HomeMy WebLinkAbout20130230 Ver 3 - SAW2016-00481_QuailHollow_Response_4.11.16.pdf - 4/13/2016CAROLINA WETLAND SERVICES, INC.
550 E. Westinghouse Blvd.
Charlotte, NC 28273
704-527-1177 (office)
704-527-1133(fax)
April 11, 2016
Mr. David Shaeffer
Project Manager/Geographer
U.S. Army Corps of Engineers
Charlotte Regulatory Satellite Office
Subject: Quail Hollow (SAW -2016-00481)
Response to Request for Additional Information
Charlotte, North Carolina
CWS Project No. 2016-3882
Dear Mr. Shaeffer:
Quail Hollow Club has contracted Carolina Wetland Services, Inc. (CWS) to provide Section
404/401 permitting services for this project.
Applicant Name: Quail Hollow Country Club; POC: Mr. Tom DeLozier
Mailing Address: 3700 Gleneagles Rd, Charlotte, NC 28210
Phone Number of Owner/Applicant: 704-716-9786
Street Address of Project: located east of the intersection of Park Road and Gleneagles Road in
Charlotte, North Carolina
Waterway: UT to McMullen Creek
Basin: Santee (HUC' 03050103)
City: Charlotte, NC
County: Mecklenburg
Tax Parcel No.: 20956101
Decimal Degree Coordinate Location of Project Site: 35.112315, -80.844985
USGS Quadrangle Name: Weddington, SC -NC, dated 1988
On April 6, 2016, Alan Johnson of the NC Department of Environmental Quality (NCDEQ) and
Gregg Antemann and Kelly Thames of CWS met on site to discuss the project and
jurisdictionally of the stream in question. During the site visit, additional NCDEQ Stream
Classification Forms were completed, which determined that the upper portion of Stream A is a
non jurisdictional ephemeral conveyance. A revised Jurisdictional Boundary map (Figure 1),
Stream Classification Points (SCP1 — SCP3), and a photopage are attached. Please consider this
permit application in light of the change in stream classification for the upper portion of Stream
A.
' "HUC" is the Hydrologic Unit Code. U.S. Geological Survey, 1974. Hydrologic Unit Map, State of North Carolina.
NORTH CAROLINA* SOUTH CAROLINA
Quail Hollow (SAW -2016-00481) April 11, 2016
Response to Request for Additional Information CWS Protect No. 2016-3882
In response to your letter via email dated April 5, 2016 (attached):
In is unclear, from the plans submitted and the project description, why the course cannot be
redesigned to completely avoid this stream. Please submit a set of plans that clearly shows
how the entire course would be reconfigured and provide a detailed description of why this
stream cannot be avoided.
a. The purpose of this project is to make improvements for six holes within the existing
golf course for the PGA Championship that Quail Hollow Country Club is hosting in
August 2017 (Figure 2, attached). Quail Hollow Country club is the premier golf club
in Charlotte, NC and plays host to multiple golf tournaments. Six of the holes within
the golf course require a redesign in order to meet the standards for the upcoming
PGA Championship. The project's goals include longer distances from tees to holes
and a greater degree of difficulty in the fairway design to provide new challenges to
players. Sales for this event have already commenced and our client would like to
begin work on the north course in May of this year in order that work would be
complete in time for the tournament season in 2017.
b. The adjustment extension and reconfiguring of Hole #1 proposed for the PGA
Championship will result in the hole playing into the area of the current 2nd golf hole
(Figures 2 and 3, attached). This redesign of Hole #1 will result in an impact to
Stream A and is necessary to provide the fairway and rough play areas.
Moreover, this feature is highly eroded and incised and posing a safety hazard. With
regard to Quail Hollow annually hosting a significant professional golf tournament,
and especially in 2017 with a major professional tournament (the PGA
Championship), the current condition of Stream A would pose a safety risk daily for
the thousands of pedestrian spectators who will be circulating in proximity to this area
during each year's tournament. Additionally, outside of the annual professional
tournament, thousands of golfers play the course each year and would also be
susceptible to same risk. The proposed piping of Stream A will improve the daily
function of the annual professional golf tournaments by providing a safer, more
functional, and more usable circulation corridor on the right side of Hole #1 for
spectators, players/participants, tournament officials, maintenance personnel, and
others.
d. Therefore, due to the necessary redesign of Hole #1 required for the 2017 PGA
Championship and the safety hazard of its current condition, an impact to Stream A is
unavoidable. Proposed impacts include 117 linear feet of pipe.
2. Please submit a proposal to compensate for the loss of the stream. Generally speaking, lower
quality streams requires a compensatory mitigation ratio of 1:1 or less. The compensatory
mitigation proposal should be based on the functions currently being provided by the stream
and the likely functions that would be provided through the compensatory mitigation
proposal/project.
a. Per the site visit on April 6, 2016, the upper portion of Stream A is now considered a
non jurisdictional ephemeral conveyance and is depicted on the revised JD figure and
stream classification forms. Only 117 linear feet (0.01 acre) of jurisdictional channel
is located within the project limits and is proposed to be impacted. Therefore, as the
proposed impact linear footage amount is below 150 linear feet, compensatory
mitigation is no longer required.
Quail Hollow (SAW -2016-00481) April 11, 2016
Response to Request for Additional Information CWS Protect No. 2016-3882
3. The geographic coordinate found throughout the application is incorrect.
a. Yes the coordinates were incorrect, however, the correct ones are 35.112315,
-80.844985, which should be approximately where Photograph D (attached)
was taken and is illustrated on the revised JD map (Figure 1, attached).
4. You state in the drawings and the application that the upstream end of Stream A would be
permitted as acreage. This is not correct. Stream impacts should be quantified using linear
footage and cubic yards below OHWM. Wetlands should be quantified using acreage or
square footage. Impoundments of waters (ponds/lakes) should be quantified using acreage or
square footage and cubic yards below OHWM. It is helpful to provide the area of stream loss
in cases where the impacts are close to the 0.5 acre loss threshold under the NWP program
(very rare).
a. Per the site visit on April 6, 2016, the upper portion of Stream A is now considered a
non jurisdictional ephemeral conveyance and is depicted on the revised JD figure and
stream classification forms. Only 117 linear feet (0.01 acre) of jurisdictional channel
is proposed to be impacted.
Thank for you your consideration in this matter. Please do not hesitate to contact us at 704-408-1683,
or through email at gregg@cws-inc.net should you have any additional questions or comments
regarding this letter.
Sincerely,
Z711 -a C l
Gregg Antemann, PWS
Principal Scientist
2 u.
Fx.BUPEtaGMAN:
+y1 S4
-�U�
Kelly ames, PWS
Project Manager
Attachments: Figure 1. Revised JD Map
Figure 2. Proposed Impacts — Overview
Figure 3. Proposed Impacts
Figure 4. Proposed Impacts
USACE Correspondence Email
NCDEQ Stream Classification Forms (SCP 1-SCP3)
Photophage
3
Non -Jurisdictional Ephemeral Conveyance
NCDEQ Score: 18 (SCP1) and 13 (SCP2)
/ ♦ S CP2
A'S CP3
L.'
It' SCP 1
Seasonal RPW Stream A
Downstream Reach: 117 If
NCDEQ Score: 25 (SCP3)
To be permitted as linear feet.
REFERENCE: BACKGROUND GIS LAYER(S) PROVIDED BY MECKLENBURG COUNTY GIS
DEPARTMENT, DATED 2015.
NOTE: JURISDICTIONAL WATERS OF THE U.S. WERE DELINEATED (FLAGGED IN THE FIELD),
CLASSIFIED, AND SURVEYED USING A SUB -FOOT GPS UNIT BY CWS, INC., ON FEBRUARY 9,
2016. JURISDICTIONAL FEATURES HAVE NOT BEEN VERIFIED BYTHE USACE.
SCALE: 1" : 50' DATE: 2-9-2016
CWS PROJECT NO: DRAWN BY: MM L
2016-3882
PPLICANT NO: CHECKED BY: CAROLINA
KMT WETLAND SERVICES
CNJ
Legend
Project Limits
Seasonal RPW; Downstream Reach
Non -Jurisdictional Ephemeral Conveyance
Roads
Parcels
Photo Location and Direction
♦SCP Stream Classification Point
50 25 0 50 Feet
Jurisdictional Boundaries FIGURE NO.
Quail Hollow 6
Charlotte, North Carolina
CWS Project No. 2016-3882 -.0000
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ColeJenest
& Stone
Shaping the Environment
Realizing the Possibilities
Land Planning
+
Landscape Architecture
+
Civil Engineering
+
Urban Design
200 South Tryon Street, Suite 1400
Charlotte, North Carolina 28202
p+ 704 376 1555 f+ 704 376 7851
url+ www.colejeneststone.com
QUAIL HOLLOW
CLUB
3700 Gleneagles Road
Charlotte
North Carolina 28284
QUAIL HOLLOW
SILT FENCE "STONE" OUTLET 18, 19/C-800
SEE GENERAL NOTE #9/CV3.0 IMPROVEMENTS
EXISTING STORM DRAINAGE -/-
x� SILT FENCE STORM INLET
SEDIMENT BUNKER 3/C-800
CATCH BASIN INLET PROTECTION 10/C-800
PROPOSED STORM DRAINAGE -/-
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PROPOSED CURB INLET -/-
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PROPOSED DROP INLET -/-
AD
PROPOSED AREA DRAIN -, -
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PROPOSED MANHOLE -/-
c. o. •� —
PROPOSED ROOF DRAIN LINE -/-
PROPOSED PVC PIPE TO SUBSURFACE
— — — — DRAINAGE, TO BE DESIGNED AND 1/C-801
INSTALLED BY FAZIO DESIGN
PROPOSED GREEN, FAIRWAY, _
TEE BOX & BUNKER /
PROPOSED CART PATH 11/C-801
DENUDED PROJECT LIMITS -/-
TREE REMOVAL NOTE:
CONTRACTOR TO IDENTIFY TREES TO BE REMOVED. FAZIO DESIGN TO
CONFIRM PRIOR TO REMOVAL. PRESERVE TREES WHENEVER POSSIBLE,
INSTALL TREE PROTECTION FENCE AS REQUIRED.
EXISTING STORM NOTE:
FOR THE EXISTING GRATE STORM INLETS IDENTIFIED ON PLAN, CONVERT
STRUCTURES TO MANHOLE, CAP 12" BELOW SURFACE AND MARK CAP
WITH TRACER WIRE LOCATOR SERVICE. OTHER STORM INLETS WITHIN
THE PROJECT LIMITS NOT SHOWN ON PLAN NEED TO BE CAPPED.
CONTRACTOR TO VERIFY WITH FAZIO DESIGN AND COLEJENEST&STONE.
SEE SHEET C-300 FOR GENERAL,
DEMOLITION AND CONSTRUCTION
SEOUENCE NOTES
NO DEMOLITION SHALL OCCUR PRIOR TO THE
ISSUANCE OF THE GRADING PERMIT FROM THE
CITY OF CHARLOTTE ENGINEERING DEPARTMENT,
NCDENR SECTION 401 WOO PERMIT, AND U.S.
ARMY CORPS OF ENGINEERS SECTION 404
PERMIT.
4
I � �
1. CONTRACTOR IS FULLY RESPONSIBLE FOR CONTACTING
APPROPRIATE PARTIES AND ASSURING THAT EXISTING UTILITIES ARE
LOCATED PRIOR TO CONSTRUCTION.
2. CONTRACTOR IS RESPONSIBLE FOR PLACING BARRICADES USING
FLAG MEN, ETC. AS NECESSARY TO INSURE SAFETY TO THE PUBLIC.
3. ALL PAVEMENT CUTS, CONCRETE OR ASPHALT, ARE TO BE
REPLACED ACCORDING TO STANDARDS OF THE NORTH CAROLINA
DEPARTMENT OF TRANSPORTATION AND CHARLOTTE-MECKLENBURG
UTILITIES SPECIFICATIONS.
4. SHORING WILL BE ACCORDING TO OSHA TRENCHING STANDARDS
PART 1926 SUBPART P, OR AS AMENDED.
HOLES #1, #4,
#5, #9 & #11
3700 Gleneagles Road
Charlotte
North Carolina 28210
EROSION
CONTROL PLAN,
STAGE - 2
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The drawings, the project manual and the design shown
theron are instruments of ColeJenest & Stone, P.A.. The
reproduction or unauthorized use of the documents without
consent of ColeJenest & Stone, P.A. is prohibited.
ColeJenest & Stone, P.A. 2014
Carolina Wetland Services, Inc. Mail - SAW -2016-00481 Quail Hollow ...
Gdail-
qk
https://mail.google.com/mail/u/O/?ui=2&ik=e89615efe3 &view=pt&cat...
SAW -2016-00481 Quail Hollow Country Club, Course Redesign (Initial Incomplete)
Shaeffer, David L SAW<David.L.Shaeffer@usace.army.mil>
To: Kelly Thames <kelly@cws-inc.net>, Gregg Antemann <gregg@cws-inc.net>
Cc: "Johnson, Alan" <alan.johnson@ncdenr.gov>
Greg/Kelly,
Kelly Thames <kelly@cws-inc.net>
Tue, Apr 5, 2016 at 12:22 PM
On March 7, 2016, we received your application for a Department of the Army permit to place fill material into waters of the U.S. to facilitate the redesign of a golf course in Charlotte, Mecklenburg County, North
Carolina. We have assigned the project the reference number SAW -2016-00481. Please cite this reference number in the subject line of all correspondence with us concerning this project. I will be the project
manager processing this application. I have completed the initial review of the application and it is incomplete. The following is necessary before I can proceed with processing your application:
a. In accordance with 2012 Nationwide Permit General Condition 31(b)(3), your pre -construction notification must include a description of the proposed project and the project's purpose. The description should
be sufficiently detailed to allow the district engineer to determine that the adverse effects of the project will be minimal and to determine the need for compensatory mitigation. The stated purpose of the project
is "... to make improvements for six holes within the existing golf course for the PGA Championship that Quail Hollow Country Club is hosting in August 2017". The application also states that six of the holes
within the golf course require a redesign in order to meet the standards for the upcoming PGA Championship. I have reviewed the plans submitted with the application and aerial imagery of the stream. The
streams appears to be located in a wooded area between two existing grassed fairways. In is unclear, from the plans submitted and the project description, why the course cannot be redesigned to completely
avoid this stream. Please submit a set of plans that clearly shows how the entire course would be reconfigured and. provide a detailed description of why this stream cannot be avoided.
b. In accordance with Wilmington District regional general condition 3.2 of the 2012 Nationwide Permit, compensatory mitigation is required for any NWP that results in a loss of more than 150 linear feet of
perennial and/or ephemeral/intermittent stream to compensate for more than minimal individual and cumulative adverse impacts to the aquatic environment. Please submit a proposal to compensate for the
loss of the stream. Generally speaking, lower quality streams requires a compensatory mitigation ratio of 1:1 or less. The compensatory mitigation proposal should be based on the functions currently being
provided by the stream and the likely functions that would be provided through the compensatory mitigation proposal/project.
Also, the following errors in the application should be corrected:
a. The geographic coordinate found throughout the application are incorrect.
b. You state in the drawings and the application that the upstream end of Stream A would be permitted as acreage. This is not correct. Streams impacts should be quantified using linear footage and cubic
yards below OHWM. Wetlands should be quantified using acreage or square footage. Impoundments of waters (ponds/lakes) should be quantified using acreage or square footage and cubic yards below
OHWM. It is helpful to provide the area of stream loss in cases where the impacts are close to the 0.5 acre loss threshold under the NWP program (very rare).
Please submit the required information within 30 -days from the date of this correspondence. If you do not submit this information with 30 -days your application will be administratively canceled. Cancellation of
your application does not preclude you from reopening the application at a later time, provided you submit the information requested above. If you have any question please contact me via e-mail at
david.l.shaeffer@usace.army.mil or by telephone at (704) 510-1437.
Sincerely,
David L. Shaeffer
Project Manager/Geographer
U.S. Army Corps of Engineers
Charlotte Regulatory Satellite Office
Mobile: 704-619-8961
The Wilmington District is committed to providing the highest level of support to the public. To help us ensure we continue to do so, please complete the Customer Satisfaction Survey located at
BlockedBlockedhftp://corpsmapu.usace.army.mil/cm apex/f? p=136:4:0
1 of 1 4/11/2016 11:37 AM
NC DWQ Stream Identification Form Version 4.11
Date: ` �(0 Zd
Project/Site: VAAMAJ
Latitude: 35 2 CJ
Evaluator: �A0t° s G� �uf� s f
County: tAr4 i G
Longitude: - 5b1$qqga5,
0
1
2
Total Points:
Streamrperes at
l
Stream Determination (circle one)
hemer Intermittent Perennial
Other
e.g. Quad Name:
if >_ 19 or erennial if >_ 30*
perst ennial
2
3
A. Geomorphology (Subtotal = )
Absent
Weak
Moderate
Strong
1a Continuity of channel bed and bank
0
1
2
3
2. Sinuosity of channel along thalweg
0
1
2
3
3. In -channel structure: ex. riffle -pool, step -pool,
ripple -pool sequence
16. Organic debris lines or piles
1
2
3
4. Particle size of stream substrate
0
1
1
3
5. Active/relict floodplain
0
1
1
3
6. Depositional bars or benches
0
1
2
3
7. Recent alluvial deposits
0
1
2
3
8. Headcuts
0
1
2
3
9. Grade control
ff
0.5
1
1.5
10. Natural valley
0
0.5
1
1.5
11. Second or greater order channel
No
0
Yes = 3
Sketch:
CetP '. i.e 1
artificial ditches are not rated; see discussions in manual
B. Hvdroloqv (Subtotal = 02 )
12. Presence of Baseflow
0)1
2
3
13. Iron oxidizing bacteria
0 1
2
3
14. Leaf litter
1. 1
0.5
0
15. Sediment on plants or debris
M 0.5
1
1.5
16. Organic debris lines or piles
0 0.5')
1 1
1.5
17. Soil -based evidence of high water table?
No
Yes = 3
1
C. Biology (Subtotal = C - )
18. Fibrous roots in streambed
3
2
1
0
19. Rooted upland plants in streambed
2
1
0
20. Macrobenthos (note diversity and abundance)
1
2
3
21. Aquatic Mollusks
0
1
2
3
22. Fish
0)
0.5
1
1.5
23. Crayfish
0
0.5
1
1.5
24. Amphibians
0.5
1
1.5
25. Algae
0
0.5
1
1.5
26. Wetland plants in streambed
FACW = 0.75;
OBL = 1.5 Other = 0
*perennial streams may also be identified using other methods. See p. 35 of manual.
Notes:
Sketch:
CetP '. i.e 1
NC DWQ Stream Identification Form Version 4.11
Date: 01--t ( If
Project/Site: QLIQu +(olu_a
Latitude: 35'n'1'3\5
Evaluator: h
County: MQ�G(
Longitude:-tao,84,45
3
2
Total Points:Strea
etermination (circle one)
Other
Stream is at least intermittent 1 1
1J
emera Intermittent Perennial
e.g. Quad Name: C? 2
if >_ 19 or perennial if >_ 30"
16. Organic debris lines or piles
1
A. Geomorphology (Subtotal =__-"5__)
Absent
We k
Moderate
Strong
1a. Continuity of channel bed and bank
0
3
2
3
2. Sinuosity of channel along thalweg
0
1
0
3
3. In -channel structure: ex. riffle -pool, step -pool,®
ripple -pool sequence
16. Organic debris lines or piles
1
2
3
4. Particle size of stream substrate
0
1
2
3
5. Active/relict floodplain
CP
0.5
2
3
6. Depositional bars or benches
0
1
2
3
7. Recent alluvial deposits
0
1
2
3
8. Headcuts
0
1
2
3
9. Grade control
CO)
0.5
1
1.5
10. Natural valley
0
oft 0.5
1
1.5
11. Second or greater order channel
No =0
Yes = 3
Sketch:
C o1'P Cowry.' triol 1
a artificial ditches are not rated; see discussions in manual
B. Hvdroloav (Subtotal = a 1
12. Presence of Baseflow
0, 1
2
3
13. Iron oxidizing bacteria
C111 1
2
3
14. Leaf litter
1. 1
0.5
0
15. Sediment on plants or debris
0 5
1
1.5
16. Organic debris lines or piles
1
1 1
1.5
17. Soil -based evidence of high water table?
No =
Yes = 3
1
C. Bioloov (Subtotal = l n 1
18. Fibrous roots in streambed
3
2
1
0
19. Rooted upland plants in streambed
2
1
0
20. Macrobenthos (note diversity and abundance)
1
2
3
21. Aquatic Mollusks
1
2
3
22. Fish
0.5
1
1.5
23. Crayfish
!0"
0.5
1
1.5
24. Amphibians
0
0.5
1
1.5
25. Algae
0
0.5
1
1.5
26. Wetland plants in streambed
FACW = 0.75; OBL =
1.5 Other = 0
*perennial streams may also be identified using other methods. See p. 35 of manual.
Notes:
Sketch:
C o1'P Cowry.' triol 1
NC DWO Stream Identification Form Version 4.11
Date: y -l`_Q - Zb)11.0
Project/Site: (��x � �69E
Latitude:
Evaluator: A)n�n Tahnsorti, C-,, pr,�,�,�,r,y�,
�, -thavra
Count y` Meek��n ►�
Longitude: _
g g O.84y 9 $5
Total Points:Stream
Determination (circle one)
Other Stb�wi A,,
Stream is at least intermittent 2 5
Ephemeral Intermitten Perennial
e.g. Quad Name: �,p 3
if >_ 19 or perennial if >_ 30`
2D
3
A. Geomorphology (Subtotal = ( )
Absent
Weak
Moderate
Strong
1a. Continuity of channel bed and bank
0
1
Q
3
2. Sinuosity of channel along thalweg
0
1
2D
3
3. In -channel structure: ex. riffle -pool, step -pool,
ripple -pool sequence
No = 0
1
2
3
4. Particle size of stream substrate
0
1
2
3
5. Active/relict floodplain
0
1
2
3
6. Depositional bars or benches
0
1
1
3
7. Recent alluvial deposits
0
1
1
3
8. Headcuts
0
1
0
3
9. Grade control
0.5
1
1.5
10. Natural valley
0
0.5
cts
1.5
11. Second or greater order channel
No = O�5
Yes = 3
Sketch:
artificial ditches are not rated; see discussions in manual
B. Hvdroloqv (Subtotal = (D )
12. Presence of Baseflow
0 Q
2 3
13. Iron oxidizing bacteria
0 1
2 3
14. Leaf litter
1.5 0
0.5 0
15. Sediment on plants or debris
0 0.5
1 1.5
16. Organic debris lines or piles
0 0.5
1.5
17. Soil -based evidence of high water table?
No = 0
Yes = j)
C. Biology (Subtotal = (p )
18. Fibrous roots in streambed
2
1
0
19. Rooted upland plants in streambed
3
2
1
0
20. Macrobenthos (note diversity and abundance)
0
1
2
3
21. Aquatic Mollusks
(0
1
2
3
22. Fish
0
0.5
1
1.5
23. Crayfish
0.5
1
1.5
24. Amphibians
0
0.5
1
1.5
25. Algae
b
0.5
1
1.5
26. Wetland plants in streambed
I
FACW = 0.75;
OBL = 1.5C Other = 0
'perennial streams may also be identified using other methods. See p. 35 of manual.
Notes:
Sketch:
Quail Hollow Club April 6, 2016
Representative Photographs CWS Project No. 2016-3882
Photograph D. View of Seasonal RPW Stream A end, facing upstream.
1V