HomeMy WebLinkAbout20120285_Other Agency Comments_20090717Ja�ZED ST,�r�S
C� Y�
0
o ,.
PNOS�0�02
Date July 17 2009
P, Le_S? t Tl�sse b 0,�,
UNITED STATES ENVIRONMENTAL PROTECTION AGENCY
REGION 4
ATLANTA FEDERAL CENTER
61 FORSYTH STREET
ATLANTA GEORGIA 30303 8960
Ms Jennifer Hams P E
North Carolina Turnpike Authority
5400 Glenwood Avenue Suite 400
Raleigh North Carolina 27612
SUBJECT Federal Draft Environmental Impact Statement for the Gaston East -West Connector
From I -85 to 1485 Mecklenburg and Gaston Counties North Carolina, TIP Project No U-
3321, FHW E40827 -NC CEQ No 20090159
Dear Ms Hams
The U S Environmental Protection Agency Region 4 (EPA) has reviewed the subject
document and is commenting in accordance with Section 309 of the Clean Air Act and Section
102(2)(C) of the National Environmental Policy Act (NEPA) The North Carolina Turnpike
Authority (NCTA) and the Federal Highway Administration (FHWA) are proposing to construct
an approximate 22 -mile multi -lane, median divided toll facility from 185 west of Gastonia to I-
485/NC 160 near Charlotte Douglas Airport in Mecklenburg and Gaston Counties
The proposed project has been in the NEPA/Section 404 Merger 01 process since 2002
when it was with the North Carolina Department of Transportation (NCDOT) as a freeway The
NCTA reaffirmed several concurrence points with the NEPA/Section 404 Merger 01 process
team on October 7 2008 including Purpose and Need (Concurrence Point — CP 1) Detailed
Study Alternatives (DSAs) Carved Forward (CP 2) and Bridging and Alignment Review (CP
2A) EPA provided detailed scopmg comments in a letter dated March 1 2007 NCTA s May 4
2007, responses to EPA s scoping comments are included in Appendix A to the DEIS
EPA has attached detailed technical review comments (See Attachment A) EPA's
primary environmental concerns regarding Clean Water Act and Clean Air Act provisions
remain unresolved
EPA has rated the twelve (12) DSAs as EO 2 Environmental Objections with
additional information being requested for the final document EPA s review has identified
significant environmental impacts that should be avoided in order to adequately protect the
environment The basis for our environmental objections include that the proposed action might
violate or be inconsistent with achievement or maintenance of a national environmental standard
under the Clean Air Act s National Ambient Air Quality Standards (NAAQS), and where
applicable standards may not be violated but there is a potential for significant environmental
Internet Address (URL) http/www9pagov
Recycled /Recyclable Printed with Vegetable Oil Based Inks on Recycled Paper (Minimum 30 i Pos consumer)
degradation under the Clean Water Act and Section 404(b)(1) Guidelines NCTA and FHWA
should consider substantial changes to the preferred alternative or consideration of some other
project alternatives including improvements to existing 185 interim Transportation System
Management (TSM) approaches for US 29 74 and connecting roadways and other combinations
of transportation improvements Due to the significance of the unresolved environmental issues
EPA will be unable to concur on the selection of DSA 9 as the Least Environmentally Damaging
Practicable Alternative ( LEDPA ) at the concurrence point Merger 01 meeting
Prior to the issuance of a Final Environmental Impact Statement (FEIS) and Record of
Decision (ROD), NCTA and FHWA should demonstrate that the new location project will be
included in an approved State Implementation Plan (SIP) and will be in conformity with Section
176(c) of the Clean Air Act Amendments for the 8 hour ozone standard Also, NCTA and
FHWA need to further demonstrate avoidance, minimization and compensatory mitigation for
the environmental impacts to jurisdictional waters of the U S and demonstrate that water quality
of Section 303(d) impaired streams is not further degraded as a direct result of this project and its
associated indirect and cumulative impacts Specific environmental commitments to protect air
quality and water quality need to be included in the FEIS and ROD
EPA staff including Mr Christopher Militscher and Ms Kathy Matthews of EPAs
Wetlands Section will continue to work with you and FHWA and other agencies on the
continued environmental coordination and Merger 01 process activities for this project Please
feel free to contact Mr Militscher of my staff at (919) 856 -4206 or Ms Matthews at (919) 541
3062 should you have specific questions concerning EPA s comments
Sincerely,
rD ` ) �
Heinz J Mueller, Chief
NEPA Program Office
Cc J Sullivan FHWA
K Jolly USACE
B Wrenn NCDENR DWQ
Attachment A
DEIS Detailed Review Comments
Gaston East West Connector Toll Facility
Mecklenburg and Gaston Counties
U 3321
Purpose and Need
EPA has reviewed the proposed project s purpose and need as summarized in Sections
12 and 13 of the DEIS The primary needs for the proposed project are there is poor
transportation connectivity between Gaston County and Mecklenburg county and within
southern Gaston County and there are existing and projected poor levels of service (LOS) on the
project study area mayor roadways The proposed Gaston East West Connector is also included
as a Strategic Highway Corridor (SHC) The typical section is identified as a 4 lane 70 foot
median divided facility with 300 feet of right of way and 12 foot paved outside shoulders
The DEIS references and includes the May 21 2007 letter between NCTA and NCDOT
regarding the decision by the State transportation agencies to study only toll alternatives in the
EIS EPA does not believe that this is consistent with the Council on Environmental Quality
(CEQ) regulations at 40 CFR Section 1502 14(a) and (c) The Gaston East West Connector s
new location corridors and preliminary study alternatives (utilized by NCTA and included in the
DEIS) were developed by the NCDOT when it was proposed as a freeway FHWA as the Lead
Federal Agency (LFA) under NEPA might have also considered a comparison of a toll facility
with a freeway and their resultant environmental impacts
EPA notes that the Mecklenburg Union Metropolitan Planning Organization ( MUMPO)
has identified sections east of the Catawba River for the Gaston East West Connector in its Draft
2035 Long Range Transportation Plan (LRTP) MUMPO on its Draft 2035 LRTP Roadway
Ranking Priority List assigned rankings of 85 327 329 and 330 (out of approximately 340 total
projects) for the sections where the Gaston East West Connector is located in Mecklenburg
County EPA notes the Gaston County Future Land Use Map at Figure 1 11 A description of
the Green Necklace is not provided and it is noted that there are potentially substantial land use
conflicts associated with this plan (e g Potential Industrial /Business Park north of Crowder
Mountain State Park)
The DEIS includes detailed information regarding traffic volumes and operations for the
project study area s mayor roadways including 185 US 29 74 and US 321 EPA notes that
existing level of service (LOS) using 2006 data for 185 in Table 1 2 shows 4 exits with LOS F 2
exits with LOS E and 6 exits with LOS D For US 29 74 under Table 1 3 2006 LOS includes 2
intersections with LOS F 3 intersections with LOS E 7 intersections with LOS D 8
intersections with LOS C and 2 intersections with LOS B For US 321 under Table 1 4 2006
LOS includes 1 intersection at LOS F 1 intersection at LOS E 2 intersections at LOS D 6
intersections at LOS C 2 intersections at LOS B and 1 intersection at LOS A Table 1 5 also
includes 2006 and 2030 existing and projected traffic volumes and LOS for 1 485 in
Mecklenburg County The 2006 LOS is C at Exit 4 and the 2006 LOS is LOS A at Exit 9
The DEIS tables also identify 2006 and 2030 traffic volumes (in Annual Average Daily
Traffic AADT) along the various major roadways as well as their corresponding segments In
nearly all cases NCTA and FHWA are projecting significant traffic volume increases along I 85
US 29 74 and US 321 in the design year For example 185 and US 29 74 are projected to have
between approximately 30 50% increases in AADT by 2030 It is unclear from Section 16 2 of
the DEIS what assumptions are being made by the planning organizations (GUAMPO and
MUMPO) and transportation agencies in estimating future travel demand for these roadways and
what development pressure and induced traffic will be added as a result of the new facility The
DEIS cites in several places that the project study area is mostly suburban and rural in character
EPA notes the estimated population change by U S Census block groups from 1990 to 2000 in
Figure 3 2 The DEIS also includes information on minority and low income demographic
information which is depicted in Figures 3 3 3 4 and 3 5 One of EPA s past and continued
concerns has been the construction of a toll facility in an area where there are many block groups
characterized as minority and low income (See comment section on Environmental Justice
below)
Alternatives Considered
The DEIS addresses the first and second screening methods utilized to develop
preliminary study alternatives and further identify DSAs The DEIS identified the public
involvement and agency coordination involved with the alternatives screening process Page 2 4
of the DEIS states Initially the First Screening focused on the ability to meet Purpose and
Need Several alternatives were eliminated largely or entirely based on their inability to meet
the Purpose and Need (TSM TDM Mass Transit Multi modal) EPA was a concurring
agency to carry forward the twelve (12) DSAs However the DEIS does not specifically address
how a combination of alternatives as referenced above with other transportation improvements to
existing major roadways might be able to meet the Purpose and Need EPA does not agree with
the conclusions regarding the mass transit alternative on pages 2 8 and 2 9 NCTA s and
FHWA s preferred alternative DSA 9 has an estimated median cost of $1 282 billion A primary
rationale provided in the DEIS for eliminating the mass transit alternative (e g Light rail) is the
estimated cost of at least $106 billion for a 22 mile new location rail system EPA notes the
following key statement regarding mass transit on new location In addition there is no
program currently in place within North Carolina or in Gaston County to fiend such
improvements The DEIS continues to state that the lack of financial feasibility is an additional
reason for finding that this alternative is not a reasonable alternative EPA requested in its
March 1 2007 letter that combinations of alternatives also be further studied and analyzed in the
DEIS Referring to CEQ regulations 40 CFR Section 1502 14(c) FHWA and NCTA might have
considered partnering with the Federal Transit Authority (FTA) to evaluate a combination of
alternatives that could potentially meet the project purpose and need From a public disclosure
and analysis standpoint EPA believes that for the eastern portions of the project study area a
mass transit alternative is still potentially a reasonable alternative under NEPA in combination
with other new location and improve existing options
The DEIS includes twelve (12) DSAs including alternatives 4 5 9 22 23 27 58 64 68
76 77 and 81 For all of the DSAs the indirect and cumulative effects and potential for
1
accelerated growth and indirect effects in Gaston County are rated High in Table S 2 The
NCTA and FHWA have identified DSA 9 as their preferred alternative
Wetland and Stream Impacts
EPA acknowledges that the FHWA and NCTA s recommended (preferred) alternative is
DSA 9 and that it has lower wetland and stream impacts than many of the other alternatives
considered (with the exception of DSA 68 and 81 for stream impacts) DSA 9 has 48 995 linear
feet of total stream impact with 38 894 linear feet of impact to perennial streams There is an
estimated 20 615 square feet of impact to Catawba River riparian buffers Jurisdictional wetland
impacts are 7 5 acres for DSA 9
Based upon tracking records that EPA began in 2002 the proposed project would have 2 237 2
linear feet of stream impact per mile of multi lane new location facility This is more than
double the State wide average of approximately 1 000 linear feet for a Piedmont or western
North Carolina project and potentially the highest impact per mile of any Merger project since
2002 DSA 9 also includes 91 total stream crossings EPA considers the direct impacts to
waters of the U S to be very significant
The DEIS does not fully address EPA s comments from the March 1 2007 scoping letter
concerning the need to frilly consider and address the number and associated impacts for free
flowing interchanges and toll collection facilities EPA requested that full consideration be given
to using single point urban interchanges (SPUI) and compressed cloverleaf designs at grade
separated locations The DEIS on page 2 50 discusses the option of removing the intersection at
the US 29 74 interchange (depicted on Figures 2 9 d & e) from the project design but there is no
formal conclusion reached on the issue EPA requested during past Merger meetings that due to
the traffic volumes and resources in the area serious consideration be given to eliminating this
interchange A SPUI or other compressed interchange design might have also reduced stream
and wetland impacts at the Robinson Road interchange (Figure 2 9q) Bud Wilson Road
interchange (Figure 2 9s) Bradley Trail interchange (Figure 2 9u) NC 273 interchange (Figure
2 9cc) and the 1 485 Interchange (Figures 2 9gg hh and ii)
EPA recognizes the different interchange designs shown in the aforementioned figures
However the DEIS does not contain a specific discussion or analysis as to the types of
interchanges examined Section 6 4 5 3 under Avoidance and Minimization states that the
presence of wetlands and streams and minimizing or avoiding impacts to these resources was a
factor in considering interchange configurations However there is no detailed discussion as to
how important these resources were considered and if SPUIs or other compressed cloverleaf
designs were given full consideration From previous Merger meeting discussions EPA staff
commented that high speed to high speed interchange and ramp designs were not necessarily
needed at all the potential interchange locations and that low speed connections at secondary
roads should be considered
The DEIS does not provide details as to how and to what degree the DSAs incorporate
measures to avoid and minimize impacts to jurisdictional waters EPA does recognize the CP 2A
bridge field review meeting on avoidance and minimization efforts conducted in December of
2007 EPA technical staff were directly involved in these field investigations However direct
impacts to existing 303(d) listed impaired streams and other waters at risk from further
degradation have not been Cully addressed from the standpoint of avoidance and minimization
(e g proposed median width of 70 feet 300 foot minimum right of way 12 foot paved outside
shoulders etc )
The DEIS does not address our comments on pages 4 and 5 of our March 1 2007
scoping letter recommending that NCTA and FHWS provide a conceptual plan in the DEIS
which includes opportunities for on site mitigation The preferred alternative has approximately
7 5 acres of jurisdictional wetland impacts and 48 995 linear feet of total stream impact There is
no detail provided in the DEIS if there is adequate on site or off site mitigation available in the
HUC Although mitigation is discussed in Section 6 4 5 4 no details are provided Also in this
section the DEIS includes a short statement about off site mitigation The paragraph mentions
the Memorandum of Agreement (MOA) between NC Department of Transportation (DOT) and
the Ecosystem Enhancement Program (EEP) It is unclear whether NCTA is subject to the
DOVEEP MOA (in which case it is likely that mitigation plans are already underway for these
impacts) or if NCTA will pay into the traditional in lieu fee program run by EEP under a
Memorandum of Understanding (MOU) with NC Department of Natural Resources and the
Corps Under the MOU program EEP may not have any mitigation planned until after NCTA
provides payment typically after the permit is issued The FEIS should clearly state which
program NCTA will utilize for wetland and stream mitigation EPA recommends that NCTA
identify conceptual on site mitigation opportunities in the FEIS The Corps and NCDWQ may
require mitigation for all intermittent as well as perennial streams EPA recommends that NCTA
propose compensatory mitigation for all impacts to jurisdictional resources The lack of a
conceptual mitigation plan for impacts to jurisdictional waters of the U S is a significant
deficiency in this DEIS
In the March 1 2007 letter EPA also requested that FHWA and NCTA explore methods
to directly address mitigation for indirect and cumulative effects of the proposed project
including long term impacts to water quality The DEIS has no specific discussion of mitigation
for indirect and cumulative effects EPA is concerned that although we specifically identified
significant issues with the use of the North Carolina Wetlands Ratings System (WRS) on this
project (forested wetlands labeled as emergent wetlands forested wetlands adjacent to streams
receiving a rating of zero from at least one of the consultant teams) NCTA continues to rely on
the WRS scores to describe the wetlands that may be impacted NCTA should complete a North
Carolina Wetland Assessment Method (NCWAM) assessment on all wetland impact sites for the
recommended alternative and present the information in the FEIS EPA does not believe that the
WRS provides meaningful information for wetlands permitting decisions In Section 6 of the
DEIS there is a discussion concerning the soils within the project area and states that the entire
area underlain by the project is rated moderate or severe for road construction and may require
special planning design or maintenance to overcome soil limitations However EPA could
find no discussion regarding the need for potential borrow sites and the potential impacts to
uplands wetlands and streams from these borrow pits If borrow sites will be necessary the
FEIS should fully explore the amount of borrow needed and potential impacts (quantitative) to
natural areas including terrestrial areas wetlands and streams
Portions of Abernethy Creek Crowders Creek McGill Branch Catawba Creek and
South Fork Catawba River within the project area are on the 303(d) list of impaired waters due
to aquatic life impairments resulting from urban runoff and storm sewers Some of the possible
causes include non point sources of pollutants such as sediment from construction sites
stormwater runoff from farms and residential areas faulty septic tanks etc Section 6 2 2 4 of
the DEIs lists other possible sources of pollution NCTA s proposed road construction is a type
of activity that is shown to be causing or contributing to the impairment of these receiving
waters Considering the magnitude of the direct impacts there is the potential that NCTA s
activities will cause or contribute to the continued degradation of these waterbodies or prevent
them from being restored contrary to the Clean Water Act The DEIS provides no information
on specific actions that NCTA will take to avoid and minimize impacts (direct and indirect) to
303(d) listed impaired streams Local ordinances riparian buffer rules and implementation of
past stormwater control initiatives have not proven to be successful in addressing these continued
developmental impacts Moreover the recommended alternative will directly impact
approximately 7 5 acres of jurisdictional wetlands and 48 995 linear feet (approximately 9 3
miles) of streams Riparian buffers are not specifically protected in many parts of the project
study area NCTA should commit to provide adequate methods of storm water treatment to
remove pollutants and sediment during construction and afterward While there is a
commitment to adhere to typical NCDOT Best Management Practices (BMPs) and requirements
of the North Carolina Department of Environment and Natural Resources Division of Land
Resources EPA believes that efforts greater than the typical BMP requirements may be
necessary EPA believes that typical sediment and erosion control and stormwater management
controls and Best Management Practices (BMPs) in the Piedmont have not shown to be very
effective based upon NCDOT studies commissioned with the North Carolina State University s
Department of Biological and Agricultural Engineering (1 e Dr Daniel E Line) Erosion rates
from one NCDOT Piedmont project using BMPs still showed off site erosion rates to receiving
waters during construction of 18 5 tons per year over three years NCTA and FHWA should
commit to providing the most aggressive methods of sediment and erosion control and
stormwater treatment to remove pollutants and sediment during construction and afterwards
Specifically NCTA and FHWA should at a minimum make environmental commitments
to provide methods such as wet ponds created stormwater wetlands infiltration trenches and
wells sand filters temporary and permanent retention ponds level spreaders retaining walls to
reduce fill impacts from steep slopes and reinforced grassed swales During construction
NCTA and FHWA should also restrict clearing and grubbing to the maximum extent possible
More effective soil erosion and turbidity control measures researched by NCDOT and NCSU
including Polyacrylamide (PAM) coconut fiber logs and absorbent wattles should be
incorporated into the soil and erosion control plan and included as an environmental commitment
(Note these more costly measures have been shown to drastically reduce turbidity and
sedimentation during construction) Permanent stormwater measures (including detention
basins/hazardous spill catch basins) should be planned and designed within the proposed
facility s right of way to address future development ninoff and hydrologic trespass from off site
sources such as residential and commercial developments toll collection facilities and parking
lots NCTA and FHWA should consider the use of hazardous spill catch basins /stormwater
basins at key locations including 303(d) listed streams that are already impaired from urban
runoff and pollutants EPA as well as other agencies previously requested that FHWA and
NCTA explore methods to directly address mitigation for indirect and cumulative effects of the
proposed project including long term impacts to water quality FHWA and NCTA are not
proposing any mitigation for indirect and cumulative impacts to water quality According to the
Summary of Potential Indirect Impacts (Table S 2) Gaston County is expected to have High
potential for accelerated growth as a result of the project Furthermore this table also cites that
the potential effects on water quality wetlands impaired waterways and watersheds as a result
of the accelerated growth are Strong to Very Strong
In the March 1 2007 scoping letter EPA also requested that FHWA and NCTA perform
a quantitative Indirect and Cumulative Impacts (ICI) analysis for this proposed project The
DEIS does state (i e page 7 2) that a quantitative assessment would be conducted on the
preferred alternative following the DEIS if FHWA and NCTA determine that a quantitative
analysis is needed However the ICI in the DEIS is only qualitative and does not provide
meaningful information concerning potential impacts to wetlands streams water quality air
quality and endangered species The Indirect and Cumulative Effects Section (Section 7) of the
DEIS is not specific and provides no quantitative data to characterize the existing conditions in
the project area (such as percent land use by commercial agriculture etc ) There are no
quantitative data presented in the DEIS concerning potential indirect and cumulative impacts to
wetlands streams water quality and wildlife habitat In general the indirect and cumulative
effects to water quality are not adequately addressed by the DEIS Section 6 2 4 (page 6 9)
states that indirect and cumulative effects to water quality are discussed in Section 7 5
However Section 7 5 (page 7 13) states that indirect and cumulative effects are discussed in
Section 6 2 4 Neither section fully or adequately addresses the issue The ICI simply states that
cumulative effects can be minimized through implementation of local stormwater ordinances and
BMPs However local ordinances and implementation of stormwater control initiatives in the
past have not proven to be successful in addressing these continued development conditions
EPA continues to recommend that the NCTA develop a quantitative analysis of the indirect and
cumulative impacts from the proposed project and recommend appropriate avoidance
minimization and mitigation measures for the anticipated impacts
The FEIS should include more quantitative data on existing conditions and potential
impacts to wetlands streams water quality and wildlife habitat from the No Build Alternative
and the Preferred Alternative Existing land use may be estimated using the NWI data or other
GIS wetland data and the USGS s North Carolina GAP Analysis Project s land use coverage
map There are also many useful GIS data layers at NC One Map The FEIS should calculate
the acreage of induced growth from the Preferred Alternative using the No Build as a baseline
The FEIS should also calculate the cumulative amount of potential impervious surfaces added
and cumulative increase in percent impervious surface for each watershed resulting from the
project and other reasonably foreseeable activities For instance the FEIS developed for the 173
project (TIP I 4923) utilized NRCS s Urban Hydrology for Small Watershed Basins 1975 to
determine the percent of impervious surfaces for land use type This FEIS then multiplied the
predicted acreage of a type of development (residential commercial etc ) by the corresponding
percentage (e g 85% for commercial development 72% for industrial development etc )
Likewise land use models and available GIS information on wetlands and streams in the project
area could be used to develop predictions of indirect and cumulative impacts to wetlands and
streams in the watershed
At a minimum the FEIS should list known areas of impacts (recent and future TIP
projects with projected impacts and other permitted or planned activities) along with the
estimated amounts and a total estimated impact for each watershed Further the water quality
impacts could also be estimated using the FHWA s Constituents of Highway Runoff to
estimate the amount of pollutant that would enter streams after a twenty —day buildup period
assuming there were no strictures such as retention basins or ditches to filter sediment It is
understood that storm water requirements must be met and that avoidance and minimization
efforts may reduce the amount of estimated wetland and stream impacts It is also understood
that the quantitative information is an estimate and may provide a worst case scenario
However the FEIS should provide as much quantitative information as possible
Air Quality Impacts
EPA notes the special project commitment ( Green Sheet ) regarding air quality and that
NCTA will coordinate with GAUMPO and MUMPO to ensure that the air quality conformity
determination for the region includes the project s design concept and scope consistent with the
preferred alternative prior to the Record of Decision (ROD)
EPA believes that vehicle miles traveled (VMTs) will substantially increase from the
proposed action particularly in the Gaston County area EPA further concurs with NCTA and
FHWA that the proposed action will significantly induce { accelerate ) development within the
project study area Increased development further from Charlotte and other more urbanized
areas will invariably increase vehicle commutation distances and result in increased air pollution
emissions Any congestion management relief along 185 and other east west routes will be
potentially offset by increased development sprawl greater VMTs in the project study area
and ultimately increased air pollution emissions
Please refer to Appendix A 8 of the DEIS which includes EPA s letters of November 17
2008 and January 9 2009 on the State Implementation Plan (SIP) We wish to emphasize that
EPA issued a Final Rule in the Federal Register on May 8, 2009 for the Finding of Failure to
Submit State Implementation Plans Required for the 1997 8 Hour Ozone National Ambient Air
Quality Standard North Carolina and South Carolina
The DEIS states that the Charlotte Gastonia Rock Hill air quality region was designated
as a moderate non attainment area on June 15 2004 for the 1997 8 hour ozone standard
Based upon recent monitoring data 2007 and 2008 8 hour ozone concentrations averaged
approximately 84 micrograms per cubic meter (ug /m3) In order to retain the moderate non
attainment status and not be reclassified by EPA as serious non attainment 2009 monitoring
data for the 8 hour ozone standard would have to be 65 ug/m3 While still early in the 2009
ozone season the North Carolina Division of Air Quality (NCDAQ) has already issued several
Code Orange ozone alerts for the Charlotte and Piedmont areas as of June 4 2009 From a CAA
perspective a maintenance area for attainment means that the urban area has exceeded NAAQS
levels for one or more pollutants in the past The 1997 8 hour average ozone standard and the
2008 8 hour average ozone standard are 0 08 and 0 075 parts per million respectively
Section 4 4 4 of the DEIS outlines substantial information on transportation conformity
regional conformity analysis project level ( hot spot ) conformity analysis conformity
determinations for LRTPs and TIPs potential for conformity lapse grace period potential for a
conformity lapse implications for the Gaston East West Connector project status of the SIP for
the Metrolina Region and the status of the SIP EPA concurs with most of the information and
analysis in this section of the DEIS The next update for the GUAMPO LRTP is June 30 2009
and for the MUMPO LRTP it must be approved by May 3 2009
Referring to EPA s previous letters on the SIP and transportation conformity EPA
believes that it is highly improbable that the Charlotte area will be able to retain its moderate
non attainment status for the 8 hour ozone that is required by June 15 2010 One of the primary
reasons for the Environmental Objections rating for the preferred DSA D alternative is where
an action might violate or be inconsistent with achievement or maintenance of a national
environmental standard Under EPA s policy and procedures under Section 309 of the CAA and
NEPA the threshold for rating the environmental impact of the proposed action is based not only
on the potential or likelihood to violate a national environmental standard but also on the
proposed mitigation for the project and if that mitigation is adequate to address the potential and
significant environmental impacts NCTA and FHWA did not propose any air quality related
mitigation to address the potential direct impact from this 22 mile new location toll facility or its
indirect and cumulative effects Until the issues involving the SIP LRTP update TIP and
conformity demonstration are fully resolved EPA believes that this new location project will
continue the pattern of development sprawl in the Charlotte /Metrolina area and further result in
air quality degradation and future potential violations of the CAA s 8 hour ozone standard EPA
concurs with NCTA and FHWA that this new location facility will most likely induce
development in the project study area However EPA does not agree with NCTA and FHWA
conclusion that this induced development will not ultimately result in an increase of the VMTs
due to the construction of the new location roadway Our environmental objection rating
includes other new location alternatives (DSAs) as well
Mobile Source Air Toxics (MSATs)
EPA has reviewed the Mobile Source Air Toxics (MSATs) sections contained at 4 2 3
and Appendix H EPA acknowledges that a more detailed qualitative analysis was provided in
the DEIS The DEIS states that there is an approximate 12% increase (for Gaston County) in
VMTs for the new location alternatives versus the No Build Alternative However EPA does
not concur with the general regional assessment provided in Section 4 2 3 or Appendix H EPA
does concur with the statement provided on Page H 8 of the DEIS In summary under all DSAs
in the design year it is expected that there will be higher MSAT emissions in the immediate
project area relative to the No Build Alternative due to increased VMT EPA s recent
technical comments concerning MSATs for the Monroe Bypass /Connector project apply to this
project as well The qualitative analysis provided in the DEIS considers MSATs to be a regional
air quality issue and does not address the specific environmental concerns for potential near
roadway exposures to increases in MSATs
The DEIS does not identify any local control measures for MSATs in the project study
area FHWA has asserted that MSATs cannot be accurately modeled and the health effects
accurately predicted EPA requests that FHWA provide the identification of local control
measures and how these measures could be assessed against uncertain health effects Again
please refer to EPA s letter dated June 15 2009 concerning MSATs and the specific measures to
reduce emissions during construction and for the final project design
The DEIS does identify 4 public schools (Section 2 3 14 and Figure 3 7a b) located near
the boundaries of the DSA corridors and no other potential sensitive receptors Considering the
10 000 to 61 800 AADTs on the new facility and that this is potentially a new emission source
the development of a finite period monitoring program would not be inconsistent with other past
FHWA actions regarding MSATs Furthermore direct data collection by FHWA would address
some of the uncertainty that it has expressed in the modeling and baseline estimates for
MSATs There are numerous more recent peer reviewed and published health studies and the
correlation with near roadway exposures to MSATs that have not been considered or cited in the
DEIS EPA recently provided examples of several local control measures for the Monroe
Bypass /Connector project that are applicable for this proposed project as well
Environmental Justice (EJ)
Section 3 2 5 1 includes the primary issues of EJ under Executive Order 12898 Section
3 2 5 2 of the DEIS includes a discussion on EJ as it relates to the proposed project including
public involvement and outreach conducted by NCTA and FHWA Table 3 7 provides a general
evaluation for the proposed toll facility EPA does not fully concur with this assessment
provided on Pages 3 25 to 3 28 The minority and low income communities in the project study
area would receive the higher percent of impact from the new facility to terms of air quality
and noise impacts but would not necessarily receive a proportionate benefit of access due to the
potential toll costs This evaluation generally considered direct relocation impacts to minority
and low income neighborhoods and did not fully consider the long term air quality and noise
impacts Using existing 185 and other routes does not address the issue that minority and low
income persons would have to drive further and at greater cost than persons who would have
access to the new toll facility DSA 9 the preferred alternative also has one of the highest
percentages of minority relocations of all of the DSAs (26 28 % of the total number of
residential relocations)
Noise
Section 4 1 of the DEIS contains detailed information regarding potential noise receptor
impacts For DSA 9 there are an estimated 245 total number of impacted receptors using
FHWA Noise Abatement Criteria FHWA and NCTA are proposing 12 feasible and
reasonable noise barriers that are 20 562 linear feet in total length that benefit approximately
169 impacted receptors for DSA 9 NCTA and FHWA are not proposing any other forms of
potential noise abatement measures within the project study area such as different pavement
types reduced speed limits earthen berms or vegetative screens
Prime Farmlands and Agricultural Lands
Section 4 3 4 of the DEIS describes Farmland Impacts It should be noted that North
Carolina lost more than 600,000 acres of farmland from 2002 2007 according to a recent census
by the U S Census of Agriculture Also in this period North Carolina lost approximately 1 000
individual farms A more recent U S Department of Agriculture report in 2007 showed that
North Carolina lost 1 000 farms in 2006 alone makine it the state with the largest loss of farms
in the U S These trends are expected to continue as North Carolina continues to promote
roadway infrastructure development and urbanization further from metropolitan center districts
Past State and Federal initiatives to minimize farmland losses appear to be having little effect on
these alarming trends
None of the farmlands impacted for the DSAs are considered to meet the Land
Evaluation Site Assessment (LESA) criteria under Title 7 CFR Part 658 as being Prime Unique
or of Statewide importance However there are approximately 1 109 acres comprising 21
parcels in Gaston County and within the DSA corridors currently participating in local Voluntary
Agricultural District (VAD) programs This program (NCGS Chapter 106 Sections 735 743)
authorizes counties to undertake a series of programs to encourage the preservation of qualifying
farmland and to foster growth development and sustamability of family farms Figure 4 3
depicts the parcels participating in this farmland preservation program and the corresponding
locations within the DSAs Table 4 11 provides impacts to VAD properties and DSA 9 would
potentially impact 449 1 acres and 10 properties that are participating in the farmland
preservation program The statement concerning Gaston County planning staff and future land
use (i a greater suburban development) appears to be inconsistent with the intent of NC General
Statute for VADs EPA also does not concur with the relocation assessment for active farms
that will need to be relocated and that there is suitable replacement property available The
DEIS does not offer any potential avoidance and minimization measures (e g reduced right of
way keeping to property boundaries providing access to dissected fields etc ) to potentially
reduce impacts to farmlands
Other Human and Natural Environment Direct Impacts
The DEIS identifies other human and natural environment impacts for the DSA 9
preferred alternative as well as other DSAs in Table S 2 including 348 residential relocations 37
business relocations 18 named neighborhoods impacted 3 churches impacted 1 public park 24
hazardous material sites 13 floodplain crossings 2 historic resources with No Adverse Effects
177 acres in agricultural lands and 882 acres of terrestrial forests Potential impacts to
archeological sites are considered to be Moderate but final surveys have not been conducted
Due to the rural nature of a substantial portion of the project study area and the significant
impacts to terrestrial forests the EPA believes that wildlife habitat fragmentation is a potentially
significant issue including safety concerns EPA believes that further consultation with FWS
and WRC is needed to identify wildlife crossings and other minimization measures involving
large mammals such as deer and a new high speed multi lane facility EPA notes the
comments on page 6 18 of the DEIS concerning the feasibility and design of the wildlife passage
at Stream S 156
NCTA and FHWA estimate the probable range of total project costs at $1 18 to $14
billion with a median total project cost of $128 billion for DSA 9
Indirect and Cumulative Effects
In general the Indirect and Cumulative Effects (ICE Section 7) is not specific and
provides no quantitative data to characterize the existing conditions in the project area (such as
percent land use by commercial agriculture etc ) There are no quantitative data concerning
potential impacts to wetlands streams water quality and habitat Section 7 of the DEIS only
provides qualitative statements and in some cases subjective conclusions The DEIS assumes
that growth will continue in the corridor regardless of the construction new location roadway
and that the existing local and state requirements will minimize impacts However no data is
provided to support these conclusions For this proposed toll facility the ICE is broken up into
Districts EPA does not concur with numerous subjective statements concerning future
development and growth without the proposed project Interchange locations as identified on
pages 7 14 and 7 15 are very likely to develop in the future — but only with the new roadway
DEIS Figure 7 2 and page 7 12 of the ICI demonstrates the expected travel time savings
from the project More than half of the project area shows little if any (0 5 minutes) time
savings in travel from the proposed project The greatest area of travel time improvement is
along the project in the southeast corner of Gaston County and south to York County There
appears to be little to no change for most of Gaston County and project study area However
Table 7 2 on page 7 20 which indicates a High Potential for Project to Improve Mobility
Access and Connectivity in both Gaston and Mecklenburg portions of the ICE study area
which is inconsistent with the fact that more than half of Gaston County s portion of the study
area is shown with little to no time savings and all of Mecklenburg County s portion of the
study area is shown with little to no time savings (Figure 7 2)
The FEIS should include more quantitative data on existing conditions and potential
impacts to wetlands streams water quality and habitat from the No Build Alternative and the
Preferred Alternative For example existing land use may be estimated using the NWI data or
other GIS wetland data and the USGS s North Carolina GAP Analysis Project s land use
coverage map There are also many useful GIS data layers at NC One Map The FEIS should
calculate the acreage of induced growth from the Preferred Alternative using the No Build as a
baseline The FEIS should also calculate the cumulative amount of potential impervious surfaces
added and cumulative increases in percent impervious surface for each watershed from the
proposed project and other reasonably foreseeable activities For instance the FEIS developed
for the 173 project (TIP I 4923) utilized NRCS s Urban Hvdrologv for Small Watershed Basins
1975 to determine the percent of impervious surfaces for land use type This FEIS then
multiplied the predicted acreage of a type of development (residential commercial etc ) by the
corresponding percentage (e g 85% for commercial development 72% for industrial
development etc ) Likewise land use models and available GIS information on wetlands and
streams in the project area could be used to develop predictions of indirect and cumulative
impacts to wetlands and streams in the watershed
1,q
At a minimum the FEIS should list known areas of impacts (recent and future TIP
projects with projected impacts and other permitted or planned activities) along with the
estimated amounts and a total estimated impact for each watershed Further the water quality
impacts could be estimated using the FHWA s Constituents of Highway Runoff to estimate the
amount of pollutant that would enter streams after a twenty —day buildup period assuming there
were no structures such as retention basins or ditches to filter sediment It is understood that
storm water requirements must be met and that avoidance and minimization efforts may reduce
the amount of estimated wetland and stream impacts It is also understood that the quantitative
information is an estimate and may provide a worst case scenario However the FEIS should
provide as much quantitative information as possible and EPA is requesting a more quantitative
indirect and cumulative impact assessment for the preferred DSA 9 alignment for all the
Districts
DEIS Format
EPA notes that the DEIS is divided into twelve (12) sections There is a recommended
tormat for environmental impact statements specified at Title 40 of the Code of Federal
Regulations Section 1502 10 EPA recommends that the FEIS for this proposed toll facility be
presented in the recommended format contained in the CEQ regulations Subsections under the
basic chapter headings might be used as appropriate
References
FHWA 1981 FHWA/RD 81/042 Constituents of Highway Runoff Washington D C 1981
USDA NRCS Soil Conservation Service Engineering Division Urban Hydrology for Small
Watershed Basins Technical Release No 55 January 1 1975
USFWS National Wetland Inventory Wetlands Digital Data
USGS North Carolina GAP Analysis Project Land Use Coverage Map
}