HomeMy WebLinkAbout20210364 Ver 1_More Information Received_20220519Strickland, Bev
From: John Farmer <John.Farmer@eli-Ilc.com>
Sent: Thursday, May 19, 2022 7:18 PM
To: David.E.Bailey2@usace.army.mil; Cohn, Colleen M
Cc: DePalma, Alicia Knowles; Keith Gualtieri
Subject: [External] RE: SAW-2021-01288 PNG- Line 142; Wake and Johnston Counties, NC
Attachments: Neu -Con SOA - Blackbird - PNG Line 142 Gas Pipeline.pdf
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Good Evening David:
Please find attached the Statement of Availability for the 1.45 acre wetland credits as required.
Sincerely,
John Farmer
ELI
From: Bailey, David E CIV USARMY CESAW (USA) <David.E.Bailey2@usace.army.mil>
Sent: Thursday, May 19, 2022 12:43 PM
To: John Farmer <John.Farmer@eli-Ilc.com>; Cohn, Colleen M <colleen.cohn@ncdenr.gov>
Cc: DePalma, Alicia Knowles <Alicia.DePalma@duke-energy.com>; Keith Gualtieri <Keith.Gualtieri@eli-Ilc.com>
Subject: RE: SAW-2021-01288 PNG- Line 142; Wake and Johnston Counties, NC
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Hi John. Unless otherwise justified by an assessment of aquatic function see in red the Corps' typical required
compensatory mitigation ratios, as requested:
Wetlands- 1.446 acres (permanent conversion from non -forested to forested) — 1:1
Wetlands- 0.002 acres (permanent fill) — 2:1
Streams- 100 SF (permanent fill); stream impact length of 35 ft — None, as proposed cumulative permanent stream fill <
0.02 acre for this project.
Hopefully that helps.
-Dave Bailey
David E. Bailey, PWS
Regulatory Project Manager
US Army Corps of Engineers
CE-SAW-RG-R
1
3331 Heritage Trade Drive, Suite 105
Wake Forest, North Carolina 27587
Mobile: (919) 817-2436
Office: (919) 554-4884, Ext. 30.
Fax: (919) 562-0421
Email: David.E.Bailey2@usace.army.mil
We would appreciate your feedback on how we are performing our duties. Our automated Customer Service Survey is
located at: https://regulatory.ops.usace.army.mil/customer-service-survey/
Thank you for taking the time to visit this site and complete the survey.
From: John Farmer <John.Farmer@eli-Ilc.com>
Sent: Thursday, May 19, 2022 12:33 PM
To: Bailey, David E CIV USARMY CESAW (USA) <David.E.Bailey2@usace.army.mil>; Cohn, Colleen M
<colleen.cohn@ncdenr.gov>
Cc: DePalma, Alicia Knowles <Alicia.DePalma@duke-energy.com>; Keith Gualtieri <Keith.Gualtieri@eli-Ilc.com>
Subject: [Non-DoD Source] SAW-2021-01288 PNG- Line 142; Wake and Johnston Counties, NC
Good Afternoon:
The following summarizes the permanent impacts for SAW-2021-01288 as submitted on 13 May 22:
Wetlands- 1.446 acres (permanent conversion from non -forested to forested)
Wetlands- 0.002 acres (permanent fill)
Streams- 100 SF (permanent fill); stream impact length of 35 ft
Riparian Buffers- 120,009 SF (Zone 1 permanent)
Riparian Buffers- 82,061 SF (Zone 2 permanent)
Please determine the mitigation ratios for these permanent impacts so that we may engage mitigation banks as
required.
Sincerely,
John L. Farmer, PE, CPESC, TN QHP
Energy Land & Infrastructure, LLC (PLLC in NC)
745 South Church Street, Suite 805
Murfreesboro, TN 37130
(615) 383-6300 Office
john.farmer@eli-Ilc.com
2
fires
EBX-Neuse I, LLC Stream and Wetland Banks
Statement of Availability May 19, 2022
U.S. Army Corps of Engineers
David Bailey
Raleigh Regulatory Field Office
3331 Heritage Trade Center, Suite 105
Wake Forest, NC 27587
Re Project: PNG Line 142 Gas Pipeline
This document confirms that Piedmont Natural Gas (Applicant) for the PNG Line 142 Gas Pipeline
(Project) has expressed an interest to utilize 1.45 Riparian Wetland Mitigation Credit from the EBX-
Neuse sponsored Neu -Con Wetland & Stream Umbrella Mitigation Bank, specifically 1.45 wetland
credits from the Blackbird Site, in the Neuse HUC 03020201. As the official Bank Sponsor, EBX-Neuse
I, LLC, attests to the fact that mitigation is available for reservation at this time.
These mitigation credits are not considered secured, and consequently are eligible to be used for alternate
purposes by the Bank Sponsor, until payment in full is received from the Applicant resulting in the
issuance of a Mitigation Credit Transfer Certificate by the bank acknowledging that the Applicant has
fully secured credits from the bank and the Banker has accepted full responsibility for the mitigation
obligation requiring the credits/units.
The Banker will issue the Mitigation Credit Transfer Certificate within three (3) days of receipt of the
purchase price. Banker shall provide to Applicant a copy of the Mitigation Credit Transfer Certificate and
a documented copy of the debit of credits from the Bank Official Credit Ledger(s), indicating the permit
number and the resource type secured by the applicant. A copy of the Mitigation Credit Transfer
Certificate, with an updated Official Credit Ledger will also be sent to regulatory agencies showing the
proper documentation.
If you have any questions, please contact me at 919-209-1055 or astaley@res.us.
Best Regards,
'A V�— �'
Amy Staley
Resource Environmental Solutions, LLC
3600 Glenwood Avenue, Suite 100
Raleigh, NC 27612