Tag Archives: USACE

E-comment to FERC ASAP, especially experts

Merrillee Malwitz-Jipson says: “Please consider saying something and be counted.” Here’s How to send an ecomment to FERC.

You can ecomment today on FERC docket number CP15-17 against the Sabal Trail fracked methane pipeline invading Alabama, Georgia, and Florida.

Until December 11, 2015 you can also send comments to the U.S. Army Corps of Engineers against Sabal Trail’s use of rivers and wetlands. You can do this for any of Florida, Georgia, or Alabama.

In Georgia, you can send comments to Continue reading

60-day extension to comment about Sabal Trail pipeline to Army Corps of Engineers

Until December 11, 2015, you can still complain to USACE and GA-EDP about Sabal Trail’s proposed fracked methane pipeline under the Withlacoochee and Suwannee Rivers, Okapilco Creek, and other rivers and streams in Georgia, Florida, and Alabama.

Until 11 Dec 2015 See the new Joint Public Notice datestamped October 09 2015, and the previous public notice to which it refers.

Don’t forget WWALS v. Sabal Trail & DEP in Jasper, Florida starting Monday 19 October 2015. More on the WWALS website.

-jsq

You can join this fun and work by becoming a WWALS member today!

Continue reading

Proposed Sabal Trail River Permits –USACE and GA-EDP

An opportunity for more and different public hearings! Joint Public Notice The Withlacoochee River doesn’t even rate a mention, nor the Ochlockonee River. Nor any county other than Stewart, nevermind the ones that have passed resolutions against the Sabal Trail pipeline: Terrell, Dougherty, Colquitt, Brooks, and Lowndes Counties, Georgia and Hamilton County, Florida, plus the cities of Albany, Moultrie, and Valdosta, Georgia. This is the Savannah Army Corps of Engineers Public Notice, issued the same Friday September 11th 2015 as the ones from Mobile and Jacksonville, each slightly different.

So is that one, two, or four possible new public hearings? Continue reading

GA-EPD plans to certify Sabal Trail within 30 days unless public comments; ditto USACE

People can request a hearing by the state of Georgia or the U.S. Army Corps of Engineers to stop GA-EPD or the USACE from rubberstamping Southeast Market Pipelines Project Overview Sabal Trail’s use of wetlands within 30 days from Friday. USACE explicitly asks for public comments on “cumulative impacts of the proposed activity on the public interest”, unlike FL-DEP’s attempts to narrow the issue. Presumably this includes crossings of the Chattahoochee, Flint, Ochlockonee, and Withlacoochee Rivers in Georgia (and the Suwannee, Santa Fe, and Withlacoochee (south) Rivers in Florida and other rivers in Alabama), although this USACE Jacksonville office public notice about the Clean Waters Act and the Rivers and Harbors Act doesn’t specify. It was released Friday September 11th just like the one USACE Mobile District released that same day on Proposed Discharge of Sabal Trail Fill Material. Apparently you can ask for a public hearing by USACE in Alabama or Florida as well as in Georgia.

Here’s the Jacksonville USACE public notice: Continue reading

Proposed Discharge of Sabal Trail Fill Material –U.S. Army Corps of Engineers

Late on a Friday, in a USACE public notice:

Sabal Trail Project Overview The USACE has not verified the adequacy of the applicant’s avoidance and minimization statement at this time….

The USACE has not verified the adequacy of the applicant’s proposed off-site mitigation plan at this time.

After how many years has this Sabal Trail project been going on? And still no verification?

PUBLIC HEARING REQUESTS: Any person may request, in writing, within the comment period specified in this notice, that a public hearing be held to consider this application. Requests for public hearings shall state with particularity, the reasons for holding a public hearing.

How about as a reason somebody needs to examine Sabal Trail’s mitigation plans?

This Friday USACE release frequently mentions Continue reading

Two GA-EPD water advisories about US 84 widening project

Thirty-day comment periods closing 12 August 2015 to comment on the US 84 widening project, say 300x175 Greasy Branch, CSX Railroad, Upper Suwannee River Watershed, in Two GA-EPD water advisories about US 84 widening project, by John S. Quarterman, for WWALS.net, 13 July 2015 two Public Advisories from GA-EPD Watershed Protection Branch. One is in the Satilla River watershed, about “two existing open water ponds (outflowing into jusrisdictional[sic] wetlands associated with Lees Branch)”: those ponds are next to the groundwater-contaminating CSX railyard in Waycross. One is in the Upper Suwannee River watershed, about “three existing open water ponds (outflowing into jusrisdictional[sic] waters associated with Greasy Creek and the CSX railroad)”. Maybe the Southern Environmental Law Center letter to GDOT and the U.S. Army Corps of Engineers got some results, although these advisories are from a different state agency.

The Upper Suwannee one starts at Continue reading

WWALS Goals for 2015

Boating on our rivers and water trails for them, issues and education: you can help with the fun and work of WWALS! Here’s much of what can be done laid out in a list of a dozen WWALS Goals for 2015. The board has at least one opening right now, and the committees always could use more members. You can apply through the online form.

See also the monthly newsletter, the news about WWALS, and of course the website with blog, facebook the page and group, and WWALS on twitter, Youtube, and the membership google group. You can become a member or corporate sponsor of WWALS online right now.

The WWALS Executive Committee 11 March 2015 recommended Continue reading

For development, or not needed? US 84 widening from Homerville to Waycross

This paragraph sums it up:

300x388 Wetlands 29 and 31, in RE: SAS-2014-00862, Proposed U.S. Highway 84 Widening, by Gilbert B. Rogers, for WWALS.net, 28 May 2015 The project’s stated purpose in the EA is “economic development,” as part of the Governor’s Road Improvement Program created in the 1980s. See EA at 4. The NEPA regulations promulgated by the Council on Environmental Quality (“CEQ”) require agencies to examine the indirect impacts of projects — those growth-inducing impacts caused by a project, such as changes in land use and development patterns. 40 C.F.R. § 1508.8(b). Yet over and over, when purporting to examine the project’s potential for indirect impacts on various natural resources, the EA repeats, “The proposed project is not expected to precipitate substantial development along the corridor.”

Other questions include, why not use a narrower median? Why not leave trees on the median?

Below is the full text of the letter Continue reading

EPA Clean Water Rule finalized

I still see EPA’s new Clean Water Rule as a good thing, since it protects drinking water, paddling, and fishing, while opponents remain quite vague about what might be wrong with it.

After last year’s comment period, U.S. EPA has posted a prepublication version of its final Clean Water Rule.

Katie Shepherd, L.A. Times, 27 May 2015, Under new EPA rule, Clean Water Act protections will cover all active tributaries, Continue reading

Widening US 84 from Homerville to Waycross

300x232 Figure 4.1: State and Federal Waters Map, in US 84 four-laning from Homerville to Waycross, by John S. Quarterman, for WWALS.net, 28 April 2015 GDOT and the Army Corps want to widen U.S. 84 from Homerville to Waycross. Since it appears that US 84 is already four lane from Thomasville through Quitman and Valdosta to Homerville, and from Waycross onwards northeast, this would be the remaining gap. The public notice says little or nothing about why this road work might be needed.

U.S. Army Corps of Engineers, Public Notice, 28 April 2015, SAS-2014-00862 (SP-WMR), Widening and Reconstruction of U.S. Highway 84, with PDF. Since that notice says it expires in a month, there’s also a copy of the PDF on the WWALS website, including this location information: Continue reading