HomeMy WebLinkAbout20201798 Ver 1_Six Runs ePCN - Additional Information Request_20220829
Hamilton, Ryan
From:Davis, Erin B
Sent:Wednesday, September 7, 2022 1:55 PM
To:Hamilton, Ryan
Subject:FW: \[External\] RE: Six Runs ePCN - Additional Information Request
Follow Up Flag:Follow up
Flag Status:Flagged
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DWR#: 20201798 v.1
Doc Date: 8/29/22
Doc Type: More Information… More Info Received
Doc Name: Same as email subject
From: Bradley Breslow <bbreslow@res.us>
Sent: Monday, August 29, 2022 9:55 AM
To: Davis, Erin B <erin.davis@ncdenr.gov>; Xu, Lin <lin.xu@ncdenr.gov>
Cc: Kim Browning <Kimberly.D.Browning@usace.army.mil>; Matthew Deangelo <mdeangelo@res.us>; Jamey
Mceachran <jmceachran@res.us>
Subject: \[External\] RE: Six Runs ePCN - Additional Information Request
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Hi Erin,
Sorry for the slow response. See information below. Thanks,
B. 2e. – (910) 327-1744
B. 2g. – shlleybo@aol.com
3. – Applicant info
- Remains as-is with DMS info
Agent/Consultant info
- Bradley Breslow
- Resource Environmental Solutions, LLC
- 3600 Glenwood Avenue, Suite 100
Raleigh, NC 27612
- (919) 209-1062
- bbreslow@res.us
Split impact S1 into the following:
- 1,058 LF Temporary Impact due to Grading/Bank Stabilization
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- 160 LF Permanent Impact due to Log Sill installation (this length accounts for the total footprint of each log sill
and rock backfill)
Brad Breslow
Regulatory Manager
RES | res.us
Direct: 919.209.1062 | Mobile: 847.774.8404
From: Davis, Erin B <erin.davis@ncdenr.gov>
Sent: Monday, August 22, 2022 1:18 PM
To: Bradley Breslow <bbreslow@res.us>; Xu, Lin <lin.xu@ncdenr.gov>
Cc: Kim Browning <Kimberly.D.Browning@usace.army.mil>
Subject: \[EXTERNAL\] Six Runs ePCN - Additional Information Request
Brad/Lin,
In reviewing the Six Runs ePCN, it appears that some of the Section B. 2. owner information is not accurate (e.g., Brad’s
email and phone are listed for Daniel Chad Evans), and RES’ information wasn’t entered as the agent/co-applicant.
When we switched to the ePCN format back in 2020, we settled on addressing the DMS/Provider co-applicant status by
having DMS listed in the applicant subsection and the Provider listed in the agent subsection, and then both as
application signatories at the end. This is particularly important now that DWR is issuing Individual Certifications because
each certification is tied specifically to the named company(s) and individual(s) referenced. Please email me an updated
Section B Owner and Agent/Co-applicant Information.
Also, please note that both Kim and I questioned in-stream structure installation being listed as a temporary impact. I
respectfully disagree with your argument that this is a temporary impact. A permanent impact does not necessarily
equate to a resource loss (or negative impact). Please refer to the PCN Help Document (revised 4/20/2022) – Permanent
impact: if the fill or alteration of the stream will result in a post construction loss or change in stream morphology and
function. Please let me know is you would like to split the S1 Brad’s Branch Stream Impact into a temporary bank
stabilization impact and permanent in-stream installation impact or keep them lumped as a single permanent impact
(which is all entered into our BIMS permit database as an “improvement”).
Please don’t hesitate to reach out with any questions.
Many thanks,
Erin B. Davis, PWS
Stream & Wetland Mitigation Coordinator
401 & Buffer Permitting Branch
Division of Water Resources
Department of Environmental Quality
919-817-0360 cell
erin.davis@ncdenr.gov
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