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CFE agenda 010818
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CFE agenda 010818
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1/8/2018
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CFE minutes 010818
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will be at the forefront of 'If the state chooses to pursue the project by submitting a full <br />Environmental Impact Statement to the Corps," Chiosso said, "we will be at <br />public opposition the forefront of public opposition," <br />SEPRO USA( NROG A Jicatien Res ense 11- 14-2017 -2 by Lisa Sara on Scribd <br />Reference the North Carolina Division of Water Resources' (DWR) Cictober 5, <br />2017 request for use of Government property under the stewardship of the US Army <br />Corps of Engineers at B. Everett Jordan Lake for a demonstration project on the in -situ <br />effects of algaecide and phosphorous locking technologies. It is our understanding that <br />the overall goal of this effort is to identify treatments with the potential to be <br />implemented lake -wide at Jordan Lake and Falls Lake. We have reviewed the request <br />in accordance With Engineer Regulation 1130 -2 -550, Ch, 17, Non - Recreation Outgrant <br />Policy. <br />The request indicates that DWR would enter into a contract for the application of <br />algaecide and phosphorous locking technology; however, a contractor has not been <br />selected. As a result, the request indicates that many details and impacts of the <br />proposed action are unknown or cannot be quantified. For the purpose of this initial <br />submittal, DWR cites an unsolicited project proposal received from a potential <br />contractor. We understand that DWR would submit a complete proposal if the project <br />moves forward. <br />Based on our review, DWR's current proposal is not considered feasible due to <br />identified adverse impacts, so the proposed action would not be authorized. For a <br />proposed use of Government property to be considered feasible, the impacts <br />associated with an individual action or the accumulated impact of a series of actions <br />must. not adversely impact the capability of the project (Jordan Lake) to generate the <br />benefits for which the project was congressionally authorized, constructed and is <br />operated. The request identifies measurable permanent adverse impacts to Jordan <br />Lake's water storage volume as well as potentially adverse unquantified impacts to fish <br />and wildlife resources. <br />The loss of water storage volume without replacement, as described in the <br />request, is an unacceptable adverse impact to all five of the lake's congressionally <br />authorized purposes, which are dependent on the availability of the storage; water <br />supply, flood damage reduction, public recreation, fish and wildlife conservation, and <br />downstream releases for water quality. The request states that due to the cost involved <br />it is not anticipated that the contractor would be willing to remove or mitigate any <br />material discharged into the lake. Cost is not an acceptable justification for not <br />arirlroacinn �n itio i-n t Tho r'.nr— nnlir is — not I— of m !-i etnr <br />> Print This Article <br />DEPARTMENT OF THE ARMY <br />WILMINGTON <br />DISTRICT, CORP.u%OF ENGINEERS <br />f <br />1, <br />H. EVERETT JORDAN DAM AND LACE <br />POST OFFICE BOX 14A <br />- <br />MONCURE. NORTH CAROLINA 77584 <br />November 9, 2017 <br />NC Department of Environmental Quality <br />Division of Water Resources <br />David Wainwright <br />1611 Mail Service Center <br />Raleigh, NC 27699 -1611 <br />Dear Mr_Wainwhght: <br />Reference the North Carolina Division of Water Resources' (DWR) Cictober 5, <br />2017 request for use of Government property under the stewardship of the US Army <br />Corps of Engineers at B. Everett Jordan Lake for a demonstration project on the in -situ <br />effects of algaecide and phosphorous locking technologies. It is our understanding that <br />the overall goal of this effort is to identify treatments with the potential to be <br />implemented lake -wide at Jordan Lake and Falls Lake. We have reviewed the request <br />in accordance With Engineer Regulation 1130 -2 -550, Ch, 17, Non - Recreation Outgrant <br />Policy. <br />The request indicates that DWR would enter into a contract for the application of <br />algaecide and phosphorous locking technology; however, a contractor has not been <br />selected. As a result, the request indicates that many details and impacts of the <br />proposed action are unknown or cannot be quantified. For the purpose of this initial <br />submittal, DWR cites an unsolicited project proposal received from a potential <br />contractor. We understand that DWR would submit a complete proposal if the project <br />moves forward. <br />Based on our review, DWR's current proposal is not considered feasible due to <br />identified adverse impacts, so the proposed action would not be authorized. For a <br />proposed use of Government property to be considered feasible, the impacts <br />associated with an individual action or the accumulated impact of a series of actions <br />must. not adversely impact the capability of the project (Jordan Lake) to generate the <br />benefits for which the project was congressionally authorized, constructed and is <br />operated. The request identifies measurable permanent adverse impacts to Jordan <br />Lake's water storage volume as well as potentially adverse unquantified impacts to fish <br />and wildlife resources. <br />The loss of water storage volume without replacement, as described in the <br />request, is an unacceptable adverse impact to all five of the lake's congressionally <br />authorized purposes, which are dependent on the availability of the storage; water <br />supply, flood damage reduction, public recreation, fish and wildlife conservation, and <br />downstream releases for water quality. The request states that due to the cost involved <br />it is not anticipated that the contractor would be willing to remove or mitigate any <br />material discharged into the lake. Cost is not an acceptable justification for not <br />arirlroacinn �n itio i-n t Tho r'.nr— nnlir is — not I— of m !-i etnr <br />> Print This Article <br />
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