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HomeMy WebLinkAbout20171559 Ver 3_More Info Received - HDR Responses to Comments_20220108hdrinc.com January 8, 2022 Andrew Williams Regulatory Project Manager US Army Corps of Engineers Wilmington District, Raleigh Regulatory Field Office 3331 Heritage Trade Drive, Suite 105 Wake Forest, North Carolina 27587 Re: Greensboro Randolph Megasite — USACE Action ID No. SAW-2015-01268 Dear Mr. Williams, Thank you for emailing, on December 8, 2021, your letter regarding the Greensboro -Randolph Megasite Foundation's ("GRMF") permit application. Your letter presents: three information requests from the U.S. Army Corps of Engineers ("USACE"); and copies of public comments the USACE received from the U.S. Fish and Wildlife Service ("USFWS"), six individuals, and one law firm (on behalf of three groups) in response to the second USACE public notice (review period November 19, 2021 to December 6, 2021) for the Greensboro Randolph Megasite ("GRMS") Section 404 Individual Permit Application.' Responses to the public comments are below, and include references to the applicant's August 12, 2020 letter that responded to USACE information requests and to public comments received during the first public notice for the application ("First Responses") and to the Greensboro -Randolph Megasite Section 404 Individual Permit Application Supporting Documentation and Environmental Report ("Environmental Report"). The responses to the three information requests from the U.S. Army Corps of Engineers will be provided in a separate letter marked as confidential. Responses to USFWS comments: The USFWS, in a letter dated December 6, 2021, appears to state its determination that the only federally -listed threatened or endangered species that the project may affect is the northern long-eared bat and that incidental take of the species, if any, is not prohibited. To the extent there is any ambiguity in the USFWS letter, the applicant's view is that the information and materials submitted demonstrate there will be no adverse effects to any federally protected species. As recommended by USFWS, the applicant has coordinated closely with the North Carolina Wildlife Resources Commission ("WRC") and conducted additional field work and reporting as requested by WRC related to non -federally -listed species for which there are no legally mandated protections related to the project. Surveys for bald eagle nests have been conducted onsite as recently as September 27th and 28th, 2021, and no nests have been found. USFWS requested that innovative stormwater designs, best management practices ("BMPs"), and expanded riparian buffers be used that exceed legal requirements. However, the stormwater controls and BMPs included in the project will protect the resources. BMPs for construction will be designed to 1 We note that one commenter requested copies of USACE-published information, and the USACE responded. To the extent that any commenter requested an extension of the public notice period, the applicant contends the second public notice was unnecessary (and any extension would be unnecessary) in light of, for example, the limited amount of additional or different information included in the second notice as compared to the first notice and the fact that changes in the application (primarily identification of the end user) respond favorably to public comments received by the USACE during the first public notice review period. 555 Fayetteville Street, Suite 900 Raleigh, NC 27601-3034 (919) 232-6600 handle the 25-year storm. The potential for additional stream buffer protections is being evaluated as a means of on -site mitigation, which the applicant would like to discuss with the Corps. Responses to public comments: Identification of contractor One commenter expressed interest in identifying a contractor that will do the work at the GRMS. The North Carolina Department of Transportation has selected the contractor(s) to conduct the site grading, and Toyota will select the contractor(s) to conduct facility construction. Wells/groundwater protection Two commenters expressed concerns about the need to protect groundwater and water supply wells. These concerns are addressed at First Responses at page 2. In addition, we note that additional relevant information has been provided to the USACE (and the North Carolina Division of Water Resources) (e.g., Residential Well Sampling and Complaint Resolution Plan). Emergency surface water supply One commenter expressed concern that Dodson's Lake would be adversely impacted as an emergency water source (water from the lake is pumped to Siler City during water shortage). The applicant's preferred alternative does not impact Dodson's Lake, as it does not include placement of fill material into the lake (see Environmental Report Section 4.3.3.1) or a reduction of storage volume. Water quality in the lake is protected by stormwater management infrastructure and BMPs. See First Responses at page 1. Surface water quality One commenter expressed concern about surface water quality impacts. This concern is addressed at First Responses at page 1. The applicant and DEQ will address surface water quality protections as part of the state water quality certification. Air quality One commenter expressed concern about air pollution. This concern is addressed at First Responses at page 2. Light pollution One commenter expressed concern about light pollution. Lighting at the site will comply with local zoning requirements. Vehicular traffic Two commenters expressed concern about road, highway, and/or rail traffic. This concern is addressed at First Responses at page 3 and at the Environmental Report section 4.3.5.4 (discussing rail usage). At buildout, about fifteen rail cars per day are expected to arrive/depart. Adequacy of work force One commenter expressed concern regarding adequacy of the available work force. This concern is addressed at First Responses at page 3. Lack of identification of end user One commenter objected to the permit process proceeding without an end user being identified. Since the time of this comment, it has been announced that the GRMS end user is Toyota. One commenter attached to its comments prior comments that objected to the sufficiency of the first public notice because there is no end user. The end user is now specified. Adequacy of the basis for the site criteria in Section 4.2.1 of the Environmental Report without an end user One commenter attached to its comments prior comments that objected to site criteria based on the end user not being identified. Given the applicant's purpose and need, the site criteria have a solid basis founded on market research to identify site criteria and direct knowledge of site criteria based on active participation in the market without identifying the end user. In addition, Toyota, the end user, has been identified and has verified that the site criteria identified by the GRMF and set forth in the Environmental Report are among the criteria used by Toyota to select the GRMS. See First Responses at pages 5-8. Buffers or riparian buffers One commenter indicated some of the project acreage should be used for buffers, and another commenter requested 100-foot and 200-foot riparian buffers. Riparian buffers will be provided as required by applicable regulations. The potential for additional stream buffer protections is being evaluated as a means of on -site mitigation, which the applicant would like to discuss with the Corps. Schweinitz's sunflower One commenter expressed concern about Schweinitz's sunflower. Surveys in the relevant area failed to locate any of the plant species. See the USFWS Self Certification Letter dated 9/30/2021. Stability of soil for construction One commenter expressed concern about stability of site soil for construction. Geotechnical studies have been completed for the site, and there have been no issues noted regarding stability of the soils for construction. EIS One commenter argued that the USACE was required to prepare an environmental impact statement. The USACE correctly determined that the GRMS project will not have impacts on the environment that warrant preparation of an environmental impact statement. Section 7 consultation One commenter argued that the USACE Section 7 consultation with USFWS was not complete. During the second public notice review period, USFWS provided a letter, dated December 6, 2021, that documents Section 7 consultation. The USFWS December 6 letters appears to state that USFWS has determined that the only federally -listed threatened or endangered species that the project may affect is the northern long-eared bat and that incidental take of the species, if any, is not prohibited. To the extent there is any ambiguity in the USFWS letter, the applicant's view is that the information and materials submitted demonstrate there will be no adverse effects to any federally protected species. North Carolina avoidance and minimization requirements One commenter argued the project would violate North Carolina's avoidance and minimization requirements. The water quality certification will ensure that the project will comply with the North Carolina avoidance and minimization requirement. Federal requirements will also be met. Discharges One commenter was concerned about discharges. Wastewater discharges will be directed to the Greensboro sewer system, and surface water runoff will be managed by on -site BMPs. See Environmental Report at section 5.5.2.3 and First Responses at pages 1 and 2. Impervious surface One commenter expressed concern about impervious surface. This concern is addressed at Environmental Report at section 5.5.2.3.2. Please also note the applicant is working with DEQ to finalize the Stormwater Management Plan which takes into account the impervious surfaces on the site. Species not listed pursuant to the Endangered Species Act One commenter expressed concern about species not protected by the Endangered Species Act (bald eagles and certain mussels). The applicant has coordinated with the WRC and has conducted studies not required by law to satisfy WRC's concerns. Surveys for bald eagle nests have been conducted onsite as recently as September 27th and 28th, 2021, and no nests have been found. Secondary and cumulative impacts One commenter expressed concern about secondary and cumulative impacts. This concern is addressed at First Responses at page 8. Cape Fear shiner One commenter expressed concern about the Cape Fear shiner. On December 6, 2021, USFWS concurred with the results of surveys that found no Cape Fear shiner or its habitat in areas relevant to the assessment of potential project impacts on the species or its habitat. To the extent there is any ambiguity in the USFWS letter, the applicant's view is that the information and materials submitted demonstrate there will be no adverse effects to federally protected species, including the Cape Fear shiner. Atlantic pigtoe One commenter expressed concern about the Atlantic pigtoe, a mussel species listed as threatened on November 15, 2021. On December 6, 2021, USFWS concurred with the results of surveys that found no Atlantic pigtoe or its habitat in areas relevant to the assessment of potential project impacts on the species or its habitat. To the extent there is any ambiguity in the USFWS letter, the applicant's view is that the information and materials submitted demonstrate there will be no adverse effects to federally protected species, including the Atlantic pigtoe. The Applicant looks forward to working with the USACE on completing the permitting process and issuance of the 404 Individual Permit for the GRMS project. Please call me at 919-232-6637 or email at vickie.miller@hdrinc.com if you need additional information or clarification on any of the information provided. Sincerely, HDR Engineering Inc. of the Carolinas Vi40 Vickie Miller, AICP, PWS Senior Environmental Planner cc: Jim Melvin, Greensboro Randolph Megasite Foundation Sue Homewood, DWR Wendee Smith, S2 Consulting