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HomeMy WebLinkAbout20080781 Ver 1_Individual_20080506CWS .. Carolina Wetland Services May 5, 2008 550 E WESTINGHOUSE BLVD. CHARLOTTE, NC 28273 704-527-1177 (v) 704-527-1133 (fax) Mr. Steve Chapin D �� U.S. Army Corps of Engineers 0 8 0 7 8 J k 151 Patton Avenue, Room 208 MAY 6 2008 Asheville, NC 28801 DENR - WATER UUAU Y WETLANDS AND STORMWATER BRAKH Subject: Section 404 Individual Permit Application Gaston Mall Redevelopment Gastonia, North Carolina Carolina Wetland Services Project No. 2007-1860 The Gaston Mall Redevelopment project is located in Gastonia, North Carolina in the northwest corner of the intersection of Cox Road and Franklin Boulevard, exit 21 off Interstate 85. (Sheets 1 and 2, enclosed). The purpose of this project is to renovate and expand the existing commercial development known as Gaston Mall. Pearson Properties, Inc. has contracted Carolina Wetland Services, Inc. (CWS) to provide Section 404/401 permitting services for this project. Applicant Name: Pearson Properties, Inc.; P.O.C.: Joe Pearson Mailing Address: 1422 Burtonwood Drive, Gastonia, NC 28054 Phone Number of Owner/Applicant: (704) 867-5002 Street Address of Project: 401 Cox Road, Gastonia, NC Waterways: Duharts Creek and UT to Duharts Creek Basin: Catawba River (HU# 03050101) City: Gastonia County: Gaston Decimal Degree Coordinate Location of Project Site: N 35.24940, W 81.13720 USGS Quadrangle Name: Gastonia North, North Carolina quadrangle, 1993 Current Land Use The project area is zoned commercial and includes an existing shopping mall (Gaston Mall), large expanses of paved parking, an adjacent wooded area, and a fallow field (Sheets 3 and 4, enclosed). Dominant vegetation along the woodland edges consists of common blackberry (Rubus argutus), Chinese privet (Ligustrum sinense), Japanese honeysuckle (Lonicera japonica), winged elm (Ulmus alata), meadow garlic (Allium canadense), soft rush (Juncus effuses), red cedar (Juniperus virginiana), and goldenrod (Solidago sp.). Dominant vegetation within the field includes broomsedge (Andropogon virginicus), common blackberry, Japanese honeysuckle, goldenrod, dogfennel (Eupatorium capillifolium), and eastern baccharis (Baccharis halimifolia). According to the Soil Survey of Gaston Countyl, on-site soils consist of approximately: 60% Urban land (Ur); 25% Chewacla loam, frequently flooded (Ch); 10% Pacolet sandy loam, 15 to 25% slopes (PaE); and 5% Cecil -Urban land complex, 2 to 8 percent slopes (CfB) (Sheet 5, enclosed). Urban land soils include areas where more than 85% of the surface is covered with asphalt, concrete, buildings, or other non -impervious surfaces. The Chewacla soil series consists of frequently flooded, somewhat poorly drained, moderately permeable soils often located on flood plains. This soil is listed as a 1 United States Department of Agriculture, 1989. Soil Survey of Gaston County, North Carolina. CHARLOTTE, NC - FORT MILL, SC WWW.CWS-INC.NET May 5, 2008 Mr. Steve Chapin Page 2 of 8 hydric soil in Gaston County2. The Pacolet soil series consists of well drained, moderately permeable soils on uplands. The Cecil -Urban land complex soil series consists of intermingled areas of Cecil soil and Urban land. Cecil soil is well drained, has moderate permeability, and low shrink -swell potential, and areas of urban land are covered with buildings, streets, driveways, parking lots, and runways. Jurisdictional Determination A wetland delineation was conducted in May 2005 by Spangler Environmental. On January 24, 2006, CWS biologists revisited the site to investigate on-site jurisdictional wetlands of the U.S. using the U.S. Army Corps of Engineers (USAGE) Routine On -Site Determination Method (Sheet 6, enclosed). This method is defined in the 1987 Corps of Engineers Wetlands Delineation Manual.3 Routine On Site Data Forms representative of on-site jurisdictional wetland areas and non jurisdictional upland areas are enclosed (DPI — DP5). Jurisdictional waters of the U.S. were classified according to recent North Carolina Division of Water Quality (NCDWQ)4 and USACE guidance. NCDWQ Stream Classification Forms, USACE Stream Quality Assessment Worksheets Streams A and B (SCP1 and SCP2), and USACE Jurisdictional Determination Forms for all jurisdictional features are enclosed. The results of the on-site field investigation indicate that there are two jurisdictional stream channels (Streams A and B), and four jurisdictional wetland areas (Wetlands AA — DD) located within the project area (Sheet 6, enclosed). On -Site jurisdictional waters are Duharts Creek and an unnamed tributary to Duharts Creek. These waters are within the Catawba River basin (HU# 03050101)5. Duharts Creek is classified as "Class C waters" by the NCDWQ. On -Site jurisdictional waters of the U.S. were surveyed using a sub -meter GPS unit and total approximately 1.42 acres (61,855 square feet). Linear footage and acreage of on-site jurisdictional waters are summarized as follows: Table 1: On -Site Jurisdictional Waters Streams Stream A enters the project area in the northwestern corner and flows southeast across the property for approximately 1,575 linear feet (Sheet 6, enclosed). Stream A is a named stream (Duharts Creek) and on the day of the field review exhibited strong continuous bed and bank, flow, and riffle -pool sequences. There was also a moderate presence of fish, amphibians, crayfish, snails, and macrobenthic invertebrates. Stream A scored 45.5 out of a possible 71 points on the NCDWQ Stream 2 MRCS Hydric Soils of North Carolina, December 15, 1995. 3 Environmental Laboratory. "Corps of Engineers Wetlands Delineation Manual," Technical Report Y-87-1, US Army Engineer Waterways Experiment Station, Vicksburg, Mississippi. A North Carolina Division of Water Quality, 1999. Stream Classification Method. Version 3.1. ' "HU#" is the Hydrologic Unit Code. U.S. Geological Survey, 1974. Hydrologic Unit Map, State of North Carolina May 5, 2008 Mr. Steve Chapin Page 3 of 8 Classification Form indicating perennial status and 62 out of a possible 100 points on the USACE Stream Quality Assessment Worksheet (SCP I, enclosed). A photograph of Stream A is enclosed as Photograph A. Stream B was classified as perennial and enters the property at a central northern point (Sheet 6, enclosed). Stream B flows south until its on-site confluence with Duharts Creek. The on-site portion of Stream B has been channelized and is approximately 660 linear feet in length. The stream exhibited a moderate riffle -pool sequence and flow. Biological sampling within Stream B indicated a weak presence of macrobenthic invertebrates and crayfish. Perennial Stream B scored 28.5 out of a possible 71 points on the NCDWQ Stream Classification Form indicating perennial status and 46 out of a possible 100 points on the USACE Stream Quality Assessment Worksheet indicating perennial status (SCP3, enclosed). A photograph of Stream B is enclosed as Photograph B. Wetlands Wetland AA is located north of Duharts Creek and west of Stream B and is approximately 0.68 acre in size (Sheet 6, enclosed). A Routine Wetland Determination Data Form representing this wetland area is enclosed (DP4). This wetland area exhibited hydrophytic vegetation including green ash (Fraxinus pennsylvanica), black willow (Salix nigra), red maple (Acer rubrum), jewelweed (Impatiens capensis), privet (Ligustrum sinense), tag alder (Alnus serrulata), arrowwood (Vibernum dentatum), sedges (Carex sp.), and common elderberry (Sambucus canadensis). The soils were saturated within 12 inches of the surface and were observed to be low-chroma (10YR4/1 in the upper 3 inches and 10YR5/1 at 3 to 12 inch depth) and mottled (2.5YR4/8 in the upper 3 inches and 7.5YR5/6 at 3 to 12 inch depth). A photograph of Wetland AA is enclosed as Photograph C. A photograph of the adjacent upland area is enclosed as Photograph D. Wetland BB and CC are located southwest of Duharts Creek and are 0.18 and 0.04 acre in size, respectively (Sheet 6, enclosed). A Routine Wetland Determination Data Form representing these areas is enclosed (DP3). These wetlands were dominated by hydrophytic vegetation including privet, box elder (Acer negundo), red maple, sedges, and tag alder. The soils were inundated and exhibited low chroma color (2.5 YR 5/2) and many distinct mottles (7.5 YR 5/6). Wetland DD is located south of Duharts Creek and is 0.05 acre in size (Sheet 6, enclosed). A Routine Wetland Determination Data Form representing this area is enclosed (DPI). This wetland was dominated by hydrophytic vegetation including privet, red maple, sweetgum (Liquidambar styraciva), ironwood (Carpinus caroliniana), and river cane (Arundinaria sp.). The soils were inundated and exhibited low chroma color (1.0 YR 5/2) and many distinct mottles (2.5 YR 3/6). A photograph of Wetland DD is enclosed as Photograph E. Macroinvertebrate Study Report On February 12, 2003, Olver Laboratories collected benthic macroinverebrate samples from six locations in on-site reaches of Duharts Creek (Stream A) and its tributary (Stream B) to evaluate the health of the indigenous aquatic community in this watershed. A Benthic Macroinvertebrate Evaluation was performed based on the Environmental Protection Agency document "Rapid Bioassessment Protocols for Use in Streams and Wadeable Rivers: Periphyton, Benthic Macroinvertebrates, and Fish" Second Edition (EPA 841-B-99-002). The evaluation found that Stream B (referred to as Tributary D-8 in the report) lacked suitable habitat for most macroinvertebrates throughout the length of the sampled area (Macroinvetebrate Study Report, enclosed). There was general absence of rock substrates and coarse particulate organic matter and a prevalence of accumulated silt and sand resulting in poor habitat for a healthy macroinvertebrate May 5, 2008 Mr. Steve Chapin Page 4 of 8 community. There are indicators of non -point source pollution in both streams and the few macrobenthic invertebrates that were sampled are classified as "pollutions -tolerant." Channel Geormorphic Assessment A geomorphic survey was performed by CWS biologists Thomas Blackwell, Patty Perino and Paul Brighton May 11, 2007, of a 400 -foot on-site reach of Duharts Creek. The creek was assessed using Rosgen Level H Classification methods consisting of a longitudinal profile, a cross-sectional survey, substrate sampling (reach -wide pebble count), and photographic documentation. The enclosed Geomorphic Conditions and Evaluation Report provides data collected during the survey and describes the existing conditions of the stream. Based on this evaluation, CWS believes the best option is to relocate and reconstruct portions of on- site Duharts Creek to re-establish a natural meandering pattern. The relocated areas will be graded to match closely with the existing cross sections. Relocating the channel will allow the sinuosity to be increased, thus reducing the shear stress along these reaches. The restored area can be graded to include floodplain benches, floodplain wetlands, and native riparian vegetation which will help to improve the water quality and capacity within this channel. Due to the excavation of the entire floodplain at or below the bed elevation of the existing stream, reconstruction will be necessary to restore the channel. Restoration will involve natural channel design tow ensure stream stability and floodplain access. Agency Correspondence Cultural Resources A letter was forwarded to the North Carolina State Historic Preservation Office (SHPO) on June 12, 2007, to determine the presence of any areas of architectural, historical, or archaeological significance that would be affected by the project. In a response letter, dated July 11, 2007 (enclosed), SHPO states that their review of the proposed project area revealed that no historic resources would be affected by the project. Therefore, no further action concerning Section 106 of the National Historic Preservation Act is necessary. Protected Species A letter was forwarded to the North Carolina Natural Heritage Program (NCNHP) on June 11, 2007, to determine the potential for the occurrence of animal and plant species formally proposed or listed as endangered or threatened by current Federal regulations [Federal Endangered Species Act of 1973 (16 U.S.C. 1531 et seq.)] within the subject project area. In a response letter dated June 19, 2007, the NCNHP replied that they have no record of rare species, significant natural communities, or significant natural heritage areas at the site or within a mile of the project area. A protected species survey was conducted by CWS biologists Patty Perrino and James Collins on May 29, 2007. Species surveyed for include the Endangered Schweinitz's sunflower (Helianthus schweinitzii), Threatened bald eagle (Haliaeetus leucocephalus), Endangered bog turtle (Clemmys muhlenbergii), and Candidate Georgia aster (Symphyotrichum georgianum). No individuals of these species were found during the field investigation, and will therefore not be affected by the proposed project. A letter was forwarded to the U.S. Fish and Wildlife Service (USFWS) on June 18, 2007, requesting concurrence with the finding of the field survey. The USFWS concurred with these findings in a letter dated July 18, 2007 (enclosed). May 5, 2008 Mr. Steve Chapin Page 5 of 8 Purpose of the Project The purpose of the Gaston Mall Redevelopment project is to renovate and update the existing shopping mall located at the intersections of Interstate 85, Cox Road, and Franklin Boulevard in Gastonia, North Carolina. The renovation will include the refurbishment or replacement of older buildings and the addition of new retail space as specified by a lease agreement with a new retail tenant for the property. The City of Gastonia and Gaston County have identified this property as one of the key locations for new business development to support the rapidly growing local population and economy. The mall redevelopment project will provide 137,253 square feet of floor area for additional tenant(s) and the parking requirements for the land use must satisfy both the tenant needs and city requirements of at least four parking spaces per 1,000 square feet of floor area. Provisions for handicap spaces and landscape requirements must also be met. The site must be designed in a manner to accommodate delivery vehicles and emergency vehicles. A new access road connection is needed between Cox Road and Franklin Boulevard to improve traffic flow and safety at signalized intersections and to provide access to interior portions of the site. In order to secure FEMA approvals, the entire floodplain of Duhart's Creek will be regraded to accommodate floodwaters storage per the accepted engineering design. Alternatives Analysis In an effort to minimize impacts to jurisdictional areas, an alternatives analysis was performed to determine the least damaging plan for the project that would still achieve the project's goals. It was determined that impacts to Perennial Stream B and on-site wetlands are unavoidable. The different alternatives each propose to pipe the entire on-site length of Perennial Stream B (560 If) and to fill Wetlands AA -DD (0.95 acre total). Alternative A proposes to pipe the entire on-site length of Perennial Stream A (Duharts Creek) (Sheet 7, enclosed). This alternative would result in approximately 1,252 linear feet of impacts to Perennial Stream A. The construction and mitigation costs for a pipe of this size and length was not determined to be cost effective for this development. In order to eliminate the pipe system, portions of Duharts Creek would need to be relocated. Alternatives B, C, and D involve relocating portions of Duharts Creek to minimize the overall impacts. Alternative A was determined to be unacceptable to FEMA to satisfy floodplain requirements. Alternative B proposes to fill approximately 500 linear feet of Duharts Creek. This alternative would re-establish approximately 740 linear feet of restored channel along the toe of the slope in the newly graded floodplain (Sheet 8, enclosed). It was determined that relocating the channel too close to the fill slopes could jeopardize the integrity of the slope and would eliminate any floodplain access on the right bank. A culvert would also be necessary to access the southern side of Duharts Creek. This alternative proposes a 180 linear -foot box culvert. Alternative B was determined to be unacceptable to FEMA to satisfy floodplain requirements. Alternative C also utilizes the 180 linear -foot box culvert on Duharts Creek. The truck turn -around area was relocated to the northwestern portion of the proposed building. This relocation reduced the amount of grading near Duharts Creek and allowed for a smaller stream relocation (Sheet 9, enclosed). This alternative proposed to relocate 105 linear feet of Duharts Creek to avoid the building footprint. This relocation could be located in the floodplain and would allow for a "natural channel design" approach to the relocated stream. Alternative C was determined to be unacceptable to FEMA to satisfy floodplain requirements. May 5, 2008 Mr. Steve Chapin Page 6 of 8 Alternative D reduces the grading in the southwest corner of the proposed building and originally proposed for the relocation to be reduced to 198 linear feet of Duharts Creek if the remainder of the floodplain were not altered. FEMA requirements dictate that the entire floodplain elevation be excavated to a depth at or below the existing bed elevation of Stream A (Sheet 10, enclosed). As such, the length of Stream A to be impacted by excavation was analyzed using geomorphic methods so that it could be relocated using natural channel design at the new floodplain elevation. Alternative D was determined to be acceptable to FEMA to satisfy floodplain requirements and was primarily selected as the preferred alternative for this reason. Alternative D was also selected as the preferred alternative since wetland impacts could be mitigated on site due to the floodplain excavation and stream impacts could be mitigated through a combination of on-site natural channel design and payment into the NCEEP. impacts to Duharts Creek resulting from fill or culvert have been reduced to the greatest extent practicable and have resulted in a 418 -linear -foot net gain of stream channel. Approximate impact totals for Alternatives A — D are summarized below in Table 2. Fable 2. Summary of Alternatives Analysis Jurisdictional Alternatives Feature Alternative A Alternative D Alternative C Alternative D 1801f— culvert 1,575 if excavated Perennial Stream A 1,252 1f — piping 1801f — culvert 1,993 if relocated 105 if —relocated Net Gain — 4181f Perennial Stream B 6601f — piping 6601f — piping 6601f — piping 6601f — piping Wetland AA Fill — 0.68 acre Fill — 0.68 acre Fill — 0.68 acre Fill — 0.68 acre Wetland BB Fill — 0.18 acre Fill — 0.18 acre Fill — 0.18 acre Fill — 0.18 acre Wetland CC Fill — 0.04 acre Fill — 0.04 acre Fill — 0.04 acre Fill — 0.04 acre Wetland DD Fill — 0.05 acre Fill — 0.05 acre Fill — 0.05 acre Fill — 0.05 acre 840 If — Perennial Stream 2,235 If — Total 1,912 if — Perennial Impacts 945 if —Perennial Perennial Stream Stream Impacts 0.95 ac. —Wetland Stream Impacts Impacts Impact Totals 0.95 ac. — Wetland Impacts 0.95 ac. — Wetland 418 1f Net Gain to Impacts Impacts Stream A 0.95 ac. — Wetland Impacts Proposed Impacts to Jurisdictional Waters Alternative D was chosen for the construction plan of the Gaston Mall Redevelopment site in order to reduce or mitigate for overall impacts to on-site jurisdictional waters. Perennial Stream A will be need to be reconstructed and restored due to the floodplain excavation necessary to satisfy FEMA requirements. Reconstruction will include a culverted or bridged crossing as part of new road construction. Unavoidable impacts to Perennial Stream B include 660 linear feet of piping as a result of parking lot construction which requires the inclusion of four parking spaces per 1,000 square feet of retail floor area. New culverts will be 640 linear feet of triple 72" CMP. Unavoidable impacts to Wetlands AA -DD total approximately 0.95 acre and are the result of fill activities associated with grading activities, stream relocation, and construction. Impacts to on-site jurisdictional features are summarized in Table 3. May 5, 2008 Mr. Steve Chapin Page 7 of 8 Table 3. Proposed Impacts to Jurisdictional Waters On behalf of Pearson Properties, CWS is submitting a Section 404 Individual Permit Application with attachments for impacts to on-site jurisdictional streams and wetlands and a Jurisdictional Determination Request (enclosed). Compensatory Mitigation During the design phase of this project, efforts were made to minimize jurisdictional waters impacts. In addition, the impacted portion of Duharts Creek (Stream A) and the perennial tributary (Stream B) are part of what is considered a "non -supporting" stream system. The streams are highly disturbed and do not support the expected aquatic life for such streams. Additionally, the need to excavate the existing floodplain to at or below existing bed grade to satisfy FEMA flood requirements will necessitate reconstruction and restoring Stream A. Restoring and relocating the Stream A will allow the sinuosity to be increased, thus reducing the shear stress along these reaches. The relocated area can be graded to include floodplain benches, floodplain wetlands, and native riparian vegetation which will help to improve the water quality and capacity within this channel (Figure 6, enclosed). An 85% survival rate of planted species will be maintained, and five years of monitoring will occur to maintain that rate. The relocation of Duharts Creek will improve the conditions of this system and will thus be self -mitigating. Approximately one acre of additional wetland will be created with the re- grading and lowering of the floodplain to below seasonal groundwater level as well as increased overbank flooding events from Stream A (Duhart's Creek). These activities will also be self mitigating. In summary, Pearson Properties is proposing mitigation for unavoidable impacts to on-site jurisdictional waters impacts in the form of a combination of on-site in-kind stream and wetland restoration and a donation to the Environmental Enhancement Program (EEP). Acceptance letters from the NCEEP state that stream credits are available in an adjacent FIUC but wetland credits are not available at this time. Please do not hesitate to contact me at 704-527-1177 or through email at craig@cws-inc.net should you have any questions or comments regarding these findings. Craig Wyant, RLA/ S 'Mice President of Natural Resources 116_� C1. 7k�� Gregory C. Antemann, PWS President I t Sr g1G . ,, , _ z Perennial Stream A Excavation and grading activities 1,575 if =418 if Net Gain Stream relocation and restoration 1,993 if Perennial Stream B Fill and Pie 6601f Wetland AA Fill and grading activities 0.68 acre Wetland BB Fill and grading activities 0,03 acre Wetland CC Fill and gyading activities 0.01 acre Wetland DD Fill and grading activities 0.008 acre Net 242 If Permanent Perennial Impact Totals Stream Impacts 0.95 Acre Wetland Impacts On behalf of Pearson Properties, CWS is submitting a Section 404 Individual Permit Application with attachments for impacts to on-site jurisdictional streams and wetlands and a Jurisdictional Determination Request (enclosed). Compensatory Mitigation During the design phase of this project, efforts were made to minimize jurisdictional waters impacts. In addition, the impacted portion of Duharts Creek (Stream A) and the perennial tributary (Stream B) are part of what is considered a "non -supporting" stream system. The streams are highly disturbed and do not support the expected aquatic life for such streams. Additionally, the need to excavate the existing floodplain to at or below existing bed grade to satisfy FEMA flood requirements will necessitate reconstruction and restoring Stream A. Restoring and relocating the Stream A will allow the sinuosity to be increased, thus reducing the shear stress along these reaches. The relocated area can be graded to include floodplain benches, floodplain wetlands, and native riparian vegetation which will help to improve the water quality and capacity within this channel (Figure 6, enclosed). An 85% survival rate of planted species will be maintained, and five years of monitoring will occur to maintain that rate. The relocation of Duharts Creek will improve the conditions of this system and will thus be self -mitigating. Approximately one acre of additional wetland will be created with the re- grading and lowering of the floodplain to below seasonal groundwater level as well as increased overbank flooding events from Stream A (Duhart's Creek). These activities will also be self mitigating. In summary, Pearson Properties is proposing mitigation for unavoidable impacts to on-site jurisdictional waters impacts in the form of a combination of on-site in-kind stream and wetland restoration and a donation to the Environmental Enhancement Program (EEP). Acceptance letters from the NCEEP state that stream credits are available in an adjacent FIUC but wetland credits are not available at this time. Please do not hesitate to contact me at 704-527-1177 or through email at craig@cws-inc.net should you have any questions or comments regarding these findings. Craig Wyant, RLA/ S 'Mice President of Natural Resources 116_� C1. 7k�� Gregory C. Antemann, PWS President May 5, 2008 Mr. Steve Chapin Page 8 of 8 Enclosures: Corps Submittal Cover Sheet Section 404 Individual Permit Application (ENG FORM 4345) Agent Certification of Authorization Form Addresses of Adjoining Property Owners Sheet 1 of 26 Project Vicinity Map Sheet 2 of 26 USGS Topographic Map Sheet 3 of 26 City of Gastonia Zoning Map Sheet 4 of 26 Gaston County Aerial Photograph Sheet 5 of 26 NRCS Gaston County Soil Survey Sheet 6 of 26 Approximate Jurisdictional Boundary Map Sheet 7 of 26 Alternative A Sheet 8 of 26 Alternative B Sheet 9 of 26 Alternative C Sheet 10 of 26 Alternative D (Preferred Alternative) Sheet 11 of 26 Alternative D Detail Sheet 12 of 26 Alternative D Planting Notes and Sections Sheet 13 of 26 Existing Site Conditions Sheet 14 of 26 Existing Site Topography Sheet 15 of 26 Phasing Plan Sheet 16 of 26 Overall Site Plan (Final Plan — Alternative D) Sheet 17 of 26 Northwest Portion of Final Plan Sheet 18 of 26 Northeast Portion of Final Plan Sheet 19 of 26 Southeast Portion of Final Plan Sheet 20 of 26 Southwest Portion of Final Plan Sheet 21 of 26 Overall Grading Plan Sheet 22 of 26 Northwest Portion of Grading Plan Sheet 23 of 26 Northeast Portion of Grading Plan Sheet 24 of 26 Southeast Portion of Grading Plan Sheet 25 of 26 Southwest Portion of Grading Plan Sheet 26 of 26 Road Crossing Plan View and Section View Agency Correspondence NCEEP Acceptance Letter for Stream Impacts NCEEP Denial Letter for Wetland Impacts FEMA Conditional Letter of Map Revisions NCDENR response letter, June 19, 2007 NC SHPO concurrence letter, July 11, 2007 USFWS concurrence letter, July 18, 2007 Letter from Mayor of City of Gastonia Letter from Gaston Chamber of Commerce Letter from Gaston County Economic Development Commission Stream and Wetland Data Forms USACE Routine Wetland Determination Data Form (DPI — DP5) NCDWQ Stream Classification Forms (SCP1 — SCP2) USACE Stream Quality Assessment Worksheets (SCPI — SCP2) USACE Jurisdictional Determination Forms Representative Photographs (A — F) Macroinvertebrate Study Report Channel Geomorphic Assessment Report Storm Water Management Plan cc: Ms. Cyndi Karoly, NCDWQ; Mr. Joe Pearson, Pearson Properties Corps Submittal Cover Sheet 08 0781 Please provide the following info: 1. Project Name Gaston Mall Redevelopment 2. Name of Property Owner/Applicant: Pearson Properties, Inc. 3. Name of Consultant/Agent: Carolina Wetland Services, Inc., POC Craig R. Wyant 704-496-1696 *Agent authorization needs to be attached. 4. Related/Previous Action ID number(s): 5. Site Address: 401 Cox Road, Gastonia, NC 6. Subdivision Name: N/A 7. City: Gastonia 8. County: Gaston 9. Lat: N 35.24940 Long: W 81.13721 (Decimal Degrees Please) 10. Quadrangle Name: Gastonia North, North Carolina quadrangle, 1993 11. Waterway: Duharts Creek and UT to Duharts Creek 12. Watershed: Catawba River (HLT# 03050101) 13. Requested Action: X Individual Permit General Permit # Jurisdictional Determination Request Pre -Application Request The following information will be completed by Corps office: AID: Prepare File Folder Assign number in ORM Begin Date Authorization: Section 10 Section 404 Project Description/ Nature of Activity/ Project Purpose: Site/Waters Name: Keywords: APPLICATION FOR DEPARTMENT OF THE ARMY PERMIT O 8 7 S OMB APPROVAL NO. 0710-0003 (33 GFR 325) Expires December 31, 2004 The Public burden for this collection of information is sestimated to average 10 hours per response, although the majority of applications should require 5 hours or less. This includes the time for reviewing instructions, searching existing data sources, gathering and maintaining the data needed, and completing and reviewing the collection of information. Send comments regarding this burden estimate or any other aspect of this collection of information, including suggestions for reducing this burden, to Department of Defense, Washington Headquarters Service Directorate of Information Operations and Reports, 1215 Jefferson Davis Highway, Suite 1204, Arlington, VA 22202-4302; and to the Office of Management and Budget, Paperwork Reduction Project (0710-0003), Washington, DC 20503. Respondents should be aware that notwithstanding any other provision of law, no person shall be subject to any penalty for failing to comply with a collection of information if it does not display a currently valid OMB control number. Please DO NOT RETURN your form to either of those addresses. Completed applications must be submitted to the District Engineer having jurisdiction over the location of the proposed activity. PRIVACY ACT STATEMENT Authorities: Rivers and Harbors Act, Section 10, 33 USC 403; Clean Water Act, Section 404, 33 USC 1344; Marine Protection , Research and Sanctuaries Act, 33 USC 1413, Section 103. Principal Purpose: Information provided on this form will be used in evaluating the application for a permit. Routine Uses: This information may be shared with the Department of Justice and other federal, state, and local government agencies. Submission of requested information is voluntary, however, if information is not provided the permit application cannot be evaluated nor can a permit be issued. One set of original drawings or good reproducible copies which show the location and character of the proposed activity must be attached to this application (see sample drawings and instructions) and be submitted to the District Engineer having jurisdiction over the location of the proposed activity. An application that is not completed in full will be returned. ITEMS 1 THRU 4 TO BE FILLED BY THE CORPS 1. APPLICATION NO. 2. FIELD OFFICE CODE 3. DATE RECEIVED 4. DATE APPLICATION COMPLETED aTFMS RF/ nW Tn RF Fu i Fn Rv Appi rceein 5. APPLICANT'S NAME Joe Pearson 8. AUTHORIZED AGENT'S NAME AND TITLE Ian agent is not required) Carolina Wetland Services, Attn: Craig R. Wyant 6. APPLICANT'S ADDRESS 9. AGENT'S ADDRESS Pearson Properties, Inc. 550 East Westinghouse Boulevard 1422 Burtonwood Dr., Gastonia, NC 28054-4009 Charlotte NC 28273 7.. APPLICANT'S PHONE NOS. W/AREA CODE 10 AGENT'S PHONE NOS W/AREA CODE a. Residence n/a a. Residence b. Business (704) 867-5002 ' b. Business (704) 527-1177 cell: (704) 496-1696 11, STATEMENT OF AUTHORIZATION I hereby authorize, to act in my behalf as my agent in the processing of this application and to furnish, upon request, supplemental information in support of this permit application. Signed Agent Authorization Form Attached APPLICANT'S SIGNATURE DATE NAME, LOCATION AND DESCRIPTION OF PROJECT OR ACTIVITY 12. PROJECT NAME OR TITLE (seeinsvucrions: Gaston Mall Redevelopment '13. NAME OF WATERBODY, IF KNOWN alappiicabie) 1 14. PROJECT STREET ADDRESS wapp)icab)e) Duhart's Creek and UT to Duhart's Creek 15. LOCATION OF PROJECT Gaston NC COUNTY STATE 16. OTHER LOCATION DESCRIPTIONS, IF KNOWN, (see instructions) Franklin Boulevard / Cox Road / I-85 Gastonia, NC ®CCtOr� p N35.2494 W80.1372 DENR- WATERQUALlTY ANIf TLANN AND STORM ATER :3)24"('4 17. DIRECTIONS TO THE SITE From Charlotte, travel south on 1-85. Take Cox Rd. exit (exit 21). Turn left onto Cox Rd. and then right into Gaston Mall. NG FORM 4346, Jul7 1 EDITION OF FEB 94 IS OBSOLETE. (Proponent: CECW-OR) 18. Nature of Activity (Description of project, include all features) The Gaston Mall Redevelopment project will involve the reconstruction of existing retail structures and parking on upland, construction of a new access road crossing Duhart's Creek, and the construction of new retail space and parking within portions of a mapped FEMA floodplain. The construction of the new retail facilities will require an expansion and relocation of FEMA floodplain with agency ap- proval, as well as the placement of fill in wetlands, culverting of one perennial stream and the reconstruction and relocation of Duhart's Creek. Mitigation will be provided with a combination of on-site, in-kind restoration/creation and/or payment of in -lieu fees to the North Carolina Ecosystem Enhancement Program. See report for details. 19. Project Purpose (Describe the reason or purpose of the project, see instructions) The purpose of the Gaston Mall Redevelopment project is to renovate and update the existing shopping mail located at the intersections of Interstate 85, Cox Road, and Franklin Boulevard in Gastonia, North Carolina. The renovation will include the refurbishment or replacement of older build- ings and the addition of new retail space as specified by a lease agreement with a new retail tenant for the property. The City of Gastonia and Gas- ton County have identified this property as one of the key locations for new business development to support the rapidly growing local population and economy. The mall redevelopment project will provide 137,253 square feet of floor area for additional tenant(s) and the parking requirements for the land use must satisfy both the tenant needs and city requirements of at least four parking spaces per 1,000 square feet of floor area. Provi- sions for handicap spaces and landscape requirements must also be met. The site must be designed in a manner to accommodate delivery vehicles and emergency vehicles. A new access road connection is needed between Cox Road and Franklin Boulevard to improve traffic flow and safety at signalized intersections and to provide access to interior portions of the site. In order to secure FEMA approvals, the entire floodplain of Duhart's Creek will be regraded to accommodate floodwaters storage per the accepted engineering design. USE BLOCKS 20-22 IF DREDGED AND/OR FILL MATERIAL IS TO BE DISCHARGED 20. Reason(s) for Discharge Discharges are necessary to modify the approved FEMA floodplain to accommodate new retail space construction and new road crossing. The activity will result in the placement of fill in wetlands, culverting one perennial stream and relocation and reconstruc- tion of Duhart's Creek. 21. Type(s) of Material Being Discharged and the Amount of Each Type in Cubic Yards 1,533 CY Natural Soil Fill in wetland. 200 CY Natural Soil fill in Stream B. Excavation only in Stream A. 22. Surface Area in Acres of Wetlands or Other Waters Filled /seeinstrcrins) 0.95 acre wetland filled. 0.08 other waters (Stream B) filled. All other activities are excavation. 23. Is Any Portion of the Work Already Complete? Yes No IF YES, DESCRIBE THE COMPLETED WORK Yes, wetland delineation has been completed . 24. Addresses of Adjoining Property Owners, Lessees, Etc., Whose Property Adjoins the Waterbody (If more than can be entered here, please attach a supplemental list). List of Adjacent Property Owners Attached. 25. List of Other Certifications or Approvals/Denials Received from other Federal, State or Local Agencies for Work Described in This Application. AGENCY TYPE APPROVAL* IDENTIFICATION NUMBER DATE APPLIED DATE APPROVED DATE DENIED *Would include but is not restricted to zoning, building and flood plain permits 26. Application is hereby made for a permit or permits to authorize the work described in this application. I certify that the information in this application is complete and accurate. I further certify that I possess the authority to undertake the work described herein or am acting as the duly authorized agent of the applicant. "e 4; 5/5/2008 SIGNATURE OF APPLICANT DATE SIGNATURE OF AGENT DATE The application must be signed by the person who desires to undertake the proposed activity (applicant) or it may be signed by a duly authorized agent if the statement in block 11 has been filled out and signed. 18 U.S.C. Section 1001 provides that: Whoever, in any manner within the jurisdiction of any department or agency of the United States knowingly and willfully falsifies, conceals, or covers up any trick, scheme, or disguises a material fact or makes any false, fictitious or fraudulent statements or representations or makes or uses any false writing or document knowing same to contain any false, fictitious or fraudulent statements or entry, shall be fined not more than $10,000 or imprisoned not more than five years or both. JUN -18-2005 09:40 FROM:PEARSON PROPERTIES 7048670465 TO:7045271133 P.002/002 I., Joe Pcmon, representing P=Non Pro Pcrties, .Inc., hmby ccrti.fy that I have authoriacd, Craig R,. Wyant, of CarolWa Wetland Smices, Inc. to act O -n my behalf and take atl actions necessary to the processing, imancce, and acceptance of this Individual Permit Application and any and all standard and spial, conditions attached. We hereby certify dw tli.e above info tion Submitted in this application is true and accurate to the best of our knowledge. �esmgna=�� Agent's signat= SO ' r rr�4 Date co.mpietion or this form will affo w the agent to sigm nH futmim Applim nit corrmpondenm Adjoining Property Owners Addresses Parcel Number: Owner Name: Address: City/State: Zip Code: 3565370257 GASTONIA CITY OF BOARD OF GASTONIA, NC 28052 3565171664 LEDFORD RALPH G 534 E CLUB DR GASTONIA, NC 28054 3565171495 LEDFORD RALPH GARNETT AND CHARLES DOUGLAS LEDFORD "i 550 WOODCROFT DR FORT MILL, SC 29708 3565171587 LEDFORD RALPH GARNETT 534 E CLUB DR GASTONIA, NC 28054 3565171260 GASTONIA BYB LLC C/O THE FLYING COLONEL (KORB) 505 N CARROLL ST MADISON, WI 53703 3565175397 LANIER JERRY SIDNEY 1701 E PERRY ST GASTONIA, NC 28054 3565177543 4 CORNERS REALTY LLC 1328 GREENWOOD CLIFF CHARLOTTE, NC 28054 3565178374 4 CORNERS REALTY LLC 1328 GREENWOOD CLIFF CHARLOTTE, NC 28054 3565270392 RGP FAMILY LIMITED PARTNERSHIP 425 DUNHAM RD GASTONIA, NC 28054 3565272279 RIDDLE MICHAEL H P 0 BOX 550487 GASTONIA, NC 28055 3565273286 M II PROPERTIES A NORTH CAROLINA 506 JOHNSFIELD RD SHELBY, NC 28150 Cws Applicant No: CWS, INC. 550 E. Westinghouse Blvd. Charlotte, NC 28273 Vicinity Map Gaston Mall Redevelopment Gaston County, North Carolina CWS Project Number: 2007-1860 Date: 5-24-07 1 Sheet 1OF26 Gaston Mall Redevelopment Project No. 2007-1860 Section 404 Individual Permit Application ve 11A� ����� N Soh 1' 1; �1 II r At aI �A � , / _ tr1 '`� ^�� ),�- • it r,\� ^-� . ' I'�_ �'' �. : �. �� q/ �� 1 Cox Roads Project Area .,s,; ' t'�• -.i�,� -� f ��g1lyl •ov r ��+/� l' �r� ' 1 'a4i � �� t ''� _ l ( C� � {t��f`1 .n� r '- y\6-::.•, .. H N. ,� �_r� ! 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C-3 Site Area�7-'�*--� tir 1 , C -P C -P R -2C ,`��voanof r CAA `� T t CA CUD -0-2 '� ' B -2C ' � !} CUD B-fC y 'k' J 19p pA r, CJ ( RA Legend R4. Zoning Codes (within Project Area) - _ C -P Planned Commercial District Na�►tP R-3 C-3 General Business District R-3 Single and Multi -family p M� v , RMF Residential District I CWS, INC. J CWS 550 E. Westinghouse Blvd. Charlotte, NC 28273 Applicant No: Gaston County Zoning Gaston Mall Redevelopment Gaston County, North Carolina CWS Project Number: 2007-1860 Date: 5-24-07 Sheet: 3 OF 26 i� 4;:Z- - L "� *� r w;4" - p• CWS, INC. W�550 E. Westinghouse Blvd. Charlotte, NC 28273 Applicant No. .,� t'A tom.' P, r'As1er 30:0 160 1 300 Feet Aerial Photograph Gaston Mall Redevelopment Gaston County, North Carolina CWS Project Number: 2007-1860 ®ate: 6-19-07 Sheet 4 OF 26 e ti kl t 4 J. _ - p• CWS, INC. W�550 E. Westinghouse Blvd. Charlotte, NC 28273 Applicant No. .,� t'A tom.' 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(SIOL •N 0 00' I 1S n $6040133H§ 33S 3NI-I POIVW $ �$ 4 wd Ol:ZO:L '9002 12 WdYpnlold fiwp 'Vawvw:L9 pall- 6ap'upld–aVlaW–lggs9\YJ\ppa0\clow uo,ap0 19699\luawdplaupab doW po1m9\alaalad\OS\�p 6a0'6Nipoi6 :6ap'ha01p119699 :6ap'4-96990 :6--g-0 :—X - :-- :-90-0Z–Z — NO :dLLZ000 9Lf0G00iNtlpSllY :iLL'Ip00 9lfOL00Z NYJfiAW :sa6ewl 'ZOSO :a N Vol yioLol N U- 0 (9 N W W U) W J LL O x CL 0 z Q z Q CL _z a U 0 Q a Joe Pearson Pearson Properties 1422 Burtonwood Drive Gastonia, NC 28054 corstem IC -I PROGRAM April 29, 2008 Project: Gaston Mall Redevelopment Expiration of Acceptance: October 29, 2008 County: Gaston The purpose of this letter is to notify you that the North Carolina Ecosystem Enhancement Program (NCEEP) is willing to accept payment for impacts associated with the above referenced project. Please note that this decision does not assure that the payment will be approved by the permit issuing agencies as mitigation for project impacts. It is the responsibility of the applicant to contact these agencies to determine if payment to the NCEEP will be approved. This acceptance is valid for six months from the date of this tetter and is not transferable. If we have not received a copy of the issued 404 Permit/401 Certification/CAMA permit within this time frame, this acceptance will expire. It is the applicant's responsibility to send copies of the permits to NCEEP. Once NCEEP receives a copy of the permit(s) an invoice will be issued based on the required mitigation in that permit and payment must be made prior to conducting the authorized work. The amount of the In Lieu Fee to be paid to NCEEP by an applicant is calculated based upon the Fee Schedule and policies listed at www.nceep.net. Based on the information supplied by you the impacts that may require compensatory mitigation are summarized in the following table. Upon receipt of payment, EEP wilt take responsibility for providing the compensatory mitigation. If the regulatory agencies require mitigation credits greater than indicated above, and the applicant wants NCEEP to be responsible for the additional mitigation, the applicant will need to submit a mitigation request to NCEEP for approval prior to permit issuance. The mitigation will be performed in accordance with the Memorandum of Understanding between the N. C. Department of Environment and Natural Resources and the U. S. Army Corps of Engineers dated November 4, 1998. If you have any questions or need additional information, please contact Valerie Mitchener at (919) 715-1973. Sincerely, , �R, a4�0 ok Willi . Gilmore, PE Director cc: Cyndi Karoly, NCDWQ Wetlands/401 Unit Steve Chapin, USACE-Asheville Gregg Antemann, agent File Prat", oar State, p'��3 NCDENR North Carolina Ecosystem Enhancement Program, 1652 Mail Service Center, Raleigh, NC 27699-1652 / 919-715-0476 / www.nceep.net River Basin CU Stream (feet) Wetlands (acres) Buffer I Buffer 1I Location (Sq. Ft.) (Sq. Ft.) Cold Cool Warm Riparian Non -Riparian Coastal Marsh Impacts Catawba 03050101 0 0 634 0 0 0 0 0 Credits Catawba 03050102 0 0 11268 1 0 0 0 0 0 Upon receipt of payment, EEP wilt take responsibility for providing the compensatory mitigation. If the regulatory agencies require mitigation credits greater than indicated above, and the applicant wants NCEEP to be responsible for the additional mitigation, the applicant will need to submit a mitigation request to NCEEP for approval prior to permit issuance. The mitigation will be performed in accordance with the Memorandum of Understanding between the N. C. Department of Environment and Natural Resources and the U. S. Army Corps of Engineers dated November 4, 1998. If you have any questions or need additional information, please contact Valerie Mitchener at (919) 715-1973. Sincerely, , �R, a4�0 ok Willi . Gilmore, PE Director cc: Cyndi Karoly, NCDWQ Wetlands/401 Unit Steve Chapin, USACE-Asheville Gregg Antemann, agent File Prat", oar State, p'��3 NCDENR North Carolina Ecosystem Enhancement Program, 1652 Mail Service Center, Raleigh, NC 27699-1652 / 919-715-0476 / www.nceep.net Joe Pearson Pearson Properties 1422 Burtonwood Drive Gastonia, NC 28054 c0 istem , PROGRAM April 29, 2008 Project: Gaston Mall Redevelopment County: Gaston We have received your request to access the North Carolina Ecosystem Enhancement Program's (NCEEP) In -Lieu Fee mitigation program for the above referenced project. We regret that we are unable to accept payment for the following impacts at this time: Impacts Credits River Basin CU Location Stream (feet) Wetlands (acres) Buffer I Buffer 11 (Sq. Ft.) (Sq. Ft.) Cold Cool Warm Riparian on -Riparian Coastal Marsh Catawba 03050101 0 0 0 0.95 0 0 0 0 0 0 0 0 0 0 0 0 EEP recently proposed revisions to the fee schedule for wetland and stream mitigation as a means of allowing the program to generate revenue commensurate with our project implementation costs. Although the revision was passed by the Environmental Management Commission and Rules Review Commission, implementation of the revision has been delayed due to administrative rules regarding comment submittals.. Per established protocols for rule-making, the fee revision must now be considered during the next legislative session beginning in May 2008. Until that time, EEP has developed a strategy that considers the financial implications to the program for new requests to access the In -Lieu Fee Program and has determined that we are unable to provide your mitigation as requested. If you want to resubmit your request form at a later time, EEP will reconsider the request in the future. We anticipate updating our strategy as new data and opportunities become available. EEP is accepting requests in some areas and will consider all new requests on a case by case basis. Thank you for your interest in our program. If you have any questions or need additional information on other mitigation options, please contact Kelly Williams at (919) 716-1921. Sincerely, Willia ] I Gilmore, PE Director cc: Cyndi Karoly, NCDWQ Wetlands/401 Unit Steve Chapin, USACE-Asheville Alan Johnson, NCDWQ-Mooresville Gregg Antemann, agent File R"tolli ag... 'EKh "... Protect. our St -a te, A NCDEENR North Carolina Ecosystem Enhancement Program, 1652 Mail Service Center, Raleigh, NC 27699-16521919-715-0476/ www.nceep.net y�a Federal Emergency Management Agency �rnRxsu . T Washington, DC 20472^: as North Carolina Floodplain Mapping Program C n s ooperatmg Technical State «w, CERTIFIED MAIL RETURN RECEIPT REQUESTED The Honorable Jennifer T. Stultz Mayor, City of Gastonia P.O. Box 1748 Gastonia, NC 28053 Dear Mayor Stultz: April 8, 2008 IN REPLY REFER TO: Case No.: Community Name: Community No.: 07-04-4590R City of Gastonia, NC 370100 We are providing our comments with this enclosed Conditional Letter of Map Revision (CLOMR), on a proposed project within your community that if constructed as proposed, could revise the effective Flood Insurance Study report and Flood Insurance Rate Map for your community. If you have any questions regarding floodplain management regulations for your community or the National Flood Insurance Program (NFIP) in general, please contact the Floodplain Administrator for your community. If you have any technical questions regarding this CLOMR, please contact the North Carolina Floodplain Mapping Program (NCFMP) at (919) 715-5711 ext. 106, or the Federal Emergency Management Agency (FEMA) Map Assistance Center toll free at 1-877-336-2627 (1 -877 -FEMA MAP). Additional information about the NFIP is available on FEMA's website at http://www.fema.gov/business/nfip, and additional information about the NCFMP is available at http://www.ncfloodmaps.com. Sincerely, Beth A. Norton, CFM, Program Specialist Federal Emergency Management Agency Engineering Management Branch Mitigation Directorate List of Enclosures: Conditional Letter of Map Revision John K. Dorman, Program Director North Carolina Floodplain Mapping Program cc: Mr. Joseph P. Pearson, Pearson Properties Mr. Thorne A. Martin, P.E., Assistant City Engineer, City of Gastonia Mr. Greg Harnish, P.E., Woolpert, Inc. Mr. John Gerber, P.E., CFM, North Carolina Floodplain Mapping Program YA Federal Emergency Management Agency N. Washington, D.C. 20472 April 8, 2008 CERTIFIED MAIL IN REPLY REFER TO: RETURN RECEIPT REQUESTED The Honorable Jennifer T. Stultz Mayor, City of Gastonia P.O. Box 1748 Gastonia, NC 28053 Dear Mayor Stultz: Case No.: 07-04-4590R Community: City of Gastonia, NC Community No.: 370100 n This responds to a request that the Department of Homeland Security's Federal Emergency Management Agency (FEMA) comment on the effects that a proposed project would have on the effective Flood Insurance Rate Map (FIRM) and Flood Insurance Study (FIS) report for your community, in accordance with Part 65 of the National Flood Insurance Program (NFIP) regulations. In a letter dated May 31, 2007, Mr. Greg Hamish, P.E., of Woolpert, Inc., requested that FEMA evaluate the effects that the proposed Gaston Mall Redevelopment Project would have on the flood hazard information shown along Duharts Creek and Tributary D-8 on the effective FIRM and FIS report. The proposed project, which will include the construction of dual 285 -foot long, 12 -foot by 6 -foot box culverts and the placement of fill along Tributary D-8, will be located immediately upstream of the confluence with Duharts Creek and will impact an area located along Tributary D-8 from the confluence with Duharts Creek to a point approximately 1,000 feet upstream of the confluence with Duharts Creek. In addition to the dual culverts on Tributary D- 8 there will be a new bridge over Duharts Creek to provide additional access to the project. The bridge will be located just upstream of the confluence with Tributary D-8 and will consist of two-Conspan Arch culverts, each with a 48 -foot span and length of 200 feet. The bridge crossing for this project will impact an area along Duharts Creek from a point approximately 1,600 feet downstream of the confluence with Tributary D-8 to a point approximately 1,300 feet upstream of the confluence with Tributary D-8. The area of the proposed project is shown on North Carolina FIRM number 3710356500J, dated September 28, 2007. All data required to complete our review of this request for a Conditional Letter of Map Revision (CLOMR) were submitted with letters from Mr. Harold E. Clarkson, CFM, and Mr. Hamish of Woolpert, Inc. To determine the changes in flood hazards that will be caused by the proposed project, we compare the hydraulic modeling reflecting the proposed project (referred to as the proposed conditions model) to the hydraulic modeling used to prepare the FIS (referred to as the effective model). If the effective model does not provide enough detail to evaluate the effects of the proposed project, an existing conditions model must be developed to provide this detail. This existing conditions model is then compared to the effective model and the proposed conditions model to differentiate increases or decreases in flood hazards caused by more detailed modeling from increases or decreases in flood hazards that will be caused by the proposed project. We reviewed the submitted data and the data used to prepare the effective FIRM and FIS report for your community and determined that the proposed project meets the minimum floodplain management criteria of the NFIP. The submitted existing conditions HEC -RAS version 3.1.3 hydraulic computer model, dated December 19, 2007, was used as the base conditions model in our review of the proposed conditions model for this CLOMR request. We believe that, if the proposed project is constructed as shown on the submitted plan set entitled "Gaston Mall Redevelopment", dated October 7, 2007, prepared by Woolpert, Inc., and the data listed below are received, a revision to the FIRM and FIS report would be warranted. The submitted existing conditions HEC -RAS version 3.1.3 hydraulic computer model, dated December 19, 2007, used more up-to-date topographic information and survey data than the effective model. When compared to the effective model, the existing conditions model reflects increases in the Base (1 -percent annual chance) Flood Elevations (BFEs) along Duharts Creek, with a maximum increase of 0.6 foot at a point approximately 1,100 feet upstream of the confluence with Tributary D-8, and increases and decreases in the BFEs along Tributary D-8 with a maximum increase of 0.4 foot at a point approximately 200 feet upstream of the confluence with Duharts Creek, and a maximum decrease of 0.2 foot at a point approximately 520 feet upstream of the confluence with Duharts Creek. The proposed conditions model incorporates the proposed project into the existing conditions model. When we compared the existing conditions model to the proposed conditions model, we determined that the proposed project will cause decreases in the BFEs along Duharts Creek, with a maximum decrease of 0.6 foot occurring approximately 1,100 feet upstream of the confluence with Tributary D-8, and decreases in the BFEs along Tributary D-8, with a maximum decrease of 3.0 feet occurring approximately 200 feet upstream of the confluence with Duharts Creek. The updated existing conditions and proposed project will have the following impacts: Base Flood Elevations When compared to the effective data, the BFEs will decrease along Duharts Creek, with a maximum decrease of 0. l foot occurring approximately 540 feet downstream of the confluence of Tributary D-8. When compared to the effective data, the BFEs will increase and decrease along Tributary D-8 with a maximum increase of 0.2 foot occurring just upstream of Remount Road, and a maximum decrease of 2.6 feet occurring at a point approximately 760 feet upstream of the confluence with Duharts Creek. Please note that backwater from Duharts Creek will control the regulatory BFEs along Tributary D-8 to a point approximately 780 feet upstream of the confluence. Therefore, the maximum BFE decrease of 2.6 feet will not be reflected on the effective FIRM. I -Percent Annual Chance Floodplain When compared to the effective data, the width of the Special Flood Hazard Area (SFHA), the area that would be inundated by the base flood, will increase and decrease along Duharts Creek. The maximum increase of 150 feet occurs at a point approximately 800 feet upstream of the confluence with Tributary D- 8. The maximum decrease of 700 feet occurs at a point immediately upstream of the confluence of Tributary D-8. When compared to the effective data, the width of the SFHA will increase and decrease along Tributary D- 8. The maximum increase of 300 feet occurs at a point approximately 780 feet upstream of the confluence with Duharts Creek. The maximum decrease of 960 feet occurs at a point just upstream of the confluence with Duharts Creek. Floodway When compared to the effective data, the floodway width will increase and decrease along Duharts Creek. The maximum increase of 50 feet occurs approximately 1,000 feet upstream of the confluence of Tributary D-8. The maximum decrease of 220 feet occurs immediately upstream of the confluence of Tributary D-8. When compared to the effective data, the floodway width will increase and decrease along Tributary D-8. The maximum increase of 20 feet occurs at a point approximately 780 feet upstream of the confluence with Duharts Creek. The maximum decrease of 50 feet occurs at a point approximately 200 feet upstream of the proposed culvert (215 feet upstream of the old existing culvert). Upon completion of the project, your community may submit the data listed below and request that we make a final determination on revising the effective FIRM and FIS report. ® Detailed application and certification forms, which were used in processing this request, must be used for requesting final revisions to the maps. Therefore, when the map revision request for the area covered by this letter is submitted, Form 1, entitled "Overview & Concurrence Form," must be included. • The detailed application and certification forms listed below may be required if as -built conditions differ from the preliminary plans. If required, please submit new forms or annotated copies of the previously submitted forms showing the revised information. Form 2, entitled "Riverine Hydrology & Hydraulics Form" Form 3, entitled "Riverine Structures Form" Hydraulic analyses, for as -built conditions, of the base flood; the l0 -percent, 2 -percent, and 0.2 -percent annual chance floods; and the regulatory floodway, together with a certified topographic work map showing the revised floodplain and floodway boundaries, must be submitted with Form 2. �► A copy of the effective FIRM for the entire area of revision, annotated to reflect the as -built conditions l -percent and 0.2 -percent annual chance floodplains and floodway along Duharts Creek and Tributary D-8. Effective October 1, 2007, FEMA revised the fee schedule for reviewing and processing requests for conditional and final modifications to published flood information and maps. In accordance with this schedule, the current fee for this map revision request is $4,800 and must be received before we can begin processing the request. Please note, however, that the fee schedule is subject to change, and requesters are required to submit the fee in effect at the time of the submittal. Payment of this fee shall be made in the form of a check or money order, made payable in U.S. funds to the National Flood Insurance Program, or by credit card (Visa or MasterCard only). The payment, along with the revision application, must be forwarded to the following address: Using U.S. Postal Service: Using Overnight Service: North Carolina MT -2 LOMC Depot NC MT -2 LOMC- Collection System Administrator P.O. Box 300025 c/o Dewberry & Davis, Inc. Raleigh, North Carolina 27622-0025 2301 Rexwoods Drive, Suite 200 Raleigh, North Carolina 27607 As -built plans, certified by a registered professional engineer, of all proposed project elements. ® Community acknowledgment of the map revision request. ® A copy of the public notice distributed by your community stating its intent to revise the regulatory floodway, or a statement by your community that it has notified all affected property owners and affected adjacent jurisdictions. Evidence of notification of the property owners impacted by the increases in the ] -percent annual chance water surface elevations and floodplain widths along Duharts Creek and Tributary D-8. The property owners' written acceptance of the increases is required for the LOMR to become effective on the date of issuance. After receiving appropriate documentation to show that the project has been completed, FEMA will initiate a revision to the FIRM and FIS report. The North Carolina Floodplain Mapping Program (NCFMP) will review all revision requests in accordance with an agreement signed with FEMA on June 1, 2006, under the FEMA Cooperating Technical Partners initiative. For more information on this initiative, we encourage you to visit the dedicated portion of the FEMA Flood Hazard Mapping website at httj)://www.fei-na.gov/plan/prevent/fhnVctp main.shtm or visit the NCFMP website at http://www.ncfloodmaps.com. Because the BFEs would change as a result of the project, a 90 -day appeal period would be initiated, during which community officials and interested persons may appeal the revised BFEs based on scientific or technical data. The; basis of this CLOMR is, in whole or in part, a channel-modification/culvert project. NFIP regulations, as cited in Paragraph 60.3(b)(7), require that communities assure that the flood -carrying capacity within the altered or relocated portion of any watercourse is maintained. This provision is incorporated into your community's existing floodplain management regulations. Consequently, the ultimate responsibility for maintenance of modified channel and culvert rests with your community. This CLOMR is based on minimum floodplain management criteria established under the NFIR Your community is responsible for approving all floodplain development and for ensuring all necessary permits required by Federal or State law have been received. State, county, and community officials, based on knowledge of local conditions and in the interest of safety, may set higher standards for construction in the SFHA. If the State, county, or community has adopted more restrictive or comprehensive floodplain management criteria, these criteria take precedence over the minimum NFIP criteria. If you have any questions regarding floodplain management regulations for your community or the NF1P in general, please contact the Consultation Coordination Officer (CCO) for your community. Information on the CCO for your community may be obtained by calling the Director, Federal Insurance and Mitigation Division of FEMA in Atlanta, Georgia, at (770) 220-5400. If you have any technical questions regarding this CLOMR, please contact the NCFMP at (919) 715-5711 ext. 106, or the FEMA Map Assistance Center, toll free, at 1 -877 -FEMA MAP (1-877-336-2627). Sincerely, Beth A. Norton, CFM, Program Specialist For: William R. Blanton Jr., CFM, Chief Engineering Management Branch Engineering Management Branch Mitigation Directorate Mitigation Directorate United States Department ®f the Interior FISH AND WILDLIFE SERVICE Asheville Field Office 160 Zillicoa Street Asheville, North Carolina 28801 July 18, 2007 Ms. Andrea Hughes Cook Ms. Patty Perrino Carolina Wetland Services 550 E. Westinghouse Blvd. Charlotte, North Carolina 28273 Dear Ms. Cook and Ms. Perrino: Subject: Proposed Gaston Mall Redevelopment, Gastonia, Gaston County, North Carolina (CWS Project No. 2007-1860) On June 22, 2007; we received. your Jetter,dated.June.11,2007, in which you requested`our comments about the subject project. We initially responded to a scoping letter from ECS Carolinas, LLP, regarding the.subject project; on December 20, 2006. (The original scoping letter from ECS Carolinas did not include information regarding impacts to jurisdictional waters of the United States.) We have reviewed the information you presented and are providing the following comments in accordance with the provisions of the National Environmental Policy Act; the Fish and Wildlife Coordination Act, as amended (16 U.S.C. 661-667e); and section 7 of the Endangered Species Act of 1973, as amended (16 U.S.C. 1531-1543) (Act). Project Description - The proposed redevelopment will occur at the Gaston Mall on a 54 -acre parcel. The mall is bordered on three sides by other development, and a wooded area containing Dunharts Creek forms the western border. According to the information preserited, the inali redevelopment will cause unavoidable impacts to jurisdictional waters of the United States and will require Section 404/401 permitting. Federally Listed Species — Based on the results of your field survey for federally listed species, we do not believe that any listed species or their habitats occur on the site or that the proposed project will affect endangered or threatened species or their habitats. Therefore, we believe the requirements under section 7 of the Act are fulfilled. However, obligations under section 7 of the Act must be reconsidered if: (1) new information reveals impacts of this identified action that may affect listed species or critical habitat in a manner not previously considered, (2) this action is subsequently modified in a manner that was not considered in this review, or (3) a new species is listed or critical habitat is determined that may be affected by the identified action. Fish and Wildlife Resources — As stated above, the project will cause unavoidable impacts to jurisdictional waters of the United States, and Section 404/401 permitting will be required. We remind you that the U.S. Army Corps of Engineers' Clean Water Act 404/401 Permit Program requires your client to first minimize or avoid impacts to the aquatic resources located on the property. The permit application should clearly show why impacts are unavoidable and how impacts that are unavoidable have been minimized. Unavoidable impacts will require mitigation. According to the 404 (b)(1) guidelines, no discharge or fill material shall be permitted in streams or wetlands if there is a practicable alternative to the proposed discharge that would have less adverse impacts on the aquatic ecosystem (40 CFR 230.10); therefore, we suggest that a suitable, alternative be found that will eliminate or minimize impacts to aquatic resources. We recommend the following measures to help minimize project impacts: Use grassed swales in place of curb and gutter and on-site storm -water management (i.e., bioretention areas) that will result in no net change in the hydrology of the watershed. Without proper planning, this development will create more impervious surfaces (such as roofs, roads, and parking lots), which collect pathogens, metals, sediment, and chemical pollutants and quickly transmit them to receiving waters. Therefore, all storm -water outlets should drain through a vegetated upland area prior to reaching any stream or wetland area. Sufficient retention designs should be implemented to allow for the slow discharge of storm water, attenuating the potential adverse effects of storm -water surges; thermal spikes; and sediment, nutrient, and chemical discharges. 2. Preserve and/or restore forested riparian buffers. Given the close proximity of this project to aquatic resources and the increased impervious surface area that will occur as a result of this development, we are concerned about the loss and lack of riparian buffers. Forested riparian buffers (a minimum of 100 feet wide along perennial streams and 50 feet wide along intermittent streams) should be created and/or maintained along all aquatic areas. Riparian buffers provide travel corridors and habitat for wildlife displaced by development. In addition, riparian buffers protect water quality by stabilizing stream banks, filtering storm -water runoff, and providing habitat for aquatic and fisheries resources. Install and maintain stringent measures to control erosion and sediment in order to prevent unnecessary impacts to aquatic resources within and downstream of the project site. Disturbed areas should be reseeded with seed mixtures that are beneficial to wildlife. Fescue -based mixtures should be avoided. Native annual small grains appropriate for the season are preferred and recommended. Perimeter erosion -control devices should be installed prior to any on -the -ground activities. Frequent maintenance of these devices is critical to their proper function in order to minimize sediment discharge from the project site. 2 4. Avoid development and/or the placement of fill in the 100 -year floodplain. We strongly discourage the in -fill of 100 -year floodplains because it increases the potential for flooding to adjacent and downstream properties and interferes with the natural hydrological process of the waterways. We believe the recent examples of flooding in North Carolina highlight the importance of avoiding direct and indirect impacts associated with the occupancy and modification of floodplains. We remind you that Executive Order 11988 requires federal agencies (or their designated nonfederal representative) to consider and protect floodplain functions. 5. Use bridges for all permanent roadway crossings of streams and associated wetlands because they minimize impacts to aquatic resources, allow for the movement of aquatic organisms, and eliminate the need to fill and install culverts. All stream crossings should be made perpendicular to the stream. If culverts are the only option, we suggest using bottomless culverts. Bottomless culverts do not need to be buried, thereby minimizing the adverse impacts to streams. Any type of culvert that is used should be designed to allow for the passage of fish and other aquatic life. The culvert should be sized to accommodate the movement of debris and bed material within a channel during a bank -full event. We recommend the use of multiple barrels (other than the base -flow barrel), placed on or near stream bank -full or floodplain bench elevation in order to accommodate floodwaters within the stream corridor. These should be reconnected to floodplain benches as appropriate. This may be accomplished by using sills on the upstream end to restrict or divert flow to the base -flow barrel(s). Sufficient water depth should be maintained in the base -flow barrel during low flows to accommodate fish movement. If the culvert is longer than 40 linear feet, alternating or notched baffles should be installed in a manner that mimics the existing stream pattern. This should enhance the passage of aquatic life by: (a) depositing sediment in the barrel, (b) maintaining channel depth and flow regimes, and (c) providing resting places for fish and other aquatic organisms. 6. Avoid the complete clearing of land. If clearing is necessary, efforts should be made to avoid the removal of large trees at the edges of construction areas. Disturbed areas should be reseeded with seed mixtures that are beneficial to wildlife. Fescue -based mixtures should be avoided. Native annual small grains appropriate for the season are preferred and recommended. Where feasible, use woody debris and logs from clearing activities to establish brush piles and downed logs at the edges (just in the woods) of all cleared areas to improve habitat for wildlife. Allowing the area to develop into a brush/scrub habitat would maximize benefits to wildlife. 7. Install utility lines (i.e., sewer, gas, water) outside the above -recommended buffer widths. All utility crossings should be kept to a minimum, and all utility infrastructure should be kept out, of riparian buffer areas. The directional bore stream -crossing method (installation of utilities beneath the riverbed, avoiding impacts to the stream and buffer) should be used for utility crossings. Manholes or similar access structures should not be allowed within buffer areas. Stream crossings should be near perpendicular to stream flow and should be monitored at least every 3 months for maintenance needs during the first 24 months of the project and annually thereafter. Sewer lines associated with crossing areas should be maintained and operated at all times to prevent discharges to land or surface waters. In circumstances where minimum setbacks cannot be attained, sewer lines shall be constructed of ductile iron or a substance of equal durability. 8. Keep equipment out of streams by operating from the banks in a fashion that minimizes disturbance to woody vegetation. Equipment should be inspected daily and should. be maintained to prevent the contamination of surface waters from leaking fuels, lubricants, hydraulic fluids, or other toxic materials. All fuels, lubricants, and other toxic materials should be stored outside the riparian management area of the stream, in a location where the material can be contained. Equipment should be checked for leaks of hydraulic fluids, cooling system liquids, and fuel and should be cleaned before fording any stream. Also, all fueling operations should be accomplished outside the riparian management area. If an alternatives analysis confirms that impacts to streams and wetlands are unavoidable, a sufficient mitigation plan must be provided for all unavoidable impacts. As a general rule, we recommend that all direct impacts to wetlands and streams be mitigated with the restoration of comparable on-site streams and wetlands at a ratio of at least 2:1. If an in-kind, on-site mitigation plan cannot be established; we recommend the creation of an in-kind, off-site mitigation plan. If an in-kind, off-site mitigation plan cannot be provided and a buy -in to the North Carolina Ecosystem Enhancement Program becomes necessary for mitigation of the impacts, we recommend that the restoration ratio of 2:1 be used to calculate the payment amount. At this stage and without more specifics about construction locations or techniques, it is difficult for us to fully assess the potential environmental impacts (direct, indirect, secondary and cumulative) of this project. We therefore recommend that any environmental document prepared for this project include the following (if applicable): 1. A detailed analysis of stream and wetland impact areas and locations, particularly the locations of stream crossings and the construction techniques proposed for stream crossings within the project area. Plans for all proposed impact areas should include a complete analysis and comparison of the available construction techniques and alternatives (including a no -build alternative). 2. An assessment of any development that will impact the 100 -year floodplain. Any development that will impact the floodplain will need to be assessed. 3. Details of all surveys and assessments, including the acreage and a description of the wetlands that will be filled or impacted and the extent (linear feet as well 0 as discharge) of any water courses that will be impacted as a result of the proposed project. A description of any streams should include the classification (Rosgen 1995, 1996) and a description of the biotic resources, and any wetlands affected by the proposed project should be mapped in accordance with the Federal Manual for Identifying and Delineating Jurisdictional Wetlands. 4. A description of the fishery and wildlife resources within existing and required additional rights-of-way and any areas,. such as borrow areas, that maybe affected directly or indirectly by the proposed project. An assessment of all expected secondary and cumulative environmental impacts associated with this proposed work. The assessment should specify the extent and type of development proposed for the project area once the work is complete and how future growth will be maintained and supported with regard to sewer lines, water lines, parking areas, and any proposed roadways. 6. A discussion about the extent to which the project will result in the loss, degradation, or fragmentation of wildlife habitat from direct construction impacts and from secondary development impacts. The acreage and location of upland habitat, by cover type, that will be eliminated because of the proposed project must be noted. 7. Mitigation measures that will be employed to avoid, eliminate, reduce, or compensate for habitat value losses (wetland, riverine, and upland) associated with any phase of the proposed project. We appreciate the opportunity to provide these comments. If we can be of assistance or if you have any questions, please do not hesitate to contact Mr. Bryan Tompkins of our staff at 828/258-3939, Ext. 240. In any future correspondence concerning this project, please reference our Log Number 4-2-07-076. Sincerely, Brian P. Cole Field Supervisor North Carolina Department of Cultural Resources State Historic Preservation Office Peter B. Sandbeck, Administrator Michael F. Easley, Governor Lisbeth C. Evans, Secretary Jeffrey J. Crow, Deputy Secretary July 11, 2007 Andrea Hughes Carolina Wetland Services 550 E Westinghouse Blvd. Charlotte, NC 28273 Office of Archives and History Division of Historical Resources David Brook, Director Re: Gaston Mall Redevelopment, Cox Road, Gastonia, Gaston County, ER 07-1285 Dear Ms. Hughes: Thank you for your letter of June 12, 2007, concerning the above project. We have conducted a review of the proposed undertaking and are aware of no historic resources that would be affected. by the project. Therefore, we have no comment on the undertaking as proposed. The above comments are made pursuant to Section 106 of the National Historic Preservation Act and the Advisory Council on Historic Preservation's Regulations for Compliance with Section 106 codified at 36 CFR Part 800. Thank you for your cooperation and consideration. If you have questions concerning the above comment, contact Renee Gledhill -Earley, environmental review coordinator, at 919/733-4763, ext. 246. In all future communication concerning this project, please cite the above referenced tracking number. Sincerely, A �wruo�d Peter - andbeck Irl, �i7� Location Mailing Address l elepnone/ rax ADMINISTRATION 507 N. Blount Street, Raleigh NC 4617 Mail Service Center, Raleigh NC 27699-4617 (919)733-4763/733-8653 RESTORATION 515 N. Blount Street, Raleigh NC 4617 Mail Service Center, Raleigh NC 27699-4617 (919)733-6547/715-4801 SURVEY & PL.kNNING 515 N. Blount Street, Raleigh, NC 4617 Mail Service Center, Raleigh NC 27699-4617 (919)733-6545/715-4801 North Carolina Michael F. Easley, Governor Ms. Andrea Hughes Cook Carolina Wetland Services 550 E. Westinghouse Blvd. Charlotte, NC 28273 T WA its NCDENR Department of Environment and June 19, 2007 Subject: Gaston Mall Redevelopment; Gastonia, Ga: -.ton County CWS Project No. 2007-1860 Dear Ms. Cook: Natural Resources William G. Ross Jr., Secretary The Natural Heritage Program has no record of rare species, significant natural communities, or significant natural heritage areas at the site nor within a mile of the project area. Although our maps do not show records of such natural heritage elements in the project area, it does not necessarily mean that they are not present. It may simply mean that the area has not been surveyed. The use of Natural Heritage Program data should not be substituted for actual field surveys, particularly if the project area contains suitable habitat for rare species, significant natural communities, or priority natural areas. You may wish to check the Natural Heritage Program database website at w-,vw.ncnhp.org for a listing of rare plants and animals and significant natural communities in the county and on the quad map. NC OneMap now provides digital Natural Heritage clata online for free. This service provides site specific information on GIS layers with Natural Her;(age Program rare species occurrences and Significant Natural Heritage Areas. The NC OneM,1,) website provides Element Occurrence (EO) ID numbers (instead of species name), and the data user is then encouraged to contact the Natural Heritage Pro ,ram for detailed information. This service alloy 's the user to quickly and efficiently get site specific NHP data without visiting the NHP workroom or waiting for the Information Request to be answered by N -HP stair. For more 1nforinauion about data Lorn ata and access, viSli'��.- v�'.1 :CriC,i..: t^.� 11.�dat :.htiTil>, or email NC OneMap at <dataq@ncmail.net>. Plese do not hesitate to contact me at 919-715-8697 if you have questions or need further information. Sin4.;erely, J Har... -y E. LeGrand, Jr., Zoologist Nat n-ai Heritage Program 1601 Mail Service Center, Raleigh, North Carolina 27699-1601 Phone: 9°'9-733-49841 FAX: 919-715-30601 Internet: www.enr.state.nc.us/ENR/ An Equal Opp.,rtunity / Affirmative Action Employer - 50% Recycled 1 10 % Post Consumer Paper NNaturally o�e Carolina DEC -10-2005 09:49 FROM:PEARSON PROPERTIES 7048670465 TO:7045271133 P.002/002 s-- STONIIA- NC GreatPIace. GreatPeoyle. GreatPromise. Office of the Mayor December 5, 2007 To Whom It May Concern: The City of Gastonia anticipates the redevelopment of Gaston Mail and its association with Pearson Properties. The mall was originally developed in the early 1970s design, which has been antiquated and functionally inadequate for decades. We are encouraged by the design Improvements and the economic impact of this important retail area of our city. With Its location in our 1-85 corridor, the city staff and city council have worked with Pearson Properties in creating a retail center of which we can all be proud. Respectfully, j ennife T. Stultz ayor P.O. Sox 1748 - Gastonia, NC 26053-1748 • Phone: 704.866,6720 • fax: 70.4..854.6607 www.cityofgastonia.com DEC -02-2005 09:01 FROM:PEARSON PROPERTIES 7048670465 TO:7045271133 P.002/004 STON r"CNAMBER OF COMMERCE November 28, 2007 Mr. Joe Pearson Pearson Properties 1422 Burtonwood Drive Suite 200 Gastonia, NC 28054 RE: Support for Re -development of Gaston Mall Property Dear Mr. Pearson: The Gaston Chamber of Commerce, on behalf of over 2,500 business representatives, wishes to express support for the proposed renovation of the Gaston Mall property owned by Pearson Properties, Located off Cox Road (Exit 21) and U.S. Interstate 85, this property is a gateway into Gastonia and is by far the most rapidly developing interchange serving Gaston County form 1-85. Additionally, the Gaston Mall is a primary economic development generator for our community by providing jobs and significant sales tax base for our growing region. The estimated $30 million this renovation will yield in investment will more than triple the current property value, thus enhancing our property tax base. This redevelopment project is critically Important to support our current and future marketing efforts for new business and new residents. Please advise If the Chamber can assist in any manner with the furtherance of this project. Sincerely, Elysrillegass U President/CEO va'�.,.ya+Y'n".4•i!!.�Y�'+...^�:'^. �: ^^.'Y'1,*;'�!YK•'y'�'%� rT�.. °��ve+�+.W"' '• ��•:�I Si ' I i i PO"Bo 0.,. www gastonchamber, r, om DEC -02-2005 09:01 FROM:PEARSON PROPERTIES 7048670465 TO:7045271133 P.003/004 E.. GASTON COUNTY ECONOMIC DEVELOPMENT COMMISSION November 26, 2007 Mr, Charles W. Pearson, Jr. Pearson Properties 1422 Burtonwood Suite 200 Gastonia, NC 28054 Dear Mr. Pearson: The Gaston County Economic Development Commission strongly supports the redevelopment of the Gaston Mall property located at Cox Road and Franklin Boulevard. This area is an important segment of the County's economy, a majority of retail sales occur within a mile of this site. The redevelopment of this property will ensure that this area remains strong and viable. Gastonia has avoided the problems of abandoned retail centers and has been able to keep this main retail corridor occupied and vibrant through new and redeveloped properties. Pearson Properties plan will modernize this site and make it fit current retail requirements, and improve the existing site and drainage. In addition, the future potential traffic flow is accommodated with the development proposal and will generally improve access to the site. Their plans have been reviewed extensively and are meeting some of the most stringent requirements I have seen placed on any project in the County. Because of the reasons cited above, the Economic Development Commission would support the proposed redevelopment of the property. If any agencies have questions they can reach me at 70.4825-4046. Sincerely, D ny-IN ks Executive Director C.1 W.UTT11 P. D. Bax 7339, Gestnnta, Noah GardLna 2BUS3.2339 704•,625-4046 Fox 704-825-4068 www.gastmarq 1.15A DATA FORM ROUTINE WETLAND DETERMINATION (1987 COE Wetlands Delineation Manual) Project/Site: Gaston Mall Redevelopment Site Date: 01/24/06 Applicant/Owner: Pearson Properties, Inc. County: Gaston Investigator(s): Matt Jenkins and Ron Johnson State: NC Do Normal Circumstances exist on the site? YesNo Community ID: we Is the site significantly disturbed (Atypical Situation)? Yes No Transect ID: Is the area a potential Problem Area? Yes No Plot ID: DP1 (If needed, explain on reverse.) plant species are FAC or wetter. VEGETATION Dominant Plant S ecies 1. Ligustrum sinense Stratum Indicator shurb FAC Dominant Plant Species, Stratum Indicator 9. 10. 11. 12. 13. 14. 15. 16. 2. Acer rubrum tree FAC 3. Liquidambar styraciva tree FAC+ 4. Carpinus caroliniana tree/shrub FAC 5. Arundinaria sp. subshrub FACW 6. 7. S. Percent of Dominant Species that are OBL, FACW or FAC 100% Remarks: 100% of the dominant plant species are FAC or wetter. HYDROLOGY Recorded Data (Describe in remarks): Stream, Lake or Tide Gauge Aerial Photographs Other X No Recorded Data Available Wetland Hydrology Indicators: Primary Indicators: Inundated Saturated in Upper 12 Inches Water Marks Drift Lines Field Observations: —Sediment Deposits (on leaves) Drainage Patterns in Wetlands Depth of Surface Water: N/A (in.) Secondary Indicators (2 or more required): Root Channels in Upper 12 Inches Depth to Free Water in Pit: N/A (in.) _Oxidized _Water -Stained Leaves Local Soil Survey Data Depth to Saturated Soil: <12 (in.) �_ FAC -Neutral Test Other (Explain in Remarks) Remarks: Indicators of wetland hydrology are present. Routine On -Site Data Form Page 1 of 2 11/7/2007 SOILS Map Unit Name (Series and Phase): Chewacla loam, frequently flooded Drainage Class undrained Field Observations Taxonomy (Subgroup): Fine -loamy, mixed, active, thermic Fluvaguentic Dystrudepts Confirm Mapped Type? Yes No Profile Description: Depth Matrix Color Mottle Colors Mottle Texture, Concretions, (inches) Horizon (Munsell Moist) (Munsell Moist( Abundance/Contrast Structure, etc. 0-12 B 10YR5/2 2.5YR3/6 many/distinct silt loam Histosol Concretions Histic Epipedon _ _ High Organic Content in Surface Layer in Sandy Soils Sulfidic Odor. Organic Streaking in Sandy Soils Aquic Moisture Regime _ Listed on Local Hydric Soils List (Inclusions) Reducing Conditions Listed on National Hydric Soils List —Gleyed or Low-Chroma Colors Other (Explain in Remarks) Remarks: Hydric soils are present. WETLAND DETERMINATION Hydrophytic Vegetation Present? Yes No (Circle) Wetland Hydrology Present? Yes No (Circle) Hydric Soils Present? Yes No Is this Sampling Point Within a Wetland? Yes No Remarks: Datapoint is representative of a jurisdictional wetland area. Approved by HQUSACE 2/92 Routine On -Site Data Form Page 2 of 2 11/7/2007 DATA FORM ROUTINE WETLAND DETERMINATION (1987 COE Wetlands Delineation Manual) Project/Site: Gaston Mall Redevelopment Site Date: 01/24/06 Applicant/Owner: Pearson Properties, Inc. County: Gaston Investigator(s): Matt Jenkins and Ron Johnson State: NC Do Normal Circumstances exist on the site? Yes No Community ID: upland Is the site significantly disturbed (Atypical Situation)? Yes No Transect ID: Is the area a potential Problem Area? Yes No Plot ID: DP2 (If needed, explain on reverse.) plant species are FAC or wetter. LMM10:411if_AIII 161Z Dominant Plant S ecies 1 Acer rubrum Stratum Indicator tree FAC Dominant Plant Species Stratum Indicator 9 10 11 12 13 14 15 16 2 Quercus falcata tree FACU- 3 Quercus rubra tree FACU 4 Fagus grandifolia tree FACU 5 Ligustrum sinense shrub FAC 6 Polystichum acrostichoides herb FAC 7 Liquidambar styraciva tree FAC+ 8 Percent of Dominant Species that are OBL, FACW or FAC 57% Remarks: 57% of all the dominant plant species are FAC or wetter. I no V[110011[sicYJ Recorded Data (Describe in remarks): Stream, Lake or Tide Gauge Aerial Photographs Other X No Recorded Data Available Wetland Hydrology Indicators: Primary Indicators: _Inundated _Saturated in Upper 12 Inches Water Marks Drift Lines Field Observations: Sediment Deposits (on leaves) Drainage Patterns in Wetlands Depth of Surface Water: N/A (in.) Secondary Indicators (2 or more required): Root Channels in Upper 12 Inches Depth to Free Water in Pit: N/A (in.) _Oxidized _Water -Stained Leaves Local Soil Survey Data Depth to Saturated Soil: >12 (in.) _ _ FAC -Neutral Test Other (Explain in Remarks) Remarks: Indicators of wetland hydrology are not present. Routine On -Site Data Form Page 1 of 2 11/7/2007 ]ILS Map Unit Name (Series and Phase): Chewaela loam, frequently flooded Drainage Class undrained Field Observations Taxonomy (Subgroup): Fine -loamy, mixed active thermic Fluvaguentic Dystrudepts Confirm Mapped Type? YesCNc Depth Matrix Color Mottle Colors Mottle Texture, Concretions, (inches) Horizon (Munsell Moist) (Munsell Moist) Abundance/Contrast Structure, etc. 0-12 B 7.5YR4/4 none silt loam Histosol Histic Epipedon Sul idic Odor Aquic Moisture Regime Reducing Conditions Gleyed or Low-Chroma Colors are not WETLAND DETERMINATION _ Concretions High Organic Content in Surface Layer in Sandy Soils _Organic Streaking in Sandy Soils Listed on Local Hydric Soils List (Inclusions) Listed on National Hydric Soils List Other (Explain in Remarks) Hydrophytic Vegetation Present? Yes No (Circle) Wetland Hydrology Present? Yes No (Circle) Hydric Soils Present? Yes No Is this Sampling Point Within a Wetland? Yes No Remarks: Data point is representative of a non -jurisdictional upland area. I JI Approved by HQUSACE 2/92 Routine On -Site Data Form Page 2 of 2 11/712007 DATA FORM ROUTINE WETLAND DETERMINATION (1987 COE Wetlands Delineation Manual) Project/Site: Gaston Mall Redevelopment Site Date: 01/24/06 Applicant/Owner: Pearson Properties, Inc. County: Gaston Investigator(s): Matt Jenkins and Ron Johnson State: NC Do Normal Circumstances exist on the site? Yes No Community ID: wetland Is the site significantly disturbed (Atypical Situation)? Yes No Transect ID: Is the area a potential Problem Area? Yes No Plot ID: DP3 (If needed, explain on reverse.) plant species are FAC or wetter. VEGETATION Dominant Plant S ecies 1. Ligustrum sinense Stratum Indicator shrub FAC Dominant Plant Species Stratum Indicator 9. 10. 11. 12. 13. 14. 15. 16. 2. Acer negundo tree FACW 3. Acer rubrum tree FAC 4. Carex sp. herb FAC+ 5. Alnus serrulata shrub FACW+ 6. 7. S. Percent of Dominant Species that are OBL, FACW or FAC 100% Remarks: 100% of the dominant plant species are FAC or wetter. HYDROLOGY Recorded Data (Describe in remarks): Stream, Lake or Tide Gauge Aerial Photographs Other X No Recorded Data Available Wetland Hydrology Indicators: Primary Indicators: X Inundated —Saturated in Upper 12 Inches _ Water Marks Drift Lines Field Observations: Sediment Deposits (on leaves) Drainage Patterns in Wetlands Depth of Surface Water: 6 (in.) Secondary Indicators (2 or more required): Oxidized Root Channels in Upper 12 Inches Depth to Free Water in Pit: 0 (in.) _Water -Stained Leaves Local Soil Survey Data Depth to Saturated Soil: <12 (in.) FAC -Neutral Test Other (Explain in Remarks) Remarks: Indicators of wetland hydrology are present. Routine On -Site Data Form Page 1 of 2 1117/2007 Map Unit Name (Series and Phase): Chewacla loam, frequently flooded Drainage Class undrained Field Observations —,Vpd ng-tivP_ thermic Ftuvaauentic Dvstrudeuts Confirm Mapped Type? YesC Depth Matrix Color Mottle Colors Mottle Texture, Concretions, (inches) Horizon (Munsell Moist) (Munsell Moist) Abundance/Contrast Structure, etc. 0-12 B 2.5YR5/2 7.5YR5/6 many/distinct silt loam Histosol Histic Epipedon Sulfidic Odor Aquic Moisture Regime Reducing Conditions Gleyed or Low-Chroma Colors =-r A61r► n='r=011A1AIAT1r1K1 _ Concretions High Organic Content in Surface Layer in Sandy Soils _ Organic Streaking in Sandy Soils Listed on Local Hydric Soils List (Inclusions) Listed on National Hydric Soils List Other (Explain in Remarks) YYG 1 LMI\LJ 1vV Hydrophytic Vegetation Present? Yes No (Circle) Wetland Hydrology Present? Yes No (Circle) Hydric Soils Present? Yes No Is this Sampling Point Within a Wetland? Yes No Remarks: Data point is representative of a jurisdictional wetland area. Approved by HUUSA:t Routine On -Site Data Form Page 2 of 2 11/7/2007 DATA FORM ROUTINE WETLAND DETERMINATION (1987 COE Wetlands Delineation Manual) Project/Site: Gaston Mall Redevelopment Site Date: 05/11/07 Applicant/Owner: Pearson Properties, Inc. County: Gaston Investigator(s): Paul Bright, Tom Blackwell, Patty Perrino State: NC Do Normal Circumstances exist on the site? Yes No Community ID: wetland Is the site significantly disturbed (Atypical Situation)? Yes No Transect ID: Is the area a potential Problem Area? Yes No Plot ID: DP4 (If needed, explain on reverse.) plant species are FAC or wetter. VFt ;FTATInN Dominant Plant Species 1. Fraxinus pennsylvanica Stratum Indicator sap & tree FACW Dominant Plant Species Stratum Indicator', 9. Sambucus canadensis shrub FACW- 10. 11. 12. 13. 14. 15. 16. 2. Salix nigra tree OBL 3. Acer rubrum tree FAC 4. Impatiens capensis herb FACW 5. Ligustrum sinense shrub FAC 6. Alnus serrulata shrub FACW+ 7. Vibernum dentatum shrub FAC 8. Carex sp. . herb FAC+ Percent of Dominant Species that are OBL, FACW or FAC 100% Remarks: 100% of the dominant plant species are FAC or wetter. 10- LYJ§T TS1 r.TIEVA Recorded Data (Describe in remarks): Stream, Lake or Tide Gauge Aerial Photographs Other X No Recorded Data Available Wetland Hydrology Indicators: Primary Indicators: Inundated Saturated in Upper 12 Inches Water Marks Drift Lines Field Observations: �-Sediment Deposits (on leaves) —� Drainage Patterns in Wetlands Depth of Surface Water: N/A (in.) Secondary Indicators (2 or more required): Oxidized Root Channels in Upper 12 Inches Depth to Free Water in Pit: 4 (in.) -V_Water-Stained Leaves Local Soil Survey Data Depth to Saturated Soil: <12 (in.) _ _ FAC -Neutral Test Other (Explain in Remarks) Remarks: Indicators of wetland hydrology are present. Routine On -Site Data Form Page 1 of 2 11/7/2007 nu R Unit Name as and Phase): Chewacla loam, frequently flooded Drainage Class undrained Field Observations nnmv /Ciihnm�in\• Fine_Inamv_ mixed. active. thermic Fluvaauentic Dvstrudeats Confirm Mapped Type? Yes( N Depth Matrix Color Mottle Colors Mottle Texture, Concretions, (inches) Horizon (Munsell Moist) (Munsell Moist) Abundance/Contrast Structure, etc. 0-3 B 10YR4/1 2.5YR4/8 many distinct clay loam 3-12 B 10YR5/1 7.5YR5/6 many distinct clay loam Histosol Histic Epipedon Sulfidic Odor Aquic Moisture Regime Reducing Conditions Gleyed or Low-Chroma Colors arks: vators of hvdric soils are pry WETLAND DETERMINATION _ Concretions _ High Organic Content in Surface Layer in Sandy Soils _ Organic Streaking in Sandy Soils Listed on Local Hydric Soils List (Inclusions) —� Listed on National Hydric Soils List Other (Explain in Remarks) Hydrophytic Vegetation Present? Yes No (Circle) Wetland Hydrology Present? Yes No (Circle) Hydric Soils Present? Yes No Is this Sampling Point Within a Wetland? Yes No Remarks: Data point is representative of a jurisdictional wetland area. Approved by HQUSACE 2/92 Routine On -Site Data Form Page 2 of 2 11/7/2007 DATA FORM ROUTINE WETLAND DETERMINATION (1987 COE Wetlands Delineation Manual) Project/Site: Gaston Mall Redevelopment Site Date: 05/11/07 Applicant/Owner: Pearson Properties, Inc. County: Gaston Investigator(s): Paul Bright, Tom Blackwell, Patty Perrino State: NC Do Normal Circumstances exist on the site? Yes No Community ID: upland Is the site significantly disturbed (Atypical Situation)? Yes No Transect ID: Is the area a potential Problem Area? Yes No Plot ID: DP5 (If needed, explain on reverse.) Remarks: 44% of all the dominant rT CTIA\1 V GVG IMI IV114 Dominant Plant S ecies 1 Rubus argutus Stratum Indicator subshrub FACU+ Dominant Plant Species StratumIndicator 9 Prunus serotina shrub FACU 10 Liquidambar styracii lua tree FAC+ 11 12 13 14 15 16 2 Sambucus canadensis shrub FACU- 3 Lonicera japonica vine FAC- 4 Solidago sp. herb Unknown 5 Carex sp. herb FAC+ 6 Juncus effusus herb FACW+ 7 Eupatorium capillifolium herb FACU 8 Vitus rotundifolia vine FAC Percent of Dominant Species that are OBL, FACW or FAC 44% Remarks: 44% of all the dominant plant species are FAC or wetter. n r vrwl..vv 1 Recorded Data (Describe in remarks): Stream, Lake or Tide Gauge Aerial Photographs Other X No Recorded Data Available Wetland Hydrology Indicators: Primary Indicators: Inundated Saturated in Upper 12 Inches Water Marks Drift Lines Field Observations: Sediment Deposits (on leaves) Drainage Patterns in Wetlands Depth of Surface Water: N/A (in.) Secondary Indicators (2 or more required): Oxidized Root Channels in Upper 12 Inches Depth to Free Water in Pit: N/A (in.) Water -Stained Leaves Local Soil Survey Data Depth to Saturated Soil: N/A (in.) _ _ FAC -Neutral Test Other (Explain in Remarks) Remarks: Indicators of wetland hydrology are not present. Routine On -Site Data Form Page 1 Of 2 11/7/2007 Map Unit Name (Series and Phase): Chewacla loam, frequently flooded Drainage Class undrained Field Observations T ,., �c„ti . �• Tiina_Inamv mixed_ active_ thermic Fluvaouentic Dvstrudeuts Confirm Mapped Type? YesC Depth Matrix Color Mottle Colors Mottle Texture, Concretions, (inches) Horizon (Munsell Moist) (Munsell Moist) Abundance/Contrast Structure, etc. 0-6 B 10YR5/2 none silt loam 6-12 B 10YR5/3 7.5YR5/8 few/faint silt loam Histosol _ Concretions Histic Epipedon _ High Organic Content in Surface Layer in Sandy Soils Sulfidic Odor _ Organic Streaking in Sandy Soils Aquic Moisture Regime Listed on Local Hydric Soils List (Inclusions) Reducing Conditions Listed on National Hydric Soils List Gleyed or Low-Chroma Colors _Other (Explain in Remarks) rs of hvdric soils are not CTI AAM nI=r=0MIAIAT10AI Hydrophytic Vegetation Present? Yes No (Circle) Wetland Hydrology Present? Yes No (Circle) Hydric Soils Present? Yes No Is this Sampling Point Within a Wetland? Yes No Remarks: Data point is representative of a non -jurisdictional upland area. Approved by HQUSACE 2/92 Routine On -Site Data Form Page 2 of 2 19/7/2007 North Carolina Division of Water Quality - Stream Identification Form; Version 3.1 Date: 05/11/2007 Project: Gaston Mall Site Latitude: N350 15' 14.5" Evaluator: TJB, PABA PMP site: Perennial Stream A Longitude: W810 8' 22" Total Points: Other Stream is at least intermittent 45.50 county: Gaston e.g. Quad Name: SCP1 if? 19 or perennial if >_ 30 A. Geomorghaloav (Subtotal = 26.5 i Absent Weak Moderate Strong 1'. Continuous bed and bank 3.01 0 i 1 2 1 3 2. Sinuosity 2.0 j 0 1 1 2 3 3. In -channel structure: riffle -pool sequence 3.0 i 0 1 0.0 0 4. Soil texture or stream substrate sorting 3.0E 0 1 2 3 5. Active/relic floodplain 3.01 0 1 2 3 6. Depositional bars or benches 3.0 1 0 1 2 3 7_ Braided channel 0.01 0 1 2 3 8. Recent alluvial deposits 3.0 0 1 2 3 9' Natural levees 1.0 j 0 1 2 3 ! 10, Headcuts 0.01 0 1 2 11. Grade controls 1.01 0 0.5 1 1.5 12_ Natural valley or drainagewray 1.51 0 0.5 1 I 1.5 13. Second or greater order channel on existing t1SGS or NRCS map or other documented evidence. Ii 3.0 ; No = 0 Yes = 3 - Man-made ditches are not rated: see discussions in manuai B. Hvdroloav (Subtotal = 10.0 } 14� Groundwater flowffdischarge 2.01 0 1 2 i 3 15. Water in channel and > 48 hrs since rain, or Water in channel -- d or rowin season 3.01 0 1 2 3 16. Leaflitter 1.51 1.5 1 0.0 0 17. Sediment on plants or debris1.0 ' 0 0.5 1 { 1.5 E 18. Organic debris lines or piles (Wrack lines) 1.0 , 0 0.5 1 1 1.5 19. Hydric soils (redoximorphic features) present?1.5 1.011 No = 0 0.5 Yes= 1.5 i C. Bioloqv (Subtotal = 9.00 } 20 . Fibrous roots in channel 3.0 ( 3 2 210. Rooted plants in channel 3.0 i 3 2 1 0 22_ Crayfish 0.5 ! 0 0.5 1 1.5 23. Bivalves 0.0 0 1 2 3 24, Fish 1.0 0 10.5 1 1.5 25. Amphibians 0.51 0 0.5 1 1.5 26_ Macrobenthos (note diversity and abundance) 1.011 0 0.5 1 1.5 27. Filamentous algae; periphyton 0.0 i 0 1 2 3 28. Iron oxidizing bacteria/fungus. 0 0.5 1 1.5 290 Wetland plants in streambed 0.00 j FAC = 0.5; FACW = 0.75; OBL = 1.5 SAV = 2.0; Other = 0 Items 20 and 21 focus on the presence of upland plants. Item 29 tocuses on the presence or aquatic or w.retianu prams. Sketch_ Notes: (use back side of this form for additional notes.) Many small fish; two frogs heard; one crayfish observed, abundant ca isflies, snails, and gelatinous eggs on roc bot -toms North Carolina Division of Water Quality -Stream Identification Form; Version 3.1 Date: 05/11/2007 Project: Gaston Mall Latitude: N350 15' 52" EvaluatorpAB, Pmp Site: Perennial Stream B Longitude: W810 8' 17.5x► Total Points: Other Stream Is at least intermittent '1 Q 50 County• e.g. Quad Alame: SCP2 If >_ 19 or erennial if >_ 2 O 30 • Gaston A. Geomorphology (subtotal= 10.5 3.0 Absent Weak Moderate Strong j 1'. Continuous bed and bank 2. Sinuosity 0.0 0.0 0 0 1 1 1 2 2 3 3�� 3. In -channel structure: riffle -pool sequence2.0 1.0 0 1 2 3 4. Soil texture or stream substrate sorting 2.0 0 1 2 3 5. Activetrelic floodplain 3.0 0 1 2 3 6. Depositional bars or benches 1.0 0 1 2 i 3 7. Braided channel 0.0 0 1 2 ( 3 8. Recent alluvial deposits 1.0 0 1 2 E 3 Natural levees 0.0 0 f 1 2 3 _9' 10. Headcuts 0.0 0 1 2 3 11. Grade controls 1.0 0 0.5 1 1.5 12- Natural valley or drainageway 0.5 0 0.5 1 1.5 13. Second or greater order channel on existin USES or NRCS map or other documented evidence. 0.0 No= 0� Yes = 3 ` Man-made ditches are not rated: see aiscussions in manual 14. Groundwater ffo4discharge 3.0 0 1 { 2 3 15. Water in channel and > 48 hrs since rain, or Water in channel --..dry or grmAting season 3.0 0 1 2 3 16. Leaflitter 1.0 1-5 1 0.5 ; 0 17. Sediment on plants or debris 0.5 0 0.5 1 1.5 18- Organic debris lines or piles (Wrack lines) 1.0 0 _ 0.5 1 1.5 19. Hydric soils (redoximorphic features) present 4.5 0.0 No = 0 _ Yes = 1-5 I rc:_R_-..-. .^.-_,._o _ U 1111 X - _, _Z:jr e. �. . 20 . Fibrous roots in channel 3.0 3 2 1 ' 0 21 . Rooted plants in channel 3.0 3 F 2 1 0 22, Crayfish 0.5 0 0.5 1 1.5 23. Bivalves 0.0 0 1 2 I 3 24. Fish 0.0 0 0-5 1 1.5 25. Amphibians 0.0 0 10.5 1 1.5 26. Macrobenthos (note diversity and abundance) 0.5 0 0.5 1 1.5 27. Filamentous algae; periphyton 0.0 0 1 2 3 28. Iron oxidizing bacterialfungus. 1.0 0 0.5 1 1.5 29 °. Wetland plants in streambed 0.00 FAC = 0.5; FACW = 0.75; OBL = 1.5 SAV = 2.0; Other = 0 Items 23 and 21 Locus on the presence or upiano plants, item ,:e focuses Vii LIM JJIC5�111� � -1j- ­ �• as ••�.• r -•••�- Sketch: Notes: (use back side of this form for additional notes.) Man-made channelized stream; therefore, parameters 1 and 9 were not rated. I OFFICE USE ONLY: USACE AID# DWQ # SCP1— Perennial Channel A STREAM QUALITY ASSESSMENT WORKSHEET 1. Applicant's Name: Pearson Properties 2. Evaluator's Name: Paul Bright Tom Blackwell Patty Perrino 3. Date of Evaluation: 5-11-07 5. Name of Stream: Duharts Creek 7. Approximate Drainage Area: 10 square miles 9. Length of Reach Evaluated: 400 linear feet 4. Time of Evaluation: 4.00 pm 6. River Basin: Catawba 8. Stream Order: second 10. County: Gaston 11. Location of reach under evaluation (include nearby roads and landmarks): From Charlotte travel south on I-85. take Cox Rd exit (exit 21)Turn left onto Cox Rd and then right into Gaston Mall Go all the way to the back corner of the mall. 12. Site Coordinates (if known): N35° 15' 14.5" W81° 8'22" 13. Proposed Channel Work (if any): stream relocation 14. Recent Weather Conditions: no rain within past 48 hours 15. Site conditions at time of visit: sunny. 80 degrees 16. Identify any special waterway classifications known: _Section 10 _Tidal Waters _Essential Fisheries Habitat _Trout Waters _Outstanding Resource Waters _ Nutrient Sensitive Waters _Water Supply Watershed (I-IV) 17. Is there a pond or lake located upstream of the evaluation point? YES NO If yes, estimate the water surface area: 0.23 acre 18. Does channel appear on USGS quad map? YES NO 19. Does channel appear on USDA Soil Survey? YES NO 20. Estimated Watershed Land Use: 50 % Residential 20 % Commercial _% Industrial _% Agricultural 30 % Forested _% Cleared / Logged % Other (Institutional ) 21. Bankfull Width: 10' 22. Bank Height (from bed to top of bank): 5" 23. Channel slope down center of stream: _Flat (0 to 2%) X Gentle (2 to 4%) _Moderate (4 to 10%) _Steep (>10%) 24. Channel Sinuosity: Straight X Occasional Bends _Frequent Meander _Very Sinuous _Braided Channel Instructions for completion of worksheet (located on page 2): Begin by determining the most appropriate ecoregion based on location, terrain, vegetation, stream classification, etc. Every characteristic must be scored using the same ecoregion. Assign points to each characteristic within the range shown for the ecoregion. Page 3 provides a brief description of how to review the characteristics identified in the worksheet. Scores should reflect an overall assessment of the stream reach under evaluation. If a characteristic cannot be evaluated due to site or weather conditions, enter 0 in the scoring box and provide an explanation in the comment section. Where there are obvious changes in the character of a stream under review (e.g., the stream flows from a pasture into a forest), the stream may be divided into smaller reaches that display more continuity, and a separate form used to evaluate each reach. The total score assigned to a stream reach must range between 0 and 100, with a score of 100 representing a stream of the highest quality. Total Score (from reverse): 62 Comments: Evaluator's Signature Date This channel evaluation form is intended to be used only as a guide to assist landowners and environmental professionals in gathering the data required by the United States Army Corps of Engineers in order to make a preliminary assessment of stream quality. The total score resulting from the completion of this form is subject to USACE approval and does not imply a particular mitigation ratio or requirement. Form subject to change — version 05/03. To Comment, please call 919-876-8441 x 26. STREAM QUALITY ASSESSMENT WORKSHEET SCP1—Perennial Channel A 1 Presence of flow/ persistent pools in stream 0-5 0 - 4 0 — 5 4 no flow or saturation= 0; strongflow = max points) 2 Evidence of past human alteration 0-6 01-5 0' 5 2 extensive alteration= 0; no alteration = maxpoints) 3 Riparian zone 0— 6 0— 4 0-15. 3 no buffer = 0; contiguous, wide buffer = maxpoints) 4 Evidence of nutrient or chemical discharges 0— 5 0-4 0-4 4 extensive discharges = 0• no discharges = max oints 5 Groundwater discharge 0-3 0-4, 0-4 2 no discharge = 0• springssees wetlands etc, = max oints 6 Presence of adjacent floodplain' 0'— 4 0 -- 4 01-2 3 no floodplain = 0; extensive floodplain = maxpoints) Entrenchment / floodplain access0- 5 0 :— 4 0— 2, 2 (dee0y entrenched = 0; frequent flooding = max oints 8 Presence of adjacent wetlands 0-6 0- 4 0— 2 4 no wetlands = 0; large adjacent wetlands = maxpoints) 9 Channel sinuosity, 0— 5 0— 4 0— 3 2 extensive channelization = 0; natural meander: = max p2ints 10 Sediment input 0=5 0'— 4 0— 4 2 extensive de osition=°0; little or no sediment = max oints 11 Size & diversity of channel bed substrate 0`-4 0-5 2 fine, homo enous = 0; large, diverse sizes = max oints 12 Evidence of channel incision or widening 0-51 0=4 0 — 5 1 (deeply incised = 0• stable bed & banks = maxpoints) 13 Presence of major bank failures 0 = 5 0-5 0-5 0 severe erosion= 0• no erosion stable banks = maxpoints) 14 Root depth and density on banks 'throu 0-3 0-4 0-5 2 no visible roots = 0; dense roots hout.= max oints 15 Impact by agriculture or livestock production 0-5 0 — 4 0-5 4 substantial hn act =0; no evidence = maxpoints) 16 Presence of riffle.pool/ripple-pool complexes.0— 3 0-5 0-16 3 no riffles/ripples or pools = 0; well-developed = maxpoints) 17 Habitat complexity 0-6 0-6 o-6 4 little or no habitat = 0• frequent, varied habitats = maxpoints) 18 Canopy coverage over streambed 0-5 0-5 0-5 3 no shading vegetation = 0; continuous canopy = maxpoints) 19 Substrate embeddedness NA* 0— 4 0— 4 3 (deeply embedded = 0; loose structure= max 20 Presence of stream invertebrates 0-4 0-5 0-5 4 no evidence = 0• common, numerous types = maxpoints) 21 Presence of amphibians 0-4 0-4 0-4 1 no evidence = 0; common, numerous types = max oints 22 Presence of fish. 0-4 0-4 0-4 3 no evidence = 0; common, numerous types = maxpoints) 23 Evidence of wildlife use 0— 6 0-5 0-5 4 no evidence = 0; abundant evidence = maxpoints) TOTAL SCORE (also enter oii first page) I 62 * These characteristics are not assessed in coastal streams. N OFFICE USE ONLY USACE AID# SCP2 — Perennial Stream B DWQ# 3 ( STREAM QUALITY ASSESSMENT WORKSHEET 1. Applicant's Name: Pearson Properties 2. Evaluator's Name: Paul Bright Patty Perrino 3. Date of Evaluation: 5-11-07 5. Name of Stream: UT to Duharts Creek 7. Approximate Drainage Area: 170 acres 4. Time of Evaluation: 4.30 pm 6. River Basin: Catawba 8. Stream Order: 9. Length of Reach Evaluated: 300 linear feet 10. County: Gaston 11. Location of reach under evaluation (include nearby roads and landmarks): From Charlotte travel south on I-85, take Cox Rd exit (exit 2 t) Turn left onto Cox Rd and then right into Gaston Mall Go all the way to the back comer of the mall. 12. Site Coordinates (if known): N35° 15' 52" W810 8' 17.5" 13. Proposed Channel Work (if any): wipe entire channel 14. Recent Weather Conditions: no rain within past 48 hours 15. Site conditions at time of visit: sunny 80 degrees - 16. Identify any special waterway classifications known: _Section 10 _Tidal Waters _Essential Fisheries Habitat _Trout Waters _Outstanding Resource Waters e Nutrient Sensitive Waters _Water Supply Watershed (I-IV) 17. Is there a pond or lake located upstream of the evaluation point? YES (�DIf yes, estimate the water surface area: 18. Does channel appear on USGS quad map? YES NO 19. Does channel appear on USDA Soil Survey? YES NO 20. Estimated Watershed Land Use: 60 % Residential 10 % Commercial % Industrial % Agricultural 30 % Forested _% Cleared / Logged % Other (Institutional ) 21. Bankfull Width: 20' 22. Bank Height (from bed to top of bank): 5" 23. Channel slope down center of stream: X Flat (0 to 2%) _Gentle (2 to 4%) _Moderate (4 to 10%) _Steep (>10%) 24. Channel Sinuosity: X Straight _Occasional Bends _Frequent Meander _Very Sinuous _Braided Channel Instructions for completion of worksheet (located on page 2): Begin by determining the most appropriate ecoregion based on location, terrain, vegetation, stream classification, etc. Every characteristic must be scored using the same ecoregion. Assign points to each characteristic within the range shown for the ecoregion. Page 3 provides a brief description of how to review the characteristics identified in the worksheet. Scores should reflect an overall assessment of the stream reach under evaluation. If a characteristic cannot be evaluated due to site or weather conditions, enter 0 in the scoring box and provide an explanation in the comment section. Where there are obvious changes in the character of a stream under review (e.g., the stream flows from a pasture into a forest), the stream may be divided into smaller reaches that display more continuity, and a separate form used to evaluate each reach. The total score assigned to a stream reach must range between 0 and 100, with a score of 100 representing a stream of the highest quality. Total Score (from reverse): 46 Comments: Channelized stream. Evaluator's Signature Late This channel evaluation form is intended to be used only as a guide to assist landowners and environmental professionals in gathering the data required by the United States Army Corps of Engineers in order to make a preliminary assessment of stream quality. The total score resulting from the completion of this form is subject to USACE approval and does not imply a particular mitigation ratio or requirement. Form subject to change — version 05/03. To Comment, please call 919-876-8441 x 26. STREAM QUALITY ASSESSMENT WORKSHEET SCP2 — Perennial Stream B 1 * These characteristics are not assessed in coastal streams. 0 Presence of flow / persistent pools in stream 0-5 0 - 4 O-5 2 no flow or saturation= 0 strong flow= maxpoints) r 2 Evidence of past human alteration 0-6 0-5 0 - 5 1 extensive alteration .= 0• no alteration .= max oints 3 Riparian zone 0— 6 0 — 4 0 - 5 2 no buffer = 0; contiguous, wide buffer = max oints 4 ; Evidence of nutrient or chemical discharges 0-5 0 = 4 0 — 4 4 extensive discharges = 0• no discharges = maxpoints) 5 Groundwater discharge 0-3 0-4 0- 4 2 no discharge = 0; springs, see s, wetlands, etc. = maxpoints) 6 Presence of adjacent floodplain 0 -.4 0 - 2 2 no floodplain = 0; extensive flood lain = maxpoints)0-4 Entrenchment / floodplain access 0-5 0 - 4 0 -.2 2 dee 1 entrenched = 0;_frequent flooding = max points) 8 Presence of adjacent wetlands 0-6 0-4 0- 2 2 no wetlands 0; large adjacent wetlands = maxpoints) 9 .= - Channel sinuosity 0-5 0-4 0-3 0 extensive channelization = 0; natural meander = max oints 10 Sediment input 0= 5 0= 4 0- 4 2 extensive de osition= O; little or no sediment ,= maxpoints) " 11 Size & diversity of channel bed substrate NA x U. = 4 0-5 2 fine, homogenous = 0; large, diverse sizes = max oints ...tet 12 Evidence of channel incision or widening 0=5 0=4 0-5 2 (deeply incised = 0; stable bed & banks = max points). H` 13 Presence of major bank failures' 0 - 5 0 —5 0 = 5 2 severe erosion = 0• no erosion,` stable banks = maxpoints) 140-3 Root depth and density on banks = 0-4 0-5 1 no visible roots= 0• dense roots throu out maxpoints) '= 15 Impact by agriculture or livestock production 0 = 4 0 - 5 4 substantial impact =0; no evidence= max points)0-5 16 presence of riffle-pool/ripple-pool complexes 0= 3 0` 5 0-6 2 no riffles/ripples or pools = 0; well-developed = maxpoints) 17 Habitat complexity Habitat 0-6 0-6 0-6 2 or no habitat = 0; frequent, varied habitats = maxpoints) i-- 18 Canopy coverage over streambed 0-5 0'— 5 0-5 5 no shading ve etation = 0; continuous canopy = maxpoints) 19 Substrate embeddedness 0-4 0 — 4 3 (deeply embedded = 0; loose structure = max)NA* 20 Presence of stream invertebrates 0-4 0-5 0-5 1 no evidence = 0; common numerous types =maxpoints) 21 Presence of amphibians 0-4 0-4 0-4 0 O no evidence = 0; common numerous types = maxpoints) O 220-4 Presence of fish 0-4 0=4 0 (no evidence = 0: common. numerous tvnes = max noints) * These characteristics are not assessed in coastal streams. 0 � `' t �/l'�, �t� t yam• �� n r � :R• ri ;' "y ti�l*.3 �'�' � t I' I t Y ': 1 �"� 1 4, y• A1�1+'RI ,'� • i , � s Y� t i� ^b� � fe�rl til 1'��'1 �t ��t ,` 1... ♦fy.. ^. it•,�a. .at'��lik�lrei6;/� .SM"_K _�. J�eReA''.�.S,e�\V Gaston Mall Redeveplopment Section 404 Individual Permit Application August 8, 2007 Photograph C: Wetland AA Photograph D: Upland adjacent to weiianu PKzA, Lr -3 Gaston Mall Redeveplopment Section 404 Individual Permit Application August 8, 2007 Photograph 1;: Wetland lili Photograph F: Power line right-ot-way surveyea ror rruLnULUU OVUc,Ic3 APPROVED JURISDICTIONAL DETERMINATION FORM U.S. Army Corps of Engineers This form should be completed by following the instructions provided in Section IV of the JD Form Instructional Guidebook. SECTION I: BACKGROUND INFORMATION A. REPORT COMPLETION DATE FOR APPROVED JURISDICTIONAL DETERMINATION (JD): August 8, 2007 B. DISTRICT OFFICE, FILE NAME, AND NUMBER: Asheville Field Office C. PROJECT LOCATION AND BACKGROUND INFORMATION: D,J,).j •4-S Cit ee,\C, 5}c cr_, a �fii • d State: NC County/parish/borough: Gaston City: Gastonia Center coordinates of site (lat/long in degree decimal format): Lat. 35.2494° N, Long. 81.1372° W. Universal Transverse Mercator: Zone 17 Name of nearest waterbody: Duhart Creek Name of nearest Traditional Navigable Water (TNW) into which the aquatic resource flows: South Fork Catawba River Name of watershed or Hydrologic Unit Code (HUC): 03050101 E Check if map/diagram of review area and/or potential jurisdictional areas is/are available upon request. F Check if other sites (e.g., offsite mitigation sites, disposal sites, etc...) are associated with this action and are recorded on a different JD form. D. REVIEW PERFORMED FOR SITE EVALUATION (CHECK ALL THAT APPLY): Q. Office (Desk) Determination. Date: Field Determination. Date(s): January 24 and 25, 2006 SECTION H: SUMMARY OF FINDINGS A. RHA SECTION 10 DETERMINATION OF JURISDICTION. There Are a_o "navigable waters of the U.S." within Rivers and Harbors Act (RHA) jurisdiction (as defined by 33 CFR part 329) in the review area. [Required] 0 Waters subject to the ebb and flow of the tide. 0 Waters are presently used, or have been used in the past, or may be susceptible for use to transport interstate or foreign commerce. Explain: B. CWA SECTION 404 DETERMINATION OF JURISDICTION. There Are "waters of the U.S." within Clean Water Act (CWA) jurisdiction (as defined by 33 CFR part 328) in the review area. [Required] 1. Waters of the U.S. a. Indicate presence of waters of U.S. in review area (check all that apply): r 0 TNWs, including territorial seas Wetlands adjacent to TNWs ® Relatively permanent waters2 (RPWs) that flow directly or indirectly into TNWs 0 Non-RPWs that flow directly or indirectly into TNWs Z Wetlands directly abutting RPWs that flow directly or indirectly into TNWs Q Wetlands adjacent to but not directly abutting RPWs that flow directly or indirectly into TNWs Wetlands adjacent to non-RPWs that flow directly or indirectly into TNWs Impoundments of jurisdictional waters Isolated (interstate or intrastate) waters, including isolated wetlands b. Identify (estimate) size of waters of the U.S. in the review area: Non -wetland waters: 1142 linear feet: 20 width (ft) and/or 0.52 acres. Wetlands: 0.27 acres. c. Limits (boundaries) of jurisdiction based on: 1987,DelineatiorrManunl Elevation of established OHWM (if known): 2. Non-regulated waters/wetlands (check if applicable):3 Potentially jurisdictional waters and/or wetlands were assessed within the review area and determined to be not jurisdictional. Explain: 'Boxes checked below shall be supported by completing the appropriate sections in Section III below. 2 For purposes of this form, an RPW is defined as a tributary that is not a TNW and that typically flows year-round or has continuous flow at least "seasonally" (e.g., typically 3 months). ' Supporting documentation is presented in Section III.F. SECTION III: CWA ANALYSIS A. TNWs AND WETLANDS ADJACENT TO TNWs The agencies will assert jurisdiction over TNWs and wetlands adjacent to TNWs. If the aquatic resource is a TNW, complete Section III.A.1 and Section III.D.1. only; if the aquatic resource is a wetland adjacent to a TNW, complete Sections III.A.1 and 2 and Section III.D.1.; otherwise, see Section III.B below. 1. TNW Identify TNW: N/A. Summarize rationale supporting determination: Wetland adjacent to TNW Summarize rationale supporting conclusion that wetland is "adjacent': N/A. B. CHARACTERISTICS OF TRIBUTARY (THAT IS NOT A TNW) AND ITS ADJACENT WETLANDS (IF ANY): This section summarizes information regarding characteristics of the tributary and its adjacent wetlands, if any, and it helps determine whether or not the standards for jurisdiction established under Rapanos have been met. The agencies will assert jurisdiction over non -navigable tributaries of TNWs where the tributaries are "relatively permanent waters" (RPWs), i.e. tributaries that typically flow year-round or have continuous flow at least seasonally (e.g., typically 3 months). A wetland that directly abuts an RPW is also jurisdictional. If the aquatic resource is not a TNW, but has year-round (perennial) flow, skip to Section III.D.2. If the aquatic resource is a wetland directly abutting a tributary with perennial flow, skip to Section III.D.4. A wetland that is adjacent to but that does not directly abut an RPW requires a significant nexus evaluation. Corps districts and EPA regions will include in the record any available information that documents the existence of a significant nexus between a relatively permanent tributary that is not perennial (and its adjacent wetlands if any) and a traditional navigable water, even though a significant nexus finding is not required as a matter of law. If the waterbody° is not an RPW, or a wetland directly abutting an RPW, a JD will require additional data to determine if the waterbody has a significant nexus with a TNW. If the tributary has adjacent wetlands, the significant nexus evaluation must consider the tributary in combination with all of its adjacent wetlands. This significant nexus evaluation that combines, for analytical purposes, the tributary and all of its adjacent wetlands is used whether the review area identified in the JD request is the tributary, or its adjacent wetlands, or both. If the JD covers a tributary with adjacent wetlands, complete Section III.B.1 for the tributary, Section III.B.2 for any onsite wetlands, and Section III.13.3 for all wetlands adjacent to that tributary, both onsite and offsite. The determination whether a significant nexus exists is determined in Section III.0 below. 1. Characteristics of non-TNWs that flow directly or indirectly into TNW (i) General Area Conditions: Watershed size: Pick List Drainage area: P'Ick List Average annual rainfall: inches Average annual snowfall: inches (ii) Physical Characteristics: (a) Relationship with TNW: ❑ Tributary flows directly into TNW. ❑ Tributary flows through Pick List tributaries before entering TNW. Project waters are Pick List river miles from TNW. Project waters are Pick List river miles from RPW. Project waters are Pick List aerial (straight) miles from TNW. Project waters are Pick'Lisf aerial (straight) miles from RPW. Project waters cross or serve as state boundaries. Explain: Identify flow route to TNW5: Tributary stream order, if known: "Note that the Instructional Guidebook contains additional information regarding swales, ditches, washes, and erosional features generally and in the and West. 5 Flow route can be described by identifying, e.g., tributary a, which flows through the review area, to flow into tributary b, which then flows into TNW. (b) General Tributary Characteristics (check all that apow: Tributary is: ❑ Natural ❑ Artificial (man-made). Explain: ❑ Manipulated (man -altered). Explain: Tributary properties with respect to top of bank (estimate): Average width: feet Average depth: feet Average side slopes: Pick List. Primary tributary substrate composition (check all that apply): F]Silts ElSands ❑Concrete ❑ Cobbles ❑ Gravel ❑ Muck ❑ Bedrock ❑ Vegetation. Type/%cover: ❑ Other. Explain: Tributary condition/stability [e.g., highly eroding, sloughing banks]. Explain: Presence of run/riffle/pool complexes. Explain: Tributary geometryPick.Lisf Tributary gradient (approximate average slope): % (c) Flow: Tributary provides for Pick List Estimate average number of flow events in review area/year: Pick List Describe flow regime: Other information on duration and volume: Surface flow is: Pick Li§t. Characteristics: Subsurface flow: Pick List. Explain findings: ❑ Dye (or other) test performed: Tributary has (check all that apply): ❑ Bed and banks ❑ OHWM6 (check all indicators that apply): ❑ clear, natural line impressed on the bank ❑ the presence of litter and debris ❑ changes in the character of soil ❑ destruction of terrestrial vegetation ❑ shelving ❑ the presence of wrack line ❑ vegetation matted down, bent, or absent ❑ sediment sorting ❑ leaf litter disturbed or washed away ❑ scour ❑ sediment deposition ❑ multiple observed or predicted flow events ❑ water staining ❑ abrupt change in plant community ❑ other (list): F1Discontinuous OHWM.' Explain: If factors other than the OHWM were used to determine lateral extent of CWA jurisdiction (check all that apply): High Tide Line indicated by: ❑ Mean High Water Mark indicated by: ❑ oil or scum line along shore objects ❑ survey to available datum; ❑ fine shell or debris deposits (foreshore) ❑ physical markings; ❑ physical markings/characteristics ❑ vegetation lines/changes in vegetation types. ❑ tidal gauges ❑ other (list): (iii) Chemical Characteristics: Characterize tributary (e.g., water color is clear, discolored, oily film; water quality; general watershed characteristics, etc.). Explain: Identify specific pollutants, if known: 6A natural or man-made discontinuity in the OHWM does not necessarily sever jurisdiction (e.g., where the stream temporarily flows underground, or where the OHWM has been removed by development or agricultural practices). Where there is a break in the OHWM that is unrelated to the waterbody's flow regime (e.g., flow over a rock outcrop or through a culvert), the agencies will look for indicators of flow above and below the break. 7Ibid. (iv) Biological Characteristics. Channel supports (check all that apply): ❑ Riparian corridor. Characteristics (type, average width): ❑ Wetland fringe. Characteristics: ❑ Habitat for: ❑ Federally Listed species. Explain findings: ❑ Fish/spawn areas. Explain findings: ❑ Other environmentally -sensitive species. Explain findings: ❑ Aquatic/wildlife diversity. Explain findings: 2. Characteristics of wetlands adjacent to non-TNW that flow directly or indirectly into TNW (i) Physical Characteristics: (a) General Wetland Characteristics: Properties: Wetland size: acres Wetland type. Explain: Wetland quality. Explain: Project wetlands cross or serve as state boundaries. Explain: (b) General Flow Relationship with Non - Flow is: Pick List. Explain: Surface flow is: Pick Lisi Characteristics: Subsurface flow: Pick List. Explain findings: ❑ Dye (or other) test performed: (c) Wetland Adjacency Determination with Non-TNW: ❑ Directly abutting ❑ Not directly abutting ❑ Discrete wetland hydrologic connection. Explain: ❑ Ecological connection. Explain: ❑ Separated by berm/barrier. Explain: (d) Proximity (Relationship) to TNW Project wetlands are Pick -List river miles from TNW. Project waters are Pick -List aerial (straight) miles from TNW. Flow is from: Pick List. Estimate approximate location of wetland as within the Pick List floodplain. (ii) Chemical Characteristics: Characterize wetland system (e.g., water color is clear, brown, oil film on surface; water quality; general watershed characteristics; etc.). Explain: Identify specific pollutants, if known: (iii) Biological Characteristics. Wetland supports (check all that apply): ❑ Riparian buffer. Characteristics (type, average width): ❑ Vegetation type/percent cover. Explain: ❑ Habitat for: ❑ Federally Listed species. Explain findings: ❑ Fish/spawn areas. Explain findings: ❑ Other environmentally -sensitive species. Explain findings: ❑ Aquatic/wildlife diversity. Explain findings: 3. Characteristics of all wetlands adjacent to the tributary (if any) All wetland(s) being considered in the cumulative analysis: Pick List Approximately ( ) acres in total are being considered in the cumulative analysis. For each wetland, specify the following: Directly abuts? (Y/N) Size (in acres) Directly abuts? (Y/N) Size (in acres) Summarize overall biological, chemical and physical functions being performed: C. SIGNIFICANT NEXUS DETERMINATION A significant nexus analysis will assess the flow characteristics and functions of the tributary itself and the functions performed by any wetlands adjacent to the tributary to determine if they significantly affect the chemical, physical, and biological integrity of a TNW. For each of the following situations, a significant nexus exists if the tributary, in combination with all of its adjacent wetlands, has more than a speculative or insubstantial effect on the chemical, physical and/or biological integrity of a TNW. Considerations when evaluating significant nexus include, but are not limited to the volume, duration, and frequency of the flow of water in the tributary and its proximity to a TNW, and the functions performed by the tributary and all its adjacent wetlands. It is not appropriate to determine significant nexus based solely on any specific threshold of distance (e.g. between a tributary and its adjacent wetland or between a tributary and the TNW). Similarly, the fact an adjacent wetland lies within or outside of a floodplain is not solely determinative of significant nexus. Draw connections between the features documented and the effects on the TNW, as identified in the Rapanos Guidance and discussed in the Instructional Guidebook. Factors to consider include, for example: • Does the tributary, in combination with its adjacent wetlands (if any), have the capacity to carry pollutants or flood waters to TNWs, or to reduce the amount of pollutants or flood waters reaching a TNW? • Does the tributary, in combination with its adjacent wetlands (if any), provide habitat and lifecycle support functions for fish and other species, such as feeding, nesting, spawning, or rearing young for species that are present in the TNW? • Does the tributary, in combination with its adjacent wetlands (if any), have the capacity to transfer nutrients and organic carbon that support downstream foodwebs? • Does the tributary, in combination with its adjacent wetlands (if any), have other relationships to the physical, chemical, or biological integrity of the TNW? Note: the above list of considerations is not inclusive and other functions observed or known to occur should be documented below: 1. Significant nexus findings for non-RPW that has no adjacent wetlands and flows directly or indirectly into TNWs. Explain findings of presence or absence of significant nexus below, based on the tributary itself; then go to Section III.D: 2. Significant nexus findings for non-RPW and its adjacent wetlands, where the non-RPW flows directly or indirectly into TNWs. Explain findings of presence or absence of significant nexus below, based on the tributary in combination with all of its adjacent wetlands, then go to Section IIID: 3. Significant nexus findings for wetlands adjacent to an RPW but that do not directly abut the RTW. Explain findings of presence or absence of significant nexus below, based on the tributary in combination with all of its adjacent wetlands, then go to Section IIID: D. DETERMINATIONS OF JURISDICTIONAL FINDINGS. THE SUBJECT WATERS/WETLANDS ARE (CHECK ALL THAT APPLY): 1. TNWs and Adjacent Wetlands. Check all that apply and provide size estimates in review area: TNWs: linear feet width (ft), Or, acres. Wetlands adjacent to TNWs: acres. 2. RPWs that flow directly or indirectly into TNWs. ® Tributaries of TNWs where tributaries typically flow year-round are jurisdictional. Provide data and rationale indicating that tributary is perennial: Duharts Creek scored 45.5 on NCDWQ form. Fj Tributaries of TNW where tributaries have continuous flow "seasonally" (e.g., typically three months each year) are jurisdictional. Data supporting this conclusion is provided at Section III.B. Provide rationale indicating that tributary flows seasonally: Provide estimates for jurisdictional waters in the review area (check all that apply): ® Tributary waters: 1142 linear feet 20 width (ft). 0 Other non -wetland waters: acres. Identify type(s) of waters: 3. Non-RPWss that flow directly or indirectly into TNWs. Waterbody that is not a TNW or an RPW, but flows directly or indirectly into a TNW, and it has a significant nexus with a TNW is jurisdictional. Data supporting this conclusion is provided at Section III. C. Provide estimates for jurisdictional waters within the review area (check all that apply): Q Tributary waters: linear feet width (ft). 0 Other non -wetland waters: acres. Identify type(s) of waters: 4. Wetlands directly abutting an RPW that flow directly or indirectly into TNWs. ® Wetlands directly abut RPW and thus are jurisdictional as adjacent wetlands. ® Wetlands directly abutting an RPW where tributaries typically flow year-round. Provide data and rationale indicating that tributary is perennial in Section III.D.2, above. Provide rationale indicating that wetland is directly abutting an RPW: All three wetlands flow directly into Dubarts Creek. Wetlands directly abutting an RPW where tributaries typically flow "seasonally." Provide data indicating that tributary is seasonal in Section III.B and rationale in Section III.D.2, above. Provide rationale indicating that wetland is directly abutting an RPW: Provide acreage estimates for jurisdictional wetlands in the review area: 0.27 acres. 5. Wetlands adjacent to but not directly abutting an RPW that flow directly or indirectly into TNWs. Wetlands that do not directly abut an RPW, but when considered in combination with the tributary to which they are adjacent and with similarly situated adjacent wetlands, have a significant nexus with a TNW are jurisidictional. Data supporting this conclusion is provided at Section III.C. Provide acreage estimates for jurisdictional wetlands in the review area: acres. 6. Wetlands adjacent to non-RPWs that flow directly or indirectly into TNWs. [] Wetlands adjacent to such waters, and have when considered in combination with the tributary to which they are adjacent and with similarly situated adjacent wetlands, have a significant nexus with a TNW are jurisdictional. Data supporting this conclusion is provided at Section III. C. Provide estimates for jurisdictional wetlands in the review area: acres. 7. Impoundments of jurisdictional waters.9 As a general rule, the impoundment of a jurisdictional tributary remains jurisdictional. Q Demonstrate that impoundment was created from "waters of the U.S.," or Demonstrate that water meets the criteria for one of the categories presented above (1-6), or FJ Demonstrate that water is isolated with a nexus to commerce (see E below). E. ISOLATED [INTERSTATE OR INTRA -STATE] WATERS, INCLUDING ISOLATED WETLANDS, THE USE, DEGRADATION OR DESTRUCTION OF WHICH COULD AFFECT INTERSTATE COMMERCE, INCLUDING ANY SUCH WATERS (CHECK ALL THAT APPLY):" Qwhich are or could be used by interstate or foreign travelers for recreational or other purposes. from which fish or shellfish are or could be taken and sold in interstate or foreign commerce. Q which are or could be used for industrial purposes by industries in interstate commerce. Q Interstate isolated waters. Explain: 0 Other factors. Explain: Identify water body and summarize rationale supporting determination: Nee Footnote # 3. 'To complete the analysis refer to the key in Section III.D.6 of the Instructional Guidebook. "Prior to asserting or declining CWA jurisdiction based solely on this category, Corps Districts will elevate the action to Corps and EPA HQ for review consistent with the process described in the Corps/EPA Memorandum Regarding CWA Act Jurisdiction Following Rapanos. Provide estimates for jurisdictional waters in the review area (check all that apply): Tributary waters: linear feet width (ft). Other non -wetland waters: acres. Identify type(s) of waters: ❑ Wetlands: acres. F. NON -JURISDICTIONAL WATERS, INCLUDING WETLANDS (CHECK ALL THAT APPLY): ❑ If potential wetlands were assessed within the review area, these areas did not meet the criteria in the 1987 Corps of Engineers Wetland Delineation Manual and/or appropriate Regional Supplements. ❑ Review area included isolated waters with no substantial nexus to interstate (or foreign) commerce. ❑ Prior to the Jan 2001 Supreme Court decision in "SWANCC," the review area would have been regulated based solely on the "Migratory Bird Rule" (MBR). Waters do not meet the "Significant Nexus" standard, where such a finding is required for jurisdiction. Explain: ❑ Other: (explain, if not covered above): Provide acreage estimates for non jurisdictional waters in the review area, where the sole potential basis of jurisdiction is the MBR factors (i.e., presence of migratory birds, presence of endangered species, use of water for irrigated agriculture), using best professional judgment (check all that apply): ❑; Non -wetland waters (i.e., rivers, streams): linear feet width (ft). El Lakes/ponds: acres. Other non -wetland waters: acres. List type of aquatic resource: ❑, Wetlands: acres. Provide acreage estimates for non jurisdictional waters in the review area that do not meet the "Significant Nexus" standard, where such a finding is required for jurisdiction (check all that apply): ❑, Non -wetland waters (i.e., rivers, streams): linear feet, width (ft). ❑. Lakes/ponds: acres. Other non -wetland waters: acres. List type of aquatic resource: ❑ Wetlands: acres. SECTION IV: DATA SOURCES. A. SUPPORTING DATA. Data reviewed for JD (check all that apply - checked items shall be included in case file and, where checked and requested, appropriately reference sources below): Maps, plans, plots or plat submitted by or on behalf of the applicant/consultant: Data sheets prepared/submitted by or on behalf of the applicant/consultant. ❑ Office concurs with data sheets/delineation report. ❑ Office does not concur with data sheets/delineation report. ❑ Data sheets prepared by the Corps: ❑ Corps navigable waters' study: U.S. Geological Survey Hydrologic Atlas: ❑ USGS NHD data. ❑ USGS 8 and 12 digit HUC maps. U.S. Geological Survey map(s). Cite scale & quad name: 1 "=2,000' Gastonia North, NC, 1993. USDA Natural Resources Conservation Service Soil Survey. Citation: Soil Survey of Gaston County, NC, Sheet No. 3, 1989. National wetlands inventory map(s). Cite name: State/Local wetland inventory map(s): ❑FEMA/FIRM maps: 100 -year Floodplain Elevation is: (National Geodectic Vertical Datum of 1929) ® Photographs: ® Aerial (Name & Date): Gaston County, 2005 Orthos. or ® Other (Name & Date): See attached report. ❑ Previous determination(s). File no. and date of response letter: ❑ Applicable/supporting case law: ❑' Applicable/supporting scientific literature: Other information (please specify): B. ADDITIONAL COMMENTS TO SUPPORT JD: APPROVED JURISDICTIONAL DETERMINATION FORM U.S. Army Corps of Engineers This form should be completed by following the instructions provided in Section IV of the JD Form Instructional Guidebook. SECTION I: BACKGROUND INFORMATION A. REPORT COMPLETION DATE FOR APPROVED JURISDICTIONAL DETERMINATION (JD): August 8, 2007 B. DISTRICT OFFICE, FILE NAME, AND NUMBER: Asheville Field Office C. PROJECT LOCATION AND BACKGROUND INFORMATION: Skcesxq-� Q) State: NC County/parish/borough: Gaston City: Gastonia Center coordinates of site (lat/long in degree decimal format): Lat. 35.2494° N, Long. 81.13720 W. Universal Transverse Mercator: Zone 17 Name of nearest waterbody: Duhart Creek Name of nearest Traditional Navigable Water (TNW) into which the aquatic resource flows: South Fork Catawba River Name of watershed or Hydrologic Unit Code (HUC): 03050101 ZCheck if map/diagram of review area and/or potential jurisdictional areas is/are available upon request. 0 Check if other sites (e.g., offsite mitigation sites, disposal sites, etc... ) are associated with this action and are recorded on a different JD form. D. REVIEW PERFORMED FOR SITE EVALUATION (CHECK ALL THAT APPLY): Q Office (Desk) Determination. Date: El Field Determination. Date(s): January 24 and 25, 2006 SECTION H: SUMMARY OF FINDINGS A. RHA SECTION 10 DETERMINATION OF JURISDICTION. There Are no "navigable waters of the U.S." within Rivers and Harbors Act (RHA) jurisdiction (as defined by 33 CFR part 329) in the review area. [Required] Q Waters subject to the ebb and flow of the tide. 0 Waters are presently used, or have been used in the past, or may be susceptible for use to transport interstate or foreign commerce. Explain: B. CWA SECTION 404 DETERMINATION OF JURISDICTION. There Are "waters of the U.S." within Clean Water Act (CWA) jurisdiction (as defined by 33 CFR part 328) in the review area. [Required] 1. Waters of the U.S. a. Indicate presence of waters of U.S. in review area (check all that apply): r Q TNWs, including territorial seas Wetlands adjacent to TNWs Relatively permanent waterS2 (RPWs) that flow directly or indirectly into TNWs El Non-RPWs that flow directly or indirectly into TNWs Wetlands directly abutting RPWs that flow directly or indirectly into TNWs Wetlands adjacent to but not directly abutting RPWs that flow directly or indirectly into TNWs Wetlands adjacent to non-RPWs that flow directly or indirectly into TNWs Impoundments of jurisdictional waters Isolated (interstate or intrastate) waters, including isolated wetlands b. Identify (estimate) size of waters of the U.S. in the review area: Non -wetland waters: 660 linear feet: 10 width (ft) and/or 0.15 acres. Wetlands: 0.68 acres. c. Limits (boundaries) of jurisdiction based on: 1987.1)elineatt6n Manual Elevation of established OHWM (if known): 2. Non-regulated waters/wetlands (check if applicable):3 ❑ Potentially jurisdictional waters and/or wetlands were assessed within the review area and determined to be not jurisdictional. Explain: 'Boxes checked below shall be supported by completing the appropriate sections in Section III below. ' For purposes of this form, an RPW is defined as a tributary that is not a TNW and that typically flows year-round or has continuous flow at least "seasonally" (e.g., typically 3 months). ' Supporting documentation is presented in Section III.F. SECTION III: CWA ANALYSIS A. TNWs AND WETLANDS ADJACENT TO TNWs The agencies will assert jurisdiction over TNWs and wetlands adjacent to TNWs. If the aquatic resource is a TNW, complete Section HI.A.1 and Section HI.D.1. only; if the aquatic resource is a wetland adjacent to a TNW, complete Sections III.A.1 and 2 and Section III.D.1.; otherwise, see Section HI.B below. 1. TNW Identify TNW: N/A. Summarize rationale supporting determination: 2. Wetland adjacent to TNW Summarize rationale supporting conclusion that wetland is "adjacent": N/A. B. CHARACTERISTICS OF TRIBUTARY (THAT IS NOT A TNW) AND ITS ADJACENT WETLANDS (IF ANY): This section summarizes information regarding characteristics of the tributary and its adjacent wetlands, if any, and it helps determine whether or not the standards for jurisdiction established under Rapanos have been met. The agencies will assert jurisdiction over non -navigable tributaries of TNWs where the tributaries are "relatively permanent waters" (RPWs), i.e. tributaries that typically flow year-round or have continuous flow at least seasonally (e.g., typically 3 months). A wetland that directly abuts an RPW is also jurisdictional. If the aquatic resource is not a TNW, but has year-round (perennial) flow, skip to Section III.D.2. If the aquatic resource is a wetland directly abutting a tributary with perennial flow, skip to Section III.D.4. A wetland that is adjacent to but that does not directly abut an RPW requires a significant nexus evaluation. Corps districts and EPA regions will include in the record any available information that documents the existence of a significant nexus between a relatively permanent tributary that is not perennial (and its adjacent wetlands if any) and a traditional navigable water, even though a significant nexus finding is not required as a matter of law. If the waterbody4 is not an RPW, or a wetland directly abutting an RPW, a JD will require additional data to determine if the waterbody has a significant nexus with a TNW. If the tributary has adjacent wetlands, the significant nexus evaluation must consider the tributary in combination with all of its adjacent wetlands. This significant nexus evaluation that combines, for analytical purposes, the tributary and all of its adjacent wetlands is used whether the review area identified in the JD request is the tributary, or its adjacent wetlands, or both. If the JD covers a tributary with adjacent wetlands, complete Section III.B.1 for the tributary, Section III.B.2 for any onsite wetlands, and Section M.B.3 for all wetlands adjacent to that tributary, both onsite and offsite. The determination whether a significant nexus exists is determined in Section III.0 below. 1. Characteristics of non-TNWs that flow directly or indirectly into TNW (i) General Area Conditions: Watershed size: Picktist Drainage area: Pick List Average annual rainfall: inches Average annual snowfall: inches (ii) Physical Characteristics: (a) Relationship with TNW: ❑ Tributary flows directly into TNW. ❑ Tributary flows through Pick List tributaries before entering TNW. Project waters are Pick List river miles from TNW. Project waters are Pick List river miles from RPW. Project waters are Pick:List aerial (straight) miles from TNW, Project waters are Pick List aerial (straight) miles from RPW. Project waters cross or serve as state boundaries. Explain: Identify flow route to TNW5: Tributary stream order, if known: 4 Note that the Instructional Guidebook contains additional information regarding swales, ditches, washes, and erosional features generally and in the and West. 'Flow route can be described by identifying, e.g., tributary a, which flows through the review area, to flow into tributary b, which then flows into TNW. (b) General Tributary Characteristics (check all that apply): Tributary is: ❑ Natural ❑ Artificial (man-made). Explain: ❑ Manipulated (man -altered). Explain: Tributary properties with respect to top of bank (estimate): Average width: feet Average depth: feet Average side slopes: Pick List-. Primary tributary substrate composition (check all that apply): ❑ Silts ❑ Sands ❑ Concrete ❑ Cobbles ❑ Gravel ❑ Muck EI -Bedrock _____ ____ ❑. Vegetation.__ Type_ /% cover; ❑ Other. Explain: Tributary condition/stability [e.g., highly eroding, sloughing banks]. Explain: Presence of run/riffle/pool complexes. Explain: Tributary geometryPick!At Tributary gradient (approximate average slope): % (c) Flow: Tributary provides for Pick List Estimate average number of flow events in review area/year: Pick List Describe flow regime: Other information on duration and volume: Surface flow is: Pick List. Characteristics: Subsurface flow: Pick List. Explain findings: ❑ Dye (or other) test performed: Tributary has (check all that apply): ❑ Bed and banks ❑ OHWM6 (check all indicators that apply): ❑ clear, natural line impressed on the bank ❑ the presence of litter and debris ❑ changes in the character of soil ❑ destruction of terrestrial vegetation ❑ shelving ❑ the presence of wrack line ❑ vegetation matted down, bent, or absent ❑ sediment sorting ❑ leaf litter disturbed or washed away ❑ scour ❑ sediment deposition ❑ multiple observed or predicted flow events ❑ water staining ❑ abrupt change in plant community ❑ other (list): ❑ Discontinuous OHWM.7 Explain: If factors other than the OHWM were used to determine lateral extent of CWA jurisdiction (check all that apply): ❑ High Tide Line indicated by: ❑ Mean High Water Mark indicated by: ❑ oil or scum line along shore objects ❑ survey to available datum; ❑ fine shell or debris deposits (foreshore) ❑ physical markings; ❑ physical markings/characteristics ❑ vegetation lines/changes in vegetation types. ❑ tidal gauges ❑ other (list): (iii) Chemical Characteristics: Characterize tributary (e.g., water color is clear, discolored, oily film; water quality; general watershed characteristics, etc.). Explain: Identify specific pollutants, if known: 6A natural or man-made discontinuity in the OHWM does not necessarily sever jurisdiction (e.g., where the stream temporarily flows underground, or where the OHWM has been removed by development or agricultural practices). Where there is a break in the OHWM that is unrelated to the waterbody's flow regime (e.g., flow over a rock outcrop or through a culvert), the agencies will look for indicators of flow above and below the break. 'Ibid. (iv) Biological Characteristics. Channel supports (check all that apply): ❑ Riparian corridor. Characteristics (type, average width): ❑ Wetland fringe. Characteristics: ❑ Habitat for: ❑ Federally Listed species. Explain findings: ❑ Fish/spawn areas. Explain findings: ❑ Other environmentally -sensitive species. Explain findings: ❑ Aquatic/wildlife diversity. Explain findings: 2. Characteristics of wetlands adjacent to non-TNW that flow directly or indirectly into TNW (i) Physical Characteristics: (a) General Wetland Characteristics: Properties: Wetland size: acres Wetland type. Explain: Wetland quality. Explain: Project wetlands cross or serve as state boundaries. Explain: (b) General Flow Relationship with Non-TNW: Flow is: Pick List. Explain: Surface flow is: Pick List Characteristics: Subsurface flow PckLi'st. Explain findings: ❑ Dye (or other) test performed: (c) Wetland Adjacency Determination with Non-TNW: ❑ Directly abutting ❑ Not directly abutting ❑ Discrete wetland hydrologic connection. Explain: ❑ Ecological connection. Explain: ❑ Separated by berm/barrier. Explain: (d) Proximity (Relationship) to TNW Project wetlands are Pick i;ist river miles from TNW. Project waters are 01ok List' aerial (straight) miles from TNW. Flow is from Pick.List. Estimate approximate location of wetland as within the Pick List floodplain. (ii) Chemical Characteristics: Characterize wetland system (e.g., water color is clear, brown, oil film on surface; water quality; general watershed characteristics; etc.). Explain: Identify specific pollutants, if known: (iii) Biological Characteristics. Wetland supports (check all that apply): ❑ Riparian buffer. Characteristics (type, average width): ❑ Vegetation type/percent cover. Explain: ❑ Habitat for: ❑ Federally Listed species. Explain findings: ❑ Fish/spawn areas. Explain findings: ❑ Other environmentally -sensitive species. Explain findings: ❑ Aquatic/wildlife diversity. Explain findings: 3. Characteristics of all wetlands adjacent to the tributary (if any) All wetland(s) being considered in the cumulative analysis Pick List Approximately ( ) acres in total are being considered in the cumulative analysis. For each wetland, specify the following: Directly abuts? (Y/N) Size (in acres) Directly abuts? (YM Size (in acres) Summarize overall biological, chemical and physical functions being performed: C. SIGNIFICANT NEXUS DETERMINATION A significant nexus analysis will assess the flow characteristics and functions of the tributary itself and the functions performed by any wetlands adjacent to the tributary to determine if they significantly affect the chemical, physical, and biological integrity of a TNW. For each of the following situations, a significant nexus exists if the tributary, in combination with all of its adjacent wetlands, has more than a speculative or insubstantial effect on the chemical, physical and/or biological integrity of a TNW. Considerations when evaluating significant nexus include, but are not limited to the volume, duration, and frequency of the flow of water in the tributary and its proximity to a TNW, and the functions performed by the tributary and all its adjacent wetlands. It is not appropriate to determine significant nexus based solely on any specific threshold of distance (e.g. between a tributary and its adjacent wetland or between a tributary and the TNW). Similarly, the fact an adjacent wetland lies within or outside of a floodplain is not solely determinative of significant nexus. Draw connections between the features documented and the effects on the TNW, as identified in the Rapanos Guidance and discussed in the Instructional Guidebook. Factors to consider include, for example: • Does the tributary, in combination with its adjacent wetlands (if any), have the capacity to carry pollutants or flood waters to TNWs, or to reduce the amount of pollutants or flood waters reaching a TNW? • Does the tributary, in combination with its adjacent wetlands (if any), provide habitat and lifecycle support functions for fish and other species, such as feeding, nesting, spawning, or rearing young for species that are present in the TNW? • Does the tributary, in combination with its adjacent wetlands (if any), have the capacity to transfer nutrients and organic carbon that support downstream foodwebs? • Does the tributary, in combination with its adjacent wetlands (if any), have other relationships to the physical, chemical, or biological integrity of the TNW? Note: the above list of considerations is not inclusive and other functions observed or known to occur should be documented below: 1. Significant nexus findings for non-RPW that has no adjacent wetlands and flows directly or indirectly into TNWs. Explain findings of presence or absence of significant nexus below, based on the tributary itself, then go to Section IIID: 2. Significant nexus findings for non-RPW and its adjacent wetlands, where the non-RPW flows directly or indirectly into TNWs. Explain findings of presence or absence of significant nexus below, based on the tributary in combination with all of its adjacent wetlands, then go to Section III.D: 3. Significant nexus findings for wetlands adjacent to an RPW but that do not directly abut the RPW. Explain findings of presence or absence of significant nexus below, based on the tributary in combination with all of its adjacent wetlands, then go to Section IIID: D. DETERMINATIONS OF JURISDICTIONAL FINDINGS. THE SUBJECT WATERS/WETLANDS ARE (CHECK ALL THAT APPLY): TNWs and Adjacent Wetlands. Check all that apply and provide size estimates in review area: 7 TNWs: linear feet width (ft), Or, acres. Wetlands adjacent to TNWs: acres. RPWs that flow directly or indirectly into TNWs. ® Tributaries of TNWs where tributaries typically flow year-round are jurisdictional. Provide data and rationale indicating that tributary is perennial: Even with extensive channelization, stream scored 28.5 on NCDWQ form, and a crayfish was spotted. 0 Tributaries of TNW where tributaries have continuous flow "seasonally" (e.g., typically three months each year) are jurisdictional. Data supporting this conclusion is provided at Section III.B. Provide rationale indicating that tributary flows seasonally: Provide estimates for jurisdictional waters in the review area (check all that apply): Z Tributary waters: 660 linear feet 10 width (ft). 0 Other non -wetland waters: acres. Identify type(s) of waters: 3. Non-RPWss that flow directly or indirectly into TNWs. Waterbody that is not a TNW or an RPW, but flows directly or indirectly into a TNW, and it has a significant nexus with a TNW is jurisdictional. Data supporting this conclusion is provided at Section IH.C. Provide estimates for jurisdictional waters within the review area (check all that apply): Tributary waters: linear feet width (ft). Other non -wetland waters: acres. Identify type(s) of waters: Wetlands directly abutting an RPW that flow directly or indirectly into TNWs. ® Wetlands directly abut RPW and thus are jurisdictional as adjacent wetlands. ® Wetlands directly abutting an RPW where tributaries typically flow year-round. Provide data and rationale indicating that tributary is perennial in Section III.D.2, above. Provide rationale indicating that wetland is directly abutting an RPW: Wetland AA flows southeast directly into perennial stream. Wetlands directly abutting an RPW where tributaries typically flow "seasonally." Provide data indicating that tributary is seasonal in Section III.13 and rationale in Section III.D.2, above. Provide rationale indicating that wetland is directly abutting an RPW: Provide acreage estimates for jurisdictional wetlands in the review area: 0.68 acres. Wetlands adjacent to but not directly abutting an RPW that flow directly or indirectly into TNWs. Wetlands that do not directly abut an RPW, but when considered in combination with the tributary to which they are adjacent and with similarly situated adjacent wetlands, have a significant nexus with a TNW are jurisidictional. Data supporting this conclusion is provided at Section III.C. Provide acreage estimates for jurisdictional wetlands in the review area: acres. 6. Wetlands adjacent to non-RPWs that flow directly or indirectly into TNWs. [] Wetlands adjacent to such waters, and have when considered in combination with the tributary to which they are adjacent and with similarly situated adjacent wetlands, have a significant nexus with a TNW are jurisdictional. Data supporting this conclusion is provided at Section III.C. Provide estimates for jurisdictional wetlands in the review area: acres. Impoundments of jurisdictional waters.9 As a general rule, the impoundment of a jurisdictional tributary remains jurisdictional. Demonstrate that impoundment was created from "waters of the U.S.," or Demonstrate that water meets the criteria for one of the categories presented above (1-6), or Demonstrate that water is isolated with a nexus to commerce (see E below). E. ISOLATED [INTERSTATE OR INTRA -STATE] WATERS, INCLUDING ISOLATED WETLANDS, THE USE, DEGRADATION OR DESTRUCTION OF WHICH COULD AFFECT INTERSTATE COMMERCE, INCLUDING ANY SUCH WATERS (CHECK ALL THAT APPLY):io 0 which are or could be used by interstate or foreign travelers for recreational or other purposes. from which fish or shellfish are or could be taken and sold in interstate or foreign commerce. which are or could be used for industrial purposes by industries in interstate commerce. Q; Interstate isolated waters. Explain: 0 Other factors. Explain: Identify water body and summarize rationale supporting determination: 'See Footnote # 3. 9 To complete the analysis refer to the key in Section III.D.6 of the Instructional Guidebook. io Prior to asserting or declining CWA jurisdiction based solely on this category, Corps Districts will elevate the action to Corps and EPA HQ for review consistent with the process described in the Corps/EPA Memorandum Regarding CWA Act Jurisdiction Following Rapanos. Provide estimates for jurisdictional waters in the review area (check all that apply): Tributary waters: linear feet width (ft). ❑ Other non -wetland waters: acres. Identify type(s) of waters: M Wetlands: acres. NON -JURISDICTIONAL WATERS, INCLUDING WETLANDS (CHECK ALL THAT APPLY): ❑ If potential wetlands were assessed within the review area, these areas did not meet the criteria in the 1987 Corps of Engineers Wetland Delineation Manual and/or appropriate Regional Supplements. Review area included isolated waters with no substantial nexus to interstate (or foreign) commerce. ❑ Prior to the Jan 2001 Supreme Court decision in "SWANCC," the review area would have been regulated based solely on the "Migratory Bird Rule" (MBR). Waters do not meet the "Significant Nexus" standard, where such a finding is required for jurisdiction. Explain: ❑; Other: (explain, if not covered above): Provide acreage estimates for non jurisdictional waters in the review area, where the sole potential basis of jurisdiction is the MBR factors (i.e., presence of migratory birds, presence of endangered species, use of water for irrigated agriculture), using best professional judgment (check all that apply): ❑ Non -wetland waters (i.e., rivers, streams): linear feet width (ft). El Lakes/ponds: acres. Other non -wetland waters: acres. List type of aquatic resource: Wetlands: acres. Provide acreage estimates for non jurisdictional waters in the review area that do not meet the "Significant Nexus" standard, where such a finding is required for jurisdiction (check all that apply): ❑ Non -wetland waters (i.e., rivers, streams): linear feet, width (ft). ❑ Lakes/ponds: acres. ❑' Other non -wetland waters: acres. List type of aquatic resource: Wetlands: acres. SECTION IV: DATA SOURCES. A. SUPPORTING DATA. Data reviewed for JD (check all that apply - checked items shall be included in case file and, where checked and requested, appropriately reference sources below): Z Maps, plans, plots or plat submitted by or on behalf of the applicant/consultant: Data sheets prepared/submitted by or on behalf of the applicant/consultant. ❑ Office concurs with data sheets/delineation report. ❑ Office does not concur with data sheets/delineation report. Data sheets prepared by the Corps: Corps navigable waters' study: ❑, U.S. Geological Survey Hydrologic Atlas: ❑ USGS NHD data. ❑ USGS 8 and 12 digit HUC maps. ® U.S. Geological Survey map(s). Cite scale & quad name: 1"=2,000' Gastonia North, NC, 1993. ® USDA Natural Resources Conservation Service Soil Survey. Citation: Soil Survey of Gaston County, NC, Sheet No. 3, 1989. National wetlands inventory map(s). Cite name: State/Local wetland inventory map(s): ❑ FEMA/FIRM maps: 100 -year Floodplain Elevation is: (National Geodectic Vertical Datum of 1929) Photographs: ® Aerial (Name & Date): Gaston County, 2005 Orthos. or ® Other (Name & Date): See attached report. Previous determination(s). File no. and date of response letter: ❑ Applicable/supporting case law: Applicable/supporting scientific literature: ❑ Other information (please specify): B. ADDITIONAL COMMENTS TO SUPPORT JD: APPROVED JURISDICTIONAL DETERMINATION FORM U.S. Army Corps of Engineers This form should be completed by following the instructions provided in Section IV of the JD Form Instructional Guidebook. SECTION I: BACKGROUND INFORMATION A. REPORT COMPLETION DATE FOR APPROVED JURISDICTIONAL DETERMINATION (JD): August 8, 2007 B. DISTRICT OFFICE, FILE NAME, AND NUMBER: Asheville Field Office C. PROJECT LOCATION AND BACKGROUND INFORMATION: �u9nc� f� S � � a�W�S y2 a—,Y, a,e S (, State: NC County/parish/borough: Gaston City: Gastonia Center coordinates of site (lat/long in degree decimal format): Lat. 35.24940 N, Long. 81.1372° W. Universal Transverse Mercator: Zone 17 Name of nearest waterbody: Duhart Creek Name of nearest Traditional Navigable Water (TNW) into which the aquatic resource flows: South Fork Catawba River Name of watershed or Hydrologic Unit Code (HUC): 03050101 EDCheck if map/diagram of review area and/or potential jurisdictional areas is/are available upon request. Q Check if other sites (e.g., offsite mitigation sites, disposal sites, etc...) are associated with this action and are recorded on a different JD form. D. REVIEW PERFORMED FOR SITE EVALUATION (CHECK ALL THAT APPLY): Q Office (Desk) Determination. Date: Z Field Determination. Date(s): January 24 and 25, 2006 SECTION II: SUMMARY OF FINDINGS A. RHA SECTION 10 DETERMINATION OF JURISDICTION. There Are_no "navigable waters of the U.S." within Rivers and Harbors Act (RHA) jurisdiction (as defined by 33 CFR part 329) in the review area. [Required] [], Waters subject to the ebb and flow of the tide. 0 Waters are presently used, or have been used in the past, or may be susceptible for use to transport interstate or foreign commerce. Explain: B. CWA SECTION 404 DETERMINATION OF JURISDICTION. There Are "waters of the U.S." within Clean Water Act (CWA) jurisdiction (as defined by 33 CFR part 328) in the review area. [Required] 1. Waters of the U.S. a. Indicate presence of waters of U.S. in review area (check all that apply): 1 F1 TNWs, including territorial seas [] Wetlands adjacent to TNWs Relatively permanent waters2 (RPWs) that flow directly or indirectly into TNWs 0 Non-RPWs that flow directly or indirectly into TNWs Q Wetlands directly abutting RPWs that flow directly or indirectly into TNWs R Wetlands adjacent to but not directly abutting RPWs that flow directly or indirectly into TNWs Wetlands adjacent to non-RPWs that flow directly or indirectly into TNWs Impoundments of jurisdictional waters Isolated (interstate or intrastate) waters, including isolated wetlands b. Identify (estimate) size of waters of the U.S. in the review area: Non -wetland waters: 1142 linear feet: 20 width (ft) and/or 0.52 acres. Wetlands: 0.27 acres. c. Limits (boundaries) of jurisdiction based on: 1987 Delineation Manual Elevation of established OHWM (if known): 2. Non-regulated waters/wetlands (check if applicable):3 Potentially jurisdictional waters and/or wetlands were assessed within the review area and determined to be not jurisdictional. Explain: ' Boxes checked below shall be supported by completing the appropriate sections in Section III below. z For purposes of this form, an RPW is defined as a tributary that is not a TNW and that typically flows year-round or has continuous flow at least "seasonally" (e.g., typically 3 months). s Supporting documentation is presented in Section III.F. SECTION III: CWA ANALYSIS A. TNWs AND WETLANDS ADJACENT TO TNWs The agencies will assert jurisdiction over TNWs and wetlands adjacent to TNWs. If the aquatic resource is a TNW, complete Section III.A.1 and Section III.D.1. only; if the aquatic resource is a wetland adjacent to a TNW, complete Sections M.A.1 and 2 and Section M.D.I.; otherwise, see Section III.B below. 1. TNW Identify TNW: N/A. Summarize rationale supporting determination: 2. Wetland adjacent to TNW Summarize rationale supporting conclusion that wetland is "adjacent": N/A. B. CHARACTERISTICS OF TRIBUTARY (THAT IS NOT A TNW) AND ITS ADJACENT WETLANDS (IF ANY): This section summarizes information regarding characteristics of the tributary and its adjacent wetlands, if any, and it helps determine whether or not the standards for jurisdiction established under Rapanoshave been met. The agencies will assert jurisdiction over non -navigable tributaries of TNWs where the tributaries are "relatively permanent waters" (RPWs), i.e. tributaries that typically flow year-round or have continuous flow at least seasonally (e.g., typically 3 months). A wetland that directly abuts an RPW is also jurisdictional. If the aquatic resource is not a TNW, but has year-round (perennial) flow, skip to Section III.D.2. If the aquatic resource is a wetland directly abutting a tributary with perennial flow, skip to Section M.D.4. A wetland that is adjacent to but that does not directly abut an RPW requires a significant nexus evaluation. Corps districts and EPA regions will include in the record any available information that documents the existence of a significant nexus between a relatively permanent tributary that is not perennial (and its adjacent wetlands if any) and a traditional navigable water, even though a significant nexus finding is not required as a matter of law. If the waterbody° is not an RPW, or a wetland directly abutting an RPW, a JD will require additional data to determine if the waterbody has a significant nexus with a TNW. If the tributary has adjacent wetlands, the significant nexus evaluation must consider the tributary in combination with all of its adjacent wetlands. This significant nexus evaluation that combines, for analytical purposes, the tributary and all of its adjacent wetlands is used whether the review area identified in the JD request is the tributary, or its adjacent wetlands, or both. If the JD covers a tributary with adjacent wetlands, complete Section III.B.1 for the tributary, Section III.B.2 for any onsite wetlands, and Section III.B.3 for all wetlands adjacent to that tributary, both onsite and offsite. The determination whether a significant nexus exists is determined in Section IILC below. 1. Characteristics of non-TNWs that flow directly or indirectly into TNW (i) General Area Conditions: Watershed size: Pick List Drainage area: Pick List Average annual rainfall: inches Average annual snowfall: inches (ii) Physical Characteristics: (a) Relationship with TNW: ❑ Tributary flows directly into TNW. ❑ Tributary flows through Pick List tributaries before entering TNW. Project waters are Pick 'List river miles from TNW. Project waters are Pick List river miles from RPW. Project waters are Pick.List aerial (straight) miles from TNW. Project waters are Pick List' aerial (straight) miles from RPW. Project waters cross or serve as state boundaries. Explain: Identify flow route to TNW5: Tributary stream order, if known: 'Note that the Instructional Guidebook contains additional information regarding swales, ditches, washes, and erosional features generally and in the and West. s Flow route can be described by identifying, e.g., tributary a, which flows through the review area, to flow into tributary b, which then flows into TNW. (b) General Tributary Characteristics (check all that apply): Tributary is: ❑ Natural ❑ Artificial (man-made). Explain: ❑ Manipulated (man -altered). Explain: Tributary properties with respect to top of bank (estimate): Average width: feet Average depth: feet Average side slopes: ErckList. Primary tributary substrate composition (check all that apply): ❑ Silts ❑ Sands ❑ Concrete ❑ Cobbles ❑ Gravel ❑ Muck ❑ Bedrock ❑ Vegetation. Type/% cover: ❑ Other. Explain: Tributary condition/stability [e.g., highly eroding, sloughing banks]. Explain: Presence of run/riffle/pool complexes. Explain: Tributary geometryNck L1S Tributary gradient (approximate average slope): % (c) Flow: Tributary provides for Puck List Estimate average number of flow events in review area/year: Pick )v,5t Describe flow regime: Other information on duration and volume: Surface flow is: AKki t. Characteristics: Subsurface flow: P�. Explain findings: ❑ Dye (or other) test performed: Tributary has (check all that apply): ❑ Bed and banks ❑ OHWM6 (check all indicators that apply): ❑ clear, natural line impressed on the bank ❑ the presence of litter and debris ❑ changes in the character of soil ❑ destruction of terrestrial vegetation ❑ shelving ❑ the presence of wrack line ❑ vegetation matted down, bent, or absent ❑ sediment sorting ❑ leaf litter disturbed or washed away ❑ scour ❑ sediment deposition ❑ multiple observed or predicted flow events ❑ water staining ❑ abrupt change in plant community ❑ other (list): ❑ Discontinuous OHWM.7 Explain: If factors other than the OHWM were used to determine lateral extent of CWA jurisdiction (check all that apply): ❑ High Tide Line indicated by: ❑ Mean High Water Mark indicated by: ❑ oil or scum line along shore objects ❑ survey to available datum; ❑ fine shell or debris deposits (foreshore) ❑ physical markings; ❑ physical markings/characteristics ❑ vegetation lines/changes in vegetation types. ❑ tidal gauges ❑ other (list): (iii) Chemical Characteristics: Characterize tributary (e.g., water color is clear, discolored, oily film; water quality; general watershed characteristics, etc.). Explain: Identify specific pollutants, if known: 6A natural or man-made discontinuity in the OHWM does not necessarily sever jurisdiction (e.g., where the stream temporarily flows underground, or where the OHWM has been removed by development or agricultural practices). Where there is a break in the OHWM that is unrelated to the waterbody's flow regime (e.g., flow over a rock outcrop or through a culvert), the agencies will look for indicators of flow above and below the break. 'Ibid. (iv) Biological Characteristics. Channel supports (check all that apply): ❑ Riparian corridor. Characteristics (type, average width): ❑ Wetland fringe. Characteristics: ❑ Habitat for: ❑ Federally Listed species. Explain findings: ❑ Fish/spawn areas. Explain findings: ❑ Other environmentally -sensitive species. Explain findings: ❑ Aquatic/wildlife diversity. Explain findings: 2. Characteristics of wetlands adjacent to non-TNW that flow directly or indirectly into TNW (i) Physical Characteristics: (a) General Wetland Characteristics: Properties: Wetland size: acres Wetland type. Explain: Wetland quality. Explain: Project wetlands cross or serve as state boundaries. Explain: (b) General Flow Relationship with Non-TNW: Flow is: Pick Li, t. Explain: Surface flow is: Prek )Dist Characteristics: Subsurface flow: Pick List. Explain findings: ❑ Dye (or other) test performed: (c) Wetland Adjacency Determination with Non-TNW: ❑ Directly abutting ❑ Not directly abutting ❑ Discrete wetland hydrologic connection. Explain: ❑ Ecological connection. Explain: ❑ Separated by berm/barrier. Explain: (d) Proximity (Relationship,) to TNW Project wetlands are PickLisf river miles from TNW. Project waters are Piek List aerial (straight) miles from TNW. Flow is from: ist. Estimate approximate location of wetland as within the P!ekList floodplain. (ii) Chemical Characteristics: Characterize wetland system (e.g., water color is clear, brown, oil film on surface; water quality; general watershed characteristics; etc.). Explain: Identify specific pollutants, if known: (iii) Biological Characteristics. Wetland supports (check all that apply): ❑ Riparian buffer. Characteristics (type, average width): ❑ Vegetation type/percent cover. Explain: ❑ Habitat for: ❑ Federally Listed species. Explain findings: ❑ Fish/spawn areas. Explain findings: ❑ Other environmentally -sensitive species. Explain findings: ❑ Aquatic/wildlife diversity. Explain findings: 3. Characteristics of all wetlands adjacent to the tributary (if any) All wetland(s) being considered in the cumulative analysis: Pick ,List Approximately ( ) acres in total are being considered in the cumulative analysis. For each wetland, specify the following: Directly abuts? (Y/N) Size (in acres) Directly abuts? (Y/N) Size (in acres) Summarize overall biological, chemical and physical functions being performed: C. SIGNIFICANT NEXUS DETERMINATION A significant nexus analysis will assess the flow characteristics and functions of the tributary itself and the functions performed by any wetlands adjacent to the tributary to determine if they significantly affect the chemical, physical, and biological integrity of a TNW. For each of the following situations, a significant nexus exists if the tributary, in combination with all of its adjacent wetlands, has more than a speculative or insubstantial effect on the chemical, physical and/or biological integrity of a TNW. Considerations when evaluating significant nexus include, but are not limited to the volume, duration, and frequency of the flow of water in the tributary and its proximity to a TNW, and the functions performed by the tributary and all its adjacent wetlands. It is not appropriate to determine significant nexus based solely on any specific threshold of distance (e.g. between a tributary and its adjacent wetland or between a tributary and the TNW). Similarly, the fact an adjacent wetland lies within or outside of a floodplain is not solely determinative of significant nexus. Draw connections between the features documented and the effects on the TNW, as identified in the Rapanos Guidance and discussed in the Instructional Guidebook. Factors to consider include, for example: • Does the tributary, in combination with its adjacent wetlands (if any), have the capacity to carry pollutants or flood waters to TNWs, or to reduce the amount of pollutants or flood waters reaching a TNW? • Does the tributary, in combination with its adjacent wetlands (if any), provide habitat and lifecycle support functions for fish and other species, such as feeding, nesting, spawning, or rearing young for species that are present in the TNW? • Does the tributary, in combination with its adjacent wetlands (if any), have the capacity to transfer nutrients and organic carbon that support downstream foodwebs? • Does the tributary, in combination with its adjacent wetlands (if any), have other relationships to the physical, chemical, or biological integrity of the TNW? Note: the above list of considerations is not inclusive and other functions observed or known to occur should be documented below: 1. Significant nexus findings for non-RPW that has no adjacent wetlands and flows directly or indirectly into TNWs. Explain findings of presence or absence of significant nexus below, based on the tributary itself, then go to Section III.D: 2. Significant nexus findings for non-RPW and its adjacent wetlands, where the non-RPW flows directly or indirectly into TNWs. Explain findings of presence or absence of significant nexus below, based on the tributary in combination with all of its adjacent wetlands, then go to Section III.D: 3. Significant nexus findings for wetlands adjacent to an RPW but that do not directly abut the RPW. Explain findings of presence or absence of significant nexus below, based on the tributary in combination with all of its adjacent wetlands, then go to Section IIID: D. DETERMINATIONS OF JURISDICTIONAL FINDINGS. THE SUBJECT WATERS/WETLANDS ARE (CHECK ALL THAT APPLY): 1. TNWs and Adjacent Wetlands. Check all that apply and provide size estimates in review area: n TNWs: linear feet width (ft), Or, acres. Wetlands adjacent to TNWs: acres. 2. RPWs that flow directly or indirectly into TNWs. ® Tributaries of TNWs where tributaries typically flow year-round are jurisdictional. Provide data and rationale indicating that tributary is perennial: Duharts Creek scored 45.5 on NCDWQ form. ❑ Tributaries of TNW where tributaries have continuous flow "seasonally" (e.g., typically three months each year) are jurisdictional. Data supporting this conclusion is provided at Section III.B. Provide rationale indicating that tributary flows seasonally: Provide estimates for jurisdictional waters in the review area (check all that apply): ® Tributary waters: 800 linear feet 20 width (ft). El Other non -wetland waters: acres. Identify type(s) of waters: Non-RPWss that flow directly or indirectly into TNWs. r] Waterbody that is not a TNW or an RPW, but flows directly or indirectly into a TNW, and it has a significant nexus with a TNW is jurisdictional. Data supporting this conclusion is provided at Section III.C. Provide estimates for jurisdictional waters within the review area (check all that apply): F1 Tributary waters: linear feet width (ft). Q Other non -wetland waters: acres. Identify type(s) of waters: Wetlands directly abutting an RPW that flow directly or indirectly into TNWs. Wetlands directly abut RPW and thus are jurisdictional as adjacent wetlands. F-1 directly abutting an RPW where tributaries typically flow year-round. Provide data and rationale indicating that tributary is perennial in Section III.D.2, above. Provide rationale indicating that wetland is directly abutting an RPW: Wetlands directly abutting an RPW where tributaries typically flow "seasonally." Provide data indicating that tributary is seasonal in Section III.B and rationale in Section III.D.2, above. Provide rationale indicating that wetland is directly abutting an RPW: Provide acreage estimates for jurisdictional wetlands in the review area: acres. Wetlands adjacent to but not directly abutting an RPW that flow directly or indirectly into TNWs. F1 Wetlands that do not directly abut an RPW, but when considered in combination with the tributary to which they are adjacent and with similarly situated adjacent wetlands, have a significant nexus with a TNW are jurisidictional. Data supporting this conclusion is provided at Section III.C. Provide acreage estimates for jurisdictional wetlands in the review area: acres. Wetlands adjacent to non-RPWs that flow directly or indirectly into TNWs. Wetlands adjacent to such waters, and have when considered in combination with the tributary to which they are adjacent and with similarly situated adjacent wetlands, have a significant nexus with a TNW are jurisdictional. Data supporting this conclusion is provided at Section III.C. Provide estimates for jurisdictional wetlands in the review area: acres. Impoundments of jurisdictional waters. As a general rule, the impoundment of a jurisdictional tributary remains jurisdictional. Demonstrate that impoundment was created from "waters of the U.S.," or 0 Demonstrate that water meets the criteria for one of the categories presented above (1-6), or Demonstrate that water is isolated with a nexus to commerce (see E below). E. ISOLATED [INTERSTATE OR INTRA -STATE] WATERS, INCLUDING ISOLATED WETLANDS, THE USE, DEGRADATION OR DESTRUCTION OF WHICH COULD AFFECT INTERSTATE COMMERCE, INCLUDING ANY SUCH WATERS (CHECK ALL THAT APPLY):io which are or could be used by interstate or foreign travelers for recreational or other purposes. Q from which fish or shellfish are or could be taken and sold in interstate or foreign commerce. which are or could be used for industrial purposes by industries in interstate commerce. 0 Interstate isolated waters. Explain: ] Other factors. Explain: Identify water body and summarize rationale supporting determination: 8See Footnote # 3. s To complete the analysis refer to the key in Section III.D.6 of the Instructional Guidebook. 10 Prior to asserting or declining CWA jurisdiction based solely on this category, Corps Districts will elevate the action to Corps and EPA HQ for review consistent with the process described in the Corps/EPA Memorandum Regarding CWA Act Jurisdiction Following Rapanos. Provide estimates for jurisdictional waters in the review area (check all that apply): ❑ Tributary waters: linear feet width (ft). ❑ Other non -wetland waters: acres. Identify type(s) of waters: ❑ Wetlands: acres. F. NON -JURISDICTIONAL WATERS, INCLUDING WETLANDS (CHECK ALL THAT APPLY): If potential wetlands were assessed within the review area, these areas did not meet the criteria in the 1987 Corps of Engineers Wetland Delineation Manual and/or appropriate Regional Supplements. ❑' Review area included isolated waters with no substantial nexus to interstate (or foreign) commerce. ❑ Prior to the Jan 2001 Supreme Court decision in "SWANCC," the review area would have been regulated based solely on the "Migratory Bird Rule" (MBR). ❑ Waters do not meet the "Significant Nexus" standard, where such a finding is required for jurisdiction. Explain: ❑; Other: (explain, if not covered above): Provide acreage estimates for non jurisdictional waters in the review area, where the sole potential basis of jurisdiction is the MBR factors (i.e., presence of migratory birds, presence of endangered species, use of water for irrigated agriculture), using best professional judgment (check all that apply): ❑ Non -wetland waters (i.e., rivers, streams): linear feet width (ft). ❑ Lakes/ponds: acres. ❑ Other non -wetland waters: acres. List type of aquatic resource: El Wetlands: acres. Provide acreage estimates for non jurisdictional waters in the review area that do not meet the "Significant Nexus" standard, where such a finding is required for jurisdiction (check all that apply): Non -wetland waters (i.e., rivers, streams): linear feet, width (ft). ❑ Lakes/ponds: acres. ❑' Other non -wetland waters: acres. List type of aquatic resource: ❑', Wetlands: acres. SECTION IV: DATA SOURCES. A. SUPPORTING DATA. Data reviewed for JD (check all that apply - checked items shall be included in case file and, where checked and requested, appropriately reference sources below): Z Maps, plans, plots or plat submitted by or on behalf of the applicant/consultant: Data sheets prepared/submitted by or on behalf of the applicant/consultant. ❑ Office concurs with data sheets/delineation report. ❑ Office does not concur with data sheets/delineation report. Data sheets prepared by the Corps: ❑, Corps navigable waters' study: U.S. Geological Survey Hydrologic Atlas: ❑ USGS NHD data. ❑ USGS 8 and 12 digit HUC maps. U.S. Geological Survey map(s). Cite scale & quad name: 1"=2,000' Gastonia North, NC, 1993. ® USDA Natural Resources Conservation Service Soil Survey. Citation: Soil Survey of Gaston County, NC, Sheet No. 3, 1989. ❑ National wetlands inventory map(s). Cite name: State/Local wetland inventory map(s): FEMA/FIRM maps: 100 -year Floodplain Elevation is: (National Geodectic Vertical Datum of 1929) Z Photographs: ® Aerial (Name & Date): Gaston County, 2005 Orthos. or ® Other (Name & Date): See attached report. Previous determination(s). File no. and date of response letter: El Applicable/supporting case law: Applicable/supporting scientific literature: Other information (please specify): B. ADDITIONAL COMMENTS TO SUPPORT JD: