS 100% over 2 years I Emissions over 2 years Notes: Taxiways can generally be constructed within a year. For conservatism and because the exact year is unknown, emissions during the 2016 - 2020 period have been averaged, but taxiway emissions were added in one year Additionally, the relocation of the Radar unit was estimated to be completed within one year Therefore, the maximum annual emissions during the 2016 thru 2020 period are shown as a maximum annual number. The Acres of construction are determined usually from a published relationship of construction cost to acres disturbed. The acres used here were based on worst case (most conservative) schedule developed by PTIA from phone call on 12/4/2013 1 Richmond Rail Connector Project, Environmental Assessment with FONSI. January 2013. Section 2.2.4 - Air Quality - NEPA analysis, Table 2.2.4-14 Activities included: Track -bed Preparation, Turn -Out Pad, and Track/Signal Installation. http://www.dot.ca.gov/dist4/documents/richmond_rail/environmental_assessment_with_fonsi.pdf Years) PTIA Construction Projects 2014-2015 Earthwork over 430 acres with 6,054,365 cu yards (2 -yrs) 2014-2015 Earthwork over 67 acres with 1,582,593 cu yards (2 -yrs) 2014-2015 Earthwork over 225 acres w/ 2,040,000 cu yards (2 -yrs) 2014-2015 Cross -field taxiways for a total of 4,640 feet, w/assoc. aprons (2 -yrs) 2014-2015 Paving Emissions for 4,640 ft taxi (1 -yr) 2014-2015 Buildings (12) for a total of 3.6 M sf (2 -yrs) 2014-2015 Closure of a portion of Joseph M. Bryan Blvd. and other local roads (5,600 ft) 2014-2015 Extension of utilities to the Near-term development area (2 yrs) 2014-2015 Linear feet of proposed Railway for Rail project (20,403 = 3.1 mi) (2 -yrs) 2014-2015 Linear feet of proposed Roadway for rail project (4,223 = 0.8 mi) (1 -yr) 2014-2015 Paving Emissions for 4,223 ft roadway (1 -yr) Total Project Emissions CO NOx VOC PM10 PM2.5 Paving for paralell 7,250 ft taxiways (1 -year) 2016-2020 Buildings (12) for a total of 2.4 M sf (5 -yrs) 582 58 2016-2020 Extension of utilities to the Long-term development area (2 -yr plan) 2016-2020 133 13 353 29 10 180 18 16 43 4 4 4 5 11 8 1 1 530 43 15 3 3 13 31 3 3 3 5 11 1 1 1 6 6 3 1 1 6 3 1 0 0 7 577 138 43 907 102 Also included with this analysis are projects being conducted currently and over the 2014-1015 timeframe 2014 Taxiway from previous Cat -Ex document of 1,200 ft 4 11 1 1 1 2014 Paving emissions for 1,200 foot Taxiway M Extension 2 Total of estimated construction emissions for maximum annual year (2014) 4 11 3 1 1 2014-2015 Total Emissions from ALL proposed projects. 581 149 46 908 103 2016-2020 Earthwork for 407 acres with 3,800,000 cu yards ( 5 yrs) 2016-2020 Parallel Taxiway for a total of 7,250 ft. w/assoc. aprons, etc. (2 yr) 2016-2020 Paving for paralell 7,250 ft taxiways (1 -year) 2016-2020 Buildings (12) for a total of 2.4 M sf (5 -yrs) 2016-2020 Relocation of GSO's existing airport surveillance radar (ASR) (1 -yr plan) 2016-2020 Extension of utilities to the Long-term development area (2 -yr plan) 2016-2020 Total of estimated construction emissions for maximum annual year 2014-2020 Total Construction Emissions for both Near and Long -Term Projects (2014-2020) 971 1 268 1 77 1 1473 1 169 Notes: For fugitive dust emissions a factor of 10% was used to estimate PM2.5 emissions from PM10 emissions. All other construction projects assumed 100% of PM10 was PM2.5 Maximum Annual Emissions 554 55 25 67 6 7 7 0�©00 12 353 29 10 2 2 5 11 1 1 1 5 11 1 1 1 389 119 31 565 66 971 1 268 1 77 1 1473 1 169 Notes: For fugitive dust emissions a factor of 10% was used to estimate PM2.5 emissions from PM10 emissions. All other construction projects assumed 100% of PM10 was PM2.5 Maximum Annual Emissions 0000 111 11 13 34 3 4 3 0�©00 12 71 6 2 2 2 5 11 1 1 1 3 6 1 1 1 91 57 19 118 18 ©0000 0©000 0000 111 11 13 34 3 4 3 0�©00 12 296 1 82 1 32 1 455 1 52 111 11 13 34 3 4 3 12 71 6 2 2 2 5 11 1 1 1 3 6 1 1 1 91 57 19 118 18 APPENDIX C WETLANDS, FISH, WILDLIFE, AND PLANTS This appendix includes information related to the coordination efforts with the North Carolina Department of Environment and Natural Resources (NCDENR) concerning biotic resources in the area of the Proposed Project. (TO BE PROVIDED IN THE FINAL EA.) TO BE PROVIDED APPENDIX D HISTORIC RESOURCES/SECTION 106 COORDINATION This appendix contains the correspondence and information from the North Carolina State Historical Preservation Officer (SHPO) relating the historic architectural resources, and a record of conversation between URS and the NC Office of State Archaeology pertaining to the evaluation of the potential for archaeological resources in the area of the Proposed Project. • Response Letter from the SHPO to FAA — July 19, 2013 • Email Record of Conversation with NC Office of State Archaeology — October 10, 2013 • Response Letter from the SHPO to FAA — November 5, 2013 • Addendum to Reconnaissance -Level Inventory of Potential Historic Resources — May 23, 2014 • Response Letter from the SHPO to FAA — June 17, 2014 • Section 106 Determination — November 19, 2014 � SSAT� 4 North Carolina Department of Cultural Resources State Historic Preservation Office Ramona M. Bartos, Administrator Governor Pat McCrory Secretary Susan Kluttz July 19, 2013 Paul Behrens URS 7605 West Courtney Campbell Causeway Suite 700 Tampa, FL 33607-1462 Office of Archives and History Deputy Secretary Kevin Cherry Re: Northwest Taxiway and Site Development, Piedmont Triad International Airport, Guilford County, ER 13-1261 Dear Mr. Behrens: Thank you for your letter of June 21, 2013, concerning the above project. We have conducted a review of the project and are aware of no historic resources which would be affected by the project. Therefore, we have no comment on the project as proposed. The above comments are made pursuant to Section 106 of the National Historic Preservation Act and the Advisory Council on Historic Preservation's Regulations for Compliance with Section 106 codified at 36 CFR Part 800. Thank you for your cooperation and consideration. If you have questions concerning the above comment, contact Renee Gledhill -Earley, environmental review coordinator, at 919-807-6579 or renee.gledhill- earley(@ncdcr.gov. In all future communication concerning this project, please cite the above referenced tracking number. Sincerely, �3KRamona M. Bartos Location: 109 lust fones Street, Raleigh NC 27601 Mailing Address: 4617 Mail Service (:enter, Raleigh NC 27699-4617 Telephone/Fax: (919) 807-6570/807-6599 From: Cassedy, Daniel Sent: Thursday, October 10, 2013 3:27 PM To: Brown, Marvin; Kincaid, Rhiannon Subject: RE: PTIA EA - section 4 archaeology text Rhiannon, I am sending you this record of my phone conversation concerning the archaeological review of the PTIA project so you can include it in the project files. I called Susan Meyers at the NC Office of State Archaeology and asked her to check on the review of the PTIA Northwest Taxiway and Site Development project, which is tracked by their ER #13-1261. She looked in their electronic project review database and said that the record indicated that Dolores Hall, Deputy State Archaeologist, reviewed the project in June 2013 and recommended that no archaeological studies needed to be conducted because there were no known sites and the project area had a low potential for containing significant archaeological sites. Datdd ewje4, Ph.D., RPA Principal Archaeologist URS Corporation 1600 Perimeter Park Drive, Suite 400 Morrisville, NC 27560 Office 919-461-1442 Cell 919-522-5885 This e-mail and any attachments contain URS Corporation confidential information that may be proprietary or privileged. If you receive this message in error or are not the intended recipient, you should not retain, distribute, disclose or use any of this information and you should destroy the e-mail and any attachments or copies. d4a. STATg Q. r�'Man �r Quw North Carolina Department of Cultural Resources State Historic Preservation Office Ramona M. Bartos, Administrator Governor Pat McCrory Secretary Susan Kluttz November 5, 2013 Marvin Brown URS Corporation - North Carolina 1600 Perimeter Park Drive Morrisville NC 27560 Office of Archives and History Deputy Secretary Kevin Cherry Re: Piedmont Triad International Airport, Northwest Taxiway and Site Development, Guilford County, ER 13-1261 Dear Mr. Brown: Thank you for meeting with our staff on October 21, 2013, concerning the above project and for presenting the reconnaissance level inventory of potential historic properties. As discussed at that meeting, we concur that at this time no additional survey work is warranted and that, barring additional information to the contrary, the following properties are not eligible for listing in the National Register of Historic Places: ■ Barn at Pleasant Ridge Golf Course, 1518 Pleasant Ridge Road; ■ House, 6647 Old Oak Ridge Road; ■ House, 6421 Old Oak Ridge Road; ■ House, 6415 Old Oak Ridge Road; ■ House, 708 North Regional Road; and, ■ Cahn Farm, 7099 Caindale Drive. Accordingly, we are aware of no historic properties that would be affected by the proposed project. The above comments are made pursuant to Section 106 of the National Historic Preservation Act and the Advisory Council on Historic Preservation's Regulations for Compliance with Section 106 codified at 36 CFR Part 800. Thank you for your cooperation and consideration. If you have questions concerning the above comment, contact Renee Gledhill -Earley, environmental review coordinator, at 919-807-6579 or renee.gledhill- earleynncdcr.gov. In all future communication concerning this project, please cite the above referenced tracking number. Sincerely, (�. w -�L Ramona M. Bartos Location: 109 East Jones Street, Raleigh NC 27601 Mailing Address: 4617 Mail Service Center, Raleigh NC 27699-4617 Telephone/Fax: (919) 807-6570/807-6599 ADDENDUM to Reconnaissance -Level Inventory of Potential Historic Resources Northwest Taxiway and Site Development, Piedmont Triad International Airport, Guilford County Environmental Assessment (ER 13-1261) Prepared by: URS Corporation — North Carolina Presented to: North Carolina Historic Preservation Office May 23, 2014 Management Summary On October 21, 2013 URS Corporation -North Carolina presented to the North Carolina State Historic Preservation Office (HPO) the results of a reconnaissance -level inventory (see Attachment A) of historic architectural resources located within the Area of Potential Effect (APE) for the Northwest Taxiway and Site Development at Piedmont Triad International Airport in Guilford County (the Undertaking). In a letter dated November 5, 2013 (see Attachment B), the HPO concurred that no additional survey work was warranted within the APE and that, barring additional information, the six presented resources were not eligible for listing in the National Register of Historic Places (NRHP). Subsequently, the study area of the undertaking was extended to the south, thereby expanding the APE. This addendum to the initial reconnaissance -level inventory includes descriptions and photographs of the five resources located within the expanded APE that are 50 years old or older. One of these resources—the Campbell -Gray House and Barn at I10 Regional Road South—was determined eligible for NRHP listing in 1995. It is believed that this property continues to be NRHP eligible within the boundaries that were mapped for it. The other four resources—houses at 105, 109, and I I 1 Adair Road and a barn behind 312 Industrial Road South—do not appear to be significant under any of the NRHP Criteria. They are therefore recommended as not meriting any further investigation to determine their potential NRHP eligibility. I -h r...- .-... .. _ _ :r 4* 1 � # 1 I c A / I Extension of Historic Architecture APE / Legend Historlo A rch ite ctu ra I APE l 1 I tom_ Detailed Study Area - lige Corp, 201 -Fd=L 0 3.000 e g PIEDMONT TRIAD PT, INTERNATIONAL AIRPORT HISTORIC ARCHITECTURAL FIGURE AREA OF POTENTIAL AFFECT (APE) Environmental Assessment Campbell -Gray House and Barn 110 Regional Road South, Greensboro The Campbell -Gray House and Barn received an Official Determination of Eligibility (DOE) for listing in the NRHP on September 20, 1995. The parties to the DOE were the North Carolina Department of Transportation (NCDOT) and the North Carolina HPO. The resource was determined NRHP-eligible under Criterion C for the architecture of its house and barn. The boundaries described in the NCDOT report that assessed the property are those of the 4.13 -acre parcel the house sits on (0097991) and the 1.87 -acre parcel the barn sits on (0098003). The boundaries as shown on the map in the report are those of the two parcels and the strip of land separating them. The two parcels are owned by Charles R. Gray. The strip of land between them, which is part of a largely overgrown 151.27 -acre parcel (0098004) that extends north, south, and west of the house and barn, is held in the name of Southern Region Industrial Realty Inc. of Roanoke, Virginia. The Campbell -Gray House and Barn is little changed from its DOE determination in 1995 and is still eligible for listing in the NRNP. The appropriate NRHP boundary continues to be that of the 1995 sketch map, which encompasses approximately seven acres. Campbell -Gray house looking NE (Marvin Brown, August 2013) 4 Campbell -Gray house and outbuilding looking NW from Regional Road S (Marvin Brown, August 2013) Campbell -Gray house and outbuilding looking SW from Regional Road S (Marvin Brown, August 2013) 5 Campbell -Gray House and outbuildings looking SW from Regional Road S (Marvin Brown, August 2013) Campbell -Gray barn looking NW from lane that passes between the house and barn (Marvin Brown, August 2013) C. Campbell -Gray barn looking SW from lane that passes between the house and barn (Marvin Brown, August 2013) x�' 4 Al l • t�!'ti� � � �YW �r Aerial view of Campbell -Gray House and Barn with barn at lower left, house at center, and lane between them (Google maps) 7 } d X a h![p::'yi:.cagdheid..—: yudfer�l' P - a -1 L$ The Sayre -Home GyiYcrd c Map Scale Papa Size Orientation Include Resolution [P 6.5 x 31 [[%t4f} . lJ Portrait D OvervleW ' •' Hormal I Aflnt . i Can[eS I V Land5ca" •Hlyh w�r�imr: wh.Ve ere�ynR rt rr madam ka�iK mornndadever Rein[mie[acewam mdip-nr�n, cuWN uwtLdw rw[rarnry•tM Hap Scala ruMmnc,tr o�accyracy oFvxh inRmunon. xe wamanws, eyreu wimpn'e4 an orerdM krthe mxMi amNw maq�iiy hta Awe�n, wkr hnr uu L inch - 186 Fee! ^•'ew�teF'w+6r tt.t lJrw- LIV2014 Campbell -Gray House and Barn parcels (base map: Guilford County GIS map) Campbell -Gray House and Barn site plan and NRHP-eligible boundary map (source: NCDOT eligibility report) 8 Luther and Elsie Boyd House 105 Adair Road, Greensboro According to Guilford County tax records, this single-family residence was built in 1965 by Luther and Elsie Boyd. A plainly finished, one-story, brick -veneered, gable -end ranch house with a carport attached to its south side elevation, it does not appear to be significant under any of the NRHP Criteria. It is therefore recommended as not meriting any further investigation to determine its potential NRHP eligibility. The house and its 0.88 -acre parcel (0097990) are currently owned by the Piedmont Triad Airport Authority (Guilford County Deed Book 7406/Page 2219 (2012)). Note: This house was viewed in August 2013, but as the APE for the Undertaking did not extend to its parcel at that time, and as it appeared to have no architectural or historical significance, it was not photographed. The photographs below, which capture the appearance of the house, are Google images. Luther and Elsie Boyd House (Google images) E] James B. Lindsay House 109 Adair Road, Greensboro According to Guilford County tax records, this one-story, concrete -block, gable -end, single-family residence was built in 1949 by James B. Lindsay. Alterations include the replacement of sash and the central chimney stack and the addition of artificial siding. It does not appear to be significant under any of the NRHP Criteria and is therefore recommended as not meriting any further investigation to determine its potential NRHP eligibility. The house and its 0.35 -acre parcel (0097993) are currently owned by the Piedmont Triad Airport Authority (Guilford County Deed Book 7577/Page 1079 (2014)). Note: This house was viewed in August 2013, but as the APE for the Undertaking did not extend to its parcel at that time, and as it appeared to have no architectural or historical significance, it was not photographed. The photographs below, which capture the appearance of the house, are Google images. James B. Lindsay House (Google images) 10 Cora Lindsay House 111 Adair Road, Greensboro Guilford County tax records identify the first owner of this single-family house as Cora Lindsay, who owned it in 1953. It is a modest, one-story, gable -front, frame dwelling with altered sash, no chimney stack, and artificial siding that may have been built earlier in the century. The house does not appear to be significant under any of the NRHP Criteria and is therefore recommended as not meriting any further investigation to determine its potential NRHP eligibility. The Piedmont Triad Airport Authority acquired the dwelling and its 0.37 -acre parcel (0098000) in 2012 (Guilford County Deed Book 7406/Page 2111). Cora Lindsay House (Marvin Brown, August 2013) 11 Barn within industrial buildings 312 Regional Road South This barn sits on a 7.54 -acre parcel (0098408) owned by Six Guys Property of Greensboro (Guilford County Deed Book 6651/Page 3023 (2006)). A large metal -clad industrial warehouse, erected by Piedmont Truck Tires in the late 1970s or early 1980s according to tax records, stands to the barn's east along Regional Road S. The barn, which appears to have been erected as a dairy barn between about 1940 and 1960, is encased on three sides by additions that may once have served the farm with which it was associated. It is built of concrete block with a tall gambrel roof. Its original entry bays have been removed or covered and modern window bays have been inserted into its gambrel ends. No evidence remains of the farmhouse and other outbuildings that would once have been associated with the barn. It now stands within a landscape of modern industrial buildings, asphalt and gravel parking lots, and tractor trailer trucks. Barn, parcel and surroundings (base map: Guilford County GIS map) 12 Barn and additions looking NW "A PO Barn and additions looking NE 13 Additions to barn, looking SE (barn not visible) Barn looking NW 14 ATTACHMENT A 15 Reconnaissance -Level Inventory of Potential Historic Resources Northwest Taxiway and Site Development, Piedmont Triad International Airport, Guilford County Environmental Assessment (ER 13-1261) Prepared by: URS Corporation — North Carolina Presented to: North Carolina Historic Preservation Office October 21, 2013 16 PIEDMONT TRIAD tPT► INTERNATIONAL AIRPORT HISTORIC RESOURCES FIGURE 4 4.X -x Environmental Assessment 2 17 4 Ar f: l Historic Site Resources = Interstate �HistariCArchitecturWAPE Other Roads 4 4 o>herFeatures Proposed Roads © Detailed Study Area Lakes EwistingAirport Facilities Streams Airport Property sNsdm: a Arport FEIS, 2lW1 -Pekhboh - N e ghhonng C unoav�e, Inc., 2006 gC ampte,,I • VPS Coep-7000 N - Feet E YYY ❑ 2,❑❑❑ s PIEDMONT TRIAD tPT► INTERNATIONAL AIRPORT HISTORIC RESOURCES FIGURE 4 4.X -x Environmental Assessment 2 17 Resource A —1518 Pleasant Ridge Road (at Pleasant Ridge Golf Course), Greensboro: IN ' 45 -1. 1 . - ti K: Wit, #L,4 ..N ►.wr.. - Z7- r At �I4iY•'®•'•'• ' r _ r � %a . �.�`' a -` . � .� a a. � �`��. - vot. -Ok5l f v.. .y � b. ` • 'Ar, �" J AM. Y. Nzr� ti�6q - CA 47 A ol 31 •�•: ;-a'`i�`:',•J R•. - 1 �• • . + . .[ .•il�d_ -u�..� • '# -!. 07 Ali rim ;.,. ; ,< '� *~ WAIMM P'=i! mfr--". .., � •;. ,r "�IIR y��'1�1� .: .. t- _ .qCPO. fA "�4 v —ad '1'1� FA- 11, il—qk " Resource F — 7099 Caindale Drive, Greensboro: Formerly property of Robert Hugheston Cain (1898-1979) and wife Abbie Dale Cain (1900-1983); acquired by airport from heirs Cains are buried at Ai Methodist Memorial Church, Oak Ridge, Guilford County Not located in Greensboro city directories of 1940s -1960s, but identified in 1930 and 1940 federal census schedules: • In 1930 Robert Cain (32) and wife Abbie (29) live in Friendship Township; Robert is a farmer; they have 6 children. • In 1940 Robert H. Cain (42) and wife Abbie D. (37) live in Friendship Township; Robert is a farmer; his house is valued at $2,500; they have 10 children. 23 w jr Al �� � - C k`� �, it d �'i•., _, _ Mlih, i VA rl y ,.p_ i Ir ex, ..+�f� fir.. � 1 •��� ,�� • � - 1 -'elf L... - •* if IC Ae kl '- jo 17 - " 4k _ • .rte ��.. ' _ s .a. - .. >��s ..► ._� ....... v 1111 Y.4.E`• y Ilk'-. •- - rte.'-. - ; r s ,. %rf�'-S1y+!'- - - � • � � � " � � � : rte• � - --i��:•y1,_ '• fi : � S� f t"5 '��; a .�. - .�; ,� '• ;� r tom. i � ,� a �, -tie'•- �y•t,� -' o' '� +.. - '.,��'. �;� .� �L' ..k f� Or • ` fI } All � rr t �: •'rpt+ . �.-�� _ �' 9 FT ... � �yy y • RF �� 4T 1 '; x-• - ��` �r _ �� I tom- _ -�� �;wy.µ f'�- - .. ` � f'�+ �. - � "�-til: r,��.��+-:'�i:�� -. .• - r Y � —n'. `-�:.Q, ', ��"�� , y,a�•. 'F r? _ '�`:4. a �'' ��,.' �A :� • �. . 144 At— L'J - 9C ` jw MW L'J W3 ow 1 � -� � � _�; �''•� is _. - r r i ••lie 4. r ! Y z t _41`ZOO,, ate.. � ..lr Jot •a! }�-. - - ' i. r .f _ _ • �� l � s a � �e. 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M1 R ,ice . •��'}:'�n{'��e�.�'�r-. {`apt' �',j• '/r �.. • ''�,. ' .:-irk-`r•'.i� w.t �� ', oy,.-�!�•1� � .C� �=.r,�.�..°`'���'` f•,��.-W=�i iii R Sf - _ .?♦.'•. ',{�.. 36 A yst , Ifti-4 _ - OP� �� �' i' •� ►� •� ,� s:"°y a `:� ,�'. •'�!.i1 a� 17 AMA �' 'i � .. ti,� ;�r �^� ter' � ry- y01� � i' ' • !�Y ;: r r . •.$s•�f • .'- . ..�� � r �1j ��. _ � .• : @@@ ,* ., � � L:. •• rte., Al" � -� .l'i'd i ��' rw�J, !' � i �• � �� •J' ... .r`� � ���. Rte' :� I.' .. ._ �r �.�•_ . -. - . � r .. •,,y � .' Ka`'. • ' let r ' *'�,'. ' � ^ � -� • .. � � f �" .a y t.. l ��M ►^. ''µ_Vi? mak! 1 + �� - !� ; Imo. s ,dw •� WAM rl lk 40 ��• l .. -, ;1s.4-- r � .�'�•.S�' •.l.�r.� tea* . -�'-+� .� -ham .- ,� S.:La� + �p '' � Yy.. '•_. �•l• .;:r r '. j ti.�s.�; e. ,fit � � .. �f �. � - • ^� �-{,�. .: � n At F "x �. s•p -ell .4c. .30 tri •;} � r � '� � - ` '1c; .� ..fes rwlI or 9F 1 ti M• a - �,�+r . �•^r': �� �, � " 'V ��� �ti � fr• � nor • �� !" � �"° ' is o'er. � 1 Vii' � �i,• `.�,A � � , -� ,.; 'tel/•aq�_1 {t r'r 1 %4V. V i OF i �1 £6r T•�• - 5 -. - f ••i. ATTACHMENT B 43 North Carolina Department of Cultural Resources State Historic Preservation Office Ramona M. Barton, Administrator Governor Pat McCrory Secretary Susan Klum November 5, 2013 Marvin Brown URS Corporation - North Carolina 1600 Perimeter Park Drive Morrisville NC 27560 Office of Archives and History deputy secretary Kevin Cherry Re: Piedmont Triad International Airport, Northwest Taxiway and Site Development, Guilford County, ER 13-1261 Dear Mr. Brown: Thank you for meeting with our staff on October 21, 2013, concerning the above project and For presenting the reconnaissance level inventory of potential historic properties. As discussed at that meeting, we concur that at this time no additional survey work is warranted and that, barring additional information to the contrary, the following properties are not eligible for listing in the National Register of Historic Places: ■ Barn at Pleasant Ridge Golf Course, 1518 Pleasant Ridge Road; ■ House, 6647 Old Oak Ridge Road; ■ House, 6421 Old Oak Ridge Road; ■ House, 6415 Old Oak Ridge Road; ■ House, 708 North Regional Road; and, ■ Cain Farm, 7099 Caindale Drive. Accordingly, we are aware of no historic properties that would be affected by the proposed project. The above comments are made pursuant to Section 106 of the National Historic Preservation Act and the Advisory Council on Historic Preservation's Regulations for Compliance with Section 146 codified at 36 CFR Part 800. Thank you for your cooperation and consideration. If you have questions concerning the above comment, contact Renee Gledhill -Earley, environmental review coordinator, at 919-807-6579 or renee.gledhill- carley@ncder.gov. In all future communication concerning this project, please cite the above referenced tracking number. Sincerely, Ramona M. Bartos Location: 109 Fast Jones Streer, Raleigh NC 27601 Mailing Address: 4617 Lull service Center, Raleigh NC_ 27699-4617 Tekphone/Fa. (719) 807-6570/807-6599 44 North Carolina Department of Cultural Resources State Historic Preservation Office Ramona M. Bartos, Administrator Governor Pat McCrory Secretary Susan Kluttz June 17, 2014 Marvin Brown, Sr. Architectural Historian USR Corporation — North Carolina 1600 Perimeter Park Drive Morrisville, NC 27560 marvin.brown(c�urs. com RE: Addendum to Reconnaissance -Level Inventory of Potential Historic Resources Northwest Taxiway and Site Development, Piedmont Triad International Airport, Guilford County, ER 13-1261 Dear Mr. Brown: Office of Archives and History Deputy Secretary Kevin Cherry Thank you for your May 23, 2014, email transmitting the above -referenced report addendum. We have reviewed the report and concur that the Campbell -Gray House and Barn (GF0425) at 110 Regional Road South remain eligible for listing in the National Register of Historic Places and that the boundaries in the 1995 Determination of Eligibility are still appropriate. We concur that the houses at 105, 109, and 111 Adair Road and a barn behind 312 Industrial Road South are not eligible for listing in the National Register. The above comments are made pursuant to Section 106 of the National Historic Preservation Act and the Advisory Council on Historic Preservation's Regulations for Compliance with Section 106 codified at 36 CFR Part 800. Thank you for your cooperation and consideration. If you have questions concerning the above comment, contact Renee Gledhill -Earley, environmental review coordinator, at 919-807-6579 or renee.gledhill- earle T a,ncdcr.gov. In all future communication concerning this project, please cite the above referenced tracking number. Sincerely, 6j"(Ramona M. Bartos Location: 109 East Jones Street, Raleigh NC 27601 Mailing Address: 4617 Mail Service Center, Raleigh NC 27699-4617 Telephone/Fax: (919) 807-6570/807-6599 a U.S. Department of Transportation Federal Aviation Administration November 19, 2014 Mrs. Renee Gledhill -Earley Environmental Review Coordinator, North Carolina State Historic Preservation Office 4617 Mail Service Center Raleigh, NC 27699-4617 Dear Mrs. Gledhill -Earley: RE: SECTION 106 DETERMINATION Memphis Airports District Office 2600 Thousund Oaks Blvd, Suite 2250 Memphis, TN 38118 Phone: 901-322-8180 PIEDMONT TRIAD INTERNATIONAL AIRPORT — GREENSBORO, NC ER 13-1261 The Federal Aviation Administration (FAA) Memphis Airports District Office (ADO) is seeking concurrence for a determination under Section 106 of the National Historic Preservation Act (NHPA) for a proposed undertaking at the Piedmont Triad International Airport in Greensboro, NC. The proposed undertaking includes development of aviation related infrastructure on the northwest side of the airfield. The enclosed report details the proposed undertaking which includes railroad development near an eligible resource. After considering the information contained in the report, the FAA has concluded that the proposed undertaking would not affect historic properties. I respectfully request your review of the enclosed report and determination. If you have any questions, please feel welcome to contact me at (901) 322-8192 or by email at aaron.braswellgfaa.eov. Sincerel���2�����%/ / Aaron Braswell Environmental Protection Specialist, Memphis Airports District Office Enclosures cc: Alex Rosser, Lisa Elmore; Piedmont Triad Airport Authority (electronic copy) Paul Behrens; URS Corporation (electronic copy) Section 106 Effects Determination for Cross -Field Taxiway and Site Development Projects at Piedmont Triad International Airport Greensboro, North Carolina November 2014 Prepared bv: Piedmont Triad Airport Authority 1000-A Ted Johnson Parkway Greensboro, North Carolina 27409 „-A URS URS Corporation 7650 W. Courtney Campbell Causeway Tampa, Florida 33607-1462 For the: Federal Aviation Administration 2862 Business Park Drive Memphis, Tennessee 38118 TABLE OF CONTENTS Section Page FAA SECTION 106 EFFECTS DETERMINATION.......................................................................................1 GeneralAirport Information: ............................................................................................................. 1 Description of the Undertaking/Proposed Action: ............................................................................ 1 Determination of and Description of the Area of Potential Effects (APE): ....................................... 5 Steps Taken to Identify Historic and Archaeological Properties in the APE: ................................... 5 FAAAssessment of Effect: .............................................................................................................. 8 FAADetermination of Effect: .......................................................................................................... 14 LIST OF FIGURES Figure Page 1 Airport Location Map and Proposed Project..........................................................................2 2 Proposed Project Conceptual Development Plan.................................................................. 3 3 Historic Architectural APE and Historic Properties................................................................6 4 Historic Architectural APE and Historic Properties................................................................7 5 Campbell -Gray House and Barn Parcels with Airport at Upper Right (Base Map: GuilfordCounty GIS Map)......................................................................................................8 6 Campbell -Gray House and Barn Parcels (Base Map: Guilford County GIS Map).................9 7 Campbell -Gray House and Barn Site Plan and NRHP-Eligible Boundary Map (Source: North Carolina Department Of Transportation Eligibility Report) ............................9 8-A A Proposed Project Conceptual Rail Gantry Crane.............................................................11 8-B B 366 ICW 20 Track Centers...............................................................................................12 8-C Mi -Jack 1000R Plan.............................................................................................................12 9-A Proposed Project Conceptual Rail Reach Loader...............................................................13 9-B Proposed Project Conceptual Rail Reach Loader Reach Loader Gloria-DRG420-450 Sales Brochure............................................................14 W:\12011299—Piedmont EA\Section 106\FAA Determination of Effect PTIA-11-17-14.doc i Piedmont Triad International Airport 106 Effects Determination FAA SECTION 106 EFFECTS DETERMINATION GENERAL AIRPORT INFORMATION: Piedmont Triad International Airport (GSO), 1000 A Ted Johnson Parkway, Greensboro, NC 27409; N 36° 06' 04.7731" Latitude and W 079° 56' 28.0444" Longitude. Piedmont Triad International Airport (GSO) is owned and operated by the Piedmont Triad Airport Authority (PTAA). The airport encompasses approximately 4,000 acres, and has three runways. The main runway 5R/23L is 10,001 feet long, the cross -wind runway 14/32 is 6,380 feet long and the parallel runway 5L/23R is 9,000 feet long. PTIA is located approximately 10 miles west of the central business district of Greensboro, 17 miles east of Winston-Salem, and 10 miles north of High Point, North Carolina. An airport location map and airport vicinity map is provided on Figure 1. DESCRIPTION OF THE UNDERTAKING/PROPOSED ACTION: The project proposed by PTAA would improve existing and previously disturbed and developed parcels of land collectively located immediately adjacent to and northwest of the GSO airfield. These land areas would be improved to provide approximately 972 acres of land suitable to accommodate existing and anticipated future demand for aviation -related and aviation -allied activities. The use of the approximately 972 -acre development area is predicated upon the development of various taxiway system and infrastructure improvements that would provide unrestricted aircraft operational access to the airport's existing system of runways and supporting taxiways. The Proposed Project will serve to preserve and protect the PTAA's ability to continue the on-going development of the airport for aviation -related use. The exact site layout, composition (number and size of tenants), and development schedule for the aviation facilities cannot be determined at this time. The acreage and site development requirements of each prospective tenant would be influenced by prevailing market conditions, the operational needs of each tenant, and respective business decisions by prospective tenants and the PTAA. The proposed 972 -acre development project also includes construction of a rail transfer facility to support development and operation of the proposed future aviation -related activities. The Proposed Project would be accomplished in two phases, referred to as the Near -Term Project and Long -Term Project. A conceptual development plan is depicted in Figure 2. The Near -Term Project improvements evaluated in this EA are listed below. • Acquisition of approximately 249 acres of land; • Site preparation of approximately 553 acres of land for aviation development, including clearing, grading, and excavation'; • Extension of utilities to the Near -Term development area, including electrical, natural gas, water, sanitary sewer, communications, and other related infrastructure; ' The acreage figure for the land to be acquired includes the entire tract that PTAA will have to buy for a rail transfer station (discussed below). However, the Proposed Project does not involve any development on that tract other than the transfer facility itself so the remaining land is not included in this EA in the acreage to be develoaed. W:\12011299—Piedmont EA\Section 106\FAA Determination of Effect PTIA-11-17-14.doc 1 Piedmont Triad International Airport 106 Effects Determination FIGURE 1 AIRPORT LOCATION MAP AND PROPOSED PROJECT / Virginia Piedmont Triad International Airport Gre®sboro + \Fio stop -Salem Durham International Airport Asheville Raleigh Greeoaille Runway North Carolina Municipality Charlotte Interstate r %J County Fa�enev-ille — U.S. Road South Carolina Water w -e o eo Miles 5ti ilm iogtoo 1 Atlantic ,p-- -ONE—p-2009 Ocean 3 777�LLLLL::LLL111111��� �.- l"j_ -ESRI Street—p-2008 5 7..,X FORSYTH COUNTY r� Kernersville 4 DAVIDSONP COUNTY I Project Site zr- ROC4M CU0UA'TY_rlTY Summerfield \ � vv � Piedmont Triad International Airport GUILFORD QUEM21M COUNTY W:\12011299—Piedmont EA\Section 106\FAA Determination of Effect PTIA-11-17-14.doc 2 Piedmont Triad International Airport 106 Effects Determination � 421 Legend O Piedmont Triad + Project Site gum International Airport Airport Property 11�a Runway Municipality Interstate r %J County — U.S. Road Water State Road Sources -NCD0T-2009: URS. 2009 N MEles ,p-- -ONE—p-2009 W E 0 3 777�LLLLL::LLL111111��� �.- l"j_ -ESRI Street—p-2008 5 W:\12011299—Piedmont EA\Section 106\FAA Determination of Effect PTIA-11-17-14.doc 2 Piedmont Triad International Airport 106 Effects Determination FIGURE 2 PROPOSED PROJECT CONCEPTUAL DEVELOPMENT PLAN e courtesy of USGS'( C Legend Conceptual Airport Site Development Plan Taxiway Development Area Rail Development Area J Future Aviation Use i . Y Conceptual Buildings Proposed Project Airfield Pavement ......•••••• Proposed Taxiway \ Future 1-73 Connector Existing Airport Boundary +� Proposed Rail Line $DIJRes' -ESRI. 2013 -URS CDrp. 2013 Feet 0 2.000 W:\12011299—Piedmont EA\Section 106\FAA Determination of Effect PTIA-11-17-14.doc 3 I� Abu u IL IM4`.0 r Piedmont Triad International Airport 106 Effects Determination • Extension and/or installation of stormwater collection and treatment infrastructure within the Near -Term development area; • Construction of aircraft parking aprons and associated aviation -related facilities within the Near -Term development area; • Closure of a portion of Joseph M. Bryan Boulevard and other local road closures; • Construction of a cross -field taxiway system linking the proposed Near -Term development area to the existing airfield; • Development of aviation support and service facilities as needed to support aviation -related activities associated with the Near -Term development; • Construction of access roads; • Development of a rail spur or a transfer facility connecting the proposed development site to the Norfolk Southern Railroad tracks located to the southwest of GS02; and • Implementation of mitigation measures for unavoidable wetland and stream impacts associated with the Near -Term development. The Long -Term GSO improvements evaluated in this EA (hereinafter referred to as the "Long -Term Projects") include the following: • Acquisition of approximately 166 acres of additional land; • Site preparation of approximately 407 acres of additional land for aviation -related development; • Extension of utilities to the Long -Term development area, including electrical, natural gas, water, sanitary sewer, communications, and other related infrastructure; • Extension and/or installation of stormwater collection and treatment infrastructure within the Long -Term development area; • Construction of aircraft parking aprons and associated aviation -related facilities within the Long -Term development area; • Relocation of GSO's existing airport surveillance radar (ASR) facility from its current location to a new location outside the proposed development area (see below); • Construction of access roads within the Long -Term development area; • Construction of a full-length parallel taxiway on the northwest side of Runway 5L/23R to link the remainder of the new development area to the runway; and • Implementation of mitigation measures for unavoidable wetland and stream impacts. ` Conceptual plans for providing railroad access to the development area are being considered by the PTAA and FAA. One option is to provide direct rail access to the development area by constructing a spur from the existing Norfolk Southern Railroad line. If a spur is determined to not be practicable or feasible, another option entails developing a rail transfer facility south of West Market Street. At the transfer facility, material (i.e., aircraft components) wool be off-loaded from rail cars onto vehicles that would transport the material across the airfield to the development site. Because the final selection of a rail option requires substantial planning and coordination, both rail options are consolidated in this EA for the purposes of evaluating and disclosing impacts. W:\12011299—Piedmont EA\Section 106\FAA Determination of Effect PTIA-11-17-14.doc 4 Piedmont Triad International Airport 106 Effects Determination Although the relocation of the ASR has been included in the Long -Term Project, PTAA's ability to complete the relocation within the time frame of the other Long -Term Projects is uncertain due to the need for PTAA to secure adequate funding for the relocation and due to the length of time required for PTAA to obtain the use of a temporary ASR tower during the transition from the existing to the new ASR facility. There are only a few temporary ASR towers nationwide and a long lead time is needed before they become available. The ASR would only be relocated for the purpose of constructing new aviation facilities on the existing ASR site. DETERMINATION OF AND DESCRIPTION OF THE AREA OF POTENTIAL EFFECTS (APE): The FAA determined that the undertaking's components would not substantially increase the number of aircraft operations at GSO. In addition, the proposed project would not alter runways, flight tracks, aircraft approach profiles, departure profiles, or instrument approach procedures at GSO. Because any potential increase in aircraft operations resulting from the proposed project would be modest, the change in noise exposure in the vicinity of GSO is expected to be modest and not result in a significant noise impact. Consequently, there was no need to establish an APE to take into consideration additional aircraft noise impacts that might affect National Register of Historic Places (NRNP) -listed or -eligible historic properties whose listing or eligibility would potentially be affected by noise. An APE for the proposed project was initially established to include those areas proposed for conceptual airport site development and taxiway development (Figure 3). The APE was subsequently expanded to include the potential development of a rail spur or a transfer facility connecting the proposed development site to the Norfolk Southern Railroad tracks located to the southwest of GSO (Figure 4). The ultimate APE included the area encompassed by the undertaking and an additional area within which the undertaking might cause alterations in the character or use of historic properties. This additional area extended out approximately one-half mile beyond the footprint of the proposed project. STEPS TAKEN TO IDENTIFY HISTORIC AND ARCHAEOLOGICAL PROPERTIES IN THE APE: Correspondence from SHPO dated July 19, 2013 stated that the SHPO was aware of no historic resources that would be affected by the project (Attachment 1). A field survey of the initial APE was conducted in August 2013 to identify any previously unidentified historic architectural resources. Six resources aged 50 years or older were newly identified during the course of this survey. Coordination was undertaken with the SHPO for these resources, which included a presentation on October 21, 2013 and a Reconnaissance -Level Inventory of Potential Historic Resources . Based on the results of the coordination process, the SHPO concurred that these six resources were not eligible for listing in the NRHP (see SHPO letter of November 5, 2013, Attachment 2). Within the ultimate APE as extended (Figure 4), the SHPO GIS Web Service database (http://gis.ncdcr.gov/hpoweb/) showed one previously inventoried historic resource, the Campbell -Gray House and Barn. It had received an official Determination of Eligibility (DOE) for listing in the NRHP on December 20, 1995. Fieldwork associated with the extended APE identified this property and four additional resources that were 50 years old or older that had not been previously inventoried. Following the submittal of the Addendum to Reconnaissance -Level Inventory report of May 23, 2014 (Attachment 3), the SHPO (see letter of June 17, 2014, Attachment 4) concurred that the four newly inventoried resources were not eligible for NRHP listing and that the Campbell -Gray House and Barn continued to be NRHP-eligible. W:\12011299—Piedmont EA\Section 106\FAA Determination of Effect PTIA-11-17-14.doc 5 Piedmont Triad International Airport 106 Effects Determination Layer -Credits: Image courtesy of USGS i Ift Corporation 62014'Nokia O)AAD RverHllb.D� fi f Teunl - Dr.,.., l oo p .. >t ix canes Dr -'b Fl-Iddge Golf C.. 1 ]oseph M Bryan Bhd ~' �4 4, 3 is j' Rd u � R�nNty RJ 4 00 Lo d 0 C LZ A 70Rd� ll FIGURE 4 HISTORIC ARCHITECTURAL APE AND HISTORIC PROPERTIES �ice.Layer.Credits: Image courtesy of_USGS M r W:\12011299—Piedmont EA\Section 106\FAA Determination of Effect PTIA-11-17-14.doc 7 2014 Nokia ©AND WLV - — P Legend Historic Architectural ® APE National Register Eligible Historic Property Detailed Study Area Sources: - URS Corp, 2013 N we Feet 5 o a.oco Piedmont Triad International Airport 106 Effects Determination SHPO staff reviewed the project for potential effects on archaeological resources in June of 2013, and they concluded that no archaeological studies were needed because the APE, which was plotted upon the footprint of the undertaking, had low sensitivity and was probably previously disturbed. This assessment was intended to be conveyed in their comment letter dated July 19, 2013 (Attachment 1), which stated that the SHPO was aware of no historic resources that would be affected by the project. In a phone conversation of October 10, 2013, SHPO staff confirmed that the project had been reviewed for potential effects on archaeological resources and they had concluded that no archaeological studies were needed because the APE has low potential for containing significant archaeological resources and was probably previously disturbed. On January 9, 2014, an additional consultation with SHPO staff was held to confirm that this determination was also applicable to the added portion of the APE that extends to the south of West Market Street. FAA ASSESSMENT OF EFFECT: The only resource within the APE that is NRHP-eligible is the Campbell -Gray House and Barn. Its NRHP- eligible boundaries encompass the 4.13 -acre house parcel (#0097991), the 1.87 -acre barn parcel (#0096003), and the strip of land connecting them (an approximately one -acre portion of 151.27 -acre parcel #0098004) (Figures 5, 6 and 7). The property was determined NRHP-eligible solely under NRHP Criterion C for its architecture. FIGURE 5 CAMPBELL -GRAY HOUSE AND BARN PARCELS WITH AIRPORT AT UPPER RIGHT (BASE MAP: GUILFORD COUNTY GIS MAP) W:\12011299—Piedmont EA\Section 106\FAA Determination of Effect PTIA-11-17-14.doc 8 Piedmont Triad International Airport 106 Effects Determination FIGURE 6 CAMPBELL -GRAY HOUSE AND BARN PARCELS (BASE MAP: GUILFORD COUNTY GIS MAP) 'r--'• _ � ' '- •mss ��.. I-� • �'�s�`' .~fJ7eu �1tr -. �c.nr• .; ,�i� tea.:. y BARN 1 �� Parcel 0096003 Fr_� 1.87 acres f-- "1' r FIGURE 7 CAMPBELL -GRAY HOUSE AND BARN SITE PLAN AND NRHP-ELIGIBLE BOUNDARY MAP (SOURCE: NORTH CAROLINA DEPARTMENT OF TRANSPORTATION ELIGIBILITY REPORT) aqaql t W:\12011299_ Piedmont EA\Section 106TAA Determination of Effect PTIA-11-17-14.doc 9 Piedmont Triad International Airport 106 Effects Determination arce10097991 F .13 acres Parcel 00 151.27 acres ofewt... BARN 1 �� Parcel 0096003 Fr_� 1.87 acres f-- "1' r FIGURE 7 CAMPBELL -GRAY HOUSE AND BARN SITE PLAN AND NRHP-ELIGIBLE BOUNDARY MAP (SOURCE: NORTH CAROLINA DEPARTMENT OF TRANSPORTATION ELIGIBILITY REPORT) aqaql t W:\12011299_ Piedmont EA\Section 106TAA Determination of Effect PTIA-11-17-14.doc 9 Piedmont Triad International Airport 106 Effects Determination The undertaking does not propose the acquisition of the 4.13- or 1.87 -acre parcels, but does include the purchase of the approximately 151 -acre parcel that contains the approximately one -acre strip of land that connects them. However, the undertaking does not propose that any of the near-term or long-term improvements will take place within the NRHP-eligible boundaries of the Campbell -Gray House and Barn. Therefore, the undertaking will not directly alter any of the characteristics that qualified the historic property for NRHP eligibility. One proposed improvement has the potential to indirectly alter the characteristics that made the Campbell -Gray House and Barn NRHP-eligible. This is the development of a rail transfer station and associated gantry crane or reach loader operation connecting the proposed development site to the Norfolk Southern Railroad tracks located to the southwest of GSO. Conceptual plans for providing railroad access to the development area are being considered by the PTAA and FAA. One option is to provide direct rail access to the development area by constructing a spur from the existing Norfolk Southern Railroad line. Another option entails developing a rail transfer facility south of West Market Street (Figure 2). At the transfer facility, material (i.e., aircraft components) would be off-loaded from rail cars onto vehicles that would transport the material across the airfield to the development site. Because the final selection of a rail option requires substantial planning and coordination, both rail options are evaluated in NEPA documentation being prepared for the proposed project for the purpose of evaluating and disclosing impacts. Two conceptual options for the rail transfer station are shown in Figures 8 and 9. Figure 8 illustrates a conceptual rail gantry crane and Figure 9 illustrates a rail spur/reach loader system. These improvements, or ones similarly designed and positioned, would be constructed on a portion of the approximately 151 -acre parcel located a minimum of approximately 500 feet southwest of the NRHP-eligible boundaries of the Campbell -Gray House and Barn. As it was when it was determined NRHP-eligible in 1995, the Campbell -Gary House and Barn property is located adjacent to GSO, which is brightly lit and operational 24 hours a day, and is surrounded by a busy and well -lit network of roads and large warehouse, industrial, and commercial facilities. The tracks of the Norfolk Southern Railroad continue to operate immediately to its north. Therefore, the introduction of the rail spur improvements will not alter any of the characteristics that made the historic property NRHP eligible. W:\12011299—Piedmont EA\Section 106\FAA Determination of Effect PTIA-11-17-14.doc 10 Piedmont Triad International Airport 106 Effects Determination c� FIGURE 8-A A PROPOSED PROJECT CONCEPTUAL RAIL GANTRY CRANE ;'courtesy of USGS © 2014 Microsoft Corporation © 2014 Nokia © AN D r � \ / i i TRACK CAPACITY: EACH TRACK 1,120' CLEAR DISTANCE @ 70' CAR LENGTHS = 16 CARS PER TRACK TRANSFER FACILITY FOOTPRINT= 9.5 AC. (APPROX.) .0_ M Feet 1.000 � W:\12011299_ Piedmont EA\Section 106TAA Determination of Effect PTIA-11-17-14.doc 11 Piedmont Triad International Airport 106 Effects Determination --w-4x Sou R BBI -ESRI. 2013 -URSCorp,2014 W:\12011299_ Piedmont EA\Section 106TAA Determination of Effect PTIA-11-17-14.doc 11 Piedmont Triad International Airport 106 Effects Determination FIGURE 8-B B 366 ICW 20 TRACK CENTERS FIGURE 8-C MI -JACK 1000R PLAN CK MACK TRA 20. - my to, �Y ., yj 1 �. ,r 2'-1 o- 1 CLEAR i 1 75'-6" GYEAR I 25'-6- CRANE PAO w CRANE PAD " Y -D 1/2" aa• -s" TREAD WIDTH 2P-I- iaooRe FACE OF TACE OF YOKE HnRRo-� rpKe CRAB BAR TERNMU OPERATIONS A9 C C W- — 20- TRACK CENTERS C,1 5 In 15 20 25 3n 35 arr 45 5U V DENOTES DIMENSION TAKEN GHAPNIC SCALE IN FEET FROM FACE OF YOKE.�aa "•"'� �-2601-A W:\12011299_ Piedmont EA\Section 106\FAA Determination of Effect PTIA-11-17-14.doc 12 Piedmont Triad International Airport 106 Effects Determination c� FIGURE 9-A PROPOSED PROJECT CONCEPTUAL RAIL REACH LOADER ourtesy of USGS © 2014 Microsoft Corporation © 2014 Nokia © AN D i i i V GQ,�e��a a�5 s TRACK CAPACITY: EACH TRACK 1,120' CLEAR DISTANCE @ 70' CAR LENGTHS = 16 CARS PER TRACK TRANSFER FACILITY FOOTPRINT= 9.5 AC. (APPRC .0_ M Feet 1.000 � --,w-4x SouR I -ESRI. 2013 -URSCorp,2014 W:\12011299_ Piedmont EA\Section 106TAA Determination of Effect PTIA-11-17-14.doc 13 Piedmont Triad International Airport 106 Effects Determination FIGURE 9-B REACH LOADER GLORIA-DRG420-450 SALES BROCHURE 11 FAA DETERMINATION OF EFFECT: An elevation in uptime. Tne 3a ,G -.)tion F reachstacn-&r alrc.;:i:; iri ulAme, has finally rret its i i With the Generation G, we've rrenaged to boost pedonnanoe once again with inproved operator interfacas and newly deslg]ed integrated components. The result? Simplified maintenance. lewerfaults and a major increase in service intervals Imprewe camperael klmgraeen Rv/eura momwlrq Based on an evaluation of the details of the proposed undertaking/proposed action in conjunction with the research and precautionary measures summarized above, the FAA has concluded that the proposed undertaking/proposed action would not affect any historic properties. Aaron Braswell Date Environmental Program Manager Federal Aviation Administration Memphis Airport District Office Findings of State Historic Preservation Office: Concur Non -concur Signature: Name /Title: W:\12011299—Piedmont EA\Section 106\FAA Determination of Effect PTIA-11-17-14.doc 14 Piedmont Triad International Airport 106 Effects Determination w—.„0-1 -j, am,. Ir, :•- :Noam lox wairyaanwedcgarmm -:MG gNam the Gft rr,dreicdaan�ieliai �.]dwnoe%Ay sAw 4,oW harem efiedrme�reri w '+r1on alraextra llnd 1.006how 9FkfiM9Wlh ftdwWp- vmmmrEastlit ka lrr eeeok� T+:ir-� E:1 o�nq..nm iha ekwvrez,are moFnpinc man aaxaer donarqe. m rclaepll.feNeo7111,H�/fiNod bawdmaW adwi�uw &Q. Vlalmv oercn fifer mqa 'w1vA Kx Mrtark bdtll/M.kllfend f/dllrLl[ CANbm iodma4 _aaww nterwq-r�tlWry erre zde w1Al�faownwd tll�.. IMWh v Klmw who Wyuvpka n pi. servo llM enl cd n l0'leh mqp fw_�o9BrJ wnRa'ori140nd tleM WY P-1.. u.drd vppe�-haw alv t- da UPpa fi &*Riese+/ wire rgawia It eufamMcdy bcalea Maas, o7,r1- Awn %0 lo I t1W fun ewnnred rdalhw � ym min mup Pwb wm C.kw"”. m w a lona cavo. a/ d"« . ...-� r.a •r: Seib k.W nM mmaRare Wl] Mme—Ald -9-k vaK eexird W—+ Maas . .. ryrm rre Srce 1rKkAdri mucv+rw+c qtr f rralnn rue pmdrshdy � � �.ae. r �f me[3ene'afion F. loP coram LergH eeni[a lfe hams—"g.,Kyr®naed .�dalm ad olla }er a�yrean[enavw elma�mam Al -r t� ,%56 a ir�d n �xta eempmenre taro-e.mpra. eaylos, /oma. ttr caw Iver nr. Dem mored more assay m me TAgf.pmbaa mins Dare- lha lh!Ane naespin Cremei Oradlp V w." re frerne w ` fAa epnmk/C a.epevhary apwl r pin myJ[eV tlld! b pnva/ 1hM crry mrMYne�eWd W+e a+sy _ �. /erw san�lo Opynli Based on an evaluation of the details of the proposed undertaking/proposed action in conjunction with the research and precautionary measures summarized above, the FAA has concluded that the proposed undertaking/proposed action would not affect any historic properties. Aaron Braswell Date Environmental Program Manager Federal Aviation Administration Memphis Airport District Office Findings of State Historic Preservation Office: Concur Non -concur Signature: Name /Title: W:\12011299—Piedmont EA\Section 106\FAA Determination of Effect PTIA-11-17-14.doc 14 Piedmont Triad International Airport 106 Effects Determination ATTACHMENT 1 RESPONSE LETTER FROM THE SHPO TO FAA - JULY 19, 2013 � SSAT� 4 North Carolina Department of Cultural Resources State Historic Preservation Office Ramona M. Bartos, Administrator Governor Pat McCrory Secretary Susan Kluttz July 19, 2013 Paul Behrens URS 7605 West Courtney Campbell Causeway Suite 700 Tampa, FL 33607-1462 Office of Archives and History Deputy Secretary Kevin Cherry Re: Northwest Taxiway and Site Development, Piedmont Triad International Airport, Guilford County, ER 13-1261 Dear Mr. Behrens: Thank you for your letter of June 21, 2013, concerning the above project. We have conducted a review of the project and are aware of no historic resources which would be affected by the project. Therefore, we have no comment on the project as proposed. The above comments are made pursuant to Section 106 of the National Historic Preservation Act and the Advisory Council on Historic Preservation's Regulations for Compliance with Section 106 codified at 36 CFR Part 800. Thank you for your cooperation and consideration. If you have questions concerning the above comment, contact Renee Gledhill -Earley, environmental review coordinator, at 919-807-6579 or renee.gledhill- earley(@ncdcr.gov. In all future communication concerning this project, please cite the above referenced tracking number. Sincerely, �3KRamona M. Bartos Location: 109 lust fones Street, Raleigh NC 27601 Mailing Address: 4617 Mail Service (:enter, Raleigh NC 27699-4617 Telephone/Fax: (919) 807-6570/807-6599 ATTACHMENT 2 RESPONSE LETTER FROM THE SHPO TO FAA - NOVEMBER 5, 2013 d4a. STATg Q. r�'Man �r Quw North Carolina Department of Cultural Resources State Historic Preservation Office Ramona M. Bartos, Administrator Governor Pat McCrory Secretary Susan Kluttz November 5, 2013 Marvin Brown URS Corporation - North Carolina 1600 Perimeter Park Drive Morrisville NC 27560 Office of Archives and History Deputy Secretary Kevin Cherry Re: Piedmont Triad International Airport, Northwest Taxiway and Site Development, Guilford County, ER 13-1261 Dear Mr. Brown: Thank you for meeting with our staff on October 21, 2013, concerning the above project and for presenting the reconnaissance level inventory of potential historic properties. As discussed at that meeting, we concur that at this time no additional survey work is warranted and that, barring additional information to the contrary, the following properties are not eligible for listing in the National Register of Historic Places: ■ Barn at Pleasant Ridge Golf Course, 1518 Pleasant Ridge Road; ■ House, 6647 Old Oak Ridge Road; ■ House, 6421 Old Oak Ridge Road; ■ House, 6415 Old Oak Ridge Road; ■ House, 708 North Regional Road; and, ■ Cahn Farm, 7099 Caindale Drive. Accordingly, we are aware of no historic properties that would be affected by the proposed project. The above comments are made pursuant to Section 106 of the National Historic Preservation Act and the Advisory Council on Historic Preservation's Regulations for Compliance with Section 106 codified at 36 CFR Part 800. Thank you for your cooperation and consideration. If you have questions concerning the above comment, contact Renee Gledhill -Earley, environmental review coordinator, at 919-807-6579 or renee.gledhill- earleynncdcr.gov. In all future communication concerning this project, please cite the above referenced tracking number. Sincerely, (�. w -�L Ramona M. Bartos Location: 109 East Jones Street, Raleigh NC 27601 Mailing Address: 4617 Mail Service Center, Raleigh NC 27699-4617 Telephone/Fax: (919) 807-6570/807-6599 ATTACHMENT 3 ADDENDUM TO RECONNAISSANCE -LEVEL INVENTORY OF POTENTIAL HISTORIC RESOURCES - MAY 23, 2014 ADDENDUM to Reconnaissance -Level Inventory of Potential Historic Resources Northwest Taxiway and Site Development, Piedmont Triad International Airport, Guilford County Environmental Assessment (ER 13-1261) Prepared by: URS Corporation — North Carolina Presented to: North Carolina Historic Preservation Office May 23, 2014 Management Summary On October 21, 2013 URS Corporation -North Carolina presented to the North Carolina State Historic Preservation Office (HPO) the results of a reconnaissance -level inventory (see Attachment A) of historic architectural resources located within the Area of Potential Effect (APE) for the Northwest Taxiway and Site Development at Piedmont Triad International Airport in Guilford County (the Undertaking). In a letter dated November 5, 2013 (see Attachment B), the HPO concurred that no additional survey work was warranted within the APE and that, barring additional information, the six presented resources were not eligible for listing in the National Register of Historic Places (NRHP). Subsequently, the study area of the undertaking was extended to the south, thereby expanding the APE. This addendum to the initial reconnaissance -level inventory includes descriptions and photographs of the five resources located within the expanded APE that are 50 years old or older. One of these resources—the Campbell -Gray House and Barn at I10 Regional Road South—was determined eligible for NRHP listing in 1995. It is believed that this property continues to be NRHP eligible within the boundaries that were mapped for it. The other four resources—houses at 105, 109, and I I 1 Adair Road and a barn behind 312 Industrial Road South—do not appear to be significant under any of the NRHP Criteria. They are therefore recommended as not meriting any further investigation to determine their potential NRHP eligibility. I -h r...- .-... .. _ _ :r 4* 1 � # 1 I c A / I Extension of Historic Architecture APE / Legend Historlo A rch ite ctu ra I APE l 1 I tom_ Detailed Study Area - lige Corp, 201 -Fd=L 0 3.000 e g PIEDMONT TRIAD PT, INTERNATIONAL AIRPORT HISTORIC ARCHITECTURAL FIGURE AREA OF POTENTIAL AFFECT (APE) Environmental Assessment Campbell -Gray House and Barn 110 Regional Road South, Greensboro The Campbell -Gray House and Barn received an Official Determination of Eligibility (DOE) for listing in the NRHP on September 20, 1995. The parties to the DOE were the North Carolina Department of Transportation (NCDOT) and the North Carolina HPO. The resource was determined NRHP-eligible under Criterion C for the architecture of its house and barn. The boundaries described in the NCDOT report that assessed the property are those of the 4.13 -acre parcel the house sits on (0097991) and the 1.87 -acre parcel the barn sits on (0098003). The boundaries as shown on the map in the report are those of the two parcels and the strip of land separating them. The two parcels are owned by Charles R. Gray. The strip of land between them, which is part of a largely overgrown 151.27 -acre parcel (0098004) that extends north, south, and west of the house and barn, is held in the name of Southern Region Industrial Realty Inc. of Roanoke, Virginia. The Campbell -Gray House and Barn is little changed from its DOE determination in 1995 and is still eligible for listing in the NRNP. The appropriate NRHP boundary continues to be that of the 1995 sketch map, which encompasses approximately seven acres. Campbell -Gray house looking NE (Marvin Brown, August 2013) 4 Campbell -Gray house and outbuilding looking NW from Regional Road S (Marvin Brown, August 2013) Campbell -Gray house and outbuilding looking SW from Regional Road S (Marvin Brown, August 2013) 5 Campbell -Gray House and outbuildings looking SW from Regional Road S (Marvin Brown, August 2013) Campbell -Gray barn looking NW from lane that passes between the house and barn (Marvin Brown, August 2013) C. Campbell -Gray barn looking SW from lane that passes between the house and barn (Marvin Brown, August 2013) x�' 4 Al l • t�!'ti� � � �YW �r Aerial view of Campbell -Gray House and Barn with barn at lower left, house at center, and lane between them (Google maps) 7 } d X a h![p::'yi:.cagdheid..—: yudfer�l' P - a -1 L$ The Sayre -Home GyiYcrd c Map Scale Papa Size Orientation Include Resolution [P 6.5 x 31 [[%t4f} . lJ Portrait D OvervleW ' •' Hormal I Aflnt . i Can[eS I V Land5ca" •Hlyh w�r�imr: wh.Ve ere�ynR rt rr madam ka�iK mornndadever Rein[mie[acewam mdip-nr�n, cuWN uwtLdw rw[rarnry•tM Hap Scala ruMmnc,tr o�accyracy oFvxh inRmunon. xe wamanws, eyreu wimpn'e4 an orerdM krthe mxMi amNw maq�iiy hta Awe�n, wkr hnr uu L inch - 186 Fee! ^•'ew�teF'w+6r tt.t lJrw- LIV2014 Campbell -Gray House and Barn parcels (base map: Guilford County GIS map) Campbell -Gray House and Barn site plan and NRHP-eligible boundary map (source: NCDOT eligibility report) 8 Luther and Elsie Boyd House 105 Adair Road, Greensboro According to Guilford County tax records, this single-family residence was built in 1965 by Luther and Elsie Boyd. A plainly finished, one-story, brick -veneered, gable -end ranch house with a carport attached to its south side elevation, it does not appear to be significant under any of the NRHP Criteria. It is therefore recommended as not meriting any further investigation to determine its potential NRHP eligibility. The house and its 0.88 -acre parcel (0097990) are currently owned by the Piedmont Triad Airport Authority (Guilford County Deed Book 7406/Page 2219 (2012)). Note: This house was viewed in August 2013, but as the APE for the Undertaking did not extend to its parcel at that time, and as it appeared to have no architectural or historical significance, it was not photographed. The photographs below, which capture the appearance of the house, are Google images. Luther and Elsie Boyd House (Google images) E] James B. Lindsay House 109 Adair Road, Greensboro According to Guilford County tax records, this one-story, concrete -block, gable -end, single-family residence was built in 1949 by James B. Lindsay. Alterations include the replacement of sash and the central chimney stack and the addition of artificial siding. It does not appear to be significant under any of the NRHP Criteria and is therefore recommended as not meriting any further investigation to determine its potential NRHP eligibility. The house and its 0.35 -acre parcel (0097993) are currently owned by the Piedmont Triad Airport Authority (Guilford County Deed Book 7577/Page 1079 (2014)). Note: This house was viewed in August 2013, but as the APE for the Undertaking did not extend to its parcel at that time, and as it appeared to have no architectural or historical significance, it was not photographed. The photographs below, which capture the appearance of the house, are Google images. James B. Lindsay House (Google images) 10 Cora Lindsay House 111 Adair Road, Greensboro Guilford County tax records identify the first owner of this single-family house as Cora Lindsay, who owned it in 1953. It is a modest, one-story, gable -front, frame dwelling with altered sash, no chimney stack, and artificial siding that may have been built earlier in the century. The house does not appear to be significant under any of the NRHP Criteria and is therefore recommended as not meriting any further investigation to determine its potential NRHP eligibility. The Piedmont Triad Airport Authority acquired the dwelling and its 0.37 -acre parcel (0098000) in 2012 (Guilford County Deed Book 7406/Page 2111). Cora Lindsay House (Marvin Brown, August 2013) 11 Barn within industrial buildings 312 Regional Road South This barn sits on a 7.54 -acre parcel (0098408) owned by Six Guys Property of Greensboro (Guilford County Deed Book 6651/Page 3023 (2006)). A large metal -clad industrial warehouse, erected by Piedmont Truck Tires in the late 1970s or early 1980s according to tax records, stands to the barn's east along Regional Road S. The barn, which appears to have been erected as a dairy barn between about 1940 and 1960, is encased on three sides by additions that may once have served the farm with which it was associated. It is built of concrete block with a tall gambrel roof. Its original entry bays have been removed or covered and modern window bays have been inserted into its gambrel ends. No evidence remains of the farmhouse and other outbuildings that would once have been associated with the barn. It now stands within a landscape of modern industrial buildings, asphalt and gravel parking lots, and tractor trailer trucks. Barn, parcel and surroundings (base map: Guilford County GIS map) 12 Barn and additions looking NW "A PO Barn and additions looking NE 13 Additions to barn, looking SE (barn not visible) Barn looking NW 14 ATTACHMENT A 15 Reconnaissance -Level Inventory of Potential Historic Resources Northwest Taxiway and Site Development, Piedmont Triad International Airport, Guilford County Environmental Assessment (ER 13-1261) Prepared by: URS Corporation — North Carolina Presented to: North Carolina Historic Preservation Office October 21, 2013 16 PIEDMONT TRIAD tPT► INTERNATIONAL AIRPORT HISTORIC RESOURCES FIGURE 4 4.X -x Environmental Assessment 2 17 4 Ar f: l Historic Site Resources = Interstate �HistariCArchitecturWAPE Other Roads 4 4 o>herFeatures Proposed Roads © Detailed Study Area Lakes EwistingAirport Facilities Streams Airport Property sNsdm: a Arport FEIS, 2lW1 -Pekhboh - N e ghhonng C unoav�e, Inc., 2006 gC ampte,,I • VPS Coep-7000 N - Feet E YYY ❑ 2,❑❑❑ s PIEDMONT TRIAD tPT► INTERNATIONAL AIRPORT HISTORIC RESOURCES FIGURE 4 4.X -x Environmental Assessment 2 17 Resource A —1518 Pleasant Ridge Road (at Pleasant Ridge Golf Course), Greensboro: IN ' 45 -1. 1 . - ti K: Wit, #L,4 ..N ►.wr.. - Z7- r At �I4iY•'®•'•'• ' r _ r � %a . �.�`' a -` . � .� a a. � �`��. - vot. -Ok5l f v.. .y � b. ` • 'Ar, �" J AM. 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'•_. �•l• .;:r r '. j ti.�s.�; e. ,fit � � .. �f �. � - • ^� �-{,�. .: � n At F "x �. s•p -ell .4c. .30 tri •;} � r � '� � - ` '1c; .� ..fes rwlI or 9F 1 ti M• a - �,�+r . �•^r': �� �, � " 'V ��� �ti � fr• � nor • �� !" � �"° ' is o'er. � 1 Vii' � �i,• `.�,A � � , -� ,.; 'tel/•aq�_1 {t r'r 1 %4V. V i OF i �1 £6r T•�• - 5 -. - f ••i. ATTACHMENT B 43 North Carolina Department of Cultural Resources State Historic Preservation Office Ramona M. Barton, Administrator Governor Pat McCrory Secretary Susan Klum November 5, 2013 Marvin Brown URS Corporation - North Carolina 1600 Perimeter Park Drive Morrisville NC 27560 Office of Archives and History deputy secretary Kevin Cherry Re: Piedmont Triad International Airport, Northwest Taxiway and Site Development, Guilford County, ER 13-1261 Dear Mr. Brown: Thank you for meeting with our staff on October 21, 2013, concerning the above project and For presenting the reconnaissance level inventory of potential historic properties. As discussed at that meeting, we concur that at this time no additional survey work is warranted and that, barring additional information to the contrary, the following properties are not eligible for listing in the National Register of Historic Places: ■ Barn at Pleasant Ridge Golf Course, 1518 Pleasant Ridge Road; ■ House, 6647 Old Oak Ridge Road; ■ House, 6421 Old Oak Ridge Road; ■ House, 6415 Old Oak Ridge Road; ■ House, 708 North Regional Road; and, ■ Cain Farm, 7099 Caindale Drive. Accordingly, we are aware of no historic properties that would be affected by the proposed project. The above comments are made pursuant to Section 106 of the National Historic Preservation Act and the Advisory Council on Historic Preservation's Regulations for Compliance with Section 146 codified at 36 CFR Part 800. Thank you for your cooperation and consideration. If you have questions concerning the above comment, contact Renee Gledhill -Earley, environmental review coordinator, at 919-807-6579 or renee.gledhill- carley@ncder.gov. In all future communication concerning this project, please cite the above referenced tracking number. Sincerely, Ramona M. Bartos Location: 109 Fast Jones Streer, Raleigh NC 27601 Mailing Address: 4617 Lull service Center, Raleigh NC_ 27699-4617 Tekphone/Fa. (719) 807-6570/807-6599 44 ATTACHMENT 4 RESPONSE LETTER FROM THE SHPO TO FAA - JUNE 17, 2014 North Carolina Department of Cultural Resources State Historic Preservation Office Ramona M. Bartos, Administrator Governor Pat McCrory Secretary Susan Kluttz June 17, 2014 Marvin Brown, Sr. Architectural Historian USR Corporation — North Carolina 1600 Perimeter Park Drive Morrisville, NC 27560 marvin.brown(c�urs. com RE: Addendum to Reconnaissance -Level Inventory of Potential Historic Resources Northwest Taxiway and Site Development, Piedmont Triad International Airport, Guilford County, ER 13-1261 Dear Mr. Brown: Office of Archives and History Deputy Secretary Kevin Cherry Thank you for your May 23, 2014, email transmitting the above -referenced report addendum. We have reviewed the report and concur that the Campbell -Gray House and Barn (GF0425) at 110 Regional Road South remain eligible for listing in the National Register of Historic Places and that the boundaries in the 1995 Determination of Eligibility are still appropriate. We concur that the houses at 105, 109, and 111 Adair Road and a barn behind 312 Industrial Road South are not eligible for listing in the National Register. The above comments are made pursuant to Section 106 of the National Historic Preservation Act and the Advisory Council on Historic Preservation's Regulations for Compliance with Section 106 codified at 36 CFR Part 800. Thank you for your cooperation and consideration. If you have questions concerning the above comment, contact Renee Gledhill -Earley, environmental review coordinator, at 919-807-6579 or renee.gledhill- earle T a,ncdcr.gov. In all future communication concerning this project, please cite the above referenced tracking number. Sincerely, 6j"(Ramona M. Bartos Location: 109 East Jones Street, Raleigh NC 27601 Mailing Address: 4617 Mail Service Center, Raleigh NC 27699-4617 Telephone/Fax: (919) 807-6570/807-6599 APPENDIX E ALTERNATIVES ANALYSIS CROSS FIELD TAXIWAY ALIGNMENT This appendix sets forth the FAA's analysis of alternative alignments for the Cross Field Taxiway and whether there are any alternatives to the proposed alignment of the taxiway that would have fewer impacts to jurisdictional resources. ALTERNATIVES ANALYSIS CROSSFIELD TAXIWAY ALIGNMENT Estimated Stream and Buffer Impacts of the Proposed Taxiway Alignment The proposed alignment of the Cross Field Taxiway is shown on Exhibit 1 of this Appendix, with the proposed Taxiway Bridge depicted in green. Due to a required crossing of an unnamed tributary to Brush Creek, as shown on Exhibit 1, the proposed Taxiway may impact approximately 222 linear feet (I.f.) of perennial stream channel, and 115 U. of intermittent stream channel, and may also impact approximately 20,855 square feet (ft.2) of vegetative buffer within 30 feet of the stream banks on each side of the stream (N.C. Jordan Lake Buffer, Zone 1), and 11,275 ft.2 of vegetated buffer within the next 20 feet from the stream banks (Zone 2), or a total of 0.75 acre stream buffer impact. This jurisdictional channel runs parallel to, and Northwest of, existing Bryan Boulevard and flows in a Southwest direction to a larger wetland/stream complex. Purpose and Need of the Taxiway Project As described in this EA, the Taxiway is needed to provide airfield access to the approximately 569 -acre development site on the north side of the future 1-73. Development of airfield access to the 569 -acre site is needed to: • provide suitable sites with airfield access for new aviation -related development • provide development opportunities for use of idle land • meet schedule needs of potential aviation tenants As emphasized in this EA, it is critical to the Purpose and Need for PTAA to prepare sites, with airfield access, in advance of having a tenant for the sites, since potential tenants require sites to be available within a short time frame to meet their scheduling needs. Avoidance of Impacts The connection of the 569 -acre site to existing airfield facilities can only be achieved by building a taxiway across the 1-73 segment that is being constructed at the Airport by NCDOT (Transportation Improvement Project 1-5110). The taxiway must cross over the highway on a Taxiway Bridge. The profile for the NCDOT project is constrained in two locations: 1. On the east side of the 1-5110 project, the project ties into Bryan Boulevard at the Airport/Old Oak Ridge Road Interchange. This sets the starting elevation of the 1-5110 profile on its east side. 2. The 1-5110 alignment is required to span over highway NC 68 on the west side of the highway project. The vertical clearance of the 1-5110 roadway over NC 68 sets the elevation of 1-5110 on the west side. The profile from the existing Airport/Old Oak Ridge Road Interchange to the future Taxiway Bridge has been set to its lowest possible elevation based on the maximum allowable grade of the roadway profile between the Airport Interchange and NC 68. The Taxiway and Bridge have been carefully positioned to meet the constraints imposed by the highway profile and, at the same time, to provide for the safe and efficient operation of the Taxiway: • The Taxiway must cross over the highway, along the Taxiway Bridge, at a height of at least 17 ft. above the highway pavement to meet FHWA standards. To clear this height, the Taxiway must rise from its starting elevation of 856.81 ft. Mean Sea Level (MSL) at future Taxiway G (see "Proposed Cross Field Taxiway" on Exhibit 1) to a minimum elevation of 896.58 ft. MSL at the Taxiway Bridge, or a total climb of 39.77 ft. The maximum grade for a taxiway at an air carrier airport is 1.5% per FAA Advisory Circular (AC) 150/5300-13A. After a required transition to the uphill grade, the proposed Taxiway must be long enough to climb the necessary 39.77 ft. at the 1.5% grade. In its proposed alignment, the proposed Taxiway runs a sufficient distance for the climb, but the margin is minimal for shifting the location of the Taxiway and still achieving the necessary clearance above the road. • The Taxiway must be straight for safe and efficient operation. The FAA recommends minimizing changes in direction along a taxiway to reduce the risk of aircraft running off the paved surface during reduced visibility. In addition, curving the Taxiway would not reduce stream impacts unless the curve was to the north. This alignment would route the Taxiway behind the elevated site for the Airport Surveillance Radar (ASR) (as shown in blue on Exhibit 1), which would block the Line -of -Site from the Air Traffic Control Tower (ATCT) to the Taxiway. Due to this obstruction, the ATCT would be unable to assist pilots in moving along the Taxiway, and their own view down the taxiway would also be obstructed by the ASR and taxiway curve. These impediments would create an aircraft hazard because pilots would not be able to see aircraft approaching from the opposite direction until they had already entered the taxiway and were facing the opposing traffic. If, in the future, the ASR were relocated, the Line -of -Site issue would likely remain, since the ASR would not be relocated unless the site were needed for tenant facilities, which could also block both the ATCT's and the pilot's Line - of -Sight. The Proposed Taxiway alignment meets the foregoing height and safety criteria, and, as shown below, also avoids unnecessary impacts to jurisdictional waters. A range of alternative alignments has been considered to determine if there are any practicable alternatives to the proposed taxiway alignment that would have fewer impacts to jurisdictional waters. None of these options achieves the Purpose and Need for the taxiway or reduces the stream or stream buffer impacts: Shift to the Southwest This concept is illustrated in yellow on Exhibit 1. The limits for shifting the Taxiway to the Southwest, and still providing for adequate clearance above the highway, are very constrained because the highway climbs at a steeper angle than the 1.5% taxiway limit. Even within this narrow range, the combined impact to perennial and intermittent streams from a Southwest shift is somewhat greater than in the case of the proposed alignment. (See impact figures on Exhibit 1.) Therefore shifting the Taxiway to the Southwest, within the feasible limits, increases rather than reduces impacts and is not an acceptable alternative. Shift to the Northeast As illustrated on Exhibit 1, the side slope of the proposed Taxiway on its Northeast side already abuts the ASR site, and the Taxiway cannot be shifted at all in this direction without cutting into the embankment for the ASR. Even if the ASR were relocated, a shift of the taxiway to the Northeast of as little as 30feet would shorten the taxiway to the point that it would not climb enough at the 1.5% grade for the necessary clearance above the highway. A shift of to the northeast of only 30 feet would result, at most, in a 23 foot reduction in the stream impacts, which would not be significant even if it the ASR were moved to accommodate the change. Curved Taxiway This alternative was examined despite its adverse effect (discussed above) on the safety and efficiency of the taxiway. As pointed out above, the only way a curved Taxiway would avoid a stream crossing is by following an alignment to the North, which would place it behind the ASR site from the point of view of the ATCT. This alignment would result in the Line -of -Sight issues discussed above and create a hazard for traffic along the Taxiway. Furthermore, even measured along the curve, this alignment would not have sufficient length for the necessary climb above the highway. This limitation excludes this alignment from further consideration. Spanning Over Stream Consideration has also been given to building a bridge structure, or bottomless culvert, to carry the taxiway over the stream and avoid any discharge of fill material in the stream channel. The dimensions of the structure would have to be sufficient to span from one bank of the stream to the other and to match the full width of the taxiway from the outside of the Object Free Area on one side of the taxiway to the outside of the Object Free Area on the other side (which, in the case of a bottomless culvert, would require the culvert to be 280 feet long since the taxiway crosses the stream at a slight angle). The structure would have to be high enough over the stream to accommodate the structure itself and would have to be designed with sufficient strength to meet FAA standards for Category V aircraft. Based on the cost of a comparable structure that was recently constructed at the Airport, PTAA estimates that the cost of spanning the stream would be in the range of $2.85 million, or about 18% of PTAA's $16 million estimate for building the taxiway without the structure. Due to this increased cost, spanning the stream would not be a practical alternative. As shown on Exhibit 1, the Cross Field Taxiway will be extended in a Northwest direction to the development areas on the north side of 1-73. As pointed out in Chapter 1 of this EA, it is not possible to determine how these areas will be developed, and how the taxiway will have to be designed to support such development, until prospective tenants have been identified and their needs are known. The extension of the taxiway, or the development of tenant sites, will likely impact artificial ponds and their adjacent buffers on the north side of the Interstate, but the extent of the impacts cannot be determined at this time. Care will be taken in the design of tenant sites and the taxiway system to avoid unnecessary impacts to jurisdictional resources within the larger development area. For the reasons discussed above, there is no alternative alignment for the Taxiway that is both feasible and that would reduce stream or buffer impacts resulting from the proposed alignment. The proposed alignment, in turn, sets the location of the Taxiway Bridge at the location shown in green on Exhibit 1. Minimization and Compensatory Mitigation This analysis considers only the issue of whether any impacts to jurisdictional waters can be avoided through alternative alignments of the Taxiway. In its design of the Cross Field Taxiway, PTAA will be required to minimize the unavoidable impacts from the taxiway, through measures such as making the side slopes of the taxiway as narrow as possible, within FAA design limitations, to reduce the width of the project footprint at the stream crossing. PTAA will also be required to meet compensatory mitigation requirements for the unavoidable impacts to jurisdictional resources that will result from the taxiway project. NOTE: LEGEND fAPT, ple•samA+ .� ,< Taxiway �/f( Streams and wetlands depicted on property not......................... Existing Line p p p y J owned b PTAA have not been delineated or `/ y PIEDMONT TRIAD AIRPORT AUTHORITY 1000 A Ted Johnson Parkway Pkosant Location verified by USACE or Future Roadway Construction NCDENR. Greensboro, INC 27409 �• v �, � � < • Proposed NCDOT Right -Of -Way ----------------- Proposed Taxiway Grading Limits ----------- Southwest Alt. Grading Limits Northeast Alt. Grading Limits Wetlands Piedmont Triad � International Airport 'O0� Highway 68 ----------------- ------------- +Piedmont I Conservation Easement a -i t Interchange a X D❑ (��/ o o• \� ❑ <� �l U s t 'tag 4 k4 Perennial Stream Intermittent Stream O o G ran Buffer one - 4 p _ ___ ' A Z a � __ � �� -� _ ) �� a ..- i --- -._.._.._.._............ it - p , oC \ „ \ 0 0 LU VICINITY MAP ' LL V NORTHEAST ALT. --------- o Q Size: 32 ac } O \ % �\ o O Pie Streams (Perennial): 1701.f. o �, Streams (Intermittent): 144 L1 o a Zone 1 Jordan Buffer (30'): 19,551 s.f. p Zone 2 Jordan Buffer (20'): 11,140 s.f. o Wetlands: 0.00 ac °o D p Preliminary 2 Earthwork _ �- Cut: 257,7, 143 cu yd Fill: 331,551 cu yd /\ Borrow: 74,408 cu yd O O i /1 V/1 ip SOUTHWEST ALT. „ �''� v 77 QSize: 34 ac ° Streams (Perennial): 400 If ' i Streams (Intermittent): Zone 1 Jordan Buffer (30'): 37,278 s.f. Zone 2 Jordan Buffer (20'): 30,804 s.f. ------L 11....�� ac Wetlands: nary PralimiEarthwork nary Cut: 214161 cu yd I I I �••�••� ' ` Fill: 408,002 cu yd Borrow: 193,841 cu yd 4�- '` PROPOSED TAXIWAY— Size: 33 ac Streams (Perennial): 2221.f oA Streams (Intermittent): 11 I.f. 5 �- i. ' tAlrpOr� �( Zone 1 Jordan Buffer (30'): 20,855 Zone 2 Jordan Buffer 11,275 t exchange n - ,, (20'): Wetlands: 0.00 ac A ' / I raliminary Farfhwnr Pel 254250 cu yd k Fill: 342,876 cu yd Borrow: 88,626 cu yd ,., Area Not To Be , '; i 30' Shift For Northeast Alt. Disturbed - 1 .. . B8` - -� � Jose h M Centerline i Northeast Alt Centerline S uthwest Alt. ` -_-------_-_------- --------------- `@NN-EEi@R—FWV—o- ---------------------------------�--- ---- n- ___________________--__- ---------------------------- Centerline -------- ---_ _----_------ ----- I `FUTURETAYG- 46' Proposed T/W Exhibit 1 FOR -Rur aY�23�TOT ("'ONST1 1A.1711IO� oo w o 000