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HomeMy WebLinkAbout20160326 Ver 1_WRC Comments_20170417Strickland, Bev From: Dunn, Maria T. Sent: Monday, April 17, 2017 3:58 PM To: Scarbraugh, Anthony; Staples, Shane Subject: RE: Elite Management Group, LLC Attachments: CMDF -Elite Management_NCWRC.pdf Maria T. Dunn Coastal Coordinator NC Wildlife Resources Commission 943 Washington Sq. Mall Washington, NC 27889 office: 252-948-3916 fax: 252-975-3716 www.ncwildlife.org Email correspondence to and from this sender is subject to the N.C. Public Records Law and may be disclosed to third parties. From: Scarbraugh, Anthony Sent: Monday, April 17, 2017 9:24 AM To: Staples, Shane <shane.staples@ncdenr.gov>; Dunn, Maria T. <maria.dunn@ncwildlife.org> Subject: Elite Management Group, LLC Could I get your comments concerning the 20 slip marina, travel lift and bulkhead? Thanks Anthony Scarbraugh Environmental Senior Specialist Division of Water Resources — Water Quality Regional Operations Department of Environmental Quality 252 948 3924 office anthony.scarbraugh(a)ncdenr.gov 943 Washington Square Mall Washington, NC 27889 Email correspondence to and from this address is subject to the North Carolina Public Records Law and may be disclosed to third parties. IQ North Carolina Wildlife Resources Commission Gordon Myers, Executive Director MEMORANDUM TO: Gregg Bodnar Division of Coastal Management North Carolina Department of Environmental Quality FROM: Maria T. Dunn, Coastal Coordinator Habitat Conservation Division DATE: April 3, 2017 SUBJECT: CAMA Dredge/Fill Permit Application for Elite Management, LLC, Perquimans County, North Carolina. Biologists with the North Carolina Wildlife Resources Commission (NCWRC) reviewed the permit application with regard to impacts on fish, wildlife, and public access resources. The project site is located at 101 N. Granby Street adjacent to a NCWRC public access area and NC Seafood Park Authority site adjacent the Perquimans River in Hertford, NC. Our comments are provided in accordance with provisions of the Coastal Area Management Act (G.S. 113A-100 through 113A-128), as amended, Sections 401 and 404 of the Clean Water Act, as amended, and the Fish and Wildlife Coordination Act (48 Stat. 401, as amended; 16 U.S.C. 661 et seq.). The applicant proposes to construct a 20 -slip docking facility, travel lift piers, bulkhead, and associated infrastructure for a boat / barge repair and maintenance facility. Details on the upland development was not provided, but water dependent development includes a 20 -slip docking facility for vessels up to 50' in length that has slip depths varying from -4' to -5.5' NWL, two travel lift piers, the closing and filling of a 36' by 120' unfinished boat ramp, riprap, and other shoreline stabilization reinforcements. The Perquimans River at this location is classified SB by the Environmental Management Commission and is designated an anadromous fish spawning area (AFSA) by the NCWRC. We have reviewed the permit application and believe there is insufficient information to adequately determine the impacts this project will have on wildlife resources. Items of concern include the following: • The project proposal did not include a complete development layout. It is difficult to understand the project's overall scope if it is not presented during this process. Mailing Address: Habitat Conservation • 1721 Mail Service Center • Raleigh, NC 27699-1721 Telephone: (919) 707-0220 • Fax: (919) 707-0028 CMDF—Elite Management, LLC Page 2 April 3, 2017 • A 20 -slip marina should have a marina management plan to address emergency action toward spills, location of spill and safety equipment, presence of a dockmaster, docking rules, and other contact information. • A vessel maintenance yard has the potential to introduce considerable toxins into the adjacent water body depending on type of maintenance performed at the facility and means to contain waste. Details regarding services provided and management practices must be provided to insure the site will not introduce toxins to the area. • The site is adjacent to a NCWRC boating access area (BAA). There is concern that the extended 20 -slip facility may further congest the area once the BAA and Perquimans Marine Park are built out. • The Perquimans Marine Park was designed to contain industrial type facilities "in the hill" to be accessed by the dredged basin. This design allows easier containment of spills and minimizes user conflict with the public. It also was a reason to justify allowing an access channel to be dredged from the Marine Park to the channel within the Perquimans River. Discussion should be provided as to why this facility is not proposed in the Marine Park. • The Perquimans River is a designated AFSA. Any permitted in -water work should adhere to a February 15 — June 30 moratorium. We appreciate the opportunity to review and comment on this permit application and look forward to forthcoming information. Please do not hesitate to contact me at (252) 948-3916 or at maria. dunnkncwildlife. org