Title: NEPA and EDDA Operational Training
1NEPA and EDDA Operational Training
- Bernie Denno, REM, REPA
- November 20, 2008
Version April 18, 2008
2Environmental Compliance Issues
- National Environmental Policy Act - NEPA
- Environmental Due Diligence Act - EDDA
- CERCLA (Comprehensive Environmental Response,
Compensation, and Liability Act) is the driver - What is the difference between NEPA and EDDA?
3NEPA and EDDA
- So.What is the difference between NEPA and EDDA?
In simple terms NEPA - looks ahead for potential
environmental impacts that will likely to be
caused by proposed actions and EDDA - looks
back into the past for any potential
environmental problems (e.g., soil/water
contamination, landfill, USTs, spills, and etc.)
that might represent a financial liability
4So.What is NEPA?
- The National Environmental Policy Act (NEPA)
requires federal agencies to consider
environmental impacts for major actions in their
decision making process (significant decisions).
- NOAA promulgated NAO 216-6 to comply with NEPA
requirements. - NEPA documents decision making and can be
considered to be actually a PLANNING tool! - Reminder NEPA PLANNING DOCUMENTATION
5NEPA Continued
- NAO identified key roles
- NEPA Coordinator (located in NOAA Office of
Program Planning and Integration (PPI) - Review and approve all NEPA documents
- Assistant Administrator, CAO, Responsible Program
Manager, or Action Proponents - Project management
- Describe environmental impacts and alternative
- Responsible for EIS, EA, or CatEx
- Project decisions
- SECO (not identified in NAO 216-06)
- Assist LO or RPFLO (PPMD RPMD) in construction
actions or real property transactions
6NEPA Continued
- OCAO Memo dated 1/23/07 on roles and
responsibilities - RPFLO shall
- Ensure early partnering with SECO in the RPFLO
facilities and real property planning process,
including both acquisition and disposal concerns - Share all relevant information with SECO
- Invite SECO participation on the Integrated
Project Team, particularly during early planning
discussions - Manage the overarching project schedule and
budget - SECO shall
- Ensure appropriate NEPA documentation accompanies
OCAO decisions while also coordinating the
process with PPI and OGC - Provide expert advice to RPFLO project managers
on all aspects of NEPA - Integrate NEPA as a continual aspect within
appropriate OCAO processes and - Work closely with RPFLO PM to ensure timely
delivery of NEPA products (e.g., SOW, IGE, ESI,
EA, and etc.)
7NEPA Overview on the overall Integration
Initial list of alternatives
Initial Programmatic Requirement Analysis
Initial Resource Requirement Analysis (EDD
affects resources)
Viable alternatives
Environmental Analysis CATEX, EA, EIS
Final Programmatic Requirement Analysis
Final Resource Requirement Analysis
Final Decision
8Types of NEPA Analysis
Environmental Assessment
Categorical Exclusion
Environmental Impact Statement
And/or
Finding Of No Significant Impact (FONSI)
Record of Decision (ROD)
9NEPA Continued
- Three levels
- Environmental Impact Statement EIS ( 1 year or
longer) - EIS must be prepared for every recommendation or
report on proposals for legislation and other
"major Federal actions" significantly affecting
the quality of the human environment - Environmental Assessment EA ( 6 months or
more) - In between CatEx and EIS
- Best outcome is a FONSI (Finding Of No
Significant Impact) - Categorical Exclusion CATEX ( a few days)
- Easiest to perform, fast
- Complete the memo (see example 1)
- Send a copy to the NEPA Coordinator
- And file a copy in the project folder
10The NEPA Process
11National Environmental Policy Act Overview
12NEPA Decision Tree
Yes
No
Yes
Or Unknown
Yes
No
No
Yes
No
13Project Management
- Time Requirements
- CATEX Two weeks (10 business days)
- EA Three months (60 business days)
- EIS One year (200 business days)
- Cost Requirements
- CATEX Staff Time Only
- EA Contract Support - 30K 50K
- EIS Contract Support Up to 1 million
14Categorical Exclusion
- "Categorical exclusion" means a category of
actions which do not individually or cumulatively
have a significant effect on the human
environment and which have been found to have no
such effect in procedures adopted by a Federal
agency in implementation of these regulations
(Sec. 1507.3) and for which, therefore, neither
an environmental assessment nor an environmental
impact statement is required.
15NEPA Continued
- CatEx Actions (NAO216-6, Paragraph 6.03c3)
- Projects and other NOAA Actions
- Research programs of limited size
- Financial and planning grants
- Minor project activities (e.g., dune grass or
small improvements) - Admin or routine program functions
- Real estate actions
- Construction activities of limited size
- Facility improvement or addition (of limited
size) - NEXRAD coverage
- Other Categories of Actions Not Having
Significant Environmental Impacts.
16NEPA Continued
- Required documents
- CatEx Memo (see example 2)
- Checklist (see example). Use this checklist if
your project does not meet the requirements of
the existing list of CATEXs as outlined in the
NAO. - Any correspondences with regulatory agencies
- State Historic Preservation Office
- Tribal Historic Preservation Office
- Historic Advisory Council
- State Coastal Commission
- US Fish and Wildlife
- ACOE wetland permit
- And etc.
17CE or Not CE, that is the ?
- Lease new NOAA space of 4500 square feet?
- Replacement of a pier of 100 in length?
- Interior renovations on non-historic NOAA
facility (leased of owned)? - Lease extension/exercise an option?
18NEPA EA
19NEPA - EA
- Environmental Considerations/Resources
- Land Use
- Geological Resources
- Air Quality
- Cultural Resources
- Flora and Fauna
- Wetlands and Floodplains
- Noise
- Transportation
- Visual Impacts
- Hazardous Materials
20NEPA - EA
- Deliverables
- Project is entered into PPI data base - web
- EA document, typically from consultant
- Signed Finding of No Significant Impacts (FONSI)
- PPI concurrence memo (From proponent to PPI)
- To All Interested Parties memo on PPI
letterhead - All final documents sent to PPI electronically
21NEPA EIS
22EA and EIS Requirements
- Enter all new EAs or EISs into the NOAA Office of
Program Planning and Integrations (PPI) website - https//www.intranet.nepa.noaa.gov/
- Use email log in name (without _at_noaa.gov)
- Use email password
- Provide PPI with a copy of all draft documents
and final documents - Environmental Impact Statement
- Environmental Assessment
- Send to PPI.NEPA_at_noaa.gov
23NAO 216-6 Updates!!
- Process will begin soon to review and update the
NAO Last revision was in 1999 - PPI has the lead
- Steve Kokkinakis
- Add/Change/Eliminate CATEXs
24Environmental Due Diligence
- NowLets talk about EDD
- (Comprehensive Environmental Response,
Compensation, and Liability Act) aka Superfund
- Federal law CERCLA Section 120(h) prevents the
transfer of contaminated federal property unless
it's clean or a remedy is in place. - It makes good business sense to make sure
properties that NOAA is receiving is not
contaminated. - Ensure our lessees activities do not contaminate
our properties.This requires specific legal
language in leases.
25EDD Continued
- NOAA must receive the following for all real
estate property transactions - An Environmental Site Assessment, or Phase 1
ESA. - A Phase 2 ESA, involving material testing
(asbestos, soils, paints, etc.) may be required
depending on what was found in the Phase 1 - Phase 3 involves, if required
- Confirmation sampling
- Remedial activities
- Post-closure monitoring
26EDD Continued
- OCAO Memo dated 1/15/08 on roles and
responsibilities - RPFLO shall
- Partner and share relevant information with SECO
in the RPFLO property transaction planning
process - Manage the over-arching property transaction
project schedule and budget requirements and - Ensure that the appropriate level of EDD is
completed, as required, and considered as part of
the total property transaction evaluation before
the completion of the transaction process. - SECO shall
- Determine the appropriate level of EDD
documentation, working closely with RPFLO, for
each property transaction and ensure required
documentation accompanies property decisions - Distribute an OCAO approved procedure which is
consistent with recognized standards for EDD - Produce an executive fact sheet which explains
NOAAs EDD requirements to senior officials and - Work closely with RPFLO managers to develop
process tools which will ensure timely delivery
of EDD products
27NOAA Safety and Environmental Compliance Office
Director CDR James Verlaque 301-713-2870
Budget Jon Randle 301-713-2870
Management Analyst Janet Williams 301-713-2870
Secretary Gail Gebert 301-713-2870
Secretary Bonita Tyler (C) 301-713-2870
Sr. Tech. Advisor, Env. Energy Division Bernie
Denno 301-713-2870
Sr. Tech. Advisor, Safety Occ. Health
Division Bruce Zaczynski 301-713-2870
Team Lead, Env. Energy Division Will
Freeman 301-713-2870
Chief, Safety Occ. Health Division Tom
Altvater 301-713-2870
GIS Coordinator Tom Simon (C) 206-526-6295
Minh Trinh 206-526-6647
Vancant
Andy Poppen 816-426-7814
Mark George 303-497-3064
Ben Bond 301-713-2870
Joe Duran 206-526-66049
Craig Gillis 301-713-2870
Jim Malchow 206-526-4912
Rhonda Carpenter 303-497-3912
Ron Mattox 816-426-7810
Safety Occ. Health Specialists
Environmental Energy Engineers
Field
Headquarters
Detail
April 13, 2008
28QUESTIONS?
29(No Transcript)
30(No Transcript)
31(No Transcript)
32(No Transcript)
33(No Transcript)