HomeMy WebLinkAbout20200057 Ver 1_More Info Requested Email_20200206Strickland, Bev
From: Mairs, Robb L
Sent: Thursday, February 6, 2020 8:54 AM
To: Bodnar, Gregg; Deaton, Anne; Dunn, Maria T.; Hair, Sarah E CIV CESAW CESAD (US);
Wunderly, Valerie
Subject: RE: [External] RE: Atlantic Harbor
Attachments: atlantic harbor hold letter_feb._2020.docx.pdf
Hey Gregg,
Please see our attached add. Info./hold letter that will be going out today.
Thanks,
Robb Mairs
Environmental Specialist II
Division of Water Resources
North Carolina Department of Environmental Quality
910 796.7303 office
robb.mairs(a-)ncdenr.gov
https://deg.nc.gov/about/divisions/water-resources/water-resources-permits/wastewater-branch/401-wetlands-buffer-
ep rmits
127 Cardinal Drive Extension
Wilmington, NC 28405
Email correspondence to and from this address is subject to the
North Carolina Public Records Law and may be disclosed to third parties.
From: Bodnar, Gregg
Sent: Monday, February 3, 2020 2:55 PM
To: Deaton, Anne <anne.deaton@ncdenr.gov>; Mairs, Robb L <robb.mairs@ncdenr.gov>; Dunn, Maria T.
<maria.dunn@ncwildlife.org>; Hair, Sarah E CIV CESAW CESAD (US) <Sarah.E.Hair@usace.army.mil>; Wunderly, Valerie
<valerie.wunderly@ncdenr.gov>
Subject: FW: [External] RE: Atlantic Harbor
Afternoon all,
Based on some conversations and comments concerning the spoil being used for wetland plantings at White Point for
the Atlantic Harbor project I contacted the agent to discuss. Please see below for the response. I am not sure, but I
believe that White Point has been used in the past as a spoil disposal site for Atlantic Harbor. I asked Robert Neal that
and will pass along the answer asap.
Thanks,
G regg
From: Neal, Robert <rneal@moffattnichol.com>
Sent: Monday, February 3, 2020 2:37 PM
To: Bodnar, Gregg <gregg.bodnar@ncdenr.gov>; Huggett, Douglas <dhuggett@moffattnichol.com>
Cc: Rudi Rudolph<grudolph@carteretcountygov.org>
Subject: [External] RE: Atlantic Harbor
• sternal email. Do not click links or open attachments unless you verify. Send all suspicious email as an attachment to
m (@nc.gov
Thanks Gregg. Just to clarify, would all agencies support re -grading White Point to facilitate the living shoreline and
marsh grasses with placement of the existing material below MHW? Thus, no dredge spoil would be added as backfill to
White Point, but we would re -position the existing material to form our intended slopes.
Otherwise, thank you very much for providing these comments!
Robert Neal
Moffatt & Nichol
272 N. Front Street I Suite 204 1 Wilmington, NC 28401
P 910.218.7100 1 F 919.781.4869 1 C 910.524.3285
From: Bodnar, Gregg [mailto:gregg.bodnar@ncdenr.gov]
Sent: Monday, February 03, 2020 2:24 PM
To: Neal, Robert <rneal@moffattnichol.com>; Huggett, Douglas <dhuggett@moffattnichol.com>
Subject: Atlantic Harbor
CAUTION: This email originated from outside of the organization.
Afternoon all,
Please see the above comments from Shellfish and DMF. I spoke to WRC and DWR and they relayed similar concerns,
though I have not received the comments to date. DMF and Shellfish both have concerns with using the contaminated
spoil for the Coastal Wetland areas, to the point that its use will cause a shellfish closure. DMF asks that no fill be used
and to allow the plantings to naturally infill the area and Shellfish asks that if fill is used, that it comes from an upland
source. Finally the containment of spoil on the uplands must be contained by a substantial control berm and not just a
sedimentation barrier.
The issues do not require any changes in workplans, unless you prefer. Any changes can be detailed through email and I
will make note in the file.
Thanks,
G regg
Gre" Bodnar
Assistant Major Permits Coordinator
Division of Coastal Manwavent
�Dtieportovent Of rovironmensw Quality
252 on 2808 am 215 (Office)
E*W correspondence to andfrom odtfrm Is subliect to the
AWM Carofina Pubftc Records Low and may be dhoosed to thkd parties.
Docusign Envelope ID: CA9AC5AA-7DED-4683 A42C E4CF4F6E16E^
ROY COOPER
Governor
MICHAEL S. REGAN
Secretory
S. DANIEL SMITH
Director
NORTH CAROLINA
Environmental Quality
February 5, 2020
DWR Project #2020-0057
Carteret County
Carteret County
Attn.: Tommy Burns and Greg Rudolph
320 Courthouse Square
Beaufort, NC 28516
Subject Property: Atlantic Harbor Maintenance Excavation & Living Shoreline
Atlantic- Carteret County
REQUEST FOR MORE INFORMATION
Dear Messrs. Burns and Rudolph:
On January 9, 2020, the Division of Water Resources (DWR) received your CAMA Major Development permit
application dated September 5, 2018 to allow for maintenance excavation of an existing boat basin and access
channel, and proposed marsh restoration and a living shoreline along White Point. The Division has additional
questions about the proposed work and has determined that additional information is necessary to process your
application. The application is on -hold until all of the following information is received:
Additional Information Requested
Mr. Curt Weychert, and Ms. Valerie Wunderly of the North Carolina Division of Marine Fisheries (DMF) sent
individual memos on January 28 and 29, 2020 (see attached) outlining concerns with the placement of approximately
300 cubic yards of excavated material from Atlantic Harbor basin and access channel to Core Sound, which is
proposed to be used as backfill below the mean high water (MHW) associated with the living shoreline along White
Point. These concerns were based on the chemical analysis of the sediment cores from the proposed dredge limits
within Atlantic Harbor, which indicates the presence of metals and semi -volatile compounds that exceed both the US
Environmental Protection Agency (EPA) and National Ocean and Atmospheric Administration (NOAA) screening
values. Based on comments from the DMF Shellfish Sanitation & Recreational Water Quality Section, Core Sound
(SA;ORW) to the east and south of White Point are Approved shell -fishing waters. The Division of Water Resources
believes, this proposal would have impacts to shellfishing waters, and would remove a use and degrade the waters,
resulting in violation of the following Water Quality Standards:
15A NCAC 02B .0201 ANTIDEGRADATION POLICY
(0 Activities regulated under Section 404 of the Clean Water Act (33 U.S.C. 1344) which require a water
quality certification as described in Section 401 of the Clean Water Act (33 U.S.C. 1341) shall be evaluated
according to the procedures outlined in 15A NCAC 2H .0500. Activities which receive a water quality
certification pursuant to these procedures shall not be considered to remove existing uses. The evaluation of
permits issued pursuant to G.S. 143-215.1 that involve the assimilation of wastewater or stormwater by
wetlands shall incorporate the criteria found in 15A NCAC 2H .0506 (c)(1)-(5) in determining the potential
impact of the proposed activity on the existing uses of the wetland per 15A NCAC 2H .0231.
D �� North Carolina Department of Environmental Quality I Division of Water Resources
Wilmington Regional Office 1 127 Cardinal Drive Extension I Wilmington, North Carolina 28405
NCRTH CAHO�INh �
D.mrt --1 0 W—'a' Qwoq 910.796.7215
DocuSign Envelope ID: CA9AC5AA-7DED-4683-A42C-E4CF4F6E16ED
15A NCAC 026.0221 TIDAL SALT WATER QUALITY STANDARDS FOR CLASS SA WATERS
(1) Best usage of waters. Aquatic life propagation and maintenance of biological integrity (including
fishing and functioning PNAs), wildlife, secondary recreation, and any other usage except primary
recreation or shellfishing for marketing purposes.
(2) Conditions Related to Best Usage. The waters shall meet the current sanitary and bacteriological
standards as adopted by the Commission for Health Services and shall be suitable for shellfish
culture; any source of water pollution which precludes any of these uses, including their functioning
as PNAs, on either a short-term or long-term basis shall be considered to be violating a water
quality standard.
Please contact Anne Deaton of DMF at (910) 796-7311 or Anne.Deaton@ncdenr.gov and Valerie Wunderly at (252)
808-8147 or Valerie.Wunderlv(@ncdenr.gov to try and resolve this issue or revise the application to address these
concerns with the proposed backfill associated with the living shoreline component. If these issues are not resolved,
DWR will have to move to deny your application as required by 15A NCAC 2H .0506. If these concerns are addressed
to the satisfaction of the DMF, the DWR will have no objection.
Pursuant to Title 15A NCAC 02H .0502(e) the applicant shall furnish all of the above requested information for the
proper consideration of the application. If all of the requested information is not received in writing within 30 calendar
days of receipt of this letter, the Division will be unable to approve the application and it will be returned. The return
of this project will necessitate reapplication to the Division for approval, including a complete application package and
the appropriate fee.
Please respond in writing within 30 calendar days of receipt of this letter by sending three (3) copies of all of the
above requested information to the 401 & Buffer Permitting Unit, 1617 Mail Service Center, Raleigh, NC 27699-1617.
Please contact Robb Mairs at 910.796.7303 or Robb. Mairs(o)ncdenr.gov or myself at 910.796.7218 or
Morelia.Sanchez-King(@ncdenr.gov if you have any questions or concerns.
Sincerely,
DocuSigned by:
E
6"
.
Morella Sanchez -King, Regional Supervisor
Water Quality Regional Operations Section
Division of Water Resources, NCDEQ
Enclosures: DMF MEMOS
cc: Gregg Bodnar, DCM Morehead City Office (via email)
Liz Hair, USACE Wilmington Regulatory Field Office (via email)
Ann Deaton, NCDMF (via email)
Valerie Wunderly, NCDMF Shellfish Sanitation & Recreational Water Quality
Robert Neal, Moffatt & Nichol (via email)
DWR 401 & Buffer Permitting Branch file-LF
WiRO