Title: Indirect and Cumulative Impacts A Federal Perspective
1Indirect and Cumulative Impacts A Federal
Perspective
- Lamar S. Smith, CEP
- Federal Highway Administration
- Office of Project Development and Environmental
Review
2Federal Initiatives
- FHWA Guidance January 31, 2003
- EO Indirect and Cumulative Impact Workgroup
activities - Draft Baseline Report March 15, 2005
- FHWA Indirect and Cumulative Impact Workshop
- CEQ Guidance on the Consideration of Past Actions
in Cumulative Impact Analysis June 24, 2005
3Federal Guidance and ...
FHWA Guidance
Baseline Report
FHWA Position Paper
EPA 309 Guidance
EO WG
1992
1999
2005
1997
2003
CEQ Guidance
CEQ Handbook
4FHWA 2003 Interim Guidance
- Discuss and clarify terms, with examples
- Focus on NEPA requirements and FHWA policy
- Integrates guidance and relevant case law
- Reminder on the CEQ available or incomplete
information provision - Emphasis on focused coordination and
communication during project development - Discussion of reasonable mitigation
- Overview of related requirements
- Existing training and guidance
5Executive Order 13274Environmental Stewardship
andTransportation Infrastructure Project Reviews
Indirect and Cumulative Impacts Work Group
6Executive Order 13274
Environmental Stewardship and Transportation
Infrastructure Project Reviews
... to enhance environmental stewardship and
streamline the environmental review and
development of transportation infrastructure
projects
7The EO Task Force
- Secretary of Agriculture
- Secretary of Commerce
- Secretary of Transportation (Chair)
- Secretary of the Interior
- Secretary of Defense
- Administrator of the Environmental Protection
Agency - Chairman of the Advisory Council on Historic
Preservation - Chairman of the Council on Environmental Quality
8EO Task Force Goals
- Promote environmental stewardship of the
Nationals transportation system and expedite
environmental reviews of priority projects - Formulate and implement policy and procedures to
ensure completion of reviews in timely and
environmentally sensitive manner - Advance environmental stewardship through
cooperative actions in planning and project
development - Designate priority projects that should receive
expedited agency reviews
9Task Force Activities
- Priority Projects
- Task Force level Champions
- Oversight, project reports and status
- Best practices
- Interagency Workgroups
- Identify barriers to timely and effective
completion of the NEPA process - Suggest potential solutions to improve
coordination, integration, and environmental
stewardship
10Interagency Workgroups
- Purpose and Need (and Alternatives)
- Planning Integration
- Indirect and Cumulative Impacts
- For more information
- www.fhwa.dot.gov/stewardshipeo/
11Workgroup Activities
- Identify problems, challenges, individual agency
perspectives, and needs - Position Paper or Work Plan
- Background
- Review of the issues focus areas
- Identify existing and potential problems
- Determine agencies needs
- Present recommendations for consideration of the
Task Force
12Why Indirect and Cumulative Impacts ?
- Numerous statutes require consideration of
indirect and cumulative impacts - Differences in the requirements
- Complicated and complex issues
- Potential source of disagreement and delay in the
environmental review process - Thinking, understanding and interests vary
- Better and focused coordination and collaboration
will improve environmental stewardship and
project streamlining
13Indirect and Cumulative Impact Workgroup
- Federal Highway Administration (Chair)
- Federal Transit Administration
- Federal Aviation Administration
- Environmental Protection Agency
- US Fish and Wildlife Service
- US Forest Service
- Advisory Council on Historic Preservation
- Council on Environmental Quality (Chair)
- US Army Corps of Engineers
- National Oceanic Atmospheric Administration
14Workgroup Focus
- Terminology and related responsibilities
- NEPA and other requirements
- Approaches, techniques and methods for analysis
- Level of detail for analysis and documentation
- Availability of information
- Mitigation requirements and responsibilities
15Interagency Recommendations
- Clarify mitigation requirements
- Develop enhanced coordination model
- Compile and distribute existing references
- Determine existing training opportunities,
identify gaps and needs - Evaluate analysis tools and best practices
- Improve understanding of the relationship of
transportation and land use
16Task Force Request
- Prepare Baseline to
- Provide information to help practitioners advance
the state of the practice - Develop policy-level recommendations to
strengthen transportation decision making
17Draft Baseline Report
- Document legal requirements related to analysis
and mitigation - Relevant laws, regulations, EOs, and case law
- Determine current state of the practice
- Based on research and practitioner interviews
- Case studies
- Identify lessons learned and opportunities
- Compile existing guidance and training
- Assess guidance, training, and policy needs
- Develop additional recommendations
18Background
- Major Requirements
- National Environmental Policy Act (NEPA)
- Clean Water Act, Section 404
- Endangered Species Act
- National Historic Preservation Act, Section 106
19NEPA Indirect Effects
- Caused by the action occurring later in time or
farther removed, but still reasonably foreseeable - Includes effects of induced growth and changes in
land use patterns or growth
Direct Impacts
Proposed Action
Indirect Impacts
Related Action
20NEPA Cumulative Impacts
- Result from incremental impacts of the action
added to other past, present, and reasonably
foreseeable future actions (regardless of who
undertakes those actions) - Can result from individually minor
- but collectively significant actions
Proposed Action
Impacts
Impacts
Past Actions
Cumulative Impact on a Resource
Other Present Actions
Impacts
Impacts
Future Actions
21Legal Requirements
- 40 laws, regulations, and Executive Orders
- General NEPA, EO 12898
- Transportation TEA-21, 23 CFR 771
- Air, land, and water CAA, CWA 404, EO 11990
- Wildlife ESA
- Cultural NHPA Section 106
- Health and Safety
22(No Transcript)
23Legal Review
- 30 Cases USDOT, USACE, USFS, DOI ...
- Kleppe v. Sierra Club
- Glouchester County Concerned Citizens v.
Goldschmidt - Sierra Club v. Marsh
- Fritiofson v. Alexander
- Laguna Greenbelt v. US DOT
- Carmel by the Sea v. US DOT
24Case Law
- Basic NEPA standards
- Deference
- Requirement to analyze impacts
- Extent of consideration
- Defined reasonably foreseeable
- Indirect selling points
- Crystal ball forecasting
25State of the Practice
- Consideration of these effects are often limited
- Evolving toward a greater appreciation of
indirect cumulative effects in decision making - Characterized by uncertainty
Uncertainties over impacts to analyze and
methods to use
Confusion over requirements
Lack of rigorous analysis, in many cases
Interagency disagreements
26Sources of Disagreement
- Methods and analytic issues
- Analysis boundaries
- Level of detail
- Availability of
Information - Significance of
impacts and
mitigation
What are the indirect or cumulative effects?
27Sources of Disagreement
- Questions about causality
- Cause of land use change, or response to planned
growth? - The role of transportation agencies in mitigation
- Who is responsible?
- Who should be / is responsible?
- Are transportation funds appropriate?
Land Use / Development
Transportation Action
Some of the most contentious issues are often
related to induced land use changes
28Existing Guidance and Training
- Guidance and training is available
- Recently available and may not be readily
accessible to those who need it - Need for additional guidance and training
- Tailored to transportation
- Include case studies
- Highlight differences in
indirect and cumulative
impact analysis
29Case Studies
- Highlight useful practices
- Address indirect and cumulative impacts at
various levels - Planning-level efforts
- Project-level analysis
- Area-wide (ecosystem-level) mitigation
30Lessons Learned
- No one size fits all
- Each project has unique issues, geographic and
temporal boundaries, need for analysis .... - Importance of clear documentation
- Delineate analysis and conclusions for both
indirect and cumulative impacts - Make clear to decisionmakers, the public, and
resource agencies
31Opportunities to Enhance Coordination and
Decision Making
- Early coordination and scoping
- Agree on critical issues important resources
most likely affected, appropriate boundaries, and
methodologies - Coordination with local governments
- Facilitate solutions and improve decisions,
environmental stewardship and
mitigation
32Opportunities to Enhance Coordination and
Decision Making
- Use of GIS and modeling tools
- Use of experts panels
33Opportunities to Enhance Coordination and
Decision Making
- Consideration of impacts earlier in
transportation planning to help avoid and
minimize effects - Area-wide, watershed and ecosystem-level
mitigation approaches
34Recommendations
- Outreach and information sharing
- Practitioner oriented guidance and training
- New approaches for consensus building
35Recommendations
- Outreach and Information Sharing
- Share baseline information (laws and regulations,
case law, guidance documents, training programs) - Implement a coordinated communication effort from
DOT headquarters offices to field offices - Recognize exemplary practices
36Recommendations
- Practical guidance and training
- Develop and package a compilation of best
practice case studies - Develop more specific national-level guidance,
including specific steps, samples of available
techniques, and checklists - Develop and implement workshops for Federal
agency field staff, project sponsors, and
consultants
37Recommendations
- Approaches for Consensus Building
- Develop enhanced coordination model
- Identify approaches for integrating analysis into
planning processes - Identify methods to address impacts in tiered
environmental documents - Facilitate interagency discussion on mitigation
to develop common ground and agreement on the
role of transportation agencies in mitigation of
impacts
38Next Steps
- Outreach and Information Sharing
- Ongoing
- Practitioner-Oriented Guidance and Training
- Future
- New Approaches for Consensus Building
- Ongoing
39Get Involved!
- Available at http//www.fhwa.dot.gov/stewardshipe
o/icireport.htm - Send comments to projectstreamlining_at_ost.dot.gov
- Please help !
40FHWA Indirect and Cumulative Impact
WorkshopHighlights
41Goals and Objectives
- Improve analysis and discussion
- Understanding and application of terms
- Overview of NEPA and other requirements
- Distinguish between indirect and cumulative
future land use impacts - Improve discussion of land use change, future
activities and potential impacts - Emphasize and improve coordination
- Reasonable Mitigation
42Importance of Analysis
- Compliance
- Understanding impacts of project decisions
- Influence decision and alternative selection
- Inform local interests and authorities
- Address concerns and expectations
- Satisfy reasonableness and hard look standard
- Scope of analysis includes direct, indirect and
cumulative impacts
43CEQ Guidance June 24, 2005 Guidance on the
Consideration of Past Actions in Cumulative
Effects Analysis
44CEQ Guidance
- Guidance
- NEPA is forward looking and focused on the
potential impacts of proposed action - Review of past actions is required to the extent
that it informs agency decision making on the
proposed action
45CEQ Guidance
- Discussion
- Agencies should be guided by the scoping process
scope and significant issues - Ensure information is useful to decision makers
- Reduce extraneous background data
- Begin with direct and indirect impacts
- Not required to list or catalogue individual past
actions
46CEQ Guidance
- Tools for NEPA Practitioners
- Scoping to focus on significant impacts
- Incomplete and unavailable information
- Programmatic NEPA analysis or planning study
- Environmental management systems - confirm
assumptions, track performance, increase
confidence - Use effects of past actions to predict indirect
effects
47(No Transcript)