60 &
RESOURCE MANUAL FOR
ENVIRONMENTAL IMPACT
ASSESSMENT REVIEW
July 1998
U.S. Environmental Protection Agency
Office of Federal Activities
1200 Pennsylvania Avenue, MC-2251-A
Washington, B.C. 20460

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                      RESOURCE MANUAL FOR
         ENVIRONMENTAL IMPACT ASSESSMENT REVIEW
                              OVERVIEW

This Resource Manual was developed as a reference for professionals who expect to be
involved in the review and evaluation of environmental impact assessments.  It
supplements the course student text: "Principles of Environmental Impact Assessment
Review".

Generic elements of the environmental impact assessment (EIA) process are
emphasized so that the resource manual is of use internationally to federal, state, tribal
and local agencies within and outside of the United States and both government
officials and non-governmental organizations involved in EIA review.

The resource manual is organized into seven sections:

Section 1 covers the major activities that are required for a successful environmental
impact assessment.  These include: project initiation, scoping, assessment, decision-
making, and post-decision analysis. Section 1 is based upon the Sourcebook For The
Environmental Assessment Process, September 1993 (Second printing, November
1994). This document was prepared by USEPA with the Oakridge National
Laboratories in an interagency effort to provide, for the first time, a one-stop reference
source to meet the demand for information on the environmental impact assessment
process.  It benefitted from international peer review as well.   Minor modifications
made to the original Sourcebook text bring it up to date and make it consistent with the
Principles of Environmental Impact Assessment Review Student Text.

Under each activity, there is a subsection which describes needs, tools,  issues, linkages
and references:

•      The needs subsection highlights planning, information/data, and resources;

•      The tools subsection describes methods and techniques that have been proven
       useful;

•      The issues subsection identifies important points, concerns and areas where
       conceptual and analytical uncertainties exist;

•      The linkages subsection calls attention to the nexus of environmental impact
       assessment activities;

•      The references subsection provides citations to published information found to
       be particularly useful.

                               overview - 1

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Because the sourcebook was developed in 1993, Section 1 contains some references
that may not be readily available, particularly to those in foreign countries or those just
starting environmental impact assessment programs.

Section 2 showcases a matrix of environmental assessment methodologies and contains
an example Environmental impact assessment evaluation checklist when conducting an
Environmental impact assessment review which is also printed in the Student text.
Since the Environmental impact assessment should rely on existing data, when feasible,
to characterize the existing environment, the matrix of methodologies also displays
various techniques that can be used to obtain the appropriate data.

Section 3 contains a list of specific characteristics of various types of industrial
discharges and a World Bank Table of project specific mitigation measures.

Section 4 is a placeholder for information on country-specific laws and background.
It now includes selected materials from the U.S. program including the Council on
Environmental Quality (CEQ) Regulations for Implementing the Procedural Provisions
of NEPA and  the CEQ responses the Forty Most Asked Questions Concerning the
NEPA Regulations. During the Environmental impact assessment process, there are
related environmental review and consultation requirements (e.g., endangered and
threatened species, historic and cultural resources) which are frequently integrated with
the requirements of the National  Environmental Policy Act (NEPA). This reduces
duplicative effort and the potential for delays. The requirements of such laws are not
addressed in this resource manual, but brief summaries of the laws are included in this
section.

Section 5 includes a list of relevant environmental impact assessment guidance
developed by EPA and two examples in their entirety.

Section 6 is a  glossary of terms.

Section 7 describes internet sites and also the contents of a compact disc resource
which is  included in the resource manual pocket.

The resource manual is designed to be an easy-to-use reference manual, hence there  is
some overlap or repetition with the student text.  It is formatted to facilitate ease in
updating  or addition of new material.

Permission to  use copyrighted materials which were included in the original
Sourcebook was received from the following publishers as identified in the
Sourcebook: Academic Press (pg. 1.6.14-1);  Elsevier Science Publishing Company,
Inc. (pgs.. 1.6.6-1, 1.6.10-1, 1.7.1-1 and Fig.  1.6.8-B);  Environmental Law Institute


                               overview - 2

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(pg. 1.4.1-1); International Association for Impact Assessment (pg. 1.8.1-1); Lewis
Publishers (pg.  1.6.8-4 and Fig. 1.6.8-A); National Association of Environmental
Professionals (pgs.. 1.2-1, 1.6.11-1, and 1.6.16-1); and Unwin Hyman, Ltd. (Fig.
1.6.8-C).

Slight modifications to format and content of the Sourcebook For The Environmental
Assessment Process have been made for consistency with the Principles of
Environmental Impact Assessment Review course including manual footnotes reference
the term environmental impact assessment process to be used in lieu of the term
environmental assessment process.
                               overview - 3

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                             RESOURCE MANUAL FOR
       PRINCIPLES OF ENVIRONMENTAL IMPACT ASSESSMENT REVIEW

                               TABLE OF CONTENTS
PREFACE	 ffi

ACRONYMS	.	 vi

SECTION 1 The Environmental Impact Assessment Process	 1-1
            1.1 Evolution of the Environmental Impact Assessment Process	1.1-1
            1.2 Overview of the Environmental Assessment Process	1.2-1
            1.3 Project Initiation	1.3.1
                1.3.1 Purpose and Need	.....;..  1.3.1-1
                1.3.2 Statement of Underlying Need
                     Defines the Range of Alternatives  	  1.3.2-1
                1.3.3 Techniques for Communicating with the Public	  1.3.3-1
                1.3.4 Identification of Issues	  1.3.1-1
                1.3.5 Generation of Alternatives	  1.3.5-1
                1.3.6 Environmental Impact Checklists	  1.3.6-1
            1.4 Decision to Proceed	1.4-1
            1.5 Draft/Final Environmental Impact Assessment Analysis and
               Documentation	1.5-1
                1.5.1 Scoping	  1.5.1-1
                1.5.2 CEQ Scoping Guidance	  1.5.2-1
                1.5.3 Defining the Scope of Alternatives in an Environmental
                     Impact Statement After Citizens Against Burlington  ...  1.5.3-1
                1.5.4 Assessment  . . .	  1.5.4-1
                1.5.5 Sources of Environmental Data	  1.5.5-1
                1.5.6 Computer-Aided Environmental Assessment	  1.5.6-1
                1.5.7 Impact Identification	  1.5.7-1
                1.5.8 Impact Analysis and  Prediction	  1.5.8-1
                1.5.9 Summary of Fate Models Used in Environmental
                     Assessment	  1.5.9-1
                1.5.10 Problems Associated with Amalgamation of Data	  1.5.10-1
                1.5.11 Geographic Information Systems	  1.5.11-1
                1.5.12 Determination of Significance	  1.5.12-1
                1.5.13 Definitions for Describing Significance of Impacts ....  1.5.13-1
                1.5.14 Determining Impact Significance in Environmental
                     Impact Assessment		  1.5.14-1
                1.5.15 Mitigation	  1.5.15-1
                1.5.16 An Unreadable Environmental Impact Statement-

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                     is an Environmental Hazard	 1.5.16-1
               1.5.17 EPA Rating System Criteria for Draft Environmental _
                     Impact Statements	 1.5.17-1
            1.6 Decision Making	1.6-1
                1.6.1 Indices ofEnvironmental Quality	  1.6.1-1
            1.7 Follow-Up	1.7-1
                1.7.1 Negotiating a Monitoring Program	  1.7.1-1

SECTION 2 Environmental Impact Assessment Methodologies and Evaluation
            Checklist	2-1
            2.1 Environmental Impact Assessment Methodologies 	2.1-1
            2.2 Environmental Impact Assessment Evaluation Checklist	2.2-1

SECTION 3 World Bank Project Specific Impacts and Mitigation Measures	  3-1
            3.1 Industrial Impacts	3.1-1
            3.2 Project Specific Mitigation Measures World Bank Tables	3.2-1

SECTION 4 Country Specific Laws / Background	  4-1

SECTION 5  Relevant U.S. Environmental Protection Agency Guidance for
             Environmental Impact Assessment Reviewers  	  5-1
             List of Relevent U.S. Environmental Protection Agency Guidance
             5.1 Example 1: Ecological Impacts From Highway Development
             5.2 Example 2: Environmental Impact Assessment Guidelines for
               Mining (Ore and Coal)

SECTION 6 Glossary	  6-1

SECTION 7 Environmental Impact Assessment Resources on the Internet and
           Compact Disc	7-1
                                         11

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                                     PREFACE

       The United States Environmental Protection Agency [U.S. EPA] is increasingly being
asked for information on the environmental impact assessment decision-making process [EIA]
by foreign governments, states, localities and others.  In partial fulfilment of this need, the
Office of Federal Activities [OFA], which has responsibility for environmental impact
assessment in EPA under the National Environmental Policy Act [NEPA] and for review and
comment on environmental impact statements [EISs] produced by all other U.S. federal
agencies under Section 309 of the Clean Air Act [§309], produced a series of documents
explaining the U.S. approach to EIA in order to meet this increased demand for information.

       The purpose of the  OFA/EIA program is to develop explanatory and training materials
in a generic sense which convey the collective knowledge and rationale for the way the
environmental impact assessment decision-making process is carried out in the United States.
Documents produced by the OFA/EIA program include:

•      Bibliography and Abstract of Environmental Impact Assessment Methodologies,
       December 1990 (included in Resource Manual).  The bibliography focuses on the
       English literature in this area. The purpose of the bibliography was to assist OF in
       designing its program of technical assistance in the EIA process.

•      Environmental Assessment Process, Technical Information Packet [TIP], March  1992
       (EPA/600/M-91/037).  This TIP is a part of a series of information packages prepared
       for, and distributed by EPA's INFORTERRA office. Aimed at the international
       community, the packages focus on key environmental and public health issues being
       investigated by EPA.

•      Principles of Environmental Impact Assessment, an international training course
       module, September 1992, revised March 1998, English and Spanish editions.  This
       course, consisting of a Student Text and a Facilitator's Manual, was produced in
       cooperation with EPA's Office of International Activities and funded through the
       Agency for International Development.  This is one of a series of EPA  training
       "modules" on various environmental topics, including Risk Assessment and
       Environmental Enforcement.  All were initially targeted for delivery to Central
       European countries and have since then been delivered in  Central and South America
       and Asian countries. The objective of the EPA training is to encourage host countries
       to use the module in turn to train others within their country.

•      Principles of Environmental Impact Assessment Review, an international training
       course module, May 1998.  This course, consisting of a Student Text, Facilitator's
       Manual and Resource Manual is designed as a follow-on to EPA's  Principles of
       Environmental  Impact Assessment training course. The purpose of this course is to
       instruct professionals who expect to be involved in the review and evaluation of EISs
       how to review these documents for consistency and completeness.

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                                     ACRONYMS
 AHPA         Archeological and Historic Preservation Act
 BLM          Bureau of Land Management (U.S.)
 CBA          coat-benefit analysis
 CBRA         Coastal Barrier Resources Act
 CBRS         Coastal Barrier Resources System
 CEQ          Council on Environmental Quality
 CFR          Code of Federal Regulations
 COE          Corps of Engineers (U.S. Army)
 CZMA         Coastal Zone Management Act
 DOE          U.S. Department of Energy
 e.g.           for example
 EA            environmental assessment (process)
 EC            European Communities
 ECE          United Nations Economic Commission for Europe
 EEC          European Economic Community
 EIA           environmental impact assessment (document)
 EIS            environmental frnpgpt statement
 EO            Executive Order
 EPA          Environmental Protection Agency
 ESA          Endangered Species Act
 etal.          and others
 et seq.         and the following ones
 FEARO        Federal Environmental Assessment Review Office (Canada)
 FEMA         Federal Emergency Management Agency (U.S.; for Flood Hazard Boundary Maps)
 FGDC         Federal Geographic Data Committee
 FNSI          finding of no significant impact
 FPPA         Farmland Protection Policy Act
 FR            Federal Register
 FWCA         Fish and Wildlife Coordination Act
 FWS          Fish and Wildlife Service (U.S.)
 CIS            geographic information system
 HEP          habitat evaluation procedure
 HUD          Department of Housing and Urban Development (U.S.)
 i.e.            mat is
NEPA         National Environmental Policy Act
 NGO         non-governmental organization
 NHPA         National Historic Preservation Act
 P.L.           Public Law
PDA          post-decision analysis
ROD          record of decision
 SCS           Soil Conservation Service (U.S.)                 ,
 SEA           strategic environmental assessment
U.S. DOI      United States Department of Interior
 U.S.           United States
 U.S.C.         United States Code
 USGS         U.S. Geological Survey
WA           Wilderness Act
WSRA         Wild and Scenic Rivers Act
                                              IV

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          SECTION 1.1

EVOLUTION OF THE ENVIRONMENTAL
      IMPACT ASSESSMENT

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EVOLUTION     OF
ASSESSMENT
ENVIRONMENTAL     IMPACT
       In response to a growing awareness of environmental issues in the United
States in the 1960s,  the public called on Congress to enact an environmental
policy  with  comprehensive goals  that transcended  the separate pollution and
resource management laws of  the  time.    The  product  of this  growing
environmental consciousness was the National Environmental Policy Act (NEPA),
passed by Congress on December 22, 1969  and signed into law on January 1,
1970 (Part D).  The statute is the foundation for consideration of environmental
factors in federal decisionmaking. Moreover, it provides for citizen involvement
and the opportunity for environmental litigation (Bear 1989).

       NEPA ushered in a new era of environmental awareness in the United
States by requiring federal agencies to include environmental considerations early
in their plans and activities.  And it created the environmental impact statement
for  assessing the likely effects (both beneficial and adverse) of projects  with
significant environmental  impacts that  agencies intend to  build, finance,  or
permit. NEPA also provided the interested  and affected public with one of its
most important tools — the right to bring a case to court.  Litigation during the
late 1960s and 1970s established that  noneconornic interests  (i.e., aesthetic,
conservational,  recreational) were sufficient to establish "standing to sue".  Over
time, NEPA litigation has declined because there are fewer threshold issues and
federal agencies have largely institutionalized NEPA and the results of the early
landmark cases in their implementing regulations.  Although the effectiveness of
NEPA is often  questioned, there is growing  recognition that NEPA has made a
significant difference in federal agency decisionmaking (Wandesford-Smith and
Kerbavaz  1988).

       In the more than two decades since the passage of NEPA, nations around
the world, international lending agencies, and multilateral development assistance
organizations have initiated  similar requirements for assessing and managing
impacts upon the environment of their development activities (see Chapters 10 -
14, 16 and 17 of Wathern 1988). Nevertheless, in Europe and elsewhere, the EA
process is  essentially  reactive  (i.e.,  applied  after  a decision is made).
Requirements for EA, if any, are found in existing statutes and regulations written
to address pollution control, safety, and land-use planning.  It was not until
                                   1.1-1
 *For purposes of this document, the term Environmental Assessment (EA) will refer to the
 Environmental Impact Assessment (EIA) process.

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publication in 1985 of the Commission of the European Communities' directive
on EIA for projects that, at least for the member countries, a proactive approach
to environmental assessment was mandated.   However,  the  directive  only
specifies binding policy objectives; the means for implementing the conditions of
the directive are left to each member country.  Thus, a wide range of approaches
have been  adopted (Wathem 1988), mostly set  within the context of existing
national planning law.

       Historically, the emphasis in EA has been  on project-level activities in
spite of the fact that EA legislation in some countries (e.g., United States, The
Netherlands,  Canada) includes  application to policies,  plans, and programs.
However, there is growing recognition that EA should reach beyond projects to
broader governmental initiatives. In the United States, there is evidence that the
government is applying EA to programmatic decisions (e.g., the Department of
Army  programmatic  EIS for the Chemical Stockpile Disposal Program;  the
Department of Energy  (DOE)  programmatic EIS for  the Nuclear  Weapons
Complex Reconfiguration; and the DOE programmatic EIS for Environmental
Restoration and Waste Management).  Following programmatic decisionmaking,
more focused documents are prepared for  specific projects within  a  program.
The secondary documents are tiered to the programmatic document; they do not
duplicate material found in  the programmatic document but summarize  such
information and incorporate it by reference.

       In Europe, interest in EA for policies, plans, and  programs is increasing
(Therivel  et  al.  1992).   Under the  auspices of  the Senior Advisors  on
Environmental and Water Problems of the United Nations  Economic Commission
for Europe (ECE) and the  sponsorship of the United States  Environmental
Protection  Agency,  an international task force  studied  the application of the
principles of EA to policies, plans, and programs. The task fon;e agreed that the
principles of EA as applied to projects are appropriate for policies, plans, and
programs (ECE  1992).  These include early  initiation of assessment,  scoping,
independent  review,  public participation,  formal  documentation,  use  in
decisionmaking, and post-decision analysis.  However, the task force recognized
that  timing and confidentiality might limit  public involvement, independent
review, and scoping  for policy-level decisionmaking.  In order  to enhance the
quality of information used in EA for policies,  plans, and programs, the task
force agreed that efforts should be pursued  to adapt and  develop methodologies
and  databases  to  promote  exchange of  information  gained  from  ongoing
experiences.  In addition, the  Commission of  the European Communities is
currently working on a new directive for strategic environmental assessment
(SEA), as it is called, for policies, plans, and programs.

       An EA system is easiest  to apply within a single jurisdiction.  However,
there is an increasing  need to  extend EA to environmental issues that are regional,

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international, and sometimes global in scope. Burton et al.  (1983) identify two
classes of problems associated with international EA:

       •     the action takes place in one or a few adjacent countries but the
             impacts can be widespread (e.g., acid rain, nuclear power); and
       •     the action takes place in many countries and the impacts may be
             distributed globally (e.g., stratospheric  ozone depletion,  CO2 -
             induced climate change).

       In the first case, conventional EA may be appropriate.  For the second,
new  procedures  are  needed  that address  state  sovereignty,  acceptable
administrative procedures for EA at the international level, and the determination
of significance.  The 1991ECE Convention on Environmental Impact Assessment
in a Transboundary  Context (signed by 28 countries, including the U.S., and the
European Community) obliges signatories to assess the environmental impacts of
certain listed activities likely to  cause significant adverse transboundary effects.
Members are currently working on issues associated with transboundary  EA
among which are:  identification of parameters  to determine which activities
require EA; criteria for determining the significance of transboundary impacts;
and standardization  of methods for prediction of environmental impacts.

       Obviously,  the nature  of EA will differ  at  the various levels  of
decisionmaking. At the policy level, EA will be more general and less certain.
There will  be difficulties  associated  with availability  and/or existence  of
information  for assessment and  less precise predictions about the consequences
of change. Nevertheless, these are not seen as insurmountable problems, because
decisionmakers may have lower expectations regarding precision at the policy
level  (Wathern  1988).  The longer lead time associated with policy development
should allow feedback between data generation and impact prediction, so that the
environmental effects of policies can be more precisely described and the impacts
more narrowly  defined over time (Wathern 1988).

       Currently with the growing interest in policy-level EA, there is increasing
recognition  that EA should be used to assess the net contribution of a project,
program, or policy to sustainable development (Jacobs and Sadler 1990).  The
1987 report of the  Brundtland Commission, Our Common Future, sounded an
urgent  call  for  global  environmental  strategies  for  achieving  sustainable
development based on identification  of long-term  environmental issues  and
definition of appropriate efforts  to protect and enhance the environment. It went
on  to state that "The ability to choose policy paths that are sustainable requires
that the ecological dimensions of policy be considered at the same time as  the
economic, trade,  energy, agricultural, industrial, and other dimensions—on the
same agendas and in the same national and international institutions."
                                    1.1-2

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       A strong case can be made for the use of EA to push decisionmakers
along the path of sustainability (Attachment LA). There is a clear indication that
environmental advisors  working in bilateral and  multilateral agencies see the
potential for  modification of existing EA practices to encompass social impact
assessment, participatory appraisal procedures, and environmental economics.
However, moving  from  conventional EA  to a wider  more  comprehensive
approach encompassing  environmental/biological, social and economic elements
on an equal  basis for developed and developing countries  will require time,
cooperation,  and agreement within and  among  governments..   It has  been
suggested that EA procedures be developed for issues. For example, focusing on
a selected key problem with significant social and economic dimensions as well
as environmental implications such as hydropower  dams with their associated
irrigation schemes, displaced people and refuges. Such an issue - based strategy
facilitates an  interactive approach, building on lessons learned,  and provides a
means to test and demonstrate the utility of a modified approach to EA.

       The  World  Bank  summarizes  the basic  operational principles  of
sustainability as output and input rules:

       •     output guide.  Waste emissions from a project should be within the
             assimilative capacity of the local environment to absorb without
             unacceptable degradation of its future waste absoirptive capacity or
             other important services.
       •     input  guide.   Harvest  rates of renewable resources should be
             within the regenerative capacity of the natural system  that produces
             them. Depletion rates of nonrenewable resources should be equal
             to the rate at which renewable substitutes are developed by human
             invention and investment.

       Although not addressed directly, the concept of sustainability has been
applied to carrying capacity studies in some 20 EAs prepared for World Bank
projects (e.g., for rangeland and power projects; Attachment LA). For most
animal species, carrying capacity is defined as the maximum population that can
be supported indefinitely in a given habitat without permanently impairing the
productivity of the ecosystem(s) upon which that population is dependent (Rees
1988).  For  human society, regional carrying capacity can be defined as the
maximum rate of resource consumption and waste discharge that can be sustained
indefinitely   in a defined  planning  region  without progressively impairing
bioproductivity and ecological integrity. Carpenter (1990) presents some practical
problems in measuring sustainability and describes ongoing studies that could lead
to better measurement of sustainability (Attachment  LA).

       Rees  (1988)  notes that  while  the  notion of  carrying  capacity  is
conceptually  simple, various factors make it difficult to put-into practice (e.g.,
                                    1.1-4

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interregional trade lessens the importer's concern for understanding the carrying
capacity of the exporter; cumulative demands for consumption and production
must be assessed). Nevertheless, he suggests four initial steps in recreating EA
to serve a viable role in sustainable development.  They are as follows:

       •     Extend the scope of EA-like activities to cover the full range of
             ecologically  and socially relevant  public  and private  sector
             proposals and actions.

       •     Create a variety of institutional frameworks for EA adapted to the
             increased diversity  of initiatives and activities to be  assessed.
             These mechanisms should be equitable, reduce conflict of interest,
             and promote political  accountability.

       •     Develop methods for EA that reflect the discontinuous temporal
             and spatial dynamics  and the resilient properties of ecosystems.
             This requires a balance between predicting the known and adapting
             socially and politically to the uncertain and unknown in the natural
             world.

       •     Implement the foregoing as part  of a broader planning  and
             decision-making  framework  (e.g.,  community  development
             planning, regional planning) that effectively recognizes ecological
             functions as limiting factors.

       It is also recognized that indicators (i.e., measures) are needed for analysis
of sustainability and to guide policymakers  in their evaluation of environmental
quality (Attachment l.A). Such indicators will be vital in the development and
monitoring of  national sustainable development plans.   Consider  economic
planning without GNP or social planning without life expectancy and rates of
fertility,  yet environmental  planning  has  no comparable measures.    New
indicators are needed to enable the integration of environmental, economic and
social concerns for sustainable development planning.

       A mandate for sustainability in environmental planning is found in Section
101 of NEPA (Part D).  It states that the ". . . Federal Government .  . . will
foster and promote the general welfare, to create and maintain conditions under
which  man and nature can exist in  productive harmony, and fulfill the social,
economic,  and other  requirements  of present  and future generations of
Americans." Furthermore, the regulations that implement NEPA require analyses
that address the tenets of sustainability (e.g., the relationship between short-term
uses of man's environment and the  maintenance and enhancement of long-term
productivity, and any  irreversible or irretrievable  commitments of resources).
                                    1.1-5

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The challenge for the future is in how well we use the tools we have to fulfill our
responsibilities as trustees of the environment for succeeding generations.

                                                         REFERENCES

Bear, D.  1989. NEPA at 19:  a primer on an "old" law with solutions to new
      problems. Environmental Law Reporter 19 ERL 10060—10069.

Carpenter, R. A.  1990.  Biophysical measurement of sustainable development.
      The Environmental Professional 12:356-359.

Economic Commission for Europe (ECE).  1992. Application of Environmental
      Impact  Assessment  Principles  to  Policies,  Plans and  Programmes.
      ECE/ENVWA/27. United Nations, New York.

Jacobs,  P. and B.  Sadler  (editors).   1990.   Sustainable Development  and
      Environmental Assessment:  Perspectives on  Planning  for a Common
      Future.  Canadian Environmental Assessment Research Council,  13th
      Floor, Fontaine Building, 200 Sacre-Couer Blvd., Hull, Quebec. K1A
      OH3.

Rees, W. E. 1988. A role for environmental assessment in achieving  sustainable
      development. Environmental Impact Assessment Review 8:273-291.

Rees, W. E.   1990.   Economics, ecology, and the  role of environmental
      assessment in achieving sustainable development.  In:   Sustainable
      Development and Environmental Assessment:   Perspectives on Planning
      for a Common Future (eds.,  P.  Jacobs  and  B. Sadler),  Canadian
      Environmental  Assessment  Research  Council,  13th Floor, Fontaine
      Building, 200 Sacre-Couer Blvd., Hull, Quebec.  K1A OH3.

Therivel, R., E. Wilson, S. Thompson, D. Kearney,  and D. Pritchard.  1992.
      Strategic Environmental Assessment.   Earthscan  Publications Ltd.,
      London. 181 pp.

Wandesforde-Smith, G. and J. Kerbavaz. 1988. The co-evolution of politics and
      policy:   elections, enterpreneurship and EIA  in  the United States.  In:
      Environmental Impact Assessment  (ed., P. Wathern),  Unwin Hyman,
      Boston.

Wathem,  P.  1988.  The EIA directive of the European Community.  In:
      Environmental Impact Assessment  (ed., P. Wathern),  Unwin Hyman,
      Boston.
                                  1.1.6

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Westman,  W. E.   1985.   Ecology, Impact Assessment,  and Environmental
      Planning.  John Wiley & Sons, New York.  532 pp.

World Commission on Environment and Development.  1987. Our Common
      Future.  Oxford University Press, New York.  400 pp.
                                 1.1-7

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1.1-8

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         SECTION 1.2

OVERVIEW OF THE ENVIRONMENTAL
  IMPACT ASSESSMENT PROCESS

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                      THE ENVIRONMENTAL ASSESSMENT PROCESS
       The  Environmental  Assessment  (EA) process  includes a  variety  of
activities  aimed at providing information to decisionmakers  to  ensure that
environmental considerations are a part of decisionmaking (Figure B-l).  The
scope of these activities will vary depending on the nature of the proposed action,
its  potential  for  impacts  to  the  environment,  public interest,   and  the
decisionmaking culture of any given industry or government. Nevertheless, there
are some basic elements that are recognized as generally essential to successful
EA. These include:

       •     Initiation   (including identification of issues and generation  of
             alternatives)
       •     Scoping
       •     Assessment
       •     Decisionmaking
       •     Post-Decision Analysis

       During initiation , which is generally an internal process occurring early
in project formulation, the proponent evaluates  the purpose  and need for the
proposed action and the required level of EA review and documentation (e.g., in
the U.S., categorical exclusion,  environmental  assessment,  or environmental
impact statement).  Predetermined lists, a screening procedure, or a combination
of these approaches can be used to determine the potential impacts of a proposed
action.  Tentative issues and alternatives are identified during  initiation.

       Once a  decision is made that EA is necessary for  a proposed  action, a
team is assembled and the formal scoping process begins.  This process usually
includes consultation within and between governmental departments and public
and government participation in one or more scoping meetings.  The purpose of
scoping is to identify reasonable alternatives and issues and concerns related to
the proposed action; provide early identification of areas (including data gathering
and research) that will need attention for .evaluation of their significance; and
facilitate consideration of alternatives and mitigation.   Scoping is an ongoing
process, but it. is most effective  and useful when begun early  in the planning
process.

       Following the formal part of the scoping process, the proponent decides
what must be considered in the analysis and assessment part of the EA process
and what can be eliminated.  These early decisions should be documented. Based
on guidance from the proponent, an interdisciplinary team divides the analytic and
                                          1.2-1
  *For purposes of this document, the term Environmental Assessment (EA) will refer to the
  Environmental Impact. Assessment (EIA) process.

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THE ENVIRONMENTAL IMPACT ASSESSMENT PROCESS
                                                                 Monitor and
                                                                  Follow-up
                                                                                   PROJECT
                                                                                IMPLEMENTATION
                                                                                  site preparation
                                                                                   construction
                                                                                    operation
                                                            monitor mitigation activities
                                                            monitor environmental impact
                                                            review policy/program
Purpose and Need
(for project, plan,
policy, program)
 EIA Policies/
Requirements/
 Exclusions  (
                                                                           Decision
                                                                           Making
                                                                         on alternatives
                                                                            and
                                                                           mitigation
                                                                                       Record of
                                                                                       Decision
                         Review and
                          Comment
Prepare Final
EIA Document
Decision to
 Proceed
   with
    EIA
Prepare Draft
EIA Document
                                                                                         Mitigation
                                                                                           Plan
                                 Document
                             PURPOSE AND NEED
                         SCOPING
                           -govt
                          -oublic
                                            Identify
                                         ALTERNATIVES
                                   identify
                                TECHNICAL and
                              INTERESTED PARTIES
               Identify
               issues
                and
               concerns
                                                   Collect and Compile
                                                       DATA
                                               Describe
                                            ENVIRONMENTA
                                               SETTING
                                                                 Assess
                                                                 IMPACTS
                                                               or alternatives
                                                         identify prediction forecasting approach
                                                         select and apply prediction forecasting
                                                        Identify
                                                      MITIGATION
                                                      approaches
                                                                     Identify
                                                                   "PREFERRED"
                                                                   ALTERNATIVE
                                                                               U.S. Environmental Protection Agency

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writing responsibilities and draft and final EA documentation is prepared.  Draft
•EIAs for proposed actions with potential for significant impacts to the human
environment should generally be circulated for review and comment to the public,
non-governmental organizations, and government agencies as appropriate.  In the
U.S., expert agency comments and public scrutiny are essential to implementing
NEPA. Following review of comments, the EA team prepares final documentation
which the proponent makes available to all interested and affected entities.
       Decisionmaking for major proposed actions follows internal and public
review  and distribution  of the EIA.   The result  of the decision process is
formalized by  publication of a "record of decision"  or a determination that
identifies the  alternatives  considered, which of  them  are environmentally
preferable, the one chosen to be implemented, and any mitigation measures to
reduce or eliminate adverse effects of unavoidable environmental impacts. It also
may discuss  preferences among alternatives based  on economic and technical
considerations and statutory constraints.  An EIA is written to inform ultimate
decisionmakers about the consequences of their choice but decisions are also
made during the EA process that influence the choice of alternatives and other
aspects of the proposed action (e.g, design and mitigation measures). An inadequate
EIA, particularly for major or controversial actions, can result in time consuming and
costly litigation that can cause modification, delay, or cancellation of projects.
       Post-decision analysis (PDA) is increasingly being recognized as an
 important  element of  an EIA (ECE  1990).   Ideally  post-decision analysis
 encompasses  evaluation  of  scientific  and technical  issues  procedural  and
 administrative matters during and after implementation of a'proposed action.  The
 nature of PDA studies depends on the proposed action, but often includes compliance
 monitoring studies required by regulatory agencies, baseline monitoring (prior to
 construction and operation), environmental effects monitoring, and mitigation
 monitoring.  The information provided  by the PDA studies  not only allows for
 project modifications if needed but also results hi a better understanding of impact
 predictions and the effectiveness of mitigation measures which can be applied to
 future activities of the same type.
                                          1.2-3

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                                                        [REFERENCES

Culhane, P. J., H. P. Friesema, and J. A.  Beecher.  1987.  Forecasts and
      Environmental Decisionmaking. Westview Press.  306 pages

Economic Commission for Europe (ECE).   1990.   Post-Project Analysis  in
      Environmental Impact Assessment.  ECE/ENVWA/11.  United Nations,
      New York.  54 pages.
Hollick, M.   1986.   Environmental impact  assessment:
      evaluation. Environmental Management  10:157-178.
Jin international
                           1.2-4

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   SECTION 1.3




PROJECT INITIATION

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                                                        CHAPTER 2
                                            PROJECT INITIATION
       Project  initiation is generally  an internal  agency process preceding
 interagency and public involvement that defines the purpose  and need for the
 proposed activity, generates tentative alternatives, and determines the appropriate
 level of environmental review and documentation (e.g. in the US., categorical
 exclusion,  environmental  assessment   or  environmental  impact statement).
 Predetermined lists, a screening procedure or a combination of these approaches can
 be used to determine the potential impacts of a proposed action.  Management
 commitment to and support of the EA process must be established early in the
 planning process and continue througout the process in order for EA to influence
decisionmaidng.     Although  proposals  are  generated   by  government
decisionmakers, government and public applicants for permits or funding, court
orders, and legislative commands,  the  proponent  (i.e.,  the  agency)  has the
responsibility for developing an interdisciplinary approach to EA that is integrated
with planning and decisionmaidng.

                                                                  NEEDS

       The project initiation phase requires a clearly stated proposal,  succinct
statements  of purpose  and need, environmental information  for  screening  to
determine the appropriate level of EA, formation of an EA team, and determination
of responsibility for coordination, record keeping and public involvement.


       •     Environmental  Information.   The EA process begins when a
             proposal  is sufficiently  well-developed  that an environmental
             information packet can be  prepared.  The proponent (agency,
             applicant, grantee, or permitee as the case may be) assembles the
             packet, generally from existing information and comparison to
             similar activities.   (Activities that can be categorically excluded
             from detailed EA rarely require information beyond that found in
             existing sources; activities mat require EA may require additional
             or new information.) The information is used by the proponent to
             determine the level  of EA required for a proposed activity and also
             it can be used as the basis for public information for scoping.
                                         1.3-1
 *For purposes of this document, the term Environmental Assessment (EA) will refer to the
 Environmental Impact Assessment (EIA) process.

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       The packet should describe the  potential environmental
impacts of the proposed action and be of sufficient scope that it
can be used  to  determine if and  how  the proposal should be
pursued. At the initiation stage, knowledge and understanding of
the EA requirements and procedures, management support, good
communication,  sufficient information,  and logic are required.
Above  all,   the content  and  extent  of  the   environmental
information, and all subsequent EA  documentation, must be in
proportion  to the  environmental  issues  and  to the  relative
importance of those issues to decisionmaking. A checklist may be
helpful at this stage to identify basic issues related  to proposed
projects (Attachment 2.B).

To the extent possible and as relevant to the proposed activity, the
environmental   information   packet  should   include
discussion/description of the following items:

-   Need for the proposed activity
    The proposed activity
    —   description of the proposed activity in appropriate detail
    ~   current management or other activities in the area
    ~   known potential impacts of the  proposed activity
    —   important elements of the existing environment (physical,
         biological, and social characteristics)
    —   known public use/interest in the area
    —   reasons for bounding the study  area
         possible concerns
    Purpose  (objectives) of the proposed activity
    Decisions to be made
    —   reference  to  any  higher-level policy or  planning or
         existing environmental documents that might influence
         the decisions to be made
    Preliminary alternatives to the  proposed action
    —   including the no-action alternative (which provides the
         baseline information for assessment)
    Anticipated level of EA documentation including rationale
    Activities to be considered in the EA (scope)
    —   connected, cumulative, or similar activities
    —   mitigation measures
    Environmental laws
    —   associated review, consultation, or permit requirements
    Federal, state, or local government agencies with jurisdiction
    by law or expertise
               1.3-2

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         names of agencies and point of contact with addresses
         and telephone numbers
         tentative roles of agencies
         formal/informal  agreements  needed  and  responsible
         persons
    Background  information  documents  (e.g.,  prefeasibility
    studies, environmental studies)
    Schedule
         EA milestones, comment periods, and approval dates
         proposed implementation dates
         role of the decisionmaker in the assessment process and
         the review of EA documentation
-   Budget
    Responsibility
         proponent point-of-contact (oversight)
         team leader
         team members
         other expertise as needed
         editing,  graphics
    Public involvement.
         proposed public involvement strategy
    —   known   affected   or  interested  persons,   agencies,
         organizations

Screening.  Once the environmental information is available, the
proposed  activity can be  reviewed in order to determine  the
appropriate level  of  environmental assessment.   This internal
procedure is often referred to as "screening".

There are  two approaches to screening, categorical  and
discretionary, and most EA requirements  [e.g., the CEQ
regulations implementing NEPA and the EC Directive on
El A,  85/337/EEC (1985)]  provide  for a combination of
approaches.

    Under  the categorical approach, the proposed  activity is
    compared  to  pre-determined lists of specific categories of
    activities that 1) can be excluded from EA or will 2) always
    be subject to EA.  Often the applicability of the exclusion list
    is determined by eligibility criteria (e.g.,  if the proposed
    activity has the potential to affect a valued wetland or other
    sensitive area, it will  be subject to EA even if it is on the
    exclusion list). The categorical approach reduces  uncertainty
                            1.3-2

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    and delay in determining which proposed activities will be
    subject to detailed EA.

    Under the discretionary  approach,  if the proposed activity
    cannot be categorically excluded, the proponent decides on the
    appropriate level of EA.  An (EA)  document is prepared to
    assess the environmental significance of the proposed activity.
    —   If  it  is  determined that  the  proposed  activity  may
         significantly affect the quality of the human environment,
         then a full environmental assessment is nsquired, starting
         with  the  scoping  process  and culminating  in  an
         environmental impact assessment (EIA) that documents
         for the decisionmaker the information needed to decide
         between the proposed activity or one of its alternatives.
         If  it is determined  that the proposed activity will not
         significantly affect the quality of the human environment
         and/or that potentially less significant impacts can be
         easily mitigated, then  the proponent prepares a  brief
         document  that  explains  why the  project  will not
         significantly affect the environment, and if applicable,
         describes the mitigation measures.

Public involvement in the EA process usually begins when the
decision is made that an EIA is required.

Interdisciplinary EA Teams.  When the screening process results
in a decision that an EIA is required, the proponent is responsible
for preparation of the document.  Quality EA arid documentation
is dependent on an experienced EA team leader with a general
understanding of all of the issues and an interdisciplinary team of
technical  and scientific specialists  chosen to match  the issues
associated with the proposed  action and its alternatives (Canter
1991).  The U.S.  CEQ regulations require this interdisciplinary
approach.  Furthermore, the regulations require that  the .
professional qualifications of the team members (i.e., their.
expertise, experience, and professional disciplines) be included in
an EIA.

    Teams are assembled from staff members, other government
agencies  or  are   hired  consultants  [e.g.,   non-governmental
organizations   (NGOs),  universities].     Occasionally,   team
membership  can only  be determined after  completion  of the
scoping process. Generally, three types  of members are selected:
              1.3-4

-------
    a team  leader,  who  is responsible for the overall analysis,
    document preparation, and coordination with the proponent's
    point-of-contact;
    the core team members, who are responsible for analysis of
    specific issues;  and
    extended team members, who provide information as needed.

The team is responsible  for thorough and  correct analyses that
provide a basis for decisionmaking by the proponent.  A team is
most likely  to produce a competent assessment when  it  has a
thorough understanding of the EA process  and prior experience
with similar environmental and project issues.  Attachment 2.C
outlines the characteristics  and responsibilities  of an EA team
leader, the team members, and the extended team members.

Proponent Responsibilities.  Successful EA depends not only on
adequate environmental information and technical expertise,  but
also on good planning, management-support, and coordination with
the decisionmaker.  The proponent must provide the team with:

    a clear and concise statement of work including the expected
    technical and procedural standards to be met;
    available  background information  (e.g., the  environmental
    information packet);
    EA  document  standards  (e.g., word processing,  format,
    graphics,  number of pages, printing, distribution);
    a single point-of-contact selected by the decisionmaker who
    understands the issues and possible decisions and who  has
    been delegated  the authority to make interim decisions;
    a reasonable schedule for deliverables;
    budgetary allocations; and
    procedures for review and comment, to include consolidation
    and clarification of comments by the point-of-contact before
    delivery to the  EA team.

The proponent is responsible for  the quality and accuracy  of the
information and  analyses in an  EA document, as well as the
conduct of the EA process (i.e., interagency coordination, scoping,
public hearings, document review, and general oversight).
                             1.3-5

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Planning Records.    Because  records documenting  the  EA
procedures may be required by law, it is important that a plan for
record keeping is established early in the planning process.  When
the EA decision document is signed,  the files should be closed.
However, the records must be available upon request except for
classified information  or information on  specific  locations of
endangered species or cultural resources which may be exempt
from the law.  Such classified information should  be kept  in a
separate and locked file.
The planning record is a critical part of a proponent's defense
should a lawsuit occur.  The object is to be able to document that
the procedural requirements of EA were followed in good! faith and
that a reasonable  decision was made based on the information
obtained using the procedures.   Depending on the size  of the
project, a data base index might be useful in tracking documents,
letters, etc. Fields could be:  date, author, agency,  organization,
addressee, document type, and issue.
                             1.3-6

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The following suggestions for  organizing  planning  records are
excerpted from the'U.S. Forest Service Litigation Support Handbook:

-   Establish the organizational  structure, put  it in writing, and
    delegate authority to one person for maintaining the record.
-   Use a format based on subject (not date or EIA chapter) so that
    someone not familiar with the project or with the EA process can
    retrieve documents easily.  Use headings such as:
           External Agency Communications
           Internal Agency Communications
           Public Involvement
           Resource References and Reports
           Maps and Other Visuals
           Data and Inventories
           NEPA Documents
           Decision Documents
-   Format all documents to a standard size and place in 3-ring binders
    or similar folders.
-   Signatures must be original, carbon copy, or electronic copy  ("/s/H
    is not admissible in U.S. courts).
-   Margins should be no less than 1".
-   Attach  all slides and photographs (including photos of oversized
    maps and visuals) to standard size paper.
-   Replace double-sided document with single-sided copies; remove
    all paper  clips,  post-it notes  and staples;  copy all documents
    clearly, correctly, and completely; retype all illegible documents,
    mark them as duplicates, and include the original and the duplicate
    in the record.
-   Documents  should  be ordered  chronologically within  each
    subdivision.
-   Pages  in  the  planning  record  should  be  clearly numbered
    consecutively, with page  1  being the first  page of the oldest
    document.

                                                        TOOLS

Regulations, Guidelines.  United States government agencies  are
required to formally adopt  procedures to implement  the federal
regulations. Among other things, the procedures must specify criteria
for and identification of categories of action that normally:

-   do not require environmental impact statements (EISs);
-   do  not require an  EIS or  an environmental assessment (EA)
    document (these are categorical exclusions); or
-   require EAs but not necessarily EISs.
                   1.3-7

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   These  categories  of action  are  used in the screening process  to
   determine the appropriate level of EA for a proposed activity. The list
   of categorical exclusions includes actions that do not individually or
   cumulatively have significant effects based on agency experience.

   In addition, agencies should  prepare written  procedures/guidelines/
   handbooks  that describe their particular EA  process  and establish
   offices with responsibility for document review and oversight.

                                                          ISSUES

•  EA and Planning. Environmental assessment must be integrated with
   other  planning at  the earliest possible  time  so  that the EA
   documentation will be completed and ready to be included in every
   report or recommendation on proposals submitted to the decisiionmaker

   A "proposal" originates when an agency has  a  goal and  is actively
   preparing to make a decision on one or more means of accomplishing
   it, and the effects of that decision can be meaningfully evaluated.  EA
   documents should  not be prepared until prospective proposals are more
   concrete than  mere   contemplation.   However, EA  document
 •  preparation should not  be put off so  as to delay underlying actions.
   The initiation of EA should coincide with the feasibility analysis stage
   of projects  and the EA documentation should be available before the
   project  has  reached  a stage  of investment  or  commitment  to
   implementation likely to determine subsequent development or restrict
   later alternatives.

   All government agencies should adopt procedures to integrate EA with
   their planning processes so that  projects are better sited  and better
   designed and proposals that have unacceptable environmental impacts
   will be modified or canceled.  However, the extent mat EA is
   integrated into decisionmaking will vary from agency to aigency and
   sometimes from project to project (Bear 1987). Some agency officials
   resist  the application of EA, citing conflicting purposes between EA
   and their "real" mission.  Other agency decisionmakers believe the
   primary value of compliance is to avoid litigation. While in some
   agencies, the EA process  is a  vital part  of their decisionmaking
   process.  How an agency views and implements the EA process will
   depend on the commitment of the decisionmaker(s), high-level staff in
   environmental review or compliance  offices, and the solicitator's or
   general counsel's  office.

•  Coordination with Other Laws.  Environmental impact sissessments
   should be  prepared "concurrently  with and  integrated with"  other
   environmental analyses and reviews  to reduce  duplication between
   federal, regional  and  local EA activities.  In  addition to the U.S.

                                 1.3-8

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federal laws listed in Part D, other federal laws contain provisions that affect the
content and scope of EA under certain circumstances.  Laws on water pollution
control, clean air, and surface mining control and reclamation are good examples.
Permits or licenses may  also require baseline data. There is no  one way of
accomplishing this integration because of differences in agencies' projects and
differences in regional and local procedures.  However,  the EA process lends
itself to a unifying role because it deals with every aspect of the environment, and
thus provides a focus for multiple approval processes (Yost 1989).  The key to
success lies with early planning  and some flexibility in project scheduling.

          The proponent must:

          -  establish contact with the relevant agencies to learn their concerns
             and requirements;
          -  determine how cooperation can best be achieved;
          -  prepare a project schedule that  coordinates agency requirements
             and EA milestones, and
          -  maintain contact to ensure that cooperation continues.

                                                             LINKAGES

       Initiation may be the most important element of the EA process.   At this
time, commitments are  made to  support  (philosophically and  financially)
consideration of the environment in decisionmaking. Tentative alternatives  are
generated and the level of EA is determined.  These activities influence  the
makeup of the EA team, the assessment effort, and the documentation required.
Integration of the early stages of EA with the feasibility discussions and planning
for proposed actions results in  more effective compliance with environmental
standards; improvements in the design and siting of construction projects; savings
in capital and operating costs; speedier approval of development applications; and
the avoidance of costly adaptations to projects  once in operation (Lee 1988).

                                                          REFERENCES

Bear, D.  1987.  Does NEPA make a difference.  In:  Environmental Impact
       Assessment, Proceedings of a Conference on the Preparation and Review
       of Environmental Impact Statements, West Point, New York. New York
       State Bar Association, One Elk  Street,  Albany,  New York   12207.
       329 pp.

Canter,  L.  W.    1991.   Interdisciplinary  teams  in  environmental  impact
       assessment.  Environmental Impact Assessment Review 11:  375-387.

Environmental  Law Institute.   1989.  NEPA Deskbook.  Environmental Law
       Institute, Washington, D.C.  438 pp.
                            1.3-9

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European Economic Community.  1985.  Council Directive on the Assessment
       of the Effects of Certain Public and Private Projects on the Environment.
       85/337/EEC. Official Journal of the European Communities, No. L 175,
       S.7.85. pp. 40-48.

Kirsch, P. J., and C. M. Rippy.  1991.  Defining the scope of alternative in an
       EIS after Citizens Against Burlington. Environmental Law Reporter 12
       ERL 10701-10710.

Lee, N. 1988.  Training requirements for environmental impact assessment. In:
       Environmental  Impact  Assessment.    Theory  and Practice  (ed.  P.
       Wathern).  Unwin Hyman, Boston. 332 pp.

Stein-Hudson, K.E.  1987.  How local and regional public participation affect the
       EIS process. In:  Environmental Impact  Assessment, Proceedings of a
       Conference  on the Preparation and  Review of Environmental Impact
       Statements, West Point, New York.  New York State Bar Association,
       One Elk Street, Albany, New York 12207. 329 pp.

U.S. Forest Service.  1989.  Litigation Support Handbook 1509.21, Region 2,
       Supplement 3.  Denver, Colorado.

Yost, N. C.   1987.  One project-one process:  an applicant's perspective on
       coordinating  the EIS  process  at the federal  and state level.   In:
       Environmental Impact Assessment, Proceedings of a Conference on the
       Preparation and Review of Environmental Impact Statements, West Point,
       New York.  New York State Bar Association,  One Elk Street, Albany,
       New York  12207.  329pp.
                                       1.3-10

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                                                   PURPOSE AND NEED
   Introduction: Defining the Purpose of and Need for a Proposed Action

   Schmidt, O. L. 1988. The statement of underlying need defines the range of
   alternatives in environmental documents.  Environmental Law 18:371-381.
                                     1.3.1-1
*For purposes of this document, the term Environmental Assessment (EA) will refer to the
Environmental Impact Assessment (EIA) process.

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1.3.1-2

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         Introduction:  Defining the Purpose of and Need for a Proposed Action
       In the United States, an EIS must briefly specify the underlying purpose and need to
which an agency is responding in proposing alternatives, including the proposed action. The less
detailed U.S. NEPA document (i.e., an environmental assessment) must have a statement of
underlying need, but need not have a statement of purposes.

       Webster defines need as the lack of something  requisite, desirable, or useful or a
condition requiring relief.  Purpose is defined as an object or end to be achieved.  Consequently,
the two terms should be seen as complimentary. The EIA discussion of purpose and need should
demonstrate that the purpose of a proposed action is to attain or achieve at least part  of the
underlying need for the proposed action (Kirsch and Rippy 1991).

       The CEQ regulations and most U.S. agencies do not distinguish between purpose and
need and the terms are used together and separately in NEPA documents.  Such flexibility is
considered desirable because of the widely disparate nature  of agency activities to which the
CEQ regulations apply. However, lack of distinction in agency statements of purpose and need
can lead  to litigation (Attachment 2.A).

       Both  the CEQ regulations and case law recognize that it is the statement of need chat
defines the scope of alternatives in an EIA (Kirsch and Rippy 1991).  If the need for an action
is defined too broadly,  the number of alternatives that might require analysis could be limitless.
For example, a Department of Interior EIA defined the underlying need for the issuance of oil
and gas  leases in  the Gulf of Mexico  as  the need to meet the Nation's energy  crisis.
Subsequently, as a result of Natural Resources  Defense Council, Inc. v.  Morton,  the court
required  the agency to consider all  reasonable ways to  meet the energy crisis in  their EIS
(including eliminating  oil import quotas, developing oil  shale,  tar  sands and geothermal
resources, desulfurizing coal, and coal liquefaction and gasification) even though the agency did
not have the authority to implement all of the alternatives.

       On the other hand,  it is inappropriate in most situations, to define the underlying need
so narrowly  that only the proposed action is applicable. For example, if a site needs to perform
laboratory analyses within 24  hours  of water sampling in  order to meet quality  assurance
procedures,  an inappropriate statement of need would be that the agency needs to construct a
new onsite laboratory.  A new onsite laboratory is but one way of meeting  the agency's need;
other alternatives might include expansion of existing onsite  facilities or use of nearby off site
facilities.

       In general, it is useful to think of the purpose of the proposed action as one way to
satisfy the underlying  need for the action.  The statement of need  should be an objective
description of the reason that the proposed action is being pursued (Kirsch and Rippy  1991).
The statement of purpose follows from the statement of need.  It can.be a subjective statement

                                         1.3.1-3

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that refers to the agency's mission, reflects the limits  on the agency's  statutory authority,
explains how the proposed action satisfies the  need, and justifies the decision to choose the
preferred alternative (Kirsch and Rippy 1991).
                                            1.3.1-4

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      THE STATEMENT OF UNDERLYING NEED
    DEFINES THE RANGE OF ALTERNATIVES IN
            ENVIRONMENTAL DOCUMENTS
                               BY
                        OWEN L. SCHMIDT*
                         I.  INTRODUCTION

       We propose to build a dam because we need a dam. We pro-
   pose to cut trees because we need to cut trees. We propose to drill
   wells because we need to drill wells.  We propose action because
   we need action.
       This simple logic may satisfy  the unenquiring, but probing
   minds  want to know  the  underlying reason action  is proposed.
   Without knowing why action  is needed,  we cannot know what
   other ways we  might  have to  meet those  needs, or what would
   happen if we did not  meet those needs. We cannot know if any
   action at all is really needed.
t—*
i-0     When Federal agencies propose to take action, we expect an
V explanation of what action is proposed, what need would be  met
   by taking that action, what alternative actions would also meet
   that need, and we expect to see a comparison of the alternatives
   alongside the proposed action.  In short, this is  the decision mak-
   ing process that was perhaps envisioned by the National Environ-
   mental  Policy Act (NEPA)1 and  its implementing  regulations.'
   Are Federal agencies fulfilling  this vision?

              II.  THE UNDERLYING PURPOSE AND NEED

       Environmental  impact  statements  (EISs) must include a
   brief statement of "the underlying purpose and need to which the
   agency  is  responding  in proposing the alternatives including the
       ' Attorney, Office of General Counsel,  Bonneville Power Administration
   (BPA), Portland, Oregon; J.D. 1977, Northwestern School of Law of Lewis &
   Clark College; B.A. 1969, St. Cloud State University; M.A. 1973, St. Cloud State
   University. The views expressed here are those of the author, and not necessarily
   those of BPA, the United States Department of Energy, or the U.S. Government.
       1. 42 U.S.C. 55 4321-4370 (1982).
       2. 40 C.F.R. 55 1500-1508 (1987).
                                                                                 372
               ENVIRONMENTAL LAW
I
J:371
proposed action."' These few words have great impact on the con-
tents of an EIS, but the Council on Environmental Quality (CEQ)
does not elaborate on what it meant by the words "underlying
purpose and need."

    Maybe CEQ meant  a single statement  of "purpose and
need," using two words to express the  concept when one might
have been enough, or maybe CEQ meant two statements, one for
"purpose" and one for "need." CEQ does not say what it meant.4

    The two words have different meanings. A "need" is the lack
of something requisite, desirable, or useful, or a condition requir-
ing supply or relief.' Purposes, on the  other hand, are goals, or
ends to be attained.* Thus if we give these two words their literal
meanings, a statement of underlying purpose and need will actu-
ally have two parts: needs (lack of something wanted, presence of
something not wanted), and purposes (goals, ends to be attained).

    The words are not synonyms. A need is not a purpose, and a
purpose is not a need. If use of both  words was intentional, then
Federal agencies must write a "purpose and need" statement in
two  parts.  If use of both words was in any  way unintentional,
then Federal agencies may have  more latitude in how they pre-
pare this section of an EIS.

    I suggest that whether or not use  of two words was inten-
tional, purposes and  needs are different elements of an EIS.  Fed-
eral agencies should  write a statement of needs, and a statement
of purposes. Each has its place in the decision making process. If
agencies do that, their EISs  will take  on a structure  like that
presented in this article.
   3. 40 C.F.R. § 1502.13 (1987).
   4. See CEQ, Forty Most Asked Questions Concerning CEQ's National Envi-
ronmental Policy Act Regulations, 46 Fed. Reg. 18,026 (1981) [hereinafter Forty
Questions). This document's title is self-explanatory; however, it does not address
or explain the "underlying purpose and need" requirement.
   5. "Needs" is defined as "2a: a want of something requisite, desirable, or use-
ful;" and "3: a condition requiring supply or relief." A "need" can be seen as the
lack of something wanted, or  the presence of something unwanted. WEBSTER'S
THIRD NEW INTERNATIONAL DICTIONARY (1971).
   6. "Purposes" is defined as "an object to be attained: an end or aim to be
kept in view in any plan, measure, exertion, or operation." Id. Thus a "purpose"
can be seen as a goal to be attained, perhaps while seeking to satisfy an underlying
need.

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                   ENVIRONMENTAL DOCUMENTS ,          373

     IH   A PROPOSAL FOR ACTION TO MEET AN UNDERLYING NEED
       The NEPA process starts with a proposal for action.7 A
   posal for action starts with an underlying need.
pro-
       The CEQ's regulation on underlying need seems  to suggest
   that needs  come first—"the underlying  purpose  and need to
   which the.agency is responding in proposing the alternatives in-
   cluding 'the  proposed action." Agencies respond to needs. Needs
   come first, then agencies respond to them by proposing action.

       What action?  Action that somehow  meets the underlying
   need. Action  that  supplies something that is lacking, or takes
   away something that is not wanted.

       There is  no rule that the action  must completely meet the
   underlying need,' or be the only way to meet the underlying need,
   or even be the best way. The rule is that there must be some sort
   of relationship between  the proposed action and the underlying
_ need.
o>>
to     For  example,  a Federal agency  proposes to build a  dam.
to Why?  Flood  control,  power, and recreation. Is this  the  correct
   statement of underlying  needs?  It may be.  If it is established that
   there are floods, then there  may be a condition requiring relief.
   That would be  the correct definition  of an  underlying need.
   Whether there is also a need for power and recreation requires
   further proof. If it can  be established that  there  is a need for
   power, then the proposal to build a dam meets two underlying
   needs—flood control and power. And  for recreation, if there is a
   condition requiring relief, building a dam may meet three needs.
   But if there is no "need" for power or recreation, the needs may
   become "purposes"—goals to be attained while building a dam to
   meet the need for  flood control.
       7. "An agency shall commence preparation of an environmental impact state-
    ment as close as possible to the time the agency is developing or is presented with
    a proposal... so that preparation can be completed in time for the final state-
    ment to be included in any recommendation or report on the proposal." 40 C.F.R.
    § 1502.5 (1987).
       8. "(T)he EIS must nevertheless consider such alternatives to the proposed
    action as may partially or completely meet the proposal's goal and it must evalu-
    ate their comparative merits." Natural Resources Defense Council v.  Callaway,
    524 »79, 93 (2d Cir. 1975). The case uses the word "goal" rather than "under-
            " but the concept is the tame.
                      3Z4
                  ENVIRONMENTAL LAW
fVoL 1&371
      Thus there is established a structure for preparing EISs: a
  proposed action (build a dam), to meet an underlying need (flood
  control), while achieving other purposes (power and recreation in
  this example).

            IV.  ALTERNATIVE WAYS TO MEET THE NEED

      Nothing better characterizes the NEPA process than the de-
  velopment of alternatives. But which alternatives? The proper al-
  ternatives in an EIS are alternative ways to meet the underlying
  need.*
      Take the above example of a proposal to build a dam to meet
  the underlying need for flood control.  What are other ways to
  meet the underlying need? Perhaps an upstream  program of lev-
  ees, weirs, and vegetation management would also control floods.
  Perhaps a number of smaller  upstream dams would work. There
  may be other ways.

      But what if there were also a need for power? Then would
  any of these alternatives still work? Probably not. Levees and up-
  stream vegetation management are not alternative ways to meet
  the underlying need for power. Thus a Federal agency defines the
  range of alternatives in an EIS by defining  the underlying need.
.  When the underlying need is  for both  flood control  and  power,
i  only a dam will meet that need and the range of alternatives may
  become very narrow.

      Take the case of City of New York v. United States Depart-
  ment of Transportation.19 The Department of  Transportation
  (DOT)  proposed to regulate the highway transport of radioactive
  materials.  The underlying need to  which DOT was  responding
                         9. The "rule of reason" for the range of alternatives is well known. S««, t.g.,
                      Vermont Yankee Nuclear Power Corp. v. Natural Resources Defense Council, 435
                      U.S. 519, 551 (1978). Thus only "reasonable" alternatives are required. CEQ de-
                      fines the kinds of alternatives required within the scope of an BIS as the no action
                      alternative, other reasonable courses of action, and mitigation measures not in the
                      proposed action. 40 C.F.R. § 1508.25(b) (1987). These rules are entirely consistent
                      with each other. The "no action alternative" is defined in this article as "the alter-
                      native of not meeting the need." "Other reasonable causes of action" are other
                      reasonable ways of meeting the underlying need. "Mitigation measures" are a spe-
                      cial class of alternatives and can be added to an EIS without conflicting with the
                      range of alternatives responding to the underlying need.
                         10. 715 F.2d 732 (2d Cir. 1983), cert, denied, 465 U.S. 1055 (IS

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                     ENVIRONMENTAL DOCUMENTS
                                                             375
OJ
was  the need for Federal regulation for safe highway routing of
radioactive materials.  The  City of New York criticized DOT's
rulemaking  and  urged  DOT to  consider barging  radioactive
materials around the city as an alternative to highway transport.11
Is barging an alternative to highway transport? Yea,  of course it
is. But is barging an alternative way to meet the underlying need?
No:

   The scope of alternatives to be considered is a function of how nar-
   rowly or broadly one views  the objective of an agency's proposed
   action. In this case, for example, if DOT's objective is to improve
   the safety of highway transportation of radioactive materials, rele-
   vant  alternatives might include a  choice  of routes, a  choice of
   equipment, arid  a choice of driver  qualifications. If DOT is con-
   cerned more broadly with all transportation  of these materials, it
   might consider alternative modes of transportation. If the objective
   is viewed still more broadly as reducing the hazards of radiation
   exposure, the  Department might consider alternative  sources of
   power that could reduce the generation of spent nuclear fuel."

    The court used the word "objective" rather than "underlying
need," but the  concept is the  same-the  range of alternatives is
defined by the statement of underlying need. Barging  is not an
alternative to highway safety, although it wouid be an alternative
to highway transport. DOT  need not have considered barging ra-
dioactive materials around New York as an alternative in its envi-
ronmental document" because it was responding to the need for
safe highway transport of radioactive materials, not to the need
for transportation of some kind.

    There are very few cases  making this point. In Natural Re-
sources Defense Council, Inc.  v. Morton," the Secretary of the
        11. "Throughout the rule-making process, the City of New York was a vocal
    critic of DOT's proposals and repeatedly urged DOT to broaden the scope of its
    inquiry and to consider barging as an alternate means of transporting large-quan-
    tity shipments of radioactive materials around urban centers that lack circumfer-
    ential highways." City of New York v. United States Dep't. of Tramp., 715 F.2d at
    739.
        12. Id. at 743.
        13. It is not relevant here that DOT had prepared an Environmental Assess-
    ment (EA) rather than an EIS. The court was not construing 40 C.F.R. J 1502.13,
    which pertains only to EISs. The point Is the same whether agencies prepare EAs
    or EISs.
        14. 458 F.2d 827 (D.C. Clr. 1982).
                                                                                      376
                ENVIRONMENTAL  LAW
[\   -8:371
Interior prepared an EIS prior to issuing Gulf of Mexico oil and
gas leases. The underlying need to which the Secretary was re-
sponding stemmed from the problem of the energy crisis of the
early 1970s. Other ways to meet the need included eliminating oil
import quotas, developing oil shale, tar sands, and geothermal re-
sources, desulfurizing coal, and coal liquefaction and gasifica-
tion." Even though it was beyond the Secretary's jurisdiction to
change the oil import quota or implement the other alternatives,
the court required these alternatives in the  Secretary's EIS, not-
ing that the level of detail needed for some kinds of alternatives
might be affected by "the  needs to which the underlying proposal
is addressed."1* Once Interior had defined the underlying need as
the need to meet the nation's energy crisis, all reasonable ways to
meet the energy  crisis  had to  go into  the EIS. Those that were
less reasonable could perhaps be described  in  less detail.

     In Izaak Walton League of America v.  Marsh," an EIS on a
Corps of Engineers' proposed replacement lock and dam was held
adequate even though it did not include a rehabilitation alterna-
tive because that alternative would not meet the underlying need
for expanding the lock and dam, did not include a railroad  alter-
native because that alternative would not meet the need for more
safety at the lock and dam, and did not include the alternative of
controlling congestion at the existing lock and dam because that
alternative would not meet the need for expanding the capacity of
the waterways system.1* "It would certainly be a waste of agency
resources to test the efficiency  of an alternative which is not only
beyond the agency's power, but also incapable of either fully solv-
ing the problem at hand or fulfilling the mandate of Congress.""
                                                                                      15. Id. at 834, 836-37.
                                                                                      16. Id. at 837-38.
                                                                                      17. 655 F.2d 346 (D.C. Cir.), cert, denied sub. nom. Atchiaon, T. & S.F. Ry. v.
                                                                                  Marsh, 454 U.S. 1092 (1981).
                                                                                      18. Id., 644 F.2d at 372-74.
                                                                                      19. Id. at 374. The court is apparently adding three criteria to the proper
                                                                                  range of alternatives: (1) the alternative must be within the agency's power, (2)
                                                                                  the alternative must be "fully capable of solving the problem at hand," and (3)
                                                                                  the alternative must fulfill the mandate of Congress. Even partial solutions may
                                                                                  be a reasonable alternative. See Natural Resources Defense Council v. Callaway,
                                                                                  524 F.2d 79, 93 (2d Cir. 1975) ("(T|he E(S must nevertheless consider such alter-
                                                                                  natives to the proposed action as may partially or completely meet the proposal's
                                                                                  goal and it must evaluate  their comparative merits.").  As to being within the
                                                                                  agency's power and fulfilling the mandate of .Congress, EISs must include alterna-

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                ENVIRONMENTAL DOCUMENTS
377
    In Trout  Unlimited w. Morton,*' the court upheld the range
of alternatives in an EIS on a proposed dam project. Of the need
for flood control, the alternative of levees was considered. Of the
need for irrigation water, the alternative of groundwater pumping
was considered. "The range of alternatives that must be consid-
ered need not extend beyond those reasonably related to the pur-
poses of the project."11 The court used the term "purposes" of the
project, rather than "underlying needs," but the  concept is the
same.

    Thus the  structure of an EIS continues with the added twist
that it  is not alternatives to the  proposed action that must be
analyzed in an EIS, but alternative ways to meet  the underlying
need. If a particular alternative does not meet the  need very well,
or is otherwise not very reasonable, it might be analyzed in less
detail.

           V.  No ACTION—NOT TO MEET THE NEED

    A "no action" alternative is required  in EISs.*1 Many EISs
treat  the  no action alternative literally as  "not taking the pro-
posed action." If the proposed action is to build  a dam, the no
action alternative may  be treated  simply as not building a dam.
The impacts of not building a dam are then treated as  not flood-
ing  farmland, not relocating displaced  landowners, not building
access roads, etc.
    A more insightful approach would  be  to treat the  no action
alternative as not meeting the need. In our example, there  is a
need to control  floods.  What would happen if the need were not
met?  Continued floods! What is the impact of continued floods?
lives outside the mandate of Congress and agency's statutory authority. See Natu-
ral Resources Defense Council v. Morton, 458 F.2d 827, 835 (D.C. Cir. 1972)
("While the Department of Interior does not have the authority to eliminate or
reduce oil import quotas, such action is within the purview of both Congress and
the President, to whom the impact statement goes"). The better rule would be
that none of these criteria are valid reasons to leave an alternative out of an EIS
entirely, but these factors may affect the level of detail to which the alternatives
are analyzed.
   20. 509 F.2d 1276 (9th Cir. 1974).
   21. Id. at 1286.
   22. 40 C.F.R. § 1508.25(b)(2) (1987). CEQ does  provide guidance on this in
         of its "Forty Most Asked Questions." See  Forty Questions, aupro note
4,ai
ENVIRONMENTAL LAW
{Vol 1&371
                    And what is the impact of the proposed dam? With this analysis,
                    decision makers, and the public, would have before them the true
                    difference between building and not building the dam.
                       One court has acknowledged this approach. In Trout Unlim-
                    ited v. Morton, above,  the  Ninth Circuit upheld an EIS which
                    "considered the alternatives of (1)  no development whatsoever
                    (the alternative of not  accomplishing the project's purposes),""
                    but the court did not elaborate. CEQ has also acknowledged this
                    approach. '"No action' . .  . would  mean the proposed  activity
                    would  not take place,  and the  resulting environmental effects
                    from taking no action would be compared with the effects of per-
                    mitting the proposed activity or an alternative activity to go for-
                    ward.'"4 Following CEQ's advice, an agency would analyze the
                    impacts of not meeting the need rather than simply not taking
                    the proposed action.

                               VI. PURPOSES BECOME DECISION FACTORS

                       A  troublesome part of  this model  is to distinguish  "needs"
                    from "purposes." A handy rule of thumb is that needs have alter-
                    natives and purposes do not. In other words,  agencies  develop
                    reasonable alternative ways to meet needs, but  not purposes.
                       Purposes  are those collateral decision factors that help sort
                    out the alternatives. For example, if an agency presented four al-
                    ternatives in an EIS—each equal in every respect except that one
                    was cheapest—and if one of the agency's purposes was to save
                    money, then the cheapest alternative would be favored  by that
                    decision factor. In our earlier example, the underlying need was
                    to control floods. Alternatives  included levees and  vegetation
                    management. If one of the agency's purposes were to provide rec-
                    reation, then the alternative that had the best recreation benefit
                    would be favored by that factor in the decision making process. In
                    our example, building the dam would probably provide the best
                    recreation benefits and the proposed action would thus be favored
                    by this, purpose.
                        Purposes  appear in two places  in  the decision making pro-
                    cess: in the "purpose and heeds" section of the EIS" and again in
                       23. 509 F.2d at 1286.
                       24. 46 Fed. Reg. 18027, March 23,1981.
                       25. 40 C.F.R. | 1602.13 (1987).

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                  ENVIRONMENTAL DOCUMENTS
379
   the Record of Decision (ROD).1' The CEQ regulations do not say
   that  purposes  appear in a ROD, but  decision factors must be
   disclosed:
     An agency may discuss preferences among alternatives based on
     relevant factors including economic and technical considerations
     and agency statutory missions. An agency shall identify and discuss
     all such- factors including any essential considerations of national
     policy which  were balanced by the agency in making its decision
     and state how those considerations entered into its decision."

   The logic for tying "purposes" in an EIS  to "decision factors" in
   the ROD is threefold.  First, the ROD should be based on the rec-
   ord before the agency. In many agency proceedings, the EIS is
   perhaps the only reronl created prior to the decision, and  so the
   EIS is the best place if not the only place to put matters that are
   relevant  to  the decision. Second, there  may  be acute  public
   awareness of and interest in the pending decision. Disclosure of
   all relevant decision factors in the EIS—long before they are dis-
i~J closed in the ROD—serves as public notice and invites comments
to or. decision  factors that may  affect the public. Third, putting
01 these favors into the EIS paves the way  for those who follow to
   write the ROD. The eleventh decision  making hour,  when ROD
   writers are hard at work, is not the best time to start listing the
   relevant decision making factors.

       Thus the structure of an EIS continues with the decision fac-
   tors—as  they  will ultimately be used  in the  ROD—being dis-
   closed in the purpose and need section.

    VII.  SPECIAL RULES FOR ENVIRONMENTAL ASSESSMENTS (EAs)

       EAs must  have a statement of underlying need, but need not
   have a statement of purposes: "Environmental Assessment . .  .
   [sjhall  include brief  discussions of  the  need for the proposal
   . . .""  Why did CEQ leave "purposes" out of EAs? A simple  ex-
   planation, consistent with the model described above, is that  for
   EISs, purposes are only relevant at the time of preparing the
   ROD. Because EAs are not followed  by RODs,'* there is no rea-
      26. 40 C.F.R. § 1505.2 (1987).
      27. 40 C.F.R. § 1505.2(b) (1987).
      28. 40 C.F.R. § 1508.9(b) (1987).
      29. CEQ regulations only require RODs In cases where EISs are prepared. 40
                                                                               360
                                  ENVIRONMENTAL LAW
(Voi.
                  son to put purposes into EAs. In other words, purposes are rele-
                  vant at the time of decision as decision factors. Decision factors
                  must be disclosed in RODs. RODs are not required in cases where
                  EISs are not prepared. Thus the reason purposes are required in
                  EISs ia simply not present when  an EA is prepared.
                       Agencies may choose  to  prepare RODs following EAs, and
                  thus should put purposes into EAs as well  as EISs. In any event,
                  at the time of decision, when decision makers are balancing all
                  relevant factors, the record should disclose somewhere what deci-
                  sion factors—underlying purposes—the agency was responding to.

                     VIII.  A CHECKLIST FOR THE PURPOSE AND NEED STATEMENT

                       The statement of proposed action and underlying need can
                  never be the same. "We propose to build a dam because we need
                  a dam"  is not a proper statement of underlying need; it is just a
                  repetition of the proposal, and in any event it is hot analytic.
                       The reasonable alternatives  to be presented in an EIS are
                  the reasonable ways to meet the underlying need. Alternatives
                  that do  not meet the need can in some cases be eliminated from
                  study and in other cases be  analyzed in less detail. The proper
                  question is not "What alternatives ate there to this proposal,"
                   but "What alternatives are there to meet this underlying need."
                       Needs are distinguished from  purposes  by the fact that
                  needs have alternative solutions, but purposes do not. For exam-
                  ple, saving money is nearly always an agency objective. But agen-
                  cies do  not usually engage in decision making processes for the
                  sole purpose of saving money. Normally agencies apply the  factor
                  of cost savings when deciding between alternative ways  to meet
                  an underlying need.
                       Purposes are goals to be attained while meeting the under-
                   lying need, and become decision factors at the  time of making
                   the decision. Decision factors conveniently fall into three catego-
                   ries: economic, technical, and environmental. The choice  between
                   alternatives often requires  a balance between these factors.
                        "No action" means not to meet the need. There is very little
                   C.F.R. S 1505.2 (1987) ("At the time of its decision . . . each agency shall prepare
                   * concise public record of decision"). This section only applies to cases wher: an
                   BIS is prepared.

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  19881
ENVIRONMENTAL DOCUMENTS
381
  analysis in defining the no action alternative simply as not to take
  action. A better perspective comes from analyzing the alternative
  of not meeting the need.
      Agencies are free to define  the underlying need to which
  they are responding, subject to judicial review under an as-yet-
  undefined, standard. The law in this area has not yet developed.
  Agencies should  expect, however, not to define arbitrarily or ca-
  priciously an underlying need, and to show a rational connection
  between proposed action, other alternative courses of action, and
  the underlying need.
OJ
is)

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TECHNIQUES FOR COMMUNICATING WITH THE PUBLIC
       Public Involvement Strategy.  Public involvement in the EA
       process,  other than being required  by law, is also a good
       management  practice.   It helps the  proponent  understand the
       expectations and concerns of the interested and affected publics,
       identify  the  potential  for  controversy,  and obtain additional
       information relevant to the proposed activity.  It also enhances the
       proponent's  credibility  and  lessens  the  chances  for public
       grievances, appeals, litigation, and media attacks.  The proponent
       must encourage and facilitate public  involvement by  providing
       public notice of hearings, meetings, and  availability  of EA
       documents. Moreover, the public must be given an opportunity to
       comment on EA documents.  In turn,  the proponent must remain
       flexible and ready to respond to public comments and  suggested
       alternatives and issues related to the proposed activity.

       Development of a public involvement strategy should start as soon
       as a decision is reached on the level of EA. The proponent should
       consider:

           Who might be interested or affected by the proposed activity?
           Who might have information or expertise needed for the EA?
           What information is needed from each  person,  government
           agency, and NGO on the list?
           What is the most effective way of obtaining the information?

       There are a  number of techniques for communicating with the
       public (Table 2-1); however, each  letter, notice, or meeting must
       be planned to suit the specific proposed activity.
                                  1.3.3-1

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  Table 2-1.  Techniques for communicating with the public. Adapted from Bishop, 1973.
    (Source: Federal Environmental Assessment 'Review Office (FEARO).  1986.  Initial
  Assessment Guide.  Federal Environmental Assessment Review Office, Ottawa K1A OH3)
Communication
Characteristics
Public Information and
Participation Objectives
•a
22
•— w
•ss
*•£
**-
Q4J
O
•— 10
ei±>
> c
o o
— 10
2
2
i
2
1
1
1
1
2
I
1
2
3
1
3
1
1
1
1
1
1
1
2
4> 4J
i— in
•a o>
c u
ID O
= 2
O —
JJ
o
i?£
•— u
38.
< to
1
1
2
I
2
3
2
3
2
3
1
1
1
3
1
3
3
3
3
3
3
3
3
Degree of 2-way
Conmuni cation
1
2
3
2
2
3
1
3
1
3
2
2
1
2
1
1
3
3
3
3
3
3
1
Public Participation/Communication Techniques
Public Hearings
Public Meetings
Informal Small Croup Meetings
General Public Information Meetings
Presentations to Community Organization
Information Coordination Seminars
Operating Field Offices
Local Planning Visits
Information Brochures and Pamphlets
Field Trips and Site Visits
Public Displays
Model Demonstration Projects
Material for Mass Media
Response to Public Inquiries
Press Releases Inviting Comments
Letter Requests for Comments
Workshops
Advisory Committees
Task Forces
Employment of Community Residents
Community Interest Advocates
Ombudsman or Representative
Public Review of Initial Assessment
Decision Document


X
X
X
X
X


X
X
X
X
X
X
X







X
Identify Problems/ jj
Values 1
X
X
X

X

X
X

X






X
X
X
X

X
X
Gel Ideas/Solve 1
Problems ||


X



X



X




X
X
X
X
X
X
X
X
Feedback
X
X
X

X
X
X
X


X
X


X
X
X
X



X
X
Eval uate


X



X
X



X




X
X
X

X
X
X
Resolve Conflict/ II
Consensus ||


X








X




X


X
X
X
X
 x low, 2 ss medium, 3 — high
         X = Capability
                                          1.3.3-2

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                                                  Identification of Issues
       Issues are unresolved concerns or questions, often about the environmental
consequences of proposed activities, that have societal significance.  They are
usually raised during scoping  and document review by interested or  affected
individuals, groups, organizations or agencies that value a certain resource. The
identification of issues early in the planning process helps to limit the scope of
EA to potentially significant impacts, relevant concerns, and workable, acceptable
solutions to problems that are useful to the decisionmaker and the project planner.
To be meaningful and effective, EA must be relevant to regulatory needs and
public concerns  as well as scientifically valid.

       Although issues are  mostly  project-specific,  public  concerns  with
environmental matters generally fit into the following categories (FEARO 1986,
Beanlands  1988):

       •     impacts on human health and safety;
       •     threats to livelihood (erg., loss of important commercial species or
             commercially  available production; concern for habitat  losses
             which represent  a foreclosure on future production);
       •     life-style modifications (e.g.,  loss of home or changes in life style
             due to visitors or new residents with different values);
       •     threats  to  valued   resources   (e.g.  recreational,  aesthetic,
             educational, scientific and  historic features, and the preservation
             and conservation  of biological populations, communities, and
             natural areas);
       •     land-use conflicts (especially when available land is limited and the
             proposed uses are mutually exclusive); and
       •      supply and  demand  (i.e.,  when there are perceived imbalances
             between  supply  and  demand  of resources and their development
              within a local, regional or  national context).
                                          1.3.4-1
 *For purposes of this document, the term Environmental Assessment (EA) will refer to the
 Environmental Impact Assessment (EIA) process.

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                                                           NEEDS

•      Clear purpose and need statements, project descriptions, tentative
       alternatives, and  known potential  environmental  impacts  and
       mitigation measures, so that the publics and agencies understand the
       proposed action and can participate in scoping and document review
      -in a meaningful way.
•      Distribution of project  information to interested/affected publics
       and agencies.
•      Public and agency participation in scoping meetings.
•      Identification early in the EA process of the valued environmental
       components so that the assessment is focused on the important
       issues and the assessment endpoints necessary for impact analysis
       can be determined.

                                                           TOOLS

•      The use of checklists can help  the proponent  and  the EA team
       identify potential impacts and issues associated with a proposed
       activity,
•      Public involvement is necessary  TO determine the social relevance
       of environmental issues (i.e., the value placed on the change by
       different affected groups).  If a component has little public value,
       it may not warrant extensive effort in the assessment. However,
       there can also be issues of interest to other governmental agencies
       or issues of scientific and ecological/environmental importance that
       must be resolved but which may not elicit public interest.
•      In addition  to techniques for communicating with the public listed
       hi Table 2-1, the proponent should solicit input from appropriate
       professionals  and  other  government  agencies.     Surveys,
       questionnaires,   and   brainstorming   sessions   can   provide
       opportunities for identification of issues.
«      Use of the  following questions  will help to focus the issues and
       impacts:
             Who is interested in the issue  and what are the chief
             concerns?
       -     What is the threshold of concern (i.e., the point at which
             an impact becomes unacceptable)?
•      If possible, determine the threshold of concern (i.e., a maximum
       or minimum number or other value for an environmental impact
       or resource use which, if  exceeded,  causes it to  take on  new
       importance) in terms of the following criteria:
             magnitude [the probable severity of  each potential impact
             (e.g., degree, extent, or  scale)];
                     1.3.4-2

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                    prevalence (relation to cumulative impacts);
                    duration and  frequency  (long-term, short-term, recovery
                    during inactive periods);
                    risks (probability of environmental effects); and
                    precedent (does the project create a precedent that is likely
                    to be duplicated or extended elsewhere?).

                                                                  ISSUES

       •     Lack of public understanding  of the proposed  action  and its
             potential environmental impacts.
       •     Care should be taken that issues identified during scoping are not:
                    too broad to be useful for analytical purposes (e.g., cultural
                    impacts - what does this  mean?  What are the impacts that
                    should be examined?);
                    causes rather  than issues (e.g., oil and gas development is
                    a cause  that fails to go beyond the obvious to the specific
                    effects that are of concern); and
                    outside of agency control (e.g., mandated by legislation).
       •     Once issues are identified, the proponent must refine broad general
             topics  and specify which issues need analysis and evaluation,
             eliminate from  detailed study those issues that are not significant,
             and  identify those  issues  that  have been covered  by  prior
             environmental review.
       •     Often an issue is not clearly stated and it is difficult to determine
             the underlying concern or question.  As a result the document may
             not address a relevant issue and the adequacy of the document is
             open to challenge.
       •     Characterization and analysis of issues is often difficult because
             baseline data are lacking and the degree of uncertainty is high.

                                                              LINKAGES

       Early identification of important issues  during initiation and scoping gives
direction to EA and allows more focused efforts.  However, the potential exists
for new or additional information to become available throughout the EA process
(i.e., assessment, decisionmaking.  and post-decision analysis): thus, new issues
may need to be addressed at any time.
                                         1.3.4-3

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                                                        REFERENCES

Bardwell, L.  V.  1991.  Problem-framing:  a perspective on environmental
      problem-solving. Environmental Management 15:603-617.

Beanlands,  G.  1988.  Scoping methods and baseline studies in EIA.   In:
      Environmental  Impact   Assessment:      Theory   and   Practice
      (ed.  P. Wathern). Unwin Hyman, Boston 332 pp.

FEARO (Federal Environmental Assessment and Review Process). 1986. Initial
      Assessment Guide.  Federal Environmental Assessment Review Office,
      Ottowa, Canada. 36pp.
                          1.3.4-4

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                                             Generation of Alternatives
       United States federal regulations require analysis of reasonable alternatives
to a proposed action, including the option of not proceeding with any action at all
(the "no action" alternative) (Part D). This is considered the heart of EA because
it organizes and clarifies choices available to the decisionmaker and presents the
consequences  of each choice.   The description of the no  action alternative
provides a baseline of information on the present and future environment for
comparing and contrasting  the impacts of  the  proposed action among other
alternatives (see Chapter 4.1 for baseline information).

       Preliminary alternatives are generated  at the  initiation  stage by  the
proponent. These are included in the environmental information packet that is
prepared  for  distribution at  scoping  meetings  and  elsewhere.   Additional
alternatives may  be generated  by the public, NGOs and  other governmental
agencies during scoping and at other stages of the EA  process (e.g., document
review).   Alternatives can be different ways of accomplishing the purpose  and
need  (i.e., alternatives  Jo. a project such as conservation,  recycling, new or
different technologies) or different ways of accomplishing  the proposed action
(i.e.,  alternatives within a project such as options for  siting, scaling, phasing,
timing of construction and operation; mitigation, use of resources, management
of residuals).

                                                                   NEEDS

       •      A  clear description of the purpose and need for the  proposed
              action  in order  to  identify and  bound  reasonable alternatives
              (Attachment 2.A).
       •      A description  of the proposed action, its potential impacts, and any
              known related issues.
       •      Relationship of the proposed action to other known or reasonably
              foreseeable actions (projects, programs, policies) including possible
              cumulative effects.
       •      Any policy, programmatic, legal, regulatory or other constraint to
              the proposed  action.
       •      A list of the alternatives considered during the preparation of the
              proposal.
                                         1.3.5-1
 *For purposes of this document, the term Environmental Assessment (EA) will refer to the
 Environmental Impact Assessment (EIA) process.

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                                                                  TOOLS

       •     A no action alternative as a benchmark against which to compare
             and contrast the anticipated effects of the proposed action among
             other alternatives.
       •     Intra-agency consultation to generate preliminary alternatives.
       •     Scoping meetings and interagency consultation to generate other
             alternatives.
       •     A screening procedure to reduce  alternatives to a reasonable
             number that are practical,  feasible and representative of the
             complete array of viable alternatives.

                                                                  ISSUES

       •     Generation of preliminary alternatives should occur as soon as the
             purpose and need  are  established so that planning to select the
             proposed action does not bias the choice of alternatives.
       •     Reasonable alternatives include those that are practical or feasible
             from the technical and economic standpoint and using common
             sense,  rather than simply desirable from the standpoint of the
             proponent.
       •     Reasonable alternatives are not limited to the jurisdiction of the
             proponent.
       •     The alternatives should offer substantive choices.
       •     All reasonable alternatives,  including  the preferred alternative,
             should  be  given equal  treatment  in  EA  documentation.
             Identification of a preferred alternative provides a focal point for
             commentary by other organizations and the public. Moreover, it
             is required by U.S. federal regulations (Part D).

                                                              LINKAGES

       The generation of preliminary alternatives starts during the initiation stage
of a proposed action. Additional alternatives are generated during scoping and
may even be identified during the analysis and decisionmaking stages of EA.  In
general, after scoping there is agreement on the alternatives to be evaluated in the
EA document.  Documentation is prepared for those alternatives eliminated from
detailed study, .including the reasons for their elimination.
                           1.3.5-2

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                   ENVIRONMENTAL IMPACT CHECKLISTS
    A Listing and Example of the World Bank Checklists for Projects with
    Potentially Significant Environmental Impacts. (Source: The World Bank.
    1991.  Environmental Assessment Sourcebook, Volume II)
    Model EIS Scoping Checklist.  (Source:  New York State Department of
    Environmental Conservation.  1982.  State Environmental Quality Review
    Handbook)

    Checklist of Potential Environmental Impacts of a Transportation Project.
    (Source:  A. D. Little, Inc.  1971. Transportation and Environment:
    Synthesis for Action: Impact of the National Environmental Policy Act of
    1969 on the Department of Transportation, Vol. I-ffl, prepared for the Office
    of the Secretary, Department of Transportation)
                              1.3.6-1  .
*For purposes of this document, the term Environmental Assessment (EA) will refer to the
Environmental Impact Assessment (EIA) process.

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1.3.6-2

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   A Listing and Example of the World Bank Checklists for Projects with Potentially
  Significant Environmental Impacts. (Source: The World Bank.  1991. Environmental
                      Assessment Sourcebook, Volumes II and III)
VOLUME H
Table








Table







8.1
8.2
8.3
8.4
8.5
8.6
8.7
8.8
8.9
9.1
9.2
9.3
9.4
9.5
9.6
9.7
9.8
             Agroindustry
             Dams and Reservoirs
             Fisheries
             Flood Protection
             Natural Forest Management
             Plantation Development/Reforestation
             Irrigation and Drainage
             Livestock and Rangelands Management
             Rural Roads
             Analytical Framework for Urban Environmental Problems
             Roads and Highways
             Inland Navigation
             Port and Harbor Faculties
             Large-Scale Housing Projects
             Solid Waste Collection and Disposal Systems
             Tourism Development
             Wastewater Collection, Treatment, Reuse, and Disposal System
VOLUME m
Table  10.1   Industrial Hazard Management
       10.2   Electric Power Transmission Systems
       10.3   Oil and Gas Pipelines
       10.4   Checklist - Offshore Oil and Gas Development
       10.5   Oil and Gas Development — Offshore
       10.6   Checklist — Onshore Oil and Gas Development
       10.7   Oil and Gas Development — Onshore
       10.8   Hydroelectric Projects
       10.9   Thermoelectric Projects
       10.10 Cement
       10.11 Chemical and Petrochemical
       10.12 Fertilizer
       10.13 Food Processing
       10.14 Iron and Steel Manufacturing
       10.15 Nonferrous Metals
       10.16 Petroleum Refining
       10.17 Pulp, Paper, and Timber Processing
       10.18 Mining and Mineral Processes
                                         1O £. ^
                                        .3.OO

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    Table 9.8. Wastewater Collection, Treatment, Reuse, and Disposal Systems.
(Source:  The World Bank.  1991.  Environmental Assessment Sourcebook, Volume II)
Potential Negatne Impacts
Direct
1, Disturbance of stream channels, aquatic pUnt and animal
habitat, and pawning and nursery areas during
conftructioo.
2. Alterations in watenhed hydrologic balance when
wastewater is exported by collection in large upstream areas
and discharge downstream.
3 . Degradation of neighborhoods or receiving water quality
from sewer overflows, treatment works bypasses, or
treatment process failure.
4 . Degradation of receiving water quality despite normal
system operation.
5. Public health hazards in vicinity of discharges or reuse sites
during normal operation of system.
6 . Contamination at land application sites:
soil and crops by toxic substances and pathogens
groundwaterby toxic substances and nitrogen
7. Failure to achieve desired beneficial uses of receiving waters
despite normal system operation.
Mitigating Measures

1 . • Do not route sewer lines in stream channels.
• Require erosion/sedimentation controls during
construction.
2. • Consider sub-regional arid small community systems
in water-short areas.
• Take full advantage of opportunities for wastewater
reclamation/reuse, especially in water-short areas.
3. • Phase construction of collector systems and treatment
works to avoid raw wastewater discharges.
• Select appropriate technology.
• Design for reliability, euse of maintenance.
• Implement management and training
recommendations, monitoring program, and industrial
waste pretreatment program (see text for guidelines).
4. • Site and design treatment works and disposal or reuse
systems on the basis of adequate data on the
characteristics of the wastewater and the assimilative
capacity of the receiving water body.
• Use mathematical models for siting surface water
discharges and determining required level of
treatment, and for siting and designing ocean outfalls.
• Take full advantage of appropriate land application
alternatives, especially in water-short areas.
• Implement monitoring program and industrial waste
pre-treatmem program (see text for guidelines).
5. • Select appropriate technology.
• Ensure preapplication treatment and operating
guideline! for land application and other water reuse
systems are adequate to safeguard health of humans
and livestock.
• Restrict access to wastewater or sludge disposal sites
where health hazards nre unavoidable.
6. • Site and design treatment works and disposal or reuse
systems on the basis of adequate data on the
characteristics of the wastewater and land application
site.
• Implement monitoring program and effective industrial
waste pretreatment program (see text for guidelines).
• Ensure preapplication treatment and operating
guidelines for land application and other wastewater
reuse systems are adequate.
7. • Establish realistic use objective and select water
quality criteria consistent with desired uses.
• Establish system performance standards by modeling
or other meant which will result in meeting criteria.
                                    1.3.6-4

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Table 9.8. Wastewater Collection, Treatment, Reuse, and Disposal Systems (continued)
Potential Negative Impacts
8.
9.
10.
11.
12.
13.
14.
15.
16.
17.
18.
Odors and noise from treatment proeeu or sludge diipoul
operations.
Emissions of volatile organic compounds from treatment
proeeu.
Soil, crop or groundwater contamination and disease vector
breeding or feeding at sludge storage, reuse or disposal
sites.
Worker accidents during construction and operation,
especially in deep trenching operations.
Worker accidents caused by gas accumulation in sewers and
other confined spaces or by hazardous materials discharged
into sewers.
Serious public and worker health hazard from chlorine
accidents.
Nuisances and public health hazard from sewer overflows
and backups.
Failure to achieve public health improvement in serviced
area.
Dislocation of residents by plant siting.
Perceived or actual nuisances and adverse aesthetic impacts
in neighborhood of treatment works.
Accidental destruction of archaeological sites during
excavation.
Mitigating Measures
8. • Site treatment works only near compatible land uses.
• Select appropriate technology.
• Include odor control and low-noise equipment hi
design.
• Implement management and training recommendations
(see text).
9. • Establish effective industrial waste pretreatment
program (see text for guidelines).
10. • Incorporate sludge management in system feasibility
studies, technology selection, design, staffing,
training, budgeting and startup plan.
• Implement effective industrial waste pretreatment
program (see text for guidelines).
• Ensure preapplication treatment and operating
guidelines for land application and other reuse or
disposal systems are adequate to safeguard health of
humans and livestock.
• Inspect for compliance with operating guidelines.
11. Enforce adherence to safety procedures.
12. • Emphasize safety education and training for system
•sun*.
• Implement effective industrial waste pretreatment
program (see text for guidelines).
• Provide appropriate safety equipment and monitoring
instruments.
• Enforce adherence to safety procedures.
13. * Incorporate safety provisions in design, operating
procedures, and training.
• Prepare contingency plan for accident response.
14. • Routinely inspect sewers for illegal connections and
obstructions.
** Clean sewers as necessary.
• Provide monitoring system with alarms for pump
station failure.
• Provide alternate power supply at critical pump
stations.
• Educate public to prevent disposal of solid waste in
sewers.
IS . Conduct sanitation and hygiene education program.
16. Assist with resettlement (see "Involuntary Resettlement*
aection).
17. Incorporate neighborhood improvements and useful public
facilities in project.
1 8 . Include notification and protection procedures for cultural
properties in construction contract documents (see "Cultural
Property" section).
                                      1.3.6-5

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Table 9.8. "Wastewater Collection, Treatment, Reuse, and Disposal Systems (continued)
Potential Negative Impacts
Indirect
19. Unplanned development induced or facilitated by
infrastructure.
20. Regional solid waste management problems exacerbated by
sludge.
21. Lots of fisheries productivity.
22. Reduction of tourist or recreational activity.
Mitigating Measures

19. • Coordinate installation of sewerage with land use
planning.
• Strengthen land use control regulations and
institutions .
• Integrate planning for infrastructure in urban
development projects.
20. • Incorporate sludge, excreta and septage in regional
solid waste management planning and in wastewater
system feasibility studies and technology selection.
• Implement industrial waste pretreatment program.
21. • Evaluate importance of receiving water in local and
regional fisheries.
• Implement mitigating measure for direct impacts 3, 4
and?.
22. * Give special attention to real or perceived nuisances
and aesthetic impacts in selecting site and technology.
• Implement mitigating measures for direct impacts 3,
4, 5, 7, 8 and 14.
                                       1.3.6-6

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      Source:   New York State Department  or tnviromnentai
                 State  Environmental  Quality Review Handbook.
             Introduction
       The following checklist of topics is intended
as a starting point for developing a detailed scope
for a project-specific Draft Environmental  Impact
Statement. Typically, no one project will require a
discussion of all the topic areas contained in this
document. Through the scoping process, this list of
topics should be refined to reflect issues unique to
the proposed project. Topic areas may be deleted,
added, or elaborated upon, to arrive at the final
scoping document.
       The purpose of the checklist format  is to
identify the basic topic areas for the Draft EIS. This
is accomplished by reviewing the list and placing a
check in the  box located to the left of those topics
which should be discussed.  The  model scoping
checklist can also be used as a worksheet, including
comments, suggestions  and  identification  of the
particular example(s) that are relevant to a detailed
discussion of the topic or issue that has been check-
ed. Conversely, those topics which are not checked,
are issues not associated with the project, and may
be eliminated  from  discussion in the Draft EIS.
Minimum  requirements  for  any  Draft EIS are
already checked for convenience.
      The next step is to expand the list to include
or elaborate on those topics unique to the proposed
project. A blank sheet is included at the end of the
checklist for such additional information.
      The scoping process involves several steps in
addition to compiling a list of topics. Scoping also
includes discussions on the quantity and quality of
information required and the methods for obtaining
that data.

       MOTE: This checklist was designed to be
used in conjunction with the section on scoping con-
tained in the SEQ.R Guideline-Draft and Final ElS's.
It is  also important to emphasize that this checklist
should serve only as a model to assist in the scoping
of a Draft EIS.  It should not be used as a substitute
for actively scoping a Draft EIS for a specific pro-
ject.
  I. Cover Sheet
    All EIS's (Draft or Final) shall begin with a cover
sheet that indicates:
    A. Whether it is a draft or final statement
    B. Name or other descriptive title of the project
    C. Location (county and town, village or city) of
       the project
    D. Name and address of the lead agency which
       required preparation of the statement and
       the name and telephone number of a person
       at the agency to be contacted for further in-
       formation
    E. Name and address of the preparers of any
       portion of the statement and a contact name
       and telephone number
    F. Date of acceptance of the Draft EIS
    G. In the case of a Draft EIS, the deadline date
       by which comments are due should be in-
       dicated

 II. Table of Contents and Summary
    A table of contents and a brief summary are re-
quired for Draft and Final EIS's exceeding 10 pages
in length.  However, one  should include  these
features in any size EIS to provide the review agency
with easy reference to EIS topics.
    The summary should include:
    A. Brief description of the action
    B. Significant, beneficial and adverse impacts,
       (issues of controversy must be specified)
    C. Mitigation measures proposed
    D. Alternatives considered
    E. Matters  to be decided (permits, approvals,
       funding)

III. Description of the Proposed Action
    Place a check in the box to the left of those
topics to be included in the draft EIS.
n A. PROJECT PURPOSE AND NEED
       1. Background and history
       2. Public  need  for  the  project,   and
         municipality objectives based on adopted
         community development plans
       3. Objectives of the project sponsor
                                          1.3.6-7

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D  B. LOCATION
       1. Establish geographic boundaries  of the
         project (use of regional and local scale
         maps is recommended)
       2. Description of access to site
       3. Description of existing zoning of propos-
         ed site '
       4. Other:

 13 C. DESIGN AND LAYOUT
       1. Total site area
         a.) proposed   impervious  surface area
            (roofs, parking lots,  roads)
         b.) amount of land to be cleared
         c.)open space
       2. Structures
         a.) gross leaseable  area (GLA),  if ap-
            plicable
         b.) layout of buildings (attached, enclos-
            ed, separate)
         c.) site plans and profile views
       3. Parking
         a.) pavement area
         b.) number of spaces and layout
       4. Other:

13  D. CONSTRUCTION AND OPERATION
       1. Construction
         a.) total construction period anticipated
         b.) schedule of construction
         c.) future potential development, on site
            or on adjoining properties
         d.) other:
       2. Operation
         a.) type of operation
         b.) schedule of operation
         c.) other:

D  E. CLOSURE AND POST CLOSURE PLANS
       (for projects of planned limited life such as
       landfills)

D  F. APPROVALS
       1. Required changes or variances to the zon-
         ing regulations
       2. Other  permit  approval or funding  re-
         quirements

 IV. Environmental Setting
    Place a check in the box to the left of those
 topics to be included in the Draft E1S.
    Natural Resources

    D A. GEOLOGY
           LJ   1. Subsurface
                  a.) composition and thickness of
                    subsurface material
                    examples:
                    —depth to, and nature of, bed-
                       rock formations and imperme-
                       able layers
                    —occurrence  of  an extractive
                       mineral resource
                    —usefulness  as  construction
                       malarial
                  b.) earthquake potential
           D  2. Surface
                  a.) list of soil types
                  b.) discussion of soil characteristics
                    examples:
                    —physical properties (indication
                       of soils hydrological (infiltra-
                       tion) capabilities)
                    —engineering  properties  (soil
                       bearing capacity)
                  c.) distribution  of soil types at pro-
                    ject site
                  d.) suitability for use
                    examples:
                    —agriculture
                    —recreation
                    —const ruction
                    —mining
                  e.) other:
           O  3. Topography
                  a.) description of topography at pro-
                    ject site
                    examples:
                    —slopes
                    —prominent or unique features
                  b.) description of topography of sur-
                    rounding area
    D  B.  WATER RESOURCES
           n  1. Groundwater
                  a.) location and  description   of
                    aquifers and recharge areas
                    examples:
                    —depth to water table
                    —seasonal variation
                    —quality
                    —quantity
                    —flow
1.3.6-8

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Human Resources .
D  A. TRANSPORTATION
       D  1.  Transportation services
              a.) description of the size, capacity
                 and condition of services
                 examples:
                 —roads, canals, railroads,
                   bridges
                 —parking facilities
                 —traffic control
              b.) description of current level of use
                 of services
                 examples:
                 —a.m. and p.m. peak hour traffic
                   flow
                 —vehicle mix
                 —sources  of  existing  traffic
                   volume
       O 2.  Public transportation
              a.) description  of  the  current
                 availability of service
              b.) description  of present level  of
                 use
       LJ 3.  Pedestrian environment
       D 4.  Other:

D  B. LAND  USE AND ZONING
       LJ  1.  Existing land use and zoning
              a.) description of the existing land
                 use of the project site and the
                 surrounding area
               • examples:
                 —commercial
                 —residential
                 —agricultural
                 —business
                 —retail
                 —industrial
                 —vacant
              b.) description of the existing zoning
                 of site and surrounding area
       CH  2.  Land use plans
              a.) description of any land use plans
                 or master  plans  which  include
                 project site and surrounding area
              b.) discussion of future development
                 trends or pressures
       D  3.  Other:
 D C COMMUNITY SERVICES (for this section in-
       ciude a list of existing facilities and a discus-
       sion of existing  levels of usage and  pro-
       jected future needs)
       LJ 1. Educational facilities
       D 2. Police protection
       L"H 3. Fire protection
       D 4. Health care facilities
       D 5. Social services
       D 6. Recreational facilities
       D 7. Utilities
       D 8. Other:
D  D. DEMOGRAPHY
       D  1.  Population characteristics
              a.) discussion of the existing popula-
                 tion parameters
                 examples:
                 —distribution
                 —density
                 —household size  and composi-
                  tion
              b.) discussion  of  projections  for
                 population growth
       O  2. Other:  Gender, age, ethnic composition
                    Gender, age, ethnic

D  E. CULTURAL RESOURCES
       D  1.  Visual resources
              a.) description  of  the  physical
                 character of the community
                 example:
                 —urban vs. rural
              b.) description of natural  areas of
                 significant scenic value
              c.) identification  of  structures  of
                 significant architectural design
       D  2.  Historic  and  archaeological
              resources
              a.) location   and  description  of
                 historic areas or structures listed
                 on  State or  National Register or
                 designated by the community
              b.) identification  of  sites  having
                 potential   significant   ar-
                 chaeological value
                                              1.3.6-9

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              b.) identification of present uses and
                 level of use of groundwater
                 examples:
                 —location of existing wells
                 —public/private water supply
                 —industrial uses
                 —agricultural uses
       D  2. Surface water
              a.) location and  description of sur-
                 face waters located on project
                 site or  those that may be  in-
                 fluenced by the project-
                 examples:
                 —seasonal variation
                 —quality
                 —classification  according  to
                   New York State Department of
                   Health
              b.) identification of uses and level of
                 use of all surface waters
                 examples:
                 —public/private water supply
                 —industrial uses
                 —agricultural uses
                 —recreation
              c.) description of existing drainage
                 areas, patterns and channels
              d.) discussion  of potential  for
                 flooding, siltation,  erosion  and
                 eutrophication of water sources

U C AIR RESOURCES

       D  1. Climate
              a.) discussion of seasonal variations
                and extremes
                 examples:
                 —temperature
                 —humidity
                 —precipitation
                 —wind

       D  2. Air quality
              a.) description of existing air quality
                 levels
                 examples:
                 —list the National and State Air
                   Quality Standards for the pro-
                   ject area and the compliance
                   status for each standard
              b.) identification  of existing sources
                 or pollutants-fixed or mobile
              c.) identification  of any  sensitive
                 receptors in project area
                 examples:
                 —hospitals,  schools,  nursing
                   homes, parks
              d.) description of existing monitor-
                 ing program (if applicable)

D  D. TERRESTRIAL AND AQC1AT1C ECOLOGY
       D  1. Vegetation
              a.) list vegetation types on the pro-
                ject site and within the surround-
                 ing area
              b.) discussion  of  site  vegetation
                characteristics
                examples:
                —species present and abundance
                —age
                —size
                —distribution
                —dominance
  " ~~            —community types
                —unique, rare and endangered
                   species
                —value as habitat for wildlife
                —productivity
       D 2.   Fish and Wildlife
              a.) list of fish and wildlife species on
                the project site and within sur-
                rounding   area,  including
                migratory and resident species
              b.) discussion  of fish  and  wildlife
                population characteristics
                examples:
                —species present and abundance
                —distribution
                —dominance
                —unique, rare and  endangered
                  species
                —productivity
       D  3.  Wetlands
             a.) list wetland  areas within or con-
                tiguous to the project site
             b.) discuss wetland characteristics
                examples:
                —acreage
                —vegetative cover
               '~—classification
                --benefits  of wetland  such 3=
                   flood  and  erosion  contr
                   recreation
                                            1.3.6-10
    	' , I, I!,,,:1"	,

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        D  3.  Noise
               a.) identification of existing level of
                 noise in the community
               b. identification of major sources of
                 noise
                 examples:
                 —airports
                 —major highways
                 — industrial/commercial   facili-
                   ties
        D  4.  Other:

 V. Significant Environmental Impacts
   identify those aspects  of the environmental set-
ting in  Section  IV that  may be adversely or
beneficially affected by the proposed action and re-
quire discussion.
VI. Mitigation Measures to Minimize Environmen-
tal. Impact
   Describe  measures to  reduce or avoid potential
adverse impacts identified in Section V. The follow-
ing is a brief listing of typical measures used for
some of the major areas of impact.

Natural Resources
D A. GEOLOGY
            1.  Subsurface
              a.) use excavated material for land
                 reclamation
              b.)use facility wastes (ash, sludge)
                 for land reclamation
              c.) other:
           2.  Surface
              a.) use  topsoil  stockpiled  during
                 construction for restoration  and
                 landscaping
              b.) minimize  disturbance of  non-
                 construction sites
              c.) design  and implement soil  ero-
                 sion control plan
              d.) other:
           3.  Topography
              a.) avoid construction on areas of
                 steep slope
              b.) design  adequate  soil  erosion
                 devices to protect areas of steep
              .  slope
              c.) other:
 D  B. WATER RESOURCES
            1.  Groundwater
               a.) design adequate system of treat-
                  ment for stormwater runoff prior
                  to recharge of groundwater
               b.) maintain permeable areas on the
                  site
               c.) institute a program for monitor-
                  ing  water  quality in adjacent
                  wells
               d.) other:
            2.  Surface water
               a.) ensure use of soil erosion control
                  techniques  during construction
                  and operation to avoid siltation
                  examples:
                  —hay bales
                  —temporary  restoration  of
                   vegetation to disturbed areas
                  —landscaping
               b.) design adequate stormwater con-
                  trol system
               c.) restrict  use of  salt or sand for
                  road  and  parking  area  snow
                  removal
               d.) avoid direct discharges to surface
                 water resources
               e.) other:
D  C. AIR RESOURCES
           1. Air quality.
              a.) assure proper construction prac-
                 tices
                 examples:
                 —fugitive dust control
                 —proper   operation    and
                  maintenance  of  construction
                  equipment
              b.) design  traffic improvements to
                 reduce  congestion and  vehicle
                 delay
              c.) install  and ensure  the  proper
                 operation  of  emission  control
                 devices
              d.) initiate a program for monitoring
                of air quality
              e.) other:
                                              1.3.6-11

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 D D. TERRESTRIAL AMD AQUATIC ECOLOGY
            1. Vegetation
              a.) restrict clearing  to only  those
                 areas necessary
              b.) preserve part of site as a natural
                 area
              c.) after construction, landscape site
                 with naturally occurring vegeta-
                 tion
              d.) purchase open space at another
                 location  and  dedicate  to  local
                 government  or   conservation
                 organization
              e.) other:
           2. Fish and Wildlife
              a.) provide adequate  habitat (shelter
                 and food) for  remaining wildlife
                 species
              b.) schedule construction to avoid
                 sensitive  periods of  fish  and
                 wildlife life cycles
              c.) other:
Human Resources
D A. TRANSPORTATION
            1. Transportation services
              a.) design adequate and safe access
                 to project site  to handle  pro-
                 jected traffic flow
              b.) install adequate  traffic  control
                 devices
              c.) optimize use of parking areas
              d.) encourage car pooling and opera-
                 tion  of facility during non-peak
                 traffic times
              e.) design   special   routing   and
                 restricted hours for delivery truck
                 traffic
              f.) other
           2. Public transportation
              a.) adjust  public  transportation
                 routes and schedules to service
                 the facility
              b.) encourage use of public transpor-
                 tation by  using  incentive  pro-
                 grams for employees or  by sell-
                 ing tickets in facility
              c.) other:
 D
D
D
 B. LAND USE AND ZONING
        1.  Existing land use and zoning
           a.) design project to comply with ex-
             isting  land use plans
           b.) design functional and visually ap-
             pealing facility  to  set  standard
             and   precedent  for  future
             surrounding land use
           c.) other:                 	
 C COMMUNITY SERVICES
        1.  Police protection
           a.) minimize local police protection
             responsibilities  by  providing
             private security force
           b.) provide security systems, alarms
             for facility
           c.) provide equipment, funds or ser-
             vices directly to  the community
           d.) other.
        2.  Fire protection
      -    a.) use construction materials that
             minimize fire hazards
           b.) incorporate sprinkler and alarm
             systems into building design
           c.) provide equipment, funds or ser-
             vices directly to  the community
           d.) other:
        3.  Utilities
           a.) install    utility    services
             underground
           b.) incorporate water saving fixtures
             into facility design
           c.) incorporate  energy-saving
             measures into facility design
           d.) other:
D" CULTURAL RESOURCES
       ,1. Visual resources
          a.) design  exterior  of  structure  to
             physically  blend with  existing
             surroundings
          b.) minimize- visual  impact  through
             thoughtful and innovative design
             of lighting  and signs (consider:
             height, size, intensity, glare and
             hours of lighting operation)
          c.) design  landscaping to be visually
             pleasing and to serve as a buffer
             betv/een surrounding land uses,
             parking areas, operational equip-
             ment and facilities
          d.) other:
                                            1.3.6-12
                                                                                             1 V.

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           2. Historic and archaeologic resources
              a.)allow   historical  and   ar-
                 chaeological officials access to
                 the project site during excavation
              b.) devote  space within project  site
                 to a display of historical and ar-
                 chaeological artifacts of local in-
                 terest
              c.) preserve  architecturally signifi-
                 cant  structures  and   make a
                 photographic  and  statistical
                 record  of those that  must be
                 destroyed
              d.) other:
           3. Noise
              a.) schedule  construction/operation
                 to  occur   during  "normal
                 business"  hours  minimizing
                 noise  impact  during   sensitive
                 times (early morning, night)
              b.) assure adherence to construction
                noise standards
              c.) design berms and landscaping to
                block and absorb noise
              d.) other:
 VII. Adverse Environmental Effects that Cannot
be Avoided if the Project is Implemented
  Identify  those adverse environmental effects in
Section V that can be expected to occur regardless
of the mitigation measures considered in Section
VI.
VIII. Alternatives
  This section contains categories of alternatives
with  examples. Discussion  of each  alternative
should be  at a level sufficient to permit a com-
parative  assessment  of  costs,  benefits and  en-
vironmental risks for each alternative. It is not ac-
ceptable to make simple assertions that a particular
alternative  is or  is not  feasible.  Identify  those
categories of alternatives which should be included
in the E1S by placing a check in the box located to
the left of the topic.
 D A. ALTERNATIVE     DESIGN     AND
       TECHNOLOGIES
           1. Site layout
              a.) density and location of structures
              b.) location of access  routes, park-
                 ing and utility routes
           2. Orientation
              a.) compatibility  with  slope  and
                 drainage patterns
              b.)site  size  and  setback  re-
                 quirements
           3. Technology
              a.) pollution control equipment
              b.)innovative    vs.    proven
                 technologies
           4. Mix of activities
              a.) addition  of businesses  which
                 would  affect  the  operational
                 nature of the facility


D B. ALTERNATIVE SITES
      ~~    1. Limiting factors
              a.) availability of land
              b.) suitability of alternate site to ac-
                 comodate design requirements
              c.) availability of utilities
              d.) suitable market area
              e.) compatibility with  local  zoning
                 and master plan
              f.) compatibility with  regional  ob-
                 jectives
              g.) accessibility of site to transporta-
                 tion  routes  and  the  service
                 population


D  C. ALTERNATIVE SIZE
           1. Increase or decrease project size to
              minimize possible impacts
           2. Increase or decrease project size to
              correspond to  market  and  com-
              munity needs


D  D. ALTERNATIVE CONSTRUCTION/OPERA- '
       TION  SCHEDULING
           1. Commence construction at  a dif-
              ferent time
           2. Phase construction/operation
           3. Restrict  construction/operation
              work schedule
                                            1.3.6-13

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 D  E. ALTERNATIVE LAND USE
            1. Suitability of site for other uses
              a.) other types of commercial uses
              b.) other types of industry
              c.) different types of housing
              d.) other:
           2. Public vs. private use

 D  F. NO ACTION
            1. Impacts of no action
              a.) effect on public need
              b.) effect on private developers'need
              c.) beneficial  or  adverse  en-
                 vironmental impacts

 D G. OTHER:
 IX. Irreversible and Irretrievable Commitment of
Resources
   Identify those natural and human resources listed
in Section IV that will be consumed, converted or
made unavailable for future use.

 X. Growth Inducing Aspects
   Describe in this section the potential growth
aspects the proposed  project may have.  Listed
below are examples of topics that are typically af-
"ected by the growth induced by a project.
D A. POPULATION
           1.  increases in business and resident
              population due  to the creation or
              relocation of business
           2.  Increases in resident population due
              to the construction of housing

    B. SUPPORT FACILITIES
           1.  Businesses created to serve the in-
              creased population
           2.  Service industries created to supply
              new facility

  I C.  DEVELOPMENT POTENTIAL
           1.  Introduction or improvement of in-
              frastructure (roads, waste disposal,
              sewers,  water) to service proposed
              project
           2.  Creation of further growth potential
              by construction  of  improved  in-
              frastructure

D D.  OTHER:
 XI. Effects on the Gse and Conservation of Energy
 Resources
   identify  the  energy sources to be  used,  an-
 ticipated levels of consumption and ways to reduce
 energy consumption. The examples listed below are
 typical issues to be considered when addressing this
 topic.

 D A. PROPOSED  ENERGY  SOURCES  AND
       ALTERNATIVES

 D B. ANTICIPATED SHORT-TERM/LONG-TERM
       LEVELS OF ENERGY CONSUMPTION

 D  C. INDIRECT EFFECTS ON ENERGY CON-
       SUMPTION
           1. Increased    dependence   on
             automobile use
          2. increased levels of traffic due to pro-
             posed project

D  D. ENERGY CONSERVATION MEASURES
           1. Design methods  to reduce fuel use
             for heating, cooling, and lighting
             a.) conventional technology
                examples:
                —insulation
                —thermopane windows
                —use of low wattage lights
             b.) innovative technology
                examples:
                —heat pumps
                —solar panels
                —wind energy
                —use of waste heat from an in-
                dustrial plant
             c.) efficient layout
                examples:
                —orientation  of structures  in
                  relation to summer and winter
                  sunlight
                —clustering  of  structures to
                  maximize common wails
                —shortening of utility runs
                —shared insulation and heating
          2.  indirect energy benefits
             a.) location and design of facility to
                accomodate mass transit
             b.) use of shuttle buses
             c.) location of facility to minimize
               travel distance
 D  E. OTHER:
                                         1.3.6-14

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                                                                                                          1
 XII. Appendices
   Following is a list of materials typically used in
support of the EiS.

   A. List of underlying studies, reports and infor-
mation considered and relied on in preparing state-
ment

   B. List all federal, state, regional, or local agen-
cies, organizations, consultants and private persons
consulted in preparing the statement

   C. Technical exhibits (if any) at a legible scale

   D. Relevant correspondence regarding  the pro-
jects may be included (required in the Final EIS)
      Additional Draft EIS Scoping Topics
Indicate any additional topics for discussion in the
Draft EiS. Attach additional sheets if necessary.
                                             1.3.6-15

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1.3.6-16

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CbeckiMlof Pata>imlEaviraeaautllmpteaaf t Tfanjportukm Project (Source:  A.D. Link. IK. 1971. Trsjapocuiioa and Environment
                         l Eavix-aameaxal Policy Act of 1969 on ifae Department of Transportation. Vol. I-IU. prepared for the Office of fee Secretary.
                                               Department of Transportation. Jury 1971.)
CATEGORY
I. None Impacts
A. Public health
B. Land Hie
0. Air Quality Impacts
A. Public health
B. Land UK
DI. Water Qualify Impacts
A. Ground Water
1. Flow and water table alteration*
2. Interaction with turfacediamaje
B. Surface Water
1. Shoreline and bottom alteration
2. Effects of filling tod dredging
3. Drainage mod flood characteristics
C. Qualify Aspect!
1. Effect of effluent loadingi
2. Implication of other action*, such as
a. Disturbance of bcnthic layers
b. Alteration of currents
c. Changes in flow regime
d. Saline intrusion in ground water
3. Land we
4. Public health
IV. Soil Erosion Impacto
A. Economic and Land Use
B. Pollution and SUtatkn
V. Ecological Impacts
A. Fhm
B. Fnma (other than hm""*)
VI. Economic Impacts
A. Land Use
1. In "•"*»!-«- vicinity of project
2. In local jurisdiction served
3. In region
B. Tax Base
1. Loss through dispaKTmcnt
2. Gain through increased values
C. Employment
2. Creation of new jobs
3. Displacement from jobs
D. Housing and Public Services
1. Demand for new services
2. Alteration in "'"mi services
E. Income
F. Damage to economically- valuable natural resources
VQ. Sociopolitical Impacts
A. Damage to, or use of:
1. Cultural resources
2. Scientific resources
3. Historical resources
4. Recreational areas
B. Lifestyle and Activities
1. Increased mobility
2. Disruption of community
C. Perception of cost/benefit by different cohesive groups
1. Racial
2. Ethnic
3. Income class
D. Personal Safety
Vm. Aesthetic and Visual Impacts
A. Scenic Resources
B. Urban Design
C. Noise
D. Air Qualify
E. Water Qualify
PLANNING.
DESIGN





























•~ ™ "



































CONSTRUCTION































































—

OPERATION

































































                                                            1.3.6-17

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1.3.6-18

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    SECTION 1.4




DECISION TO PROCEED

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                                                           SCREENING

Once the environmental information is available, the proposed activity can be
reviewed in order to determine the appropriate level of environmental assessment.
This internal procedure is often referred to as "screening."

There are two approaches to screening, categorical and discretionary, and most EA
requirements [e.g., the CEQ regulations implementing NEPA (Part D) and the EC
Directive on EIA, 85/337/EEC (1985)] provide for a combination of approaches.

—      Under the categorical approach, the proposed activity is compared to pre-
       determined lists of specific categories of activities that 1) can be excluded
       from EA or will 2) always be subject to EA. Often the applicability of the
       exclusion list is determined by eligibility criteria 9e.g., if the proposed
       activity has the potential to affect a valued wetland or other sensitive area, it
       will be subject to EA  even if it is on the exclusion list). The categorical
       approach reduces uncertainty and delay in determining which proposed
       activities will be subject to detailed EA.

-      Under the  discretionary  approach,  if the proposed  activity  cannot  be
       categorically excluded, the proponent decides on the appropriate level of EA.
       An (EA) document is prepared to assess the environmental significance of the
       proposed activity.
       -     If it is determined that the proposed activity may significantly affect
             the quality of the  human environment, then a full environmental
             assessment is  required, starting with the scoping process and
             culminating  in an environmental  impact assessment (EIA) that
             documents for the  decisionmaker the information needed to decide
             between the proposed activity and one of the alternatives.
       -     If it is determined that the proposed activity will not significantly
             affect the quality of the human environment and/or that potentially
             less significant impacts can be easily mitigated, then the proponent
             prepares a brief document that explains1 why the project will not
             significantly affect the environment, and if applicable, describes the
             mitigation measures.

Public involvement in the EA process usually begins when the decision is made that
an EIA is required.
                                   1.4-1

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           SECTION 1.5

DRAFT/FINAL ENVIRONMENTAL IMPACT
    ASSESSMENT ANALYSIS AND
         DOCUMENTATION

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                                                             SCOPING
       Scoping is a process of interaction between interested publics, government
agencies and proponents to determine the important issues and alternatives that
should be examined in environmental impact assessment.  In its broadest sense,
it includes public involvement throughout the EA process starting with public
scoping meetings as  soon as the proponent decides that information on  the
proposed activity is complete enough for the process to begin; continuing with
public review and comment on the assessment documentation; and culminating
with public involvement during the post-decision and follow-up phases.  At any
time during these various phases, the scope of a project EA can change.  In the
U.S.,  if  there  are substantial changes  to a proposal or  significant new
circumstances or information relevant to environmental concerns, a supplement
to an EA  document  can be  prepared.    Scoping is  especially useful  for
controversial activities  that involve diverse interest groups and  government
agencies.

       During the scoping process, formal and informal opportunities should be
provided for the public  and government agencies to voice their concerns, raise
new issues, suggest modifications to  proposed actions, and present additional
alternatives.  For the proponent, scoping provides the opportunity to describe the
proposed  activity and to obtain additional information  from the public and
government  agencies  (e.g.,  studies  and  reports  relevant  to  the project,
identification of local expertise, and regulatory constraints). In addition, scoping
enhances  the proponent's credibility,  improves relationships with  the affected
parties, and may help in avoiding unforseen developments or surprises.

       A report summarizing the scoping process, the significant alternatives and
issues, and including comments received from the public should be prepared and
made available to all interested parties.  The report should describe the issues and
the extent of coverage to be expected in the EIA.

       The objectives of scoping (Attachment 3.A) are:

       •      To identify the affected public and agency concerns;
       •      To  facilitate an efficient  EIA  preparation process,  through
              assembling the cooperating agencies, assigning EIA writing tasks,
                                  1.5.1-1
 *For purposes of this document, the term Environmental Assessment (EA) will refer to the
 Environmental Impact Assessment (EIA) process.

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• it
ascertaining all  the  related permits  and reviews that must  be
scheduled concurrently, and setting time or page limits;
To define the issues and alternatives that will be examined in detail
in the EIA while simultaneously devoting less attention and time
to issues which cause no concern; and
To save time in the overall process by helping to ensure that draft
statements  adequately address  relevant .issues, reducing the
possibilities that new comments will  cause  a statement to  be
rewritten or supplemented.

                                               I     NEEDS
         '• : '••      '       • •    '••      . ;  ;•    ' !   .   .
Preliminary Project  Information.   Prior   to  public and
government agency involvement, the proponent should assemble
and  make available to known interested  parties a  packet  of
information about the proposed activity, including a preliminary
outline  of  the  EIA.   The  information  packet  is  based  on
environmental information prepared  during the  initiation phase
(Chapter 2.1).   The information serves as a starting point for
discussion at scoping meetings and any other public meetings; it
helps to focus discussion on the proposed activity. In general, the
information should:
    -      describe the purpose and need for the proposed activity,   .
           describe the proposed activity,
           identify the potentially affected geographic area,
           describe the important characteristics of the area,
           review the preliminary alternatives, and
           discuss known project-related issues.

    Early Planning.  Scoping meetings should be held very early in
    the EA process.  The key to successful meetings is appropriate
    notification and participation of  the  publics  and  government
    agencies and availability/distribution of enough information on the
    proposed activity so  that the public and  relevant agencies can
    participate effectively.  If the proposed activity is  regional or
    national in scale, several meetings may  be held  in different
    locations.  The duration of meetings will vary depending  on the
    level of controversy or interest in the proposed activity.
                                  ,','_;	  . .    |
    Public  Involvement Strategy. Public involvement, particularly
    when it occurs early in  the  EA process, can result in better
    reasoned and  more legally defensible decisions, as well as, less
    controversy and broader public acceptance of the decisions.  There
                        1.5.1-2

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are a variety of techniques available for involving the public (Table
2-1); however, each public involvement strategy must be tailored
to the circumstances of the proposed  activity, as  well as  the
community in which the public involvement process is to occur.
Once the interested publics and government agencies are identified,
their continued involvement should be solicited throughout the EA
process.

Although scoping meetings are designed to involve the public, the
proponent  has  the ultimate responsibility  for  selecting  the
alternatives  to be  evaluated in the  environmental  assessment.
Thus,  the proponent seldom tries to reach a consensus  among
participants at meetings/hearings on what issues are significant and
which  alternatives should be evaluated.  Rather, careful notes are
taken (often by tape recorder or a court reporter) and revisions are
made to the scope of work later, as appropriate. Decisions on the
choice of alternatives  are guided by  public interest  and  the
proponent's mandated responsibilities.

                                                     TOOLS

Public Meetings. There is no uniform set of guidelines for the
conduct  of scoping meetings or public hearings.   In  general,
scoping meetings precede preparation of EA documentation and
public hearings follow publication of the draft EA documentation.
In  public  hearings,   citizens  can  testify  about the  draft
documentation and hear the testimony of others.    A  scoping
meeting is generally less formal than a hearing.  In either case,
meetings are best conducted by an independent, neutral moderator
who has a thorough understanding of EA requirements and who
has been involved in the development of the specific procedures to
be followed.  Legal counsel is usually present at the meetings.  A
professional moderator is trained to focus the discussions, maintain
the schedule, and de-fuse impending controversy. In the opening
remarks, the moderator should:
       explain what scoping is,
       describe the procedure for the meeting,
       point out that comments should be relevant to the proposed
       activity,
       reiterate that no decision has been made on the proposal or
       the contents of the EA documentation, and
       encourage the audience to focus on the alternatives, issues,
       and additional information that they can provide.
                      1.5.1-3

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                    Relative to public meetings, the following activities have
             been shown to be useful:
     N                                  '."«'.„,      'i '     '   "
             -      A premeeting/prehearing conference of all identified and
                    potentially interested publics and government agencies to
                    identify key procedural and substantive issues related to the
                    proposed activity.
                    Preparation and distribution of a handout that explains what
                    scoping is and how the particular meeting/hearing is to be
                    conducted.
                    Development of a format for the meeting/hearing to include
                    style of meeting,  logistics and set up of the meeting room,
                    arid procedures for  speakers (i.e., registration,  order  of
                    speaking, time allowed).  Question and answer sessions can
                    be useful in meetings as well  as hearings, provided  the
                    process is carefully  structured in  advance (i.e.,  the
                    appropriate expertise is present to respond).   Town hall
                    meeting forums (a roving moderator with microphone) are
                    useful if the  meeting  is small.   In general,  for scoping
                    meetingsj the moderator's  opening statement can be brief
                    and informal.   For hearings,  the moderators  opening
                    statement  is  more  formal,   longer,  and  proponent
                    presentations are generally limited.
                    A post meeting/hearing consultation with key participants
                    to   provide   additional   information  and
                    clarification/understanding of each others positions.  Such
                    meetings should  be informal but the basic ground rules
                    need to be clear to everyone.

       The process of scoping is not limited to interagency and public meetings.
Other activities that have been shown to be useful include:
         '!       ,               ,               '''    ''''•'      ,1 , ,   i
       •     Advisory  Committees.   When projects   are  large  and/or
             controversial,   appointment  of  an   advisory  committee   of
             independent  experts can  help  to  identify  issues,  generate
             alternatives, provide mitigation measures, and review and comment
             on EA documentation.
       •     Workshops.   Representatives of interested groups can be invited
             to work together in small groups to assess alternatives and evaluate
             their feasibility.
                     •''.  •     • '•'•           :     -   •  ••.  ,   (.       •.:
In each of the above cases, however, the final decision on the scope and content
of the EA is the responsibility of the agency.
                                  1.5.1-4

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       •     Other Public Involvement Strategies.  Table 2-1 lists public
             involvement strategies and evaluates their usefulness. In addition
             to these,  agencies are increasingly  using  a special  telephone
             number (i.e., a hotline) to take public comments before, after or
             instead of a public meeting.

                                                                  ISSUES

       The importance of scoping to the preparation of adequate and effective EA
documentation is recognized by  most publics  and government agencies.   It
originated  in  response to  the  uneven  implementation  of  NEPA  by  U.S.
government agencies (i.e.,  some agencies  obscured  the important  issues in
massive EA documents while others prepared  brief documents that failed to
analyze the important issues). The concept has been adopted by other countries
(e.g., Canada, The Netherlands, Poland) as a means to determine important issues
and alternatives to be examined during EA.  Although the principle of  scoping is
appropriate at all levels of decisionmaking, at the broadest level of government
decisionmakmg (i.e., for policy, program, and plan initiatives), scoping is mostly
internal to an agency.  Other affected government agencies  may be asked to
participate, but the public is seldom invited.

       In practice, approaches to scoping vary widely depending on the nature of
a  proposed  activity,  the  proponent's resources,  and  the  public interest.
Throughout the process, it is important to remain flexible, keeping in mind that
the overall goal of EA is providing appropriate information and analyses in order
that informed decisions can be made:

       •     The benefits of scoping include:
                    early identification of areas that will need attention  (e.g.,
                    information  gaps,    additional   research,   additional
                    professional expertise,  regulatory constraints);
                    improved efficiency and  effectiveness.   The  public  is
                    provided with opportunities to understand and influence the
                    EA process early on and the proponent gains insight into
                    the issues of real concern.  As a result, the proponent can
                    focus the environmental analyses on realistic alternatives
                    and mitigation measures  at the early  stages  of project
                    planning;
                    resolution of problems before documents are prepared and
                    decisions  are made which lessens  the opportunities for
                    surprises and for litigation; and
                    enhanced credibility and public support. Although conflicts
                    may still arise, if the public understands the purpose and
                    need for the proposed activity and if it is  clear  that the
                                  1.5.1-5

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                    proponent is considering all reasonable alternatives, then
                    the public  is more likely to be  satisfied with the final
                    decision.
       •     Some common problems associated with scoping are:
                    poorly  defined  purpose,  need,  and objectives  of  the
                    proposed action,
                    poorly prepared and/or tardy information packets,
                    failure to contact all affected parties,
                    lack of interest/participation by the public and government
                    agencies,
                    unprepared participants,
                    negative public attitude toward the proposed activity, and
                    unfocused public comments that fail to address the effects
                    that the EA documentation should evaluate.
                      "''  "        •        '    v     ,•'   '    V;  •'
                                                              LINKAGES
     ,  ."I,       •   	  • .. ' ' .      ' '   .'     • •  •        .  •    ''  j.   :
       Scoping and the results  of scoping are integral parts of the  overall
environmental assessment process.  Formal scoping meetings  are a catalyst for
careful planning at the initiation stage.   The results  of the  scoping  process
determine the alternatives,  issues and mitigation measures analyzed in  the EA
documentation. Decisionmaking is influenced by public participation.
    ";"'	]    '  ""   •       '  , ''     ,    '         •    . 	>V-  '.'•]•,
    I   ''      .    ' "       '     ''       '       '   •  -  •   •   REFERENCES
    .;   -t            -••   '..        .   .   •-,.  .      ;.    •    i    ••   ;..;.  ••
Bregman, J. I. and  K. M. Mackenthun.   1992.   Environmental  Impact
       Statements.  Lewis Publishers, Inc., Chelsea, Michigan.  279 pp.

Federal Environmental Assessment Review Office (FEARO).  1976.   Initial
       Assessment'Guide.   Federal Assessment Review Office, Ottawa K1A
       OH3, Ontario, Canada.

U.S. Council on Environmental Quality (CEQ). 1981.  Memorandum:  Scoping
       Guidance.  Washington, D.C.  19 pp.
                                   1.5.1-6

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                                              SCOPING GUIDANCE
•    Memorandum:  Scoping Guidance. (Source:  Council on Environmental Quality,
     April 30, 1991)
                                 1.5.2-1

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1.5.2-2

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      Memorandum: Scoping Guidance
      (Council on Environmental Quality
               April 30, 1981)

              I. Introduction

A. Background of this document.

In 1978, with the publication of the proposed
NEPA  regulations  (since  adopted as  formal
rules, 40 C.F.R. Parts 1500-1508), the Council
on   Environmental   Quality   gave   formal
recognition  to an increasingly  used  term —
scoping. Scoping is an idea that has long been
familiar to those involved hi NEPA compliance:
In order to manage effectively the preparation of
an environmental impact statement (EIS),  one
must determine the scope of the document — that
is, what will be covered,  and in  what detail.
Planning of this land  was a normal component
of EIS  preparation.  But the  consideration of
issues and choice of alternatives to be examined
was  hi  too  many cases  completed outside of
public view. The innovative approach to scoping
in the regulations is that the process is open to
the public and state and local governments, as
well as  to affected federal  agencies. This open
process  gives rise to important new opportunities
for better and more efficient NEPA analyses;
and simultaneously places  new  responsibilities
on  public  and  agency  participants  alike to
surface  their  concerns  early.  Scoping helps
insure that real problems are identified early and
properly studied; that issues that are of no
concern do not consume time and effort; that the
draft  statement  when  first  made  public is
balanced and  thorough; and that the delays
occasioned by re-doing an  inadequate draft are
avoided. Scoping does not  create problems that
did not  already  exist; it ensures mat problems
that  would have been  raised anyway  are
identified early in the process.

Many members of the public as  well as agency
staffs engaged in the NEPA process have told
the Council that the open scoping requirement is
one of the most far-reaching changes engendered
by the NEPA regulations. They have predicted
that  scoping could have  a profound  positive
effect on environmental analyses, on the impact
statement process  itself,  and ultimately on
decisionmaking.

Because the concept of open scoping was new,
the Council  decided   to  encourage agencies'
innovation without unduly restrictive guidance.
Thus the regulations relating to scoping are very
simple. They state that "there shall be  an early
and open process for  determining the scope of
issues to be addressed" which  "shall be termed
scoping," but  they  lay  down few  specific
requirements. (Section 1501.7*). They require an
open process with public notice; identification of
significant and insignificant issues; allocation of
EIS preparation assignments;  identification of
related analysis requirements in order  to avoid
duplication  of  work;  and the planning  of  a
schedule for EIS preparation that meshes with
the agency's decisionmaking schedule.  (Section
1501.7(a)). The regulations encourage, but do
not require, setting tune limits and  page limits
for the  EIS,  and  holding  scoping meetings.
(Section  1501.7(b)). Aside from these general
outlines, the regulations left the agencies on then-
own, me Council did not believe, and  still does
not, that it is necessary or appropriate to dictate
the specific manner in which over  100 federal
agencies should deal with the public. However,
the Council has received several requests for
more  guidance.  In   1980  we  decided  to
investigate the agency and public response to the
scoping  requirement,  to find out what  was
working and what  was not, and to share this
with all agencies and the public.

The  Council first  conducted  its  own survey,
asking federal agencies to report some of their
scoping   experiences.   The   Council   then
"All citations are to  the NEPA regulations,
40 C.F.R. Parts 1500-1508 unless otherwise
specified.
                                             1.5.2-3

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 contracted  with  the   American   Arbitration
 Association and Clark McGlennon Associates to
 survey the scoping techniques of major agencies
 and to  study  several  innovative  methods  in
 detail."" Council  staff  conducted  a two-day
 workshop  in Atlanta in June 1980,  to discuss
 with federal agency NEPA staff and several EIS
 contractors what seems to work best hi scoping
 of different types of proposals, and discussed
 scoping with federal, state and local officials in
 meetings in all 10 federal regions.

 This document  is a distillation of all the work
 that has oep done so far by many people to
 identify valuable  scoping  techniques.  It  is
 offered as a guide to encourage success and to
 help avoid pitfalls. Since scoping methods are
 still  evolving,  the  Council  welcomes  any
 comments oh this guide, and may add to it or
 revise it in coming years.

 B. What scoping is and what it can do.

 Scoping is  often the  first contact between
 proponents of a proposal and the public. This
 fact is the source of the power of scoping and of
 the trepidation  that it sometimes evokes. If a
 scoping meeting is held, people on botHTsides of
 an issue will be in the same room  and, if  all
 goes well,  will  speak  to   each  other. The
 possibilities that flow  from  this situation are
 vast.    Therefore,  a  large portion  of this
 document   is   devoted  to  the   productive
 management of meetings and the de-fusing of
 possible heated  disagreements.
 "The results of this examination are reported in
 ''Scoping the Content of EISs: An Evaluation of
 Agencies' Experiences," which is available from
 the Council or the Resource Planning Analysis
•Office  of the U.S.  Geological  Survey,  750
 National Center, Reston,  Va. 22092.
Even if a meeting  is  not held,  the scoping
process leads EIS preparers to think about the
proposal early on, in order tti explain it to the
public and affected  agencies. The participants
respond  with  their   own   concerns  about
significant issues and suggestions of alternatives.
Thus as  the  draft  EIS  is  prepared,  it  will
include, from the beginning, a reflection or at
least  an acknowledgement of the cooperating
agencies' and the  public's concerns.  This
reduces the need for changes after the draft is
finished,  because it reduces the chances of
overlooking a  significant  issue or  reasonable
alternative.  It  also  in many  cases increases
public   confidence   in   NEPA   and  the
decisionmaking   process,   thereby  reducing
delays,  such as from litigation, later on when
implementing the decisions. As we will discuss
further  in this document, the public generally
responds positively  when  its views  are taken
seriously,  even  if  they  cannot be  wholly
accommodated.

But  scoping  is  not simply another  "public
relations" meeting requirement. It has specific
and fairly limited objectives: (a) to identify the
affected public and  agency concerns;  (b)  to
facilitate an efficient EIS preparation process,
through assembling  the cooperating agencies,
assigning EIS writing tasks, ascertaining all the
related   permits  and  reviews  that  must be
scheduled concurrently, and setting time or page
limits;  (c) to define line issues and alternatives
that will be examined in detail hi the EIS while
simultaneously devoting less attention and  time
to issues which cause  no  concern;  and (d)  to
save  time in the overall process by helping to
ensure  that draft statements adequately address
relevant issues, reducing the possibility that new
comments will cause a statement to be rewritten
or supplemented.

Sometimes  the scoping process  enables early
identification of a few serious problems with a
proposal, which  can  be  changed or  solved
because the proposal is,still being developed. In
these cases, scoping the EIS can actually lead to
                                             1.5.2-4

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the solution of a conflict over  the proposed
action itself.  We have  found that this  extra
benefit of scoping occurs fairly frequently. But
it cannot be expected in most cases, and scoping
can still be considered successful when conflicts
are clarified but not solved. This guide does not
presume  that  resolution  of  conflicts  over
proposals is a principal goal of scoping, because
it  is  only possible  in limited circumstances.
Instead, the Council views the principal goal of
scoping  to  be  an  adequate  and efficiently
prepared   EIS.  Our   suggestions   and
recommendations  are  aimed  at  reducing the
conflicts among affected interests that impede
this limited objective. But we are aware of the
possibilities of more general conflict resolution
that are inherent in any productive discussions
among   interested  parties.   We  urge  all
participants in scoping processes to be alert to
this larger context, in which scoping could prove
to  be  the   first   step   in   environmental
problem-solving.

Scoping can lay a firm foundation for the rest of
the decisionmaking process. If the EIS can be
relied upon to include all the necessary informa-
tion for formulating policies and making rational
choices, the agency will  be better able to make
a sound and prompt decision. In addition, if it is
clear  that all reasonable alternatives are being
seriously considered, the public will usually be
more satisfied with the choice among them.
    II. Advice for Government Agencies
             Conducting Scoping

A. General context.

Scoping is a process,  not an event or a meeting.
It continues throughout the planning for an EIS,
and may involve a series of meetings, telephone
conversations,  or  written  comments  from
different  interested groups.  Because it is  a
process, participants must remain flexible. The
scope of an EIS  occasionally may need to be
modified later if a new issue surfaces, no matter
how thorough the scoping was.  But it makes
sense to try to set the scope of the statement as
early as possible.

Scoping may identify people  who already have
knowledge about a site or an alternative proposal
or a relevant study, and induce them to  make it
available. This can save a lot of research time
and  money. But people will  not come forward
unless they believe their views and materials will
receive serious consideration. Thus scoping is a
crucial  first  step  toward   building  public
confidence in a fair environmental analysis and
ultimately a fair decisionmaking process.

One further point to remember: the lead agency
cannot shed  its responsibility to assess each
significant impact or  alternative even if one is
found after scoping. But anyone who hangs back
and  fails to raise  something that  reasonably
could have been  raised earlier on will have a
hard time prevailing during later stages of the
NEPA process or if litigation ensues.  Thus a
thorough  scoping  process does provide some
protection against subsequent lawsuits.

B. Step-by-step through the process.

1.   Start  scoping   after  you  have  enough
information.

Scoping cannot be useful until the agency knows
enough about the proposed  action  to  identify
most of the  affected parties, and to present a
coherent proposal and a suggested initial list of
environmental issues and alternatives. Until that
time there is no way to explain to the public or
other agencies  what you want them to  get
involved  in.  So the first stage  is to gather
preliminary information from the applicant, or to
compose a clear picture of your proposal, if it is
being developed by the agency.
                                             1.5.2-5

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2. Prepare an information packet.

In many cases, scoping of the EIS has been
preceded by preparation  of an environmental
assBsment (EA) as the basis for the decision to
proceed with an EIS. In such cases, the EA will,
of course,  include the preliminary  information
that is needed.
   'i." •  	i'1, .  ''„   .jj;;
If you have not prepared an EA, you should put
together a brief information packet consisting of
a description of the proposal, an initial list of
impacts and alternatives,  maps, drawings, and
any other material or references that can help the
interested public to understand what is being
proposed. The proposed work plan of the EIS is
not usually sufficient for this  purpose.  Such
documents  rarely contain  a description of the
goals of the proposal to enable  readers to
develop alternatives.
  ""      "ill  ''• r.n
  ,	  '    '"_    .„"('  . ";,ii , •         :      ,  ;
At this stage, the purpose of the information is
to enable  participants to  make an  intelligent
contribution to scoping the EIS. Because  they
will  be  helping to plan what will be examined
during the environmental review, they  need to
knpw where  you  are now in that planning
process.

Include in the packet a brief explanation of what
scoping is, and what procedure will be used, to
give potential  participants a context for their
involvement. Be sure to point out that you want
comments  from  participants on very  specific
matters. Also reiterate that no decision has yet
been made on the contents of the EIS, much less
on the proposal itself. Thus, explain that you do
not yet have I preferred alternative, but that you
may identify the preferred alternative in the draft
EIS.  (See Section  1502.14(e)).  This  should
reduce the tendency of participants to perceive
the  proposal  as  already  a  definite  plan.
Encourage them  to focus  on recommendations
for improvements to the various alternatives.

Some of the complaints alleging that scoping can
'be a waste of time stem from the  fact  that the
participants may not know what the proposal is
until they arrive at a meeting. Even the most
intelligent among us can rarely  make  useful,
substantive  comments  on  the  spur  of the
moment. Don't expect helpful suggestions to
result if participants are put in such a position.

3. Design the scoping process for each project.

There is no established or required procedure for
scoping.  The  process  can be carried  out  by
meetings,  telephone  conversations,   written
comments, or a combination of all three. It is
important to tailor the  type, the timing  and the
location of public and  agency comments to the
proposal at hand.

For  example,  a proposal  to adopt  a land
management plan for  a National Forest in a
sparsely populated region may not lend  itself to
calling a single meeting in a central location.
While people living in the area and elsewhere
may be interested, any meeting  place  will be
inconvenient  for   most  of the  potential
participants. One solution is  to  distribute the
information packet, solicit written comments, list
a  telephone  number  with  the  name  of the
scoping coordinator, and invite comments to be
phoned in. Otherwise, small meetings in several
locations may be necessary when face-to-face
communication is important.

In  another case, a site-specific construction
project may be proposed. This would be a better
candidate for a central scoping meeting. But you
must first find out if anyone would be interested
in attending such a meeting. If you  simply
assume that a meeting is necessary, you may
hire a hall and  a stenographer, assemble your
staff for a meeting, and find that nobody shows
up. There are many proposals that just do not
generate sufficient public interest to cause people
to attend another public meeting. So a wise early
step is to  contact known local citizens groups
and civic leaders.
                                             1.5.2-6

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In addition,  you  may  suggest in your initial
scoping notice and information packet that all
those who desire a meeting should call to request
one. That way you will only hear from those
who are seriously interested in attending.

The question of where to hold a meeting is  a
difficult one in  many  cases.  Except for site
specific construction projects, it may be unclear
where the interested parties can be found. For
example, an EIS on a major energy development
program  may   involve  policy   issues  and
alternatives to the program that are of interest to
public  groups all over  the  nation,  and to
agencies headquartered in Washington, D.C.,
while the physical impacts might be expected to
be felt most strongly in a particular region of the
country. In such a case,  if personal contact is
desired, several meetings would be necessary,
especially  in  the  affected  region and  hi
Washington, to enable all interests to be heard.

As a general guide, unless a proposal has no site
specific impacts, scoping meetings should not be
confined to Washington. Agencies should try to
elicit the views of people who are closer to the
affected regions.

The key is to be flexible. It may not be possible
to plan the whole scoping process at the outset,
unless you know  who all the potential players
are. You can start with written comments, move
on to  an informal meeting, and hold further
meetings if desired.

There are several reasons  to  hold  a scoping
meeting.  First, some  of the best  effects of
scoping stem from the fact that all parties have
the opportunity to meet one another and to listen
to the concerns  of  the  others.  There  is no
satisfactory  substitute for personal  contact  to
achieve this result. If there is any possibility that
resolution  of underlying   conflicts over   a
proposal  may be  achieved,  this   is  always
enhanced by the  development of personal and
working relationships among the parties.
Second,  even  in a  conflict situation people
usually respond positively when they are treated
as partners in the project review process. If they
feel  confident that their  views  were actually
heard  and  taken seriously, they will be  more
likely  to be satisfied  that the decisionmaking
process was fair even if they disagree with the
outcome. It is much easier to show people that
you  are  listening to  them  if  you  hold  a
face-to-face meeting  where  they can see you
writing down their points, than  if their only con-
tact is  through written comments.

If you suspect that a particular proposal  could
benefit from a meeting with  the affected public
at any time during its review,  the best time to
have the meeting is during  this early  scoping
stage.  The fact  that you are willing to discuss
openly a proposal before you  have committed
substantial resources to it will often enhance the
chances for reaching an accord.

If  you  decide that  a  public  meeting   is
appropriate, you still must decide what type of
meeting, or how many meetings, to hold.  We
will  discuss  meetings  hi  detail  below  in
"Conducting a Public Meeting."  But as part of
designing the scoping process,  you must decide
between a single meeting  and multiple ones for
different interest groups, and whether to hold a
separate  meeting   for  government  agency
participants.

The single large public meeting brings together
all  the  interested  parties,  which  has  both
advantages and disadvantages.  If the meeting  is
efficiently  run, you can cover  a lot of interests
and issues  in a short time. And a single meeting
does reduce agency travel time and expense. In
some cases it may be an advantage to have all
interest groups  hear  each  others'  concerns,
possibly promoting compromise. It is definitely
important to have the staffs  of the cooperating
agencies,  as well as  the lead agency, hear the
public views of what the significant issues  are;
and  it will be  difficult and expensive for the
cooperating agencies to attend several meetings.
                                             1.5.2-7

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 But if there are opposing groups of citizens who
 feel strongly on  both sides of an  issue,  the
 setting  of the large  meeting may  needlessly
 create tension and an emotional confrontation
 between the groups.  Moreover, some people
 may feel intimidated in such a setting, and won't
 express themselves at all.
 .r  '•         •,   "is  ,   •  •   •    ,  .  .  ..;k
 The principal drawback of  the large meeting,
 however, is that  it is generally unwieldy. To
 keep order,  discussion  is limited, dialogue is
 difficult, and often all participants are frustrated,
 agency and  public alike.  Large meetings  can
 serve to identify the interest groups for  future
 discussion, but often little else is accomplished.
 Large meetings often become "events"  where
 grandstanding   substitutes   for   substantive
 comments.  Many agencies resort  to a formal
 hearing-type format to maintain control, and this
 can cause resentments among participants who
 come to  the meeting expecting a responsive
 discussion.

 For these reasons, we recommend that meetings
 be kept small and informal, and that you hold
 several,  if  necessary,  to  accommodate  the
 different interest groups. The other solution is to
 break a large gathering into  small  discussion
 groups, which is discussed below.  Using either
 method increases the likelihood that participants
 will level with   you and  communicate their
 underlying concerns   rather  than  make  an
 emotional statement just for effect.

 Moreover, in our experience, a separate meeting
 for  cooperating agencies  is quite productive.
 Working relationships can  be forged for the
 '.{Effective  participation of all  involved in the
 preparation of tie EIS. Work assignments are
 made by the lead agency, a schedule may be set
 for  production of parts of the draft EIS,  and
 information gaps  can  be identified early. But a
 productive meeting such as this is not possible at
 the  very beginning of the process. It can only
 result from the same sort of planning and prepa-
 ration that goes  into  the public meetings.  We
"discuss   below   the   special  problems   of
cooperating  agencies,  and  their information
needs for effective participation in scoping.

4. Issuing the public notice.

The preliminary look at the proposal, in which
you develop the information packet discussed
above,  will  enable  you to tell  what kind of
public notice will  be most appropriate  and
effective.

Section 1501.7 of the NEPA regulations requires
that a notice of intent to prepare an EIS must be
published in the Federal Register prior to initia-
ting scoping."""  This  means  that one of the
appropriate means of giving public notice of the
upcoming  scoping process could  be the same
Federal Register notice. And because the notice
of intent must be published anyway, the scoping
notice would be essentially free. But use of the
Federal Register is not an absolute requirement,
and other means of public notice often are more
""Several  agencies  have  found  it useful to
conduct scoping for environmental assessments.
EAs are prepared where answering the question
of  whether  an EIS is  necessary  requires
identification of significant environmental issues;
and consideration of alternatives in an EA can
often be useful even where  an EIS is not
necessary. In both  situations scoping  can be
valuable.  Thus the  Council has stated  that
scoping  may  be  used  in connection  with
preparation of an EA, that is, before publishing
any notice of intent to prepare an EIS. As in
normal  scoping, appropriate public notice is
required, as well as adequate information on the
proposal  to  make  scoping worthwhile.   But
scoping at this early stage cannot substitute for
the normal scoping process unless  the earlier
public notice stated clearly that this would be the
case, and the notice of intent expressly provides
that written comments suggesting impacts and
alternatives for study will still be considered.
                                              1.5.2-8

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effective, including local newspapers, radio and
TV, posting notices in public places, etc. (See
Section 1506.6 of the regulations.)

What is important is that the notice actually
reach the affected public. If the proposal is an
important new national policy  in which national
environmental  groups can be expected to be
interested, these groups can  be contacted by
form letter with ease.  (See the Conservation
Directory  for  a list  of national  groups.**"")
Similarly,  for proposals that  may  have major
implications for the business community, trade
associations can  be helpful means of alerting
affected groups. The Federal Register notice can
be relied upon  to notify others that you did not
know about. But the Federal Register  is of little
use  for  reaching individuals  or local groups
interested in a site specific proposal. Therefore
notices   in local  papers,  letters  to  local
government officials and personal contact with a
few known interested individuals would be more
appropriate. Land owners abutting any proposed
project site should be notified individually.

Remember  that  issuing  press  releases   to
newspapers, and radio  and TV stations is not
enough, because they may not be used by the
media  unless   the  proposal  is  considered
"newsworthy." If the proposal is controversial,
you  can try alerting reporters or editors  to an
upcoming  scoping meeting for  coverage  in
special weekend sections used by many papers.
But placing a notice in the legal notices section
of the paper is the only guarantee that it will be
published.

5. Conducting a public meeting.

In our study of agency practice in conducting
scoping, the most interesting information on
"The Conservation Directory is a publication
of the National Wildlife Federation,  1421 16th
St., N.W., Washington, D.C. 20036.
what  works  and  doesn't  work involves the
conduct of meetings. Innovative techniques have
been developed, and experience shows that these
can be successful.

One of the most important factors turns out to be
the training and experience of the moderator.
The U.S. Office of Personnel  Management and
others give training courses on how to run a
meeting  effectively.  Specific techniques are
taught to keep the meeting on course and to deal
with   confrontations.  These   techniques  are
sometimes called "meeting facilitation skills."

When holding a meeting, the principle thing to
remember about scoping is that it is a process to
initiate preparation of an EIS. It is not concerned
with the ultimate decision  on the proposal. A
fruitful scoping process  leads to  an adequate
environmental analysis, including all reasonable
alternatives   and   mitigation  measures.  This
limited goal  is  in  the interest  of all the
participants,  and  thus offers the possibility of
agreement by the parties on this much at least.
To run a successful meeting you must keep the
focus on this positive purpose.

At the point  of scoping therefore, hi one sense
all the parties  involved have  a common goal,
which is a thorough environmental review. If
you emphasize this hi the meeting you can stop
any grandstanding speeches without a  heavy
hand, by simply asking the speaker  if he or she
has any concrete suggestions  for the group on
issues to be covered in the EIS. By frequently
drawing the meeting back to this central purpose
of scoping, the opponents of a proposal will see
that you have not already made a decision, and
they will be forced to deal  with the real  issues.
In  addition,  when  people see that you are
genuinely seeking their opinion,  same  will
volunteer useful information about  a particular
subject or site that they  may  know better than
anyone on your staff.

As we stated  above,  we found that informal
meetings  in  small   groups  are  the  most
                                             1.5.2-9

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satisfactory for  eliciting  useful  issues  and
information. Small groups can be formed in two
ways: you can invite different interest groups to
different meetings, or you can break a  large
number into small groups for discussion.

One successful  model  is  used by  the  Army
Corps  of Engineers, among others. In  cases
where   a  public  meeting  is  desired,   it is
publicized and scheduled for a location that will
be convenient for as many potential participants
as possible. The information packet is  made
available in several ways, by sending it to those
known  to  be  interested,  giving a  telephone
number  in the public  notices  for use hi
requesting one, and providing more at the door
of the meeting  place as well.  As participants
enter the  door,  each  is  given  a number.
Participants are asked to register their name,
address and/or  telephone  number for  use in
future contact during scoping and the rest of the
NEPA process!

The first part of the meeting  is devoted to a
discussion of the proposal  in general, covering
its purpose, proposed location,  design, and any
other aspects that can be presented in a lecture
format.  A  question   and   answer  period
concerning this information is often held at this
time. Then if there are more than  15 or 20
attendees at the meeting,  the  next step  is to
break it into small groups for more intensive
discussion. At this point, the numbers held by
the participants are used to assign them to small
groups  by  sequence, random drawing, or any
other method. Each group should be no larger
than 12, and 8-10 is better. The groups  are
informed that their task is to prepare a list of
significant  environmental issues and reasonable
alternatives for analysis in the EIS.  These lists
will be presented to  the  main group and
combined into a master list, after the discussion
groups are finished. The rules for how priorities
are to be  assigned to the issues identified by
each group should be made clear  before the
large group breaks up.
Some agencies ask each group member to vote
for the 5 or  10  most important issues. After
tallying the votes of individual members, each
group  would only repoit out those issues that
received a certain number of votes. In this way
only  those items  of most  concern to  the
members would even make the list compiled by
each group. Some agencies go further, and only
let  each group report out the top few  issues
identified. But you must be careful not to ignore
issues that may be considered a medium priority
by many people.  They may still be important,
even if not in the top rank.  Thus instead of
simply voting, the members of the groups should
rank the listed  issues in  order of perceived
importance. Points may be assigned to each item
on the basis of the rankings by each member, so
that the group can compile a list of its issues in
priority order. Each group should then be asked
to  assign  cut-off numbers to  separate high,
medium and low priority items. Each  group
should then report out to the main meeting all of
its issues, but with priorities clearly assigned.
              "- '  •'     I-
One member of the lead agency or cooperating
agency staff should join each group to answer
questions and to listen  to the participants'
expressions  of  concern.   It  has  been  the
experience of many of those who have tried this
method that it is better not to have the agency
person lead the group discussions. There does
need to be a leader, who should be chosen by
the group members. In this way, the agency staff
member will  not be  perceived  as forcing his
opinions on the others.

If the  agency has a sufficient staff of  formally
trained "meeting facilitators," they may be able
to achieve the same result even where agency
staff people  lead the discussion groups.  But
absent such training, the staff should not lead the
discussion  groups. A good technique is to have
the  agency  person  serve as  the recording
secretary for the group,  writing down each
impact and alternative that is suggested for study
by the participants.  This enhances the neutral
status  of the  agency representative, and ensures
                                             1.5.2-10

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that he is perceived as listening and reacting to
the  views  of  the  group.  Frequently,   the
recording of issues  is done with a large pad
mounted on the wall like a blackboard, which
has been well  received by agency and public
alike,  because  all  can  see  that the views
expressed  actually   have  been  heard  and
understood.

When  the issues are listed, each  must be
clarified or combined with others to eliminate
duplication or fuzzy  concepts. The agency staff
person can actually lead in this effort because of
his need to reflect on paper exactly what the
issues  are. After  the group has listed all  the
environmental impacts and alternatives and any
other issues  that  the members  wish to have
considered, they are asked to discuss the relative
merits and importance of each listed item. The
group should be reminded that one of its tasks is
to eliminate insignificant issues. Following this,
the members assign priorities or vote using one
of the methods described above.

The discussion groups are then to return to the
large meeting to report on the results  of their
ranking. At this point further discussion may be
useful  to seek a consensus on which issues are
really insignificant. But the moderator must not
appear to be ruthlessly eliminating issues that the
participants  ranked  of  high   or   medium
importance.  The  best  that can  usually be
achieved is to "deemphasize" some of them, by
placing them in the low Priority category.

6. What to do with the comments.

After you have comments from the cooperating
agencies and the  interested public,  you must
evaluate them and make judgments about which
issues are hi  fact significant and which ones are
not. The decision of what the EIS should contain
is ultimately  made by the lead agency.  But you
will now know what the interested participants
consider to be the principal areas for study and
analysis.  You  should  be  guided  by  these
concerns, or be prepared to briefly explain why
you do not agree. Every issue that is raised as a
priority  matter  during  scoping  should  be
addressed in some manner in the EIS, either by
in-depth analysis, or at least a short explanation
showing that the issue was examined, but not
considered significant for one or more reasons.

Some agencies have complained that the  time
savings claimed  for scoping  have not been
realized  because  after  public  groups  raise
numerous minor matters, they cannot focus the
EIS on the significant issues. It is true that it is
always easier to add issues than it is to subtract
them  during  scoping. And  you should realize
that   trying   to   eliminate   a   particular
environmental impact or alternative from study
may  arouse  the  suspicions of some people.
Cooperating  agencies  may  be  even  more
reluctant to eliminate issues in their areas of
special expertise than the public participants. But
the way to approach it is  to seek consensus on
which issues are less important. These issues
may then be deemphasized in the EIS by a  brief
discussion of why they were not examined  in
depth.

If no  consensus can be reached, it is still your
responsibility to select the significant issues. The
lead agency cannot abdicate its role and simply
defer  to the public. Thus a group of participants
at a  scoping meeting should  not be able to
"vote" an insignificant matter into a big issue. If
a certain issue is raised and in your professional
judgment  you believe it  is  not  significant,
explain clearly and briefly in the EIS why it is
not significant. There is no need to devote  time
and pages to it in the EIS if you can show that
it is not relevant or important to the proposed
action. But you should address in some manner
all matters that  were  raised  in the scoping
process, either by an extended analysis or a  brief
explanation showing that  you acknowledge the
concern.

Several  agencies have  made  a  practice  of
sending out  a  post-scoping document to make
public the decisions that have been made on
                                             1.5.2-11

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J	
what issues to coyer in the EIS. This is not a
requirement, but in certain controversial cases it
can be worthwhile. Especially when scoping has
been conducted by written comments, and there
has been no face-to-face contact, a postscoping
document  is   the  only  assurance  to  the
participants that they were heard and understood
until the draft EIS comes out. Agencies have
acknowledged  to  us  that "letters  instead of
meetings seem to get disregarded easier." Thus
a  reasonable  quid  pro  quo  for  relying on
comment  letters  would  be  to  send  out  a
post-scoping  document  as  feedback  to the
commentors.

The post-scoping document may be as brief as a
list  of  impacts and alternatives  selected for
analysis; it may consist of the "scope of work"
produced by the lead and cooperating agencies
for their own EIS work or for the contractor; or
it may be a special document that describes all
the issues and explains why they were selected.

7. Allocating  work  assignments  and  setting
schedules.

Following the public participation  in whatever
form, and the selection of issues to be covered,
the  lead  agency  must allocate  the  EIS
preparation work among the available resources.
If there are no cooperating agencies, the lead
agency allocates work among its own personnel
or contractors. If there are cooperating agencies
involved, they may be assigned specific research
or writing tasks. The NEPA regulations require
that they normally devote their own resources to
the issues in which they have special expertise or
jurisdiction by law. (Sections 1501.6(b)(3), (5),
and  1501.7(a)(4)).

In  all cases,   the lead  agency should  set a
schedule for completion of the work, designate
a project manager  and assign the reviewers, and
must set  a time  limit  for  the entire  NEPA
analysis if requested to do so  by an applicant.
(Section 1501.8).
8. A few ideas to try.

a. Route design workshop

As part of  a  scoping process,  a  successful
innovation  by  one  agency  involved  route
selection for a  railroad.  The agency  invited
representatives    of   the    interested   groups
(identified at a previous public meeting) to try
their hand at designing alternative routes for a
proposed rail segment.  Agency staff explained
design constraints and evaluation criteria such as
the  desire  to  minimize  damage  to  prune
agricultural  land  and  valuable wildlife habitat.
The participants were divided into small groups
for a few hours of intensive work.  After learning
of the real constraints on alternative  routes, the
participants  had  a better understanding  of the
agency's and applicant's viewpoints. Two of the
participants actually supported alternative routes
that affected their own land  because  the overall
impacts of these routes appeared less adverse.

The participants  were  asked to  rank  the  five
alternatives  they  had  devised and the top two
were included in the EIS. But the agency did not
permit the groups to apply the same evaluation
criteria to the routes proposed by the applicant
or the agency. Thus  public confidence  in the
process was not as high as it could have been,
and probably was reduced when the  applicant's
proposal was ultimately selected.

The Council recommends that when  a hands-on
design workshop is used, the assignment of the
group be expanded to include evaluation of the
reasonableness of all the suggested alternatives.

b. Hotline

Several agencies have successfully used a special
telephone number, essentially a hotline, to take
public comments before, after, or instead of a
public meeting.  It helps to designate a  named
staff member to receive these calls so that some
continuity  and personal relationships  can be
developed.
                                                           1.5.2-12

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c. Videotape of sites

A videotape of proposed sites is an excellent tool
for explaining site differences and  limitations
during the  lecture-format part of  a scoping
meeting.

d. Videotape meetings

One  agency  has videotaped  whole scoping
meetings. Staff found that the participants took
their  roles   more  seriously  and  the  taping
appeared not to precipitate grandstanding tactics.

e. Review committee

Success has been reported from one agency
which sets up review committees, representing
all  interested groups, to oversee the scoping
process.  The committees help  to design the
scoping process. In  cooperation with the  lead
agency, the committee  reviews  the materials
generated by  the  scoping  meeting.  Again,
however, the final decision on EIS content is the
responsibility of the lead agency.

f. Consultant as meeting moderator

In some hotly contested cases, several agencies
have used the EIS consultant to actually run the
scoping meeting. This  is permitted under the
NEPA regulations and can be useful to de-fuse
a tense atmosphere if the consultant is perceived
as  a  neutral third party. But the responsible
agency officials must attend the meetings. There
is no substitute for developing a relationship
between  the agency officials  and the affected
parties. Moreover, if the responsible officials are
not prominently present, the public may interpret
that to mean  mat  the  consultant  is actually
making the decisions about the EIS, and not the
lead agency.

g. Money saving tips

Remember  that money can be saved by using
conference    calls   instead   of   meetings,
tape-recording the meetings instead of hiring a
stenographer,  and finding out whether people
want a meeting before announcing it.

C. Pitfalls.

We list here some of the problems that have
been experienced  in  certain scoping cases, in
order  to  enable  others  to  avoid  the  same
difficulties.

1. Closed meetings.

In response to informal advice from CEQ that
holding separate meetings for agencies and the
public would be permitted under the regulations
and  could be  more  productive, one  agency
scheduled a scoping meeting for the cooperating
agencies some weeks in advance of the public
meeting. Apparently, the lead agency felt that
the views of the cooperating agencies would be
more candidly expressed if the  meeting were
closed.  In any event, several members  of the
public  learned of the meeting and asked to be
present. The lead agency acquiesced only after
newspaper reporters were able to make a story
out of the closed session. At the meeting, the
members of the public were informed that they
would not be allowed to speak, nor to record the
proceedings. The ill feeling  aroused by this
chain of events may not be repaired for  a long
time. Instead, we would suggest the following
possibilities:

a. Although separate meetings for agencies and
public groups may be more efficient, there is no
magic to them. By all means, if someone insists
on attending the agency meeting, let him. There
is nothing as secret going on there as he may
think there is  if  you refuse him admittance.
Better  yet,  have your meeting of cooperating
agencies after the public meeting. That may be
the most logical time anyway, since only then
can the scope of the  EIS be decided upon and
assignments made among the agencies. If it is
well done, the public meeting will satisfy most
                                            1.5.2-13

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peSple and show them that you are listening to
them.

b. Always permit recording. In fact, you should
suggest it for public meetings. All parties will
feel better if there is a record of the proceeding.
There is no rieecl for'a stenographer, and tape is
inexpensive. It may even be better then a typed
transcript, because staff and decisionmakers who
did not attend  the meeting can listen  to the
exchange  and  may learn a  lot about  public
perceptions of the proposal.
  	 '   '•    .    1 '"  i,'	1!  '  ,  -, I
c. When  people are admitted to a meeting, it
makes no  sense to refuse their requests to speak.
However, you  can  legitimately limit their state-
ments to the subject at hand—scoping. You do
not have to permit some participants to waste the
Others'  time if they refuse  to focus  on the
impacts and alternatives for inclusion in the EIS.
Having a tape of the proceedings could be useful
after the meeting if there is some question that
speakers were improperly silenced. But it takes
an experienced moderator to handle a situation
like this.
d. The scoping stage is the time for building
confidence and trust on all sides of a proposal,
because this is the only time when there is a
common enterprise. The attitudes formed at this
stage  can carry through  the  project review
process. Certainly it is difficult for things to get
better. So foster the good will as long as you
can by listening to  what is being said during
scoping. It is possible that out of that dialogue
may appear recommendations for changes and
mitigation measures that can turn a controversial
fight into an acceptable proposal.

2. Contacting interested groups.

Some  problems have arisen in scoping where
agencies failed to contact all the affected parties,
such   as   industries  or   state  and  local
governments.  In  one  case,  a  panel  was
assembled to  represent  various  interests  in
scoping an ElS on a wildlife-related program.
The agency had an  excellent format for the
meeting,  but  the  panel  did  not  represent
industries that would be affected by the program
or interested state and local governments. As a
result, the EIS  may fail to reflect the issues of
concern to these parties.

Another  agency reported to us that it failed to
contact parties directly because staff feared that
if they missed someone they would be accused
of favoritism. Thus they relied on the issuance
of press releases which were not effective. Many
people who  did not learn about the meetings in
time sought additional meeting  opportunities,
which cost extra money and delayed the process.

In our experience, the attempt to reach people is
worth the effort. Even if you miss someone, it
will be clear that you tried. You can enlist a few
representatives  of an  interest group to help you
identify and contact others. Trade associations,
chambers of commerce, local civic groups, and
local  and  national   conservation groups  can
spread the word to members.

3. Tiering.

Many  people are not familiar  widi the  way
environmental impact statements can be "tiered"
under the NEPA regulations, so that issues are
examined in detail at  the stage that decisions on
them  are being made. See  Section 1508.28 of
the regulations.  For example,  if a  proposed
program is under review, it is possible that site
specific actions are not yet proposed. In such a
case, these actions are not addressed in the EIS
on the program, but are reserved for a later tier
of analysis.  If tiering  is being used, this concept
must be  made clear at the outset of any scoping
meeting, so that participants do  not concentrate
on  issues that are not going to be addressed at
this time. If you can specify when these other
issues will  be addressed  it will be easier  to
convince people to focus on the matters at hand.
                                             1.5.2-14

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4. Scoping for unusual programs.

One interesting scoping case involved proposed
changes in the Endangered Species Program.
Among the  impacts to  be examined were the
effects of this conservation program on user
activities such as mining, hunting, and timber
harvest,  instead  of  the  other way  around.
Because of this reverse twist in the impacts to be
analyzed,  some  participants  had  difficulty
focusing on useful issues. Apparently,  if the
subject of the EIS  is unusual,  it will be even
harder than  normal for scoping participants to
grasp what is expected of them.

In the case of the Endangered Species Program
EIS,  the agency planned  an  intensive 3  day
scoping  session,  successfully  involved  the
participants,  and reached accord  on several
issues that would be important for the  future
implementation  of  the  program.  But  the
participants were unable to focus on impacts and
program alternatives for the EIS. We suggest
that if the intensive session had been broken up
into 2 or 3 meetings separated by days or weeks,
the participants might have been able to get used
to the new way of thinking required, and thereby
to participate more productively. Programmatic
proposals are often harder to  deal  with in a
scoping context than site specific projects. Thus
extra care should be taken in  explaining the
goals  of the  proposal  and  in  making  the
information  available well hi advance of any
meetings.

D. Lead and Cooperating Agencies.

Some problems with scoping revolve around the
relationship   between   lead  and  cooperating
agencies. Some agencies are still uncomfortable
with these roles. The  NEPA regulations, and
the 40 Questions and Answers about the  NEPA
Regulations, 46 Fed. Reg. 18026, (March 23,
1981) describe in detail the way  agencies are
now  asked  to cooperate on  environmental
analyses. (See Questions 9,14, and 30.) We will
focus  here  on  the  early  phase  of  that
cooperation.

It  is important for the lead agency to be  as
specific  as  possible  with  the  cooperating
agencies.  Tell them what you  want them  to
contribute   during  scoping:   environmental
impacts and alternatives. Some agencies still do
not understand the purpose of scoping.

Be sure to contact and involve representatives of
the cooperating agencies who are responsible for
NEPA-related functions.  The lead agency will
need to contact staff of the cooperating agencies
who can both  help to  identify issues and
alternatives  and commit  resources to a study,
agree to a  schedule for  EIS preparation,  or
approve a list of issues as sufficient. In some
agencies that will be at the district or state office
level (e.g., Corps of Engineers, Bureau of Land
Management, and Soil Conservation Service) for
all but exceptional cases. In other agencies you
must   go  to regional  offices  for  scoping
comments and commitments  (e.g., EPA, Fish
and Wildlife  Service,   Water   and  Power
Resources  Service). In still  others, the  field
offices do  not have NEPA responsibilities  or
expertise  and  you will  deal  directly  with
headquarters (e.g.,  Federal Energy Regulatory
Commission, Interstate Commerce Commission).
In all cases you are looking for the office that
can give you the answers you need. So  keep
trying until  you find the organizational level of
the cooperating agency that can give you useful
information and that has the authority to make
commitments.

As stated in 40 Questions and Answers about the
NEPA  Regulations, the  lead agency has the
ultimate responsibility for the content of the EIS,
but if it leaves out a significant issue or ignores
the advice  and expertise  of the cooperating
agency,  the EIS  may  be found later  to  be
inadequate.  (46  Fed.  Reg.  18030,  Question
14b.) At the same time, the cooperating agency
will be concerned that the EIS contain material
sufficient to satisfy its decisionmaking needs.
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Thus, both agencies have a stake in producing a
document  of. good  quality. The cooperating
agencies should  be  encouraged  not  only to
participate in scoping but also to review the
decisions made by the lead agency about what to
include in the EIS. Lead agencies  should allow
any information needed by a cooperating agency
to be included, and any issues of concern to the
cooperating agency should be  covered,  but it
usually will have to be at the expense of the
Cooperating agency.

Cooperating  agencies have at least  as great a
need   as   the general  public  for  advance
Information on a proposal before any scoping
tikes place. Agencies have reported to us that
information from the lead agency is often too
sketchy  or  conies   tod  late  for  informed
participation. Lead agencies must clearly explain
to all  cooperating agencies what the proposed
kction  is conceived to be at this time, and what
present alternatives and issues  the lead agency
sees, before expecting other agencies to devote
time and money to a scoping session. Informal
contacts among the agencies before scoping gets
underway  are valuable to establish what the
cooperating agencies will  need for  productive
scoping to take place.

Some  agencies  will  be  called  upon  to  be
cooperators more frequently than others, and
they may lack the resources to respond to the
numerous  requests.  The  NEPA regulations
permit agencies without jurisdiction by law (i.e.,
no approval  authority over the  proposal) to
decline the cooperating agency role.  (Section
1501.6(c)).  But   agencies  that  do   have
jurisdiction by law cannot opt  out entirely and
may have to reduce their cooperating effort
devoted to each EIS. (See Section 1501.6(c) and
40 Questions and Answers about  the  NEPA
Regulations, 46  Fed.  Reg. 18030, Question
14a.) Thus, cooperators would  be greatly aided
by a priority list from the  lead agency showing
which  proposals most need their help. This will
lead to a more efficient allocation  of resources.
Some cooperating agencies are still holding back
at the scoping stage in order to retain a critical
position for later in the process. They either
avoid the scoping sessions or fail to contribute,
and then raise objections in comments on the
draft EIS. We cannot emphasize enough that the
whole point of scoping is to avoid this situation.
As we stated in 40 Questions and Answers about
the NEPA Regulations, "if the new alternative
[or  other  issue]  was  not  raised  by  the
commentator  during scoping, but could have
been,  commentors  may  find  that they  are
unpersuasive   In  their  efforts to  have their
suggested alternative analyzed in detail by the
[lead] agency." (46 Fed. Req. 18035, Question
29b.)

     III.  Advice for Public Participants

Scoping is a  new opportunity for you to enter
the earliest phase of the decisionmaking process
on  proposals  that affect you.   Through this
process you   have  access to  public  officials
before decisions are made  and the  right to
explain your  objections and concerns.  But this
opportunity carries with it a new responsibility.
No longer  may individuals hang back  until the
process is almost complete and then spring forth
with a significant issue or alternative that might
have been  raised earlier. You are now part of
the review process, and your role is to inform
the responsible agencies of the potential impacts
that should be studied, the problems a  proposal
may cause that you foresee,  and the alternatives
and mitigating measures that offer promise.

As noted  above, and in  40 Questions and
Answers, no  longer will a comment raised for
the first time  after the draft EIS is finished be
accorded the same serious consideration it would
otherwise have merited  if the issue had been
raised during  scoping.  Thus  you  have  a
responsibility to come forward early with known
issues.

In  return, you get the chance to  meet the
responsible officials and to make the case for
                                            1.5.2-16

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your alternative before they are committed to a
course of action.  To a surprising degree this
avenue  has been  found  to yield satisfactory
results.  There's no  guarantee, of course, but
when the alternative you suggest is really better,
it is often hard for a decisionmaker to resist.

There are several problems that commonly arise
that public participants should be aware of:

A. Public input is often only negative

The optimal timing of scoping within the NEPA
process is difficult to judge. On the one hand, as
explained above  (Section II.B.l.),   if  it  is
attempted too early, the agency cannot explain
what it  has in mind  and informed participation
will be impossible. On the other, if it is delayed,
the public may find that significant decisions are
already  made, and  their comments  may  be
discounted or  will be too late to change the
project. Some agencies have found themselves in
a tactical cross-fire when public criticism arises
before  they  can  even define their  proposal
sufficiently  to see whether  they  have  a
worthwhile plan. Understandably, they would be
reluctant after such an experience to invite public
criticism early  in the planning process through
open  scoping. But  it is  in your interest to
encourage agencies to come out with proposals
in the early stage because that  enhances the
possibility of your comments being used.  Thus
public participants in scoping should reduce the
emotion level  wherever possible  and use the
opportunity  to   make   thoughtful,  rational
presentations   on   impacts  and   alternatives.
Polarizing over issues too  early hurts all parties.
If agencies  get  positive  and useful public
responses from the  scoping process, they will
more frequently come forward with proposals
early enough so  that they can be materially
improved by your suggestions.

B. Issues are too  broad

The issues  that  participants  tend to identify
during scoping are much too broad to be useful
for analytical purposes. For example, "cultural
impacts" - what does this mean? What precisely
are the impacts that should be examined? When
the EIS preparers encounter a comment as vague
as  this  they  will  have  to  make  their own
judgment about what you meant, and you may
find that your issues are not covered. Thus, you
should  refine  the  broad  general topics, and
specify   which  issues  need  evaluation  and
analysis.

C.  Impacts are not identified

Similarly,   people   (including  agency   staff)
frequently identify "causes" as issues but fail to
identify  the principal  "effects"  that the EIS
should evaluate in depth. For example, oil and
gas development is a  cause  of many impacts.
Simply  listing this generic category is of little
help.  You must go beyond the obvious causes to
the specific effects that are of concern. If you
want  scoping  to be seen as  more than just
another public meeting, you will need to put in
extra work.
      IV.  Brief Points For Applicants.

Scoping can be an invaluable part of your early
project planning. Your main interest is in getting
a  proposal through the review  process. This
interest is  best  advanced by finding out early
where the problems with the proposal are, who
the   affected  parties   are,   and  where
accommodations can be made.  Scoping  is an
ideal meeting place for all the interest groups if
you have not already contacted them. In several
cases, we found that the compromises made at
this stage allowed a project to move efficiently
through  the   permitting  process   virtually
unopposed.

The  NEPA  regulations place  an affirmative
obligation  on agencies to  "provide  for  cases
where actions are planned by private applicants"
so that designated staff are available to consult
with the applicants,  to  advise applicants  of
                                            1.5.2-17

-------
information that will be required during review,
and to insure that the NEPA process commences
at the earliest possible time. (Section 1501.2(d)).
This section of the regulations is intended to
ensure that environmental factors are considered
at an early  stage  in the applicant's  planning
process. (See 40 Questions and Answers about
tne NEPA Regulations, 46 Fed.  Reg. 18028,
Questions 8 and 9.)

Applicants  should  take  advantage  of  this
requirement  in the regulations by approaching
the agencies early to  consult on alternatives,
mitigation requirements,  and the  agency's
information needs. This early contact with the
agency  can facilitate a prompt initiation of the
scoping process in cases where an EIS will be
prepared. You will need to furnish sufficient
mformatipn about your proposal to enable the
lead agency to formulate a coherent presentation
for cooperating agencies and  the public. But
don't wait until your choices are all made and
the alternatives have been eliminated. (Section
1506.1).

During  scoping, be sure to attend  any  of the
public meetings unless the agency  is dividing
groups by interest affiliation. You will be able to
answer  any questions  about the proposal, and
even more important, you will be able to  hear
the objections raised, and find out what the real
concerns of the public  are. This is, of course,
vital information for future negotiations with the
affected parties.
                                             1.5:2-18


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12-91
ENVIRONMENTAL LAW REPORTER
NEWS  &  ANALYSIS
                                                                                                  21 ELK iu/ui
                                     ARTICLES
       Defining the  Scope  of Alternatives in an EIS After Citizens
                                        Against Burlington
                                    by Peter J. Kitsch and Conrad M. Rippy
                    Editors' Summary: NEPA requires federal agencies to prepare ElSsfor major
                    federal actions that significantly affect the quality of the human environment.
                    EISs must discuss all reasonable alternatives to the proposed action. The
                    discussion of alternatives is the heart often EIS. In Citizens Against Burlington,
                    Inc. v. Busey, the D.C. Circuit appears to have narrowed the scope of alter-
                    natives that a federal agency must consider when it issues a permit or other
                    federal approval ThisArrittt analyzes the case and proposes an interpretation
                    that would reconcile Citizens Against Burlington with CEQ regulations and,
                    NEPA case law on the seopeof alternatives.
   In the recent case of Citizens Against Burlington, Inc. v.
   Busey,' the D.C. Circuit interpreted the National Envi-
ronmental Policy Act  (NEPA)2  and its requirement that
federal agencies, when preparing an environmental impact
statement (EIS), must consider all reasonable "alternatives
to the proposed action."3 On its surface, the opinion by
Circuit Court Judge Clarence Thomas* appears to reject
both NEPA regulations and longstanding case law on the
proper scope of alternatives that an agency must consider
in an EIS. The opinion seems to sanction a narrower scope
of alternatives when a federal agency issues a  permit or
other federal approval than when a federal agency is the

Peter J. Kirsch is an attorney with Cutler  &. Stanfield in Washington,
D.C. His practice specializes in federal environmental and land use law
and complex public sector negotiations. Conrad M. Rippy is a third-year
law student at the University of Virginia where he is Notes Editor of the
Virginia Law Review.
  1. 938 F.2d 190. 21 ELR 21142 (D.C. Cir. 1991).
  2. 42 U.S.C. §|4321-4370a, ELR STAT.  NEPA 001-01Z
  3.  NEPA §102(2)(C)(iii), 42 U.S.C. §4332(2)(C)(iii), ELR STAT.
    NEPA 003.
  4. On October 12.1991, the Senate confirmed Clarence Thomas as an
    Associate Justice of the U.S. Supreme Court
      Judge Thomas has not taken  an overly friendly view of environ-
     mental concerns in the past. For example, in Cross-Sound Ferry
   . Services. Inc. v. Interstate Commerce Comm'n, 934 F.2d 327 (D.C.
     Cir. 1991). Judge Thomas concurred in a judgment denying a. NEPA
    claim. Moreover, he would have denied standing to the plaintiff,
     arguing, contrary to the majority,  that the national transportation
     policy set forth at 49  U.S.C. §10101 could not be interpreted to
     encompass environmental  factors. Judge Thomas contended that
     statutory language mandating efficient transportation "surely did
     not mean to ... promote ecological consciousness-raising" or any
     factors other than "the economics of transportation." Id. at 338.
     Judge Thomas thus seems unwilling to consider environmental pro-
     tection as an element of a cost-benefit equation.
      Although  he has not written any other significant environmental
                                                 1.5.3-1
                             principal proponent of a project. This Article explores the
                             court's reasoning and proposes an interpretation of the case
                             that reconciles the apparent conflict between Citizens
                             Against  Burlington and 20 years of case law defining the
                             proper scope of alternatives in an EIS.
                               NEPA requires that federal  agencies prepare an EIS
                             on "major Federal actions significantly affecting the qual-
                             ity of the human environment."5 The regulations of the
                             Council on Environmental Quality (CEQ), which form
                             the foundation for all  other federal regulations under

                                opinions. Judge Thomas' basic indifference towards environmental
                                claims appears in other environmental cases in which he has sided
                                with  the majority in denying claims based on federal environmental
                                laws. See. e.g.. National Wildlife Fed'n v. United States Envtl.
                                Protection Agency, 925 F.2d 470. 21 ELR 20565 (D.C. Cir. 1991)
                                (denying petition for review of a decision by EPA allowing states,
                                for limited time periods, not to comply with the Safe Drinking Water
                                Act); Tongass Conservation Soc'y v.  Cheney. 924 F.2d 1137. 2!
                                ELR 20558 (D.C. Cir. 1991) (upholding as adequate the considera-
                                tion of a range of alternatives in an EIS prepared by the Department
                                of Defense for siting of a submarine base); Macht v. Skinner. 916
                                F.2d 13, 21  ELR 20.004 (D.C. Cir.  1990) (holding that neither
                                federal funding for an EIS for a light rail vehicle project otherwise
                                entirely funded by the state of Maryland nor Army Corps of Engi-
                                 neers issuance of a wetlands permit for a "negligible" part of the
                                project constitutes major federal action for the purposes of NEPA
                                or §4(f) of the. Transportation Act); Hazardous Waste Treatment
                                 Council v. United States Envtl. Protection Agency, 910 F.2d 974,
                                20 ELR 21359 (D.C. Cir. 1990) (denying a petition for review of
                                a  Resource Conservation and  Recovery Act "no migration" haz-
                                 ardous waste disposal exemption). But see Linemaster Switch Corp.
                                 v. United States Envtl. Protection Agency, 938 F.2d 1299, 21,ELR
                                 21359 (D.C. Cir. 1991) (denying  plaintiffs* petition for review ol
                                 decision by EPA to add hazardous waste sites owned by plaintiff:
                                 to the national priorities list under the Comprehensive Environment!
                                 Response, Compensation, and Liability Act).
                               5. NEPA §102(2)(C). §4332(2)(C). ELR STAT. NEPA 003.

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           21 ELR 10702
                                                  ENVIRONMENTAL LAW REPORTER
                                                                                                             12-91
;t	
NEPA, * require that an EIS  contain, among other ele-
ments, a  statement of the purpose of and need for the
action,' and a discussion of alternatives to the proposed
action. * It is these two requirements that were at  issue
in Citizens Against Burlington.
  The requirement to analyze alternatives to a proposed
project is  the heart of NEPA. It is absolutely essential that
an EIS contain "detailed and careful" analysis of the relative
merits and demerits of the proposed action arid proposed
alternatives, a requirement which courts have characterized
as the "linchpin"  of an EIS.9
                  (U  "  H             .
     I	         .     i  '  ;,»
Citizens Against Burlington v. Busey
       iii  ,       ',
     ••1        "  .  .-;:   ••;:•    i... „ . ,•    •  *'   •  •      ;   ,
Background of Toledo Airport Expansion EIS
     >	' •      "..'i"	   .?'   ..        :"      :  :•  ,  „:  •
Citizens Against Burlington arose from the approval by
the Federal Aviation Administration (FAA) of plans  to
expand Toledo Express Airport near Toledo. Ohio. The
Toledo-Lucas  County Port Authority sought to expand
Toledo Express Airport to accommodate plans by  Burl-
ington Air Express to  move its  air cargo  operation  to
Toledo from Fort Wayne, Indiana. Toledo predicted that
Burlington's move would bring more than 1,000 jobs to
the city's depressed economy. As an incentive to attract
Burlington,  the  Port  Authority  proposed to enhance
Toledo Express Airport  by constructing new facilities
and lengthening a runway and taxi ways at the airport, all
of which required FAA approval. The Port Authority also
sought FAA funding for the expansion project.
  One of the first steps in seeking FAA approval or funding
is the preparation of the required NEPA documentation on
the proposal. As required by FAA regulations,10 the Toledo
Port Authority prepared an environmental assessment,"
which the FAA converted into an environmental impact
statement." The draft EIS generated considerable contro-
versy from both the public and the Environmental Protection
Agency." In its final EIS, under a subhead entitied "Need
for the Proposed Federal Action."  the FAA explained that;
  6. 40 C.F.R. §1207.1 (requiring all fedenl agencies to comply with
    CEQ regulations).
  7."fl §i50ll3.
  8. Ai §1502.14.
  9. l>Satural Resources Defense Council. Inc. v. CaUaway, 524 F.2d 79,
    92, 5 ELR 20640, 20647 (2d Cir. 1975) (quoting Monroe  County
    ConsMvanon Spc'y. Inc. v. Volpe. 472 R2d 693, 697-98, 3 ELR
    20006,20607 (2d Cir. 1972)).
  10. Scf, FED. AVIATION ADMIN.;  U.S DEP'T OF TRANSP.,  ORDER
    5jg.SjD.4A. Aixporr ENyiloNMENTAL HANDBOOK (1985) thereinaf-
    ter FAA ORDER S050.4A]; FED. AVIATION ADMIN., US. DEP'T
    OF TRANSP., ORDER 1050.ID, POLICIES AND PROCEDURES FOR
    CONSIDERING ENVIRONMENTAL IMPACTS (1986).
  11. FAA  ORDER 5050.4A. supra note 10, para. 43 et itq.
  12. Id. at para. 72 er seq.
  13. 4* 55 Fed. Reg. 8983 (fer. 9,  1990) (EPA comments finding that
    draft environmental impact statement was "inadequate to fully assess
    all environmental impacts and therefore does not meet the purpose
    and intent of NEPA" and that the project was "environmentally
    iSrisatisfactory"). EPA comments on the draft EIS resulted in 10
    much  imeragcncy controversy that EPA was able to pressure the
    FAA into signing a letter agreement over the manner in which
    impacts for future airport expansions would be analyzed. Letter
    from Barry Lambert Harris. Deputy Administrator, Federal Aviation
    Administration, to F. Henry Habicht III, Deputy Administrator, 1
    Environmental Protection Agency (June 15, 1990).
     The  purpose and need for this action lies in FAA's
     responsibility to review the airport design and runway
     configuration with respect to its safety, efficiency and
     utility within the national airspace system and its envi-
     ronmental impact on the surrounding area.
     The  key item in this regard is the need for extending
     Runway 7-25 to provide safe and adequate length	
     Another purpose and need for the proposed Federal
     action is that FAA has a statutory mandate to facilitate
     the establishment of air cargo hubs	"

   The FAA reviewed and dismissed several alternatives
 before concluding that it had to consider in depth the en-
 vironmental impacts of only two alternatives: the approval
 of the airport expansion plan as proposed by Burlington
 and the Port Authority, and the no-action alternative. The
 FAA explained that
     [w]ith respect to this proposal for establishment of MI air
     cargo hub at Toledo Express Airport, the role of the FAA
     in selecting alternatives  is limited....  The FAA has
     verified the need for the proposed project	The FAA
     has further reviewed the site selection process that Burl-
     ington began in 1987..."
   Following issuance of the EIS,  the FAA approved the
 proposed airport expansion in July 1990."

 Judge Thomas's Opinion on Review of the EIS

 The petidoners in Citizens Against Burlington sought re-
 view of the FAA's decision approving the Toledo expansio'/1
 plan  on  the grounds that the EIS impermissibly discussed
 only  the alternatives of approving the plan as proposed by
 the Port  Authority and the no-action alternative. Petitioners
 argued that the FAA should have considered other alterna-
 tives in detail,  including the alternative of expanding Burl-
 ington Air Express operations at its existing Fort Wayne,
 Indiana, facility." Petitioners also raised a number of issues
 relating  to the adequacy of the EIS discussion of noise
 impacts, to the scope of analysis required for compliance
 with  §4(f) of the  Department of Transportation Act" and
 §509(b)(5) of the Airport and Airway Improvement Act of
 1982,"  and relating to NEPA  conflict-of-interest rules,20
 which are beyond the scope of this Article.	
   14. FED. AVIATION ADMIN., U.S. DEP'T OF TRANSP.. FINAL ENVI-
      RONMENTAL IMPACT STATEMENT ON ESTABLISHMENT OF AIR
      CARGO HUB. TOLEDO EXPRESS  AIRPORT, TOLEDO, OHIO, at 1-3
      (May 11, 1990) [hereinafter TOLEDO EIS].
   15. Id. at 2-1.
  . 16. FED. AVIATION ADMIN., GREAT LAKES REGION, U.S. DEP'T OF
      TRANSP., RECORD OF DECISION FOR TOLEDO EXPRESS AIRPORT,
      TOLEDO OHIO (July 12, 1990).
   17. Brief for Petitioners, On Petition for review of a Decision of the
      Federal Aviation Administration at 1, Citizens  Against Burlington.
      Inc. v. Busey,  938 F.2d  190, 21 ELR 21142 (D.C. Cir. 1991)
       [hereinafter Pet. Br.].
   18. Section 4(f) of the Transportation Act of 1966 prohibits the FAA
       from approving any project that uses protected parks, recreation or
       wildlife areas, or historic structures unless there is no prudent an
       feasible alternative to using the land and the ProJect'"'Jo ,?V
       possible planning to mitigate for harm to protected lands. 49 U.i.
       §303(c).
   19. The Airport and Airway Improvement Act is similar in language to
       §4(f) of the Transportation Act but broader in scope in that it prohibits
53-2  FAA funding of a airport expansion project that  may nave a
       significant impact" on any environmental factor unless no feasible

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12-91
                                               NEWS &. ANALYSIS
                                                                                                     1\ ELR 10103
  For the present discussion, it is important to understand
the issues on review as articulated in petitioners' brief. The
principal issue was the scope of alternatives in the EIS:

    Whether the FAA has violated NEPA by relying on an
    environmental impact statement which (a) fails to ana-
    lyze the continuation of Burlington's operations in Ft.
    Wayne even though this is a feasible and reasonable
    alternative. ..21

  Petitioners argued at length that the FAA  should have
considered the alternative that  the Burlington Air Express
facility would remain at Ft. Wayne, Indiana,n and criticized
the agency's assertion that legally it was limited in its action
to accepting or rejecting Toledo's application.23
  The p.C. Circuit panel,  with Judge James  Buckley
dissenting,  upheld the scope  of alternatives in the EIS.
Writing for the majority, Judge Clarence Thomas under-
took a wide-ranging discussion of an agency's obligations
under NEPA to consider alternatives in an EIS.24  Noting
that the term  "alternatives"  as used  in  NEPA is not
self-defining,v Judge Thomas observed that "[i]f... the
consideration of alternatives is to inform both the public
and the agency  decisionmaker, the discussion must be
moored to 'some notion of feasibility.'" M Judge Thomas
explained that an  alternative is  reasonable—and must,
therefore, be analyzed in an EIS—"if it will bring about
the ends  of the federal  action."21 In other words, he
concluded,  "[t]he goals of an  action delimit the universe
of the action's reasonable alternatives."2'

Court's Definition of Goals of Federal Action

The court started by explaining its standard of review: "the
agency... bears the responsibility for defining at the outset
the objectives of an action," " and the court will ''uphold
an agency's definition of objectives so long as the objectives
that the agency chooses are reasonable." x Nevertheless,

    an agency may not define the objectives of its action in
    terms so unreasonably narrow that only one alternative
    .  . . would  accomplish the goals of the agency's  ac-
    tion. ... Nor may an agency frame its goals in terms so
    unreasonably broad that an infinite number of alterna-
    tives would accomplish those goals..."
    and prudent alternatives exist and "all reasonable steps have been
    taken  to minimize" environmental  impacts. 49 U.S.C. app.
    52208(bX5). This statute effectively requires the FAA to implement
    all mitigation measures articulated in an EIS.
 20. See  40 C.F.R. J1506.S(c) (regulations regarding conflict-of-interest
    by preparer of EISs).
 21. Pet. Br., supra note 17, at 1.
 22. Id. at 23-25.
 23. Id. at 26-27.
 24. See  supra note 4.
 25. 938 F.2d 190.194,21 ELR 21142.21144 (D.C. Cir. 1991) (quoting
    Vermont Yankee Nuclear Power Corp. v. Natural Resources Defense
    Council, Inc.. 435 U.S. 519, 8 ELR 20288 (1978)).
 26. Id. at 195. 21 ELR at 21145 (footnote and citation omitted).
 27. Id.
 28. Id. (emphasis added).
 29. Id. at 195-96. 21 ELR at 21145.
 30, Id. at 196. 21 ELR at 21145.
 31. Id. (citing City of New York v. United States Dep't of Transp., 715
                                                   1.5.3-3
                                                             Paraphrasing the EIS, the court explained how an agency
                                                           should determine its "goals" and "objectives" when the
                                                           agency is asked to approve an application by a nonfederal
                                                           party: an "agency should take into account the needs and
                                                           goals of the parties involved in the application." " The court
                                                           did not explain the relationship between an  applicant's
                                                           "needs and goals" and the corresponding federal "goals"
                                                           and "objectives," though the context suggests that the court
                                                           used the terms interchangeably.
                                                             The court next turned to an examination of how the FAA
                                                           set its "goals" for the Toledo airport expansion. Observing
                                                           that Congress has told the FAA to "nurture aspiring cargo
                                                           hubs," " Judge Thomas concluded that it was proper for
                                                           the  FAA to define its goal  with reference to  "the  Port
                                                           Authority's reasons for wanting a cargo hub in Toledo," -u
                                                           among which was the Port Authority's hope that a cargo
                                                           hub "will lead to a renaissance in the Toledo metropolitan
                                                           region." M Consequently, the court found that

                                                               the FAA defined the goal for its action as helping to
                                                               launch a new cargo hub in Toledo and thereby helping to
                                                               fuel the Toledo economy. The  agency then eliminated
                                                               from detailed discussion the alternatives that would not
                                                               accomplish this goal.M

                                                             The court held that the FAA acted properly in its decision
                                                           to evaluate the "environmental impacts of the only proposal
                                                           that might reasonably accomplish that goal—approving the
                                                           construction and operation of a  cargo hub at Toledo Ex-
                                                           press." r Although the court found that an essential "goal"
                                                           was the FAA's desire to help "fuel the Toledo economy."
                                                           the source of this finding is troubling. Neither the FAA nor
                                                           the parties in their briefs articulated economic growth as a
                                                           consideration. The only discussion of economic growth in
                                                           the EIS was as a beneficial impact of the proposed action.3*
                                                             Although the court discussed at length the FAA's "goals"
                                                           and its "objectives" (and apparently uses both terms inter-
                                                           changeably), neither term is used in the EIS. Nor did the
                                                           EIS anywhere explain that the goal of the project was either
                                                           a new cargo hub at Toledo Express Airport or  the rejuve-
                                                           nation of the Toledo economy. For example, the EIS refers
                                                           to the "purpose and need for this action," to the "need for
                                                           extending" a runway, to the  statutory  mandate as setting
                                                           "[ajnother purpose and need  for the proposed Federal ac-
                                                           tion," and to the proposed federal action as "fulfilling this
                                                           mandate."39 Notwithstanding his  view that it would be
                                                           improper for the court itself to define the agency's goals, ^
                                                           Judge Thomas did precisely that in order  to conclude that
                                                               F.2d 732,13 ELR 20823 (2d Cir. 1983), cert, denied. 465 U.S. 1055
                                                               (1984)).
                                                            32. 938 FOd at 196. 21 ELR at 21145: Toledo EIS, supra note 14, at
                                                               2-1 ("the Federal government's consideration of alternatives may
                                                               accord substantial weight to the preferences of the applicant and/or
                                                               sponsor").
                                                            33. 938F.2dat 197,21 ELR at 21146 (citing 49 U.S.C. app. §2201(aX7),
                                                               (11)).
                                                            34. Id.
                                                            35. Id. at 198, 21 ELR at 21146.
                                                            36. Id..
                                                            37. Id.
                                                            38. TOLEDO EIS, supra note  14, at 1-4, 2-17.
                                                            39. Id. at 1-3, 1-4.
                                                            40. 938 F.2d at 199, 21 ELR at 21147.

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21 ELR 10704
                                        ENVIRONMENTAL LAW REPORTER
12-31
 the FAA's goal in Toledo was to help fuel the Toledo
 econorn'y by launching a cargo hub at its airport. *'

 Adequacy o/Discussion of Alternatives

 Haying determined the agency's goals, the court proceeded
 to  explore whether the scope of alternatives in the EIS
 appropriately reflected those goals. It concluded  that the
 FAA acted properly by evaluating the impacts only of the
 proposal submitted by the Port Authority and by excluding
 any other potential alternative. Strictly relying on  the lan-
 guage found in NEPA, *2 the court explained that an agency
 need examine only alternatives to  the federal action, not
 alternatives to the entire proposed project.43 Because a
 federal permitting  agency like the FAA often  is limited
 simply to granting or denying a permit, and has no sub-
 stantive role in shaping the applicant's project. Judge Tho-
 mas concluded that an EIS need not examine alternatives
 to an applicant's proposal that lie outside the purview of
 the federal involvement.44
   Citing Van Abbema v. Fomell^ the petitioners argued
 that the scope of alternatives must be defined as "alternative
 means to accomplish the general goal of an action; it is not
 an evaluation of the alternative means by which a particular
 applicant can reach his goals,"45 The court explicitly re-
jected the Van Abbema reference to  "general goals," be-
 cause of the difficulty of determining "how to distinguish
 general goals from specific ones and just who does the
 distinguishing."47 Arguing that Van Abbema implies that
 the court should do this distinguishing. Judge Thomas dis-
 agreed that this is a proper role for either the court or the
permitting agency.
    An agency cannot redefine the goals of the proposal that
    arouses the call for action; it must evaluate alternative
    ways of achieving its goals, shaped by the application at
    issue and by the function that the agency plays in the
    decisional process. Congress did expect agencies to con-
    sider an applicant's wants when the agency formulates
    the goals of its own proposed action.4*

  Wjthput citing any authority for the proposition. Judge
Thomas concluded that the scope of alternatives in an EIS—
just like the definition  of the agency's goals—properly
 should depend on the "function that the agency plays in
 the decisional process."49 With respect to such airport ex-
pansions as proposed at Toledo, the FAA's function gen-
erally is to "nurture aspiring cargo hubs" but not to "de-
termine the siting of the nation's airports." * Consequently,
the court concluded that the FAA had no business examining
alternative airport locations for the Burlington Air Express
 41. See id. K 198, 21  ELR at 21146.
 42. NEPA §102(2X0, 42 U.S.C. §4332(2)(C). ELR STAT. NEPA 003
    (an agency must examine "alternatives to the proposed action").
 43. 938 F.2d at 199, 21 ELR at 21147.
 44. k           '	;
 45. 807 F.2d 633. 17 ELR-10429 (7th Cir. 1986).
 46. Id. at 638. 17 ELR at 20432 (emphasis in original); Pet. Br., supra
    note 17. at 21-22.
 47. 938 F.2d at 199, 21 ELR at 21147.
 48. Id. (emphasis in original).
 49. Id.                                              1-5.3
 50. Id. at 197, 21 ELR at 21146.
                                                                           • 'I ! ' .,      '  'I
                                                          cargo hub, once Burlington made clear its preference for
                                                          the Toledo location.

                                                          Judge Buckley's Dissent

                                                          Judge James Buckley dissented in part from the majority
                                                          opinion, on the grounds that the FAA impermissibly had
                                                          limited the alternatives in the EIS to the single alternative
                                                          in which Burlington Air Express  had expressed an inter-
                                                          est.  He saw a disparity between the majority view that
                                                          "would limit consideration of alternatives to those avail-
                                                          able" to the Toledo Port Authority,5l and the FAA's view
                                                          that it had to consider any reasonable alternative that was
                                                          available to either the  Port Authority or Burlington Air
                                                          Express, the real beneficiary of the project.sz The dissent
                                                          faulted the FAA and the majority for their unquestioning
                                                          acceptance of assertions by both the Toledo Port Author-
                                                          ity and Burlington Air  Express that Toledo Express Air-
                                                          port was the only airport suitable for the project.  Instead
                                                          of testing these assertions,  the FAA "simply accepted
                                                          Burlington's 'Toledo-or-bust' position," K notwithstand-
                                                          ing its obligation under NEPA to "exercise a degree of
                                                          skepticism in dealing with self-serving statements from
                                                          a prime beneficiary of the project." **
                                                           As Judge Buckley explained, the majority opinion leaves
                                                          the scope of an EIS in the hands of the beneficiary of a
                                                          federally permitted project. If the beneficiary claims that
                                                          one and only one project alternative is acceptable, then the
                                                          agency's  EIS need  only examine that proposal and th
                                                          no-action alternative.x

                                                          Implications of the  Citizens Against Burlington Case

                                                          The plain language of Citizens Against Burlington suggests
                                                          two potentially far-reaching consequences. First, the court
                                                          appears to have held that an agency may accept the "needs
                                                          and goals" of a nonfederal applicant as the defining criteria
                                                          for its own "goals" or "objectives." Second, since the court
                                                          says that the range of alternatives properly is defined by
                                                          the federal agency's "goals" or "objectives," the scope of
                                                          alternatives  in an EIS also should be defined by the appli-
                                                          cant's desires and the nature of the  agency's role in the
                                                          decisionmaking process.
                                                           If these two propositions were accepted as the holdings
                                                          of Citizens Against Burlington,  they would portend a
                                                          situation in which any applicant for a federal permit could
                                                          limit NEPA analysis to consideration of only the project
                                                          and no-project alternatives, merely by informing the per-
                                                          mitting agency that it would not  consider modifications
                                                          to its project. Either proposition effectively eviscerates
                                                          51. Id. at 207, 21 ELR at 21151.
                                                          52. Id. at 208, 21 ELR at 21152 ("Burlington makes the demands that
                                                             define the project; Toledo enjoys the benefits that result").
                                                          53. Id.
                                                          54. Id. at 209,21 ELR at 21153. See Van Abbema v. Fomell, 807 F." '
                                                             633,642, 17 ELR 20429, 20434 (7th Cir. 1986) (criticizing agei f
                                                             for its "blind reliance"  on information submitted by an applicant
                                                             Trinity Episcopal School Corp. v. Romney. 523 F.2d 88,94,5 ELI
                                                             20497, 20500 (2d Cir. 1975) (agency must determine for itself the
                                                        -4   availability of alternatives).
                                                          55. 938 F.2d at 209. 21 ELR at 21153.

-------
 12-91
                                                    NEWS &.
the  alternatives  requirement in any EIS for a federally
permitted action.5i
   Acceptance of either proposition means throwing to the
wind almost 20 years of NEPA case law and CEQ guidance
in three  fundamental  respects.  First, NEPA requires an
agency to examine all  "reasonable" alternatives, without
reference to the agency's jurisdiction to implement the al-
ternative. " Second, both CEQ and the case law consistently
have held that the scope of alternatives in  an EIS  must
reflect only technical, economic, and common sense prac-
ticability.5I  Third, both the  regulations and  case law are
highly critical  of any EIS that relies on information and
analysis provided  by an applicant  and that has not been
evaluated independently by the federal  agency. *

 56.  Because the evaluation of alternatives is the "bean" of any envi-
     ronmental impact statement, 40 C.F.R. §1502.14, and is the "linch-
     pin" of its authority, Monroe County Conservation Council, Inc. v.
     Volpe, 472 F.2d 693.697-98, 3 ELR 20006.20007 (2d Cir. 1972).
     it is unclear how NEPA is to  continue to fulfill its mission  as
     described by Congress: to "assure for all Americans safe, healthful,
     productive, and aesthetically and culturally pleasing surroundings."
     NEPA §101(b)(2), 42 U.S.C.  §4331(b)(2). ELR STAT. 003.
 57.  40 C.F.R. § 1502.14
-------
21 ELR 10706
                                          ENVIRONMENTAL LAW REPORTER
  action for NEPA purposes; alternatives to the entire project
  must be examined.u
    Fourth, while the strict language of NEPA does not offer
  a benchmark for  determining  "reasonable alternatives,"
  CEQ regulations and guidance set forth such standards.
  Reasonable alternatives are those that are "practical  or
  feasible from the  technical and economic standpoint and
  using common sense." ** Because an agency's responsibili-
  ties are bounded by some notion of feasibility, an agency
  need not cljscuss "purely conjectural possibilities.""
    These four definitions set the foundation for a theory on
  how the elements  of an EIS are interconnected. The CEQ
  requires that the framework for the scope of alternatives be
  tl^e purpose and need for the proposed action. An EIS must
  contain a statement of the purpose and need:

      The statement shall briefly specify the underlying
      purpose and need to which the agency is responding
      in proposing the alternatives including the proposed
 '  ,* action,,**	

    Just as practicality and feasibility determine whether an
  alternative is reasonable, both  CEQ regulations and case
  law recognize that the statement of need defines the scope
  of alternajlyes in an EIS. *7 In other words, the broader the
;, s|itemenfof "need,	the	greater the range of alternatives.
  Beyond tnis, neither the  statute nor the CEQ regulations
  provides much assistance.
    A careful distinction between "purpose" and "need" wUl
  avoid much of the confusing terminology which cases like
  Citizens Against Burlington have fostered. ** A need is the
  lack of something requisite, desirable, or useful or a con-
  dition requiring relief.M Purpose is defined as an object or
  ejid to be achieved.70 Consequently, the two terms should
  |je interpreted as complementary. The EIS discussion  of
  purpose and need  should demonstrate that the purpose  of
  jf proposed federal action is to attain or achieve at least part
  of the underlying need for the proposed action.
    The statements  of purpose and need for the proposed
  action each play a different role. The statement of need
  should be an objective description of the reason that the
      See National Forest Preservation Group v. Butz, 485 F.2d 408, 3
      ELR 20783 (9th Cir. 1973) (a private project that is enabled by a
      federal action becomes the proposed action for NEPA purposes);
      Friends of the Earth. Inc. v. Coleman, 518 F.2d 323.5 ELR 20428
      (9th Cir. 1975) (nonfederal project elements that are "closely inter-
      woven" with the federal action must be considered as pan of the
      proposed action).   	      	
      See 48 CF.R. § 1502,14; FORTY QUESTIONS, supra note 57. at Q. 2a.
      CEQ MEMORANDUM ON GUIDANCE, supra note 61,48 Fed. Reg.
      at 34267. ELR ADMIN. MATERIALS at 35048.
      40 OFJ^i 1502.13.'^'
      Id, §1502.14;"seeRoosevelt Campobello Int'l Park Comm'n v. U.S.
      EPA, 684 F.2d 1041, 1047, 12 ELR 20903, 20905 (1st Cir. 1982).
      See also City of New York v. Dept. of Transportation,  715 F.2d
      732. 743, 13 ELR 20823. 20827 (2d Cir. 1983) ("[t]he scope of
      alternatives to be considered is a function of how narrowly or broadly
      one views the objective of an agency's proposed action"); Trout
      Unlimited v. Morton. 509 F.2d 1276. 1286. 5 ELR 20151, 20155
      (9th Cir. 1974) (alternatives must be "reasonably related" to state-
      mentof purpose).
      Fora general discussion of the distinction between "purpose" and
      "need" in the NEPA context, see Schmitt. The Statement of Un-
      derlying Need Defines the Range of Alternatives in Environmental
      Documents. 18 ENVTL. L. 371 (1988).
63.
64.
65.

66.
67.
68.
69.
70.
      WEBSTER'S NINTH NEW COLLEGIATE DICTIONA*Y.
      Id.
1.5.3-6
project (not  necessarily the federal action)  is being pur-
sued. 71 An EIS must include alternative methods of satis-
fying the need, including any reasonable alternative means
that lie outside the jurisdiction of the federal agency. An
adequate discussion of alternatives will respond fully to the
statement of need.n
  The statement of purpose follows from the statement of
need. It should be seen as the tool for understanding why
the federal agency has  selected the preferred alternative
from among  the alternative ways of meeting the need. Un-
like the objective statement of need, the statement of purpose
can be subjective, should refer to an agency's mission, and
should reflect the limits on an agency's statutory authority.
The statement of purpose further should explain how the
proposed federal action satisfies the need and should justify
the decision  to choose the preferred alternative. Since an
EIS must be prepared only for a major federal action, the
statement of purpose should explain the nature of the federal
action and the relationship between  the project and the
federal action.
  This theory of the meaning of purpose and need suggests
that need must be defined first, framing and delimiting the
discussion of alternatives in an EIS. When need and purpose
are fused into a single statement—as  in the past they fre-
quently have been—it becomes possible for an agency to
define the need for a project as the agency's purpose.
  An example proves the point Suppose an area lacks ade-
quate electricity capacity, and an applicant wishes to build a
nuclear reactor to provide this capacity, for which a federal
license is required. One of the benefits of the project might be
the jobs and economic growth it would generate for the region.
A proper statement of need for the federal action would relate
to the provision of electricity capacity; the EIS on the project
must examine alternative ways of increasing regional electric-
ity capacity. A proper statement of purpose would relate to the
licensing of a nuclear power plant The federal action is the
granting of a license or permit necessary to construct the
additional electricity capacity. Were the regulatory agency
improperly to equate purpose and need in a single statement, it
might define  the "purpose and need" as providing electricity
capacity and encouraging development of the nuclear industry
while also stimulating economic growth in the region.  The
scope of alternatives is fundamentally different when the state-
ment of need is fused into a single statement of purpose and
need. The latter, limited, definition of need allows no alterna-
tives other than that proposed by the applicant, effectively
short-circuiting the alternatives requirement of NEPA.
  Judge Thomas sees a strikingly similar "goal" (combin-
ing  need and purpose)  behind the expansion of Toledo
Express Airport."  The  FAA could have  devised several
different statements of  need for the  Toledo project  that
could have required its EIS to examine not only alternative
 71.  Coalition  for Canyon Preservation v.  Bowers, 632 F.2d 774, 11
     ELR 20053 (9th Cir. 1980). See also Concerned About Trident v.
     Rumsford, 555 F.2d 817..831 n.2, 6 ELR 20787. 20795 n.2 (D.C.
     Cir. 1977) (an agency should produce an EIS that observes "objec-
     tive reasonableness" when evaluating the "concept" behind the
     action).
 72.  40 C.F.R. §1502.14; see also Natural Resources Defense  Counc.
     v. Morton, 458 F.2d 827,836,2 ELR 20029,20032 (D.C. Cir. 1972)
     (alternatives analysis must include reasonable actions to satisfy the
     need even if they  lie beyond agency's jurisdiction).
 73.  938 F.2d  190, 196, 21 ELR 21142. 21146 (D.C. Cir. 1991).

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 12-91
                                                 NEWS & ANALYSIS
                                                                                                       21 ELR 10707
 locations for a Burlington air cargo hub, but also alternatives
 to air cargo services altogether. At the other extreme, the
 FAA could have defined the need for the project so narrowly
 that the only practical and feasible alternative was the con-
 struction of a  cargo hub  at Toledo Express precisely as
 proposed by Burlington. Judge Thomas believes that the
 FAA properly  adopted this latter approach.

Judicial Review of the Statements of Purpose and Need

The principal utility of this paradigm separating the state-
ments of purpose and need is to define a clearer standard
of judicial review. In the past, in those few cases in which
the definition of purpose or need has been at issue, courts
have  not articulated a clear standard of review.74 It can be
argued, however, that the standard of judicial review should
not be the same for the two statements.
  Because the underlying need for a federal action is
supposed to be examined objectively,75  without regard
to me agency's  policy aims  or statutory  mission, the
adequacy of its definition is easily  susceptible to judicial
review under the well-established "rule of reason" stand-
ard by scrutinizing the scope of alternatives.76 Precisely
the opposite standard  should apply to the  statement of
purpose. Since this statement should reflect an agency's
policy decision on how, when, and to what degree it will
satisfy the need, the adequacy of a statement of purpose
is largely a discretionary, administrative determination,
and should be subject to judicial  review under a much
more deferential standard.77  A statement of purpose
should be reviewed only to determine whether it violates
an agency's statutory authority or  mission.
  This distinction between the statements of purpose and
need  should alleviate the difficulties of judicial review ex-
emplified by Citizens Against Burlington. As Judge Tho-
mas's discussion implies, courts are loath to second guess
an agency's decision when a court  cannot distinguish be-
tween an agency's policy preferences and the objective facts
underlying that decision. Joint  statements of purpose and
need, therefore, are likely to be upheld not because a court
finds  that they meet the requirements of NEPA, but because
 74. See. e.g., Roosevelt Campobcllo Int'l Park Coram'n v. U.S. EPA,
    684 F.2d 1041,1046,12 ELR 20903,20905 (1st Cir. 1982) ("need"
    for a project not required to be updated "in order to accommodate
    the most recent data and federal policy shifts"); Izaak Walton League
    of America v. Marsh, 655 F.2d 346. 372, 11 ELR 20707, 20721
    (D.C. Or. 1981). een. denied, 454 U.S. 1092 (1981) (congressional
    passage of a statute specifically authorizing a project narrows the
    breadth of the investigation of alternatives (defined by the need and
    purpose of the project)).
 75. See supra note 71.
 76. See Natural  Resources Defense Council, 458  F.2d at 835, 2 ELR
    at 20031 (articulating the  "rule  of reason" standard for judicial
    review). See also Roosevelt Campobello, 684 F.2d at 1047,12 ELR
    at 20905 (court "measures federal agency compliance with NEPA's
    procedural requirements" by adhering  to a "rule of reason"); Cali-
    fornia v. Block,-.690 R2d 753,767,13  ELR 20092,20098 (9th Cir.
    1982) (alternatives discussed provide  the basis for the "rule of
    reason" under which the agency decisionmaking process is reviewed
    by the courts); Izaak Walton League, 655 F.2d at 371-72, 11 ELR
    at 20721 ("rule of reason" complied with as "long as the agency's
    conclusions have a substantial basis in fact"); Concerned About
    Trident v. Rumsford, 555 F^d 817,827,6 ELR 20787,20792 (D.C.
    Cir. 1977) ("[i]n determining [NEPA compliance], we are governed
    by the rule of reason" (citations omitted)).
 77. See 938 F.2d at  196. 21 ELR at 21145.
 of reluctance to impose judicially established policy pref-
 erences on federal agencies.
   Although courts frequently have confused or combined
 the concepts of purpose and need, at least one court has
 successfully drawn the distinction. In Druid Hills Civic
 Association v. Federal Highway Administration,7S the Elev-
 enth Circuit confronted the plaintiffs' claim that the Federal
 Highway Administration, when considering alternatives to
 the purpose for its proposed parkway construction, "did
 not provide a full and fair discussion of the traffic and safety
 justifications for the road because information was omitted
 that did not support the perceived need for the project." w
 The court drew a clear separation between the need for the
 project ("{t]he proposed Parkway is premised on the need
 for transportation improvements  in  the east-west corri-
 dor") *° and the purpose for the granting of construction
 permits ("providing an alternative east-west route," thus
 decreasing traffic  volumes on the existing  road, and "im-
 provfing] safety conditions  in the corridor" by reducing
 traffic overflow onto local streets). *' The court went on to
 examine the discussion of alternatives to the need, and held
 that although the EIS did not "contain what some may feel
 is a detailed and careful analysis" of all potential alterna-
 tives, the analysis was adequate.K
   Druid Hills  stands as an  unusual example of a clearly
 differentiated need and purpose for a project. The general,
 objective need for improved traffic flow on the east-west
 corridor was addressed not only by the preferred alternative
 and the purpose of the federal action, but also by a consid-
 eration in the EIS  of subway, light rail, and other potential
 solutions.13 The court found no fault with the subjective
 determination of the purpose for the action and held  that
 the discussion  of alternatives reasonably fit the need. **

 Necessity for Alternatives to  Reflect Need

 This lengthy discussion of the statements of purpose  and
 need is critical to understanding Citizens Against Burlington
 and earlier cases that have examined whether the discussion
 of alternatives in an EIS is adequate. As has been seen, the
 foundation for  an adequate discussion of alternatives is the
 statement of need. If a litigant does not challenge the pro-
 priety of an agency's statement of need, then the reviewing
 court is limited to examining whether the scope of alterna-
 tives closely matches the statement of need. In the principal
 cases in which courts have upheld the discussion of alter-
 natives, the statement of need generally parallels closely
 the range of alternatives." Where courts have found the
  78. 772 F.2d 700, 15 ELR 21082 (llth Cir. 1985).
  79. Id. at 710, 15 ELR at 21086.
  80. Id. at 709. 15 ELR at 21086.
  81. Id. at 710. 15 ELR at 21086.
  82. Id. at 713. 15 ELR at 21088.
  83. Id.
  84. Id.
  85. See. e.g.. Roosevelt Campobello Infl Park Comm'n v. U.S. EPA,
     684 F.2d 1041. 1047, 12 ELR 20903, 20905 (1st Cir. 1982) (ap-
     proving a limitation of the range of alternatives based on the need
     for a deepwater port); Izaak Walton League of America v. Marsh,
     655 F.2d 346, 372, 11 ELR 20707, 20721 (D.C. Cir. 1981) (where
     need has been statutorily narrowly defined, the discussion of alter-
     natives is similarly "relatively narrow"); North Slope Borough v.
7    Andrus. 642  F.2d 589.601. 10 ELR 20832.20838 (D.C. Cir. 1980)
     (agencies have discretion to treat the discussion of alternatives

-------
 21 ELR 10708
ENVIRONMENTAL LAW REPORTER
                                                      12-91
            of alternatives to be objectionable, it generally
   because the EIS has omitted reasonable alternatives that
 would"" meet ffie "heed. **
   For example, in Natural Resources Defense Council, Inc. v.
 Morton,1" the D.C. Circuit examined the adequacy of an EIS
 on oil and gas leases issued under the Outer Continental Shelf
 letsing program. The court held that the Department of Interior
 improperly limited its discussion of alternatives to those that
 lay within its jurisdiction. The need for the project was set forth
 in * message to Congress by President Nixon in which the
 President proposed a coordinated plan to deal with research
 and development toward the goal of clean energy." The EIS,
 however, improperly omitted reasonable alternatives that did
 not fulfill the entire need, the agency did not have authorityto
 implement, or would have required legislative implementa-
 tion. ** The court explained mat the scope of alternatives must
 match the need for the action:

     When the proposed action is an integral part of » coordi-
     nated plan to deal with a broad problem, the range of
     alternatives that must be evaluated must be broadened.
 ;   ' While the Department	of Interior does not have the
     authority [to implement all alternatives] such action is
     within the purview of both Congress and the President,
     to whom the impact statement goes.*3

   The opposite result prevailed where Congress enacted
 legislation specifically directing the construction  of a pro-
 ject. In IzaakWalton League of America v. Marsh, an EIS
 was prepared on construction of new locks and  dams on
 the Mississippi River. Plaintiffs alleged that the Army Corps
 of Engineers should have examined rehabilitation of exist-
 ing facilities, alternative  modes of transportation, and im-
 proved congestion control as alternatives to the proposed
 new locks and dams." The D.C. Circuit held that the agency
 did not have to examine those alternatives because the need
 for the project was set by congressional  mandate to build
     specially with respect to  the goal of the project); Trout Unlimited
   ;;>...Morton.,509 K2d 1276, 1286, 5 ELR 20151, 20155 (9th Cir.
      1974) (finding consideration of alternatives adequate as long as all
     "those "rclioh'ibly related to the purposes of the project" are in-
,   '  "eluded).	         •     	    . ,  .  .
  S6. See.e.g., VanlAbbemav.Fomell, 807 Fid 633.638,17 ELR 20429,
     2O432 (7th Or. 1986) (discussion of alternatives must "be an evalu-
     ation of alternative means to accomplish the generic goal of an
     action ... not an evaluation of the alternative  means by which a
     particular applicant can reach his goal"; discussion did not respond
     to broad need and therefore inadequate); California v. Block, 690
     K2d 753. 767, 13 ELR 20092, 20098 (9th Or. 1982) (where the
     need to be addressed is "how to allocate a scarce resource—wil-
     oeroets—between the two competing and mutually exclusive de-
     mands of wilderness use and development." it is unreasonable to
     fail to examine any alternative that develops less than 37 percent
     of the wilderness); Sierra Club v. Marsh, 714 F. Supp. 539, 577,
     20 ELR 20216,20235 (D. Me. 1989) (striking down EIS as inade-
      quate ***•*"«<• discussion of alternatives focussed too narrowly on
              it's desires rather than the broader need for an expanded
     deep-water port capacity); California ex rcl. Van de Kamp v. Marsh,
     687 F. SUPPV495.495-99,19 ELR 20165,20166 (ND. Cal. 1988)
     (obvious alternative of resolving need for an expanded airport by
     locating pan of the project at another airport not ditcusted; hence
     discussion i^
              1.5
  87. 458 F.2d 827,2 ELR 20029 (D.C. Cir. 1972).
  88. Id. at 835.2 ELR at 20030.
  89. Id. at 837,2 ELR at 20033-34.
  90. Id. at 835.2 ELR at 20033.
  91. 655 F.2d 346, 372. 11 ELR 20707, 20721 (D.C. Cir. 1981).
  new  locks and dams; the agency properly examined all
  reasonable alternative means of satisfying that mandate.n
     One of the clearest examples of the  necessity for the
  range of alternatives to respond to the statement of need
  appears in Sierra Club v. Marsh." In that case, the district
  court found that the Army Corps of Engineers had omitted
  reasonable alternatives in its EIS  for  a  federal permit to
  construct a marine cargo terminal on the coast of Sears
  Island, Maine. The federal agency  argued that any alterna-
  tive that would not satisfy the applicant's stated goals or
  needs is  inherently not reasonable. The court disagreed.
  Quoting CEQ guidance, the court held that, while the agency
  properly should not disregard the applicant's desires, those
  desires alone are not enough to define the need for a pro-
  ject. ** The court examined the record in detail to discern
  both the  applicant's  "primary project objective" and the
  federal agency's "general goals" for the project.95 The
  court next reviewed each potential  alternative proffered by
  the plaintiff to determine whether it would satisfy the need
  for the project. It then held that several omitted off-site
  alternatives were not reasonable in the circumstances but
  that omitted on-site alternatives should have  been exam-
  ined.96 The court  explained the relationship among the
  statement of need, the applicant's desires, and the scope of
  alternatives:

      The central project goals identifiable in the present FEIS
      contemplate an efficient marine dry cargo ... terminal
      intheSearsportarea... .Although [the applicant] amply
      demonstrates that it "desires" a terminal facility capable
      of expansion to six berths, unless  its preferences bear a
      rational relationship to the technical and economic integ-
      rity of the project, they would not warrant exclusion of
      some otherwise "reasonable alternative" from analysis
      under NEPA. A project's principal goals must override
      the stated preferences of the applicant for purposes of
      NEPA's "reasonable alternatives" analysis.

     Surprisingly, there are few cases in which the adequacy
  of the agency's statement of purpose has been at  issue.
  There are several possible explanations for the absence of
  such case law. First,  agencies frequently prepare a single
  statement of "purpose and need," thereby making it difficult
  if not impossible to distinguish between the purpose and
  need.9* Some agencies—including the FAA in the case of
  the Toledo airport EIS—prepare a single statement that
  intersperses the terms "purpose" and "need" with intended
  synonyms such as "goal," "objective," "mission," or simi-
  lar words that blur the distinction. This fusing of purpose
  and need makes it nearly impossible for potential challeng-
  ers (and  the  reviewing court) to  determine whether the
  agency has examined a reasonable range of alternatives to
  meet the  need."
   92. Id. at 372-74, 11 ELR at 20721-22.
   93. 714 F. Supp. 539, 20 ELR 20216 (D. Me. 1989).
   94. Id. at 573-74, 20 ELR at 20233 (citations omitted).
   95. Id. at 575-76. 20 ELR at 20234-35.
   96. Id. at 577-82,20 ELR at 20235-37.        "  ~
   97. Id. at 577, 20 ELR at 20235 (citations omitted).
   98. This difficulty is exemplified by the Van Abbema opinion. There,
       the court attempted to distinguish between the "general" and the
       "specific" agency goals, a distinction which Judge Thomas in CM-
 "> o   tens Against Burlington correctly criticizes as unworkable. 938 F.2d
--~5   190, 199, 21 ELR 21142, 21147 (D.C. Cir. 1991).
   99. No alternative may be rejected on the grounds that it does not fully
      LJ!i"l"L nil"! iin.1'	j hi iii	iiiiiiii,iiiiiiiiiiii::"ii;8iiiir

-------
 12-91
                                                NEWS & ANALYSIS
                                                                                                     21 ELR 10709
   A good illustration of this problem is the First Circuit's
opinion in Roosevelt Campobello International Park Com-
mission v. Environmental Protection Agency. l°° The plain-
tiffs specifically challenged the adequacy of the agency's
statement of need for a deepwater port at Eastport, Maine,
as "totally outdated and of no present use."l0' The court
used such phrases as "justification for the project," and the
applicant's "primary objectives" that blurred the distinction
between the need  for the project and the agency's purpose
in reviewing an applicant's proposals.l02 While the court
appeared to view the need to be the "longstanding federal
policy of encouraging the construction of domestic refining
capacity in order to promote national security," the court
also opined that the need to which the agency was respond*
ing was more limited:

    [Evaluation of alternatives was explicitly based on the
    premise that [the agency's] role in reviewing privately
    sponsored projects "is to determine whether the pro-
    posed site is environmentally acceptable	" ""

It is noteworthy that the very next year, the CEQ criticized
the implication in Roosevelt Campobello that an agency's
role (i.e., the purpose of the federal action) properly defined
the scope of alternatives.I0*
  Other courts have used terminology that makes it nearly
impossible to distinguish between  purpose and need. For
example, -in  Residents in  Protest—I-35E v. Dole,IOS  the
court used the phrases "purposes of the project,"  "goals
and objectives," and  "underlying goals of the project,"
synonymously with the phrase  "need which [the project]
was designed to serve."106 In Natural Resources Defense
Council, Inc. v. Callaway,107 the court stated that the content
and scope of alternatives is a function of the "nature of the
proposal"; an EIS must discuss alternatives that "meet the
proposal's goals."I0*
  Both Judge Thomas and the FAA fell into the same trap
in Citizens Against Burlington. First, neither Judge Thomas
nor the FAA uses the terms carefully; Judge Thomas's
"goals" and "objectives" appear to be a combination of
the agency's purpose and the need for the project. The EIS
itself contains no  clearly articulated statement of purpose
and need, either separately or jointly.m The EIS does not
even purport to include a statement of purpose; the section
of the EIS that was labeled as the agency's statement of
need contains a jumbled discussion of purpose, need, de-
scription of the project and benefits of the proposed federal
    accomplish every goal of the originally proposed action. See Town
    of Matthews v. United States Dep't of Transp.. 527 F. Supp. 1055,
    1058, 12 ELR 20345. 20346 (W.D. N.C. 1981).
100. 684 F.2d 1041. 12 ELR 20903 (1st Cir. 1982).
101. Id. at 1046, 12 ELR at 20905.
102. Id. at 1046-47, 12 ELR at 20905.
103. Id. at 1046, 12 ELR at 20905.
104. CEQ MEMORANDUM ON GUIDANCE, supra note 61,48 Fed. Reg.
    at 34267, ELR ADMIN. MATERIALS at 35048.
105. 583 F. Supp. 653. 660-61 (D. Minn. 1984).
106. Id. at 659-60. '•
107. 524 F.2d 79, 93, 5 ELR 20640. 20647 (2d Cir. 1975).
108. Id.
109. Toledo EIS. supra note 14. at 1-3 (subhead for section discussing
    the purpose and need for the project is entitled "Need for the Federal
    Action").                                        1 S ^
action. "° It appears that the FAA believed that the need
for the proposed action was
    to facilitate  [Toledo-Lucas County Port Authority's]
    construction of facilities at the airport for an air cargo
    hub that will serve as Burlington's permanent hub ...
    [and to provide for] extending Runway 7-25 to provide
    safe and adequate length to permit Burlington Air Ex-
    press to operate fully loaded DC-8-63F aircraft to west
    coast market destinations.m

Instead of setting forth  a clear statement of purpose, the
EIS sets forth the factors that the FAA says it considered
in meeting the need, including the agency's "statutory man-
date to facilitate the establishment of air cargo hubs," and
the FAA's

    responsibility to review the airport design and runway
    configuration with respect to safety, efficiency and utility
    within the national airspace system and its environ-
    mental impact on the surrounding area.":

  Although he claims that the court defers to the agency's
definition of the purpose and need for the project.  Judge
Thomas does nothing of the sort. He weaves of whole cloth
the explanation in Citizens Against Burlington that the pur-
pose or need for the Toledo project was both construction
of a cargo hub for Burlington and the economic revitaliza-
tion of the Toledo economy. The court's explanation is
troubling not only because it is a court-imposed definition,
but also because it fuses purpose, need and beneficial im-
pacts of the project. Even if one accepted the court's implicit
conclusion mat it is permissible to equate purpose and need,
this statement neither reflects  the objective necessity for
the Toledo project (the need) nor bears any relationship to
the federal action that, by statute, is limited to the approval
(and possible funding) of the layout plan for the expansion
of Toledo Express Airport (the purpose). Consequently.
even under the court's assertion that the purpose and need
should reflect the nature of the agency's role, the court's
definition fails to pass muster.
  The holding in Citizens Against Burlington is not, how-
ever, dependent on Judge Thomas's redefinition of the pur-
pose and  need for the project. If one were to construct
separate statements of purpose and need for the Toledo EIS,
it appears that the FAA believed that the need for the Toledo
project was to provide a permanent air cargo hub at Toledo
Express Airport for Burlington. The purpose for the federal
action was to design a safe and efficient facility that meets
federal aviation  standards.
  Under this  refined statement of purpose and  need, it
appears that the FAA's decision to evaluate only two alter-
natives was unobjectionable. Because the parties focussed
strictly  on whether  the FAA  had omitted discussion  of
reasonable alternative ways of meeting the need, moreover,
the court  did not need  to examine the  adequacy of the
statement of need.
  Arguably, therefore. Judge Thomas's discussion of the
agency's goals and objectives  is little more than dicta.lli
no. Id. at  1-3, i-4r
111. Id. at  1-3.                 -  _
112. Id.
113. Similarly, his  supposed  holding that the scope of alternatives is
    defined by the agency's role is contradicted by a binding D.C. Circuit
    precedent. Natural Resources Defense Council v. Morton, 458 F.2d
    827, 834-37, 2 ELR 20029. 20032-33 (D.C.  Cir. 1972). It is sig-

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"W"";!,  "Sifi	i-Silji
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     21 ELR 10710
                        ENVIRONMENTAL LAW REPORTER
                                                                                                                12-91
     i   ,       ,,, ;       •'    	   i'ui    '  • h   •     iiljh,   "!'
    The only issue presented to the D.C. Circuit was whether
     he EIS discussed all reasonable alternative ways to provide
     i. permanent "air cargo hub at Toledo for Burlington. If one
    accepts either the FAA's or Judge Thomas's statement of
    the need, the case is not a close one. It was reasonable for
    the FAA to conclude that only the  preferred alternative
    could reasonably satisfy the  need articulated in the EIS
    because the FAA's statement equated need with purpose.
    The case shows how, if need (i.e., the general,  objective
    necessity the project is designed to meet) is fused with
    purpose (i.e., the specific, subjective policy choices of the
    agency, taking into account the preferences of the applicant),
    it becomes straightforward for an agency to avoid examining
    ahf alternative but the preferred one. When the need for a
    project is allowed to be defined as its purpose, by definition
    there can be only one alternative. If the need is for an
    expanded airport at Toledo to serve a specific air cargo
    carrier,  it is unreasonable to demand consideration of any
    alternative site in Ft. Wayne or elsewhere because  such
    alternatives do  not  fulfill the need. In Citizens Against
    Burlington, either Judge Thomas's invention  of an  eco-
    nomic goal for the project or the FAA's mixing together
    of purpose and need leads to the same result: no examination
    of any alternative other than the location of the expanded
    cargo hub at Toledo Express.

    Lessons for Agencies and NEPA Litigants From
    Citizens Against Burlington
       ''' ''       '        "   , 'i INF  	i|iini|       MI ,   :i   "
           '   'Ilil'ilP1!','!1 '>  ,„ i1  ,' • i • ,,'ilBl',, JUKii'!1'!!!       ' ;
    At first reading, Judge Thomas* s opinion in Citizens Against
    Burlington may be seen as a complete victory for NEPA
    critics and federal agencies seeking to avoid the statute's
    procedural hurdles. The lessons of the case, however, are
    far less one-sided.
      First, notwithstanding Judge Thomas's lengthy discus-
    sion about deference to an applicant's desires, the  case
    should not be read as standing for the novel proposition
    that the  scope of alternatives in an EIS depends on the
    nature of the federal action. At best, the discussion is an
    explanation of  why the scope of alternatives  properly
    matched the FAA's statement of the need for the project;
    at worst, the discussion is mere dicta.
      Several reasons are immediately apparent why Citizens
    Against Burlington cannot establish  a system of inquiry
    Under NEPA that is dependent on the nature and degree of
    federal participation in a project Most obviously, such a
    system would run counter to express CEQ guidance on the
    scope of alternatives, guidance which the court does not
    even discuss. A  system that is dependent on the extent of
    federal involvement also would conflict directly with case
    law (including D.C. Circuit law), which holds that the scope
    of an EIS—including the project's impacts and  alterna-
    tives—must include nonfederal elements of a project even
    when the federal government is only authorizing or permit-
    ting a small portion of the project. "*

        ruflcmnt that Judge Thomas does not attempt to distinguish Natural
        Resources Defense Council and its holding that the scope of alter-
        nidvcs in an EIS cannot be limited by the nature of the agency's
        authority. That remains the law in the D.C. Circuit and elsewhere.
     „ ipi il    i!! ,;"'•!'!  '      	;jll'  ' „ ,i jifn  ,  ,	 ,
    114. See National Forest Preservation Group v. Butz, 485 F.2d 408,
        411-12, 3 ELR 20783, 20784 (9th Cir. 1973); Scientists' Inst. for
        Pub. Information v. Atomic Energy Cornm'n, 481 R2d 1079,1088-
        89, 3 ELR 2052S, 20529-30 (DlC. Cir. 1973).             1.5.3-
                                                if r  ,  ,  : /  „,	 n, | 11 ',   l,!',1",,••;•,'        .|,  ,  ,,     	  ,„
                                             Additionally,  such a system would violate the binding
                                           D.C. Circuit precedent in which the court has held that the
                                           scope of alternatives cannot be defined by the nature of the
                                           federal involvement in a project.11! Judge Thomas fails to
                                           discuss this precedent as well. Finally, if the  court had
                                           intended to disregard CEQ guidance, shift NEPA law, and
                                           overrule D.C. Circuit precedent, it is reasonable to expect
                                           that the court would at least have explained its intent to do
                                           so.  That the court was silent on such precedents suggests
                                           that it had no such intention.
                                             What Judge Thomas's discussion does highlight is  the
                                           importance of defining the need for a project. An interest-
                                           ing—if hypothetical—question is whether the FAA's murky
                                           statement of need could have survived close judicial scru-
                                           tiny. That statement appears vulnerable because of its lack
                                           of objectivity, its fusing of the agency's policy aims with
                                           objective statements of fact, and because it set criteria that
                                           made the preferred alternative the only reasonable alterna-
                                           tive. One could argue that an agency's statement of need—
                                           like that for Toledo—is prima facie improper if it allows
                                           for  examination  of only a single alternative.
                                             For prospective litigants, Citizens Against Burlington under-
                                           scores  the  importance of challenging the adequacy of  the
                                           statement of need in the EIS commenting process and again on
                                           judicial review. Making a record to demonstrate that the agency
                                           is responding to a broad need would make it substantially easier
                                           to show that a narrow range of alternatives is not responsive to
                                           the need.'" An ELS that rejects all alternatives but the preferred
                                           one (or minor, cosmetic variations on the preferred alternative)
                                           should  raise immediate skepticism not only that the scope of
                                           alternatives is improper, but also that the agency has fused its
                                           statements of purpose and need into a single self-justifying
                                           policy statement.
                                             Similarly, agencies should be forced to distinguish between
                                           the need and purpose for a project and should be challenged
                                           when they use ill-defined terms such as "goals," "objectives,"
                                           or "mission." The statutory and regulatory language is clear
                                           and defined; agencies should use such language to avoid the
                                           ambiguity that results when different courts try to use the same
                                           words for different purposes (e.g., the Van Abbema court and
                                           the Citizens Against Burlington court).
                                            In Citizens Against Burlington, the FAA's confused state-
                                           ment of need was not at issue. Had it been, the Toledo EIS
                                           might have been  vulnerable. A plaintiff can avoid a Citizens
                                           Against Burlington situation by  ensuring that it creates a
                                           record to support the need for the project and by supporting
                                           its  rejection of alternatives with reference to that need.
                                           While Judge Thomas's discussion suggests that an agency
                                           can define its "goals" by reference to an applicant's desires,
                                           agencies should  not  interpret that discussion as anything
                                           more than a reaffirmation of an agency's wide discretion
                                           to define the purpose of a federal  action. Agencies still
                                           must examine all reasonable alternatives that fulfill the need
                                           for the proposed action, regardless of whether such alter-
                                           natives match the agency's policy  objectives or whether
                                           the agency can implement them.
                                           115. See, e.g.. Natural Resources Defense Council, 458 F.2d at 834-36,
                                               2 ELR at 20032-33.
                                           116. In Roosevelt Campobello, for example, the court criticized plaintiffs
                                               for not challenging the adequacy of the statement of need during
                                               the public comment period. 684 F.2d 1041, 1046. 12 ELR 20903,
                                          10   20905 (1st Cir. 1982).

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                                                      ASSESSMENT
       In this part of the Resource Manual, "assessment" is used narrowly and
includes tasks associated with the preparation of El A documents (i.e., those activities
for which the core team is directly responsible). These include:

       •     description of the affected environments,
       •     description  of the future environmental  setting (without the
             proposed action),
       •     identification of potential environmental impacts of a proposed
             action and its reasonable alternatives,
       •     analysis and quantification, if possible,  of potential impacts,
       •     evaluation of the significance of potential environmental impacts,
       •     description of mitigation measures for unavoidable environmental
             impacts, and
       •     preparation  of an EA document for use by the decisionmaker.

However, "assessment" is often used broadly to include policy related activities
such as defining issues, evaluating the overall significance of a proposed action,
and choosing the appropriate alternative.  For purposes of this sourcebook, we
use "environmental impact  assessment (EIA)  process" to describe the broad
implications of environmental assessment. These include, in addition to assessment,
the activities that  precede and  follow assessment (i.e, initiation,  scoping,
decisionmaking and post-decision analysis).
                                        1.5.4-1

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                                Description of Environmental Setting
       The description of the affected environments must identify the important
physical, biological, and social/cultural characteristics of the areas potentially
exposed to the proposed action and alternatives and explain the reasons for the
boundaries of the study areas.  Only those elements which are relevant to the
issues identified for the proposed action and alternatives need be identified and
evaluated.  It is normally one of the first activities undertaken in the assessment
phase of EA and has been described as a "description of conditions existing at a
point in time  against which subsequent changes can  be detected through
monitoring" (Hirsch 1980). The approach commonly token is subdivision of the
resources into categories (Table 4.1-1). Depending on the size and complexity
of the EA, core team members are chosen with expertise in the appropriate areas
(Attachment 2.C).  Experience from similar projects can be helpful in identifying
environmental components that should be described.

       The initial  description  of the affected environment  should identify
important gaps for which subsequent field or laboratory investigations are needed.
For many areas which .have already been studied, even if in a fragmented way,
a meaningful characterization can be developed based on  existing information.
In other areas, field reconnaissance or study may be required even to complete
a  rough  or  initial characterization  (Hirsch  1980).    Reconnaissance-level
information is  that which  is  available  from open  literature, published  or
unpublished reports, existing records, authoritative sources, or brief field surveys
performed by recognized experts.  It is not based on information that can only be
obtained by detailed onsite monitoring programs or studies (McBrayer  et al.,
1981).
                                  1.5.4-3

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                                      Table 4'.i-l.:  General Baseline Informatteon a Site and its Surroundings^
                Category
                 Type of information
                Sources of information
        Land use and zoning
        Floodplains and wetlands
t
        Prime and unique farmlands
        Cultural and aesthetic
        resources
        Geology
        Terrestrial and aquatic ecology
Maps and tables showing present land use on the site and
surrounding area; land ownership; regional, state, and local land-
use plans and controls pertinent to the site and surrounding area.
Maps showing the locations of the 100- and 500-year floodplains
and onsite wetlands; table showing onsite area for each floodplain
or wetland; description of each onsite wetland, including
dominant features and abundance of each wetland type.
Soils map of the site; description of onsite soil types; area of
each soil on the site that is classified as prime or unique
farmland.

Location and description of cultural and aesthetic resources on or
in the vicinity of the site, including historic and archaeological
sites, Indian tribal resources, scenic, and other aesthetic
resources.

Geological bedrock, and surface formations; topography; location
and description of potential geologic hazards, including
consideration of slope stability, mass movement, faults,
subsidence, settlement, liquefaction, and volcanic activity.

Map and description of vegetation types on the site; wildlife
species and habitats;-presence of rare, unique, or important
ecological communities or habitats; description of aquatic habitat
types and aquatic species present in water bodies; abundance of
important species, trends in abundance, and distributions relative
to the proposed project.
State, regional, and local planning commissions; state agencies,
such as Departments of Conservation, Fish and Game, and Parks;
federal agencies, such as U.S. Geological Survey (USGS), Soil
Conservation Service (SCS), Bureau of Land Management
(BLM), Forest Service; onsite observations.

Department of Housing and Urban Development (HUD) Flood
Insurance Rate Maps and Federal Emergency Management
Agency (FEMA) Flood Hazard Boundary Maps; USGS
topographic maps; county soil surveys; U.S. Fish and Wildlife
Service (FWS) National Wetlands Inventory; U.S. Army Corps
of Engineers (COB); onsite observations.

SCS; state soil conservationist and local soil conservation office;
state agricultural colleges.


State historic preservation office; National Register of Historic
Places; National Register of Natural Landmarks; U.S. Bureau of
Indian Affairs; local tribal headquarters; onsite observations.


USGS national distribution center, Reston, Virginia; USGS
depositories of publications at each state land grant university;
state geologist; USGS topographic and land-use maps; onsite     .,
observations.

Ecoiogists and other biologists at local and state colleges and
universities; private environmental and conservation
organizations; state fish and game and conservation agencies;
onsite observations, FWS habitat evaluation procedures.

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                                                     Table 4.1-1.  (continued)
         Category
                  Type of information
                 Sources of information
Endangered and threatened
species
Groundwatcr
Surface water
Climate and air quality
Noise**
Lists and descriptions of federal and state endangered,
threatened, rare, and protected species and their critical habitat
present in the region of the site; observations and reports of such
species and habitats on the site or on other areas to be affected
by the project.
Description of groundwater resources potentially affected by the
project, including aquifer characteristics, flow system
characteristics, competing water use and availability, water
quality, designation of any sole source aquifer; locations and
depths of existing wells.

Description of surface water features that will be affected by the
project; a map showing the drainage pattern of the site and its
surroundings and onsite water bodies: data on water availability
and water quality of affected water bodies; identification of
existing permitted discharges to surface water.

Important climatic parameters, such as, average temperatures,
relative humidity, precipitation, wind direction and speed, wind
stability classes, mixing heights, fog occurrence, and
meteorological extremes (e.g., tornado or hurricane frequency);
identification of air quality control regions in which the site is
located and those affected by emissions from the facility;
description of the attainment or nonattainment status for the
criteria pollutants; description of present ambient air quality;
State Implementation Plan (SIP) restrictions; location of any
Class I area (nondegradation areas, e.g., wilderness areas or
national parks) affected by project emissions; discussion of trends
in pollutant levels over time where data on air quality is
available.

Existing ambient background noise levels on the site and in the
vicinity; major existing or planned noise sources and sensitive
receptors (e.g.,  hospitals).
Federal listing of endangered and threatened species, published
annually and updated as needed in the Federal Register: state lists
of endangered and threatened species, generally published by
state departments of fish and game or conservation; local
chapters of organizations concerned with environment and
conservation (e.g., the National Audubon Society or the National
Wildlife Federation); consultation with FWS regional office;
onsite observations.

USGS; U.S.  Environmental Protection Agency (EPA); delegated
state agencies for administering EPA permit programs; state
geological survey; geologists and hydrologists at local and state
colleges and universities; National Waterwell Association; onsite
well records.

USGS topographic maps; aerial photographs; comprehensive data
bases such as Water Resources Abstracts, WATSTORE,
NAWDEX, and STORET; state and federal agencies responsible
for permitting, including EPA, COE and delegated state agencies;
onsite observations.

National Weather Service or Federal Aviation Administration
stations; National Climatic Center, Asheville, North Carolina;
local airports; U.S. EPA or state agency delegated to administer
air quality permits; other industrial or research facilities that
collect climatic or air quality data.
Onsite measurements; contacts with local and state agencies;
examination of area maps.

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                                               Type of information
        Category

Socioeconomics
                             Dcrmition of tocioeconomic impact region; current and projected
                             population and relevant demographic characteristics; local
                             government revenues, expenditures, and revenue-sharing
                             arrangements; current and projected housing capacity; current
                             and planned public service capacity (water, sewer, transportation,
                             police, Tire, health, education, and welfare); economic structure
                             and labor force characteristics; local government characteristics;
                             local organizations and interest groups; social structure and life
                             styles; local support or opposition to the proposed project.
               Sources of information

U.S. Bureau of Census, U.S. Department of Transportation,
Department of Labor Statistics, Department of Commerce
publications; employment commissions; chambers of commerce;
tourist bureaus; academic reports - especially by local
institutions; local newspapers; interviews with government
officials; researchers; and interested parties; inspection of the site
and region.
programs
              of federal agencies relating to land use.

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                                                    NEEDS

Establishment of time  and space boundaries for  the affected
environment is a critical first step in EA.  The team can expect
more than one set of boundaries depending on the issue(s).  The
setting of boundaries usually represents a trade-off of constraints
imposed by:

       administrative  boundaries (e.g.,  political,  social,  and
       economic realities),
       project boundaries (e.g., the spatial and temporal extent of
       the project),
       ecological boundaries  (e.g.,  time and space scales  over
       which affected natural systems operate), and
       technical  boundaries (e.g., the limited state-of-the-art in
       predicting or measuring ecological changes).

It is important to distinguish between the categories since some are
under the control of the EA team while others are relatively fixed
(Beanlands and Duinker 1983).

The  data  requirements  for  relevant  analyses  are  based  on
understanding of the proposed action and any tentative mitigation,
clearly  defined  EA  objectives, and the requirements  of the
methodologies to be used for prediction of impacts.  The EA team
will:

-      assemble, evaluate, and present baseline data on the
       relevant environmental characteristics of the study area,
       including information on any changes anticipated before the
       project commences;
       collate data from the various disciplinary areas and evaluate
       data usefulness, needs, and availability in  relation to the
       proposed action;
       identify gaps in information; and
       avoid collecting unnecessary information and data.

Before using existing environmental  data for project assessment,
a number of possible limitations must be checked.  The quality of
reported environmental data must be assessed, and this is generally
not  an easy  task.    One  should look  for  quality control and
assurance programs  as an integral  part of any past monitoring
efforts.  Responsible agencies, laboratories, or  monitoring or
analytical personnel  should be contacted for information on  the
                      1.5.4-7

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estimated quality of the reported data,  in general, work done by major federal
agencies mat have standard reference methods for sample collection and analysis
Should be useful.  However, laboratories that may be consistent internally (be
highly precise)  in their sample  analysis may  show  inaccuracies with other
analytical groups.

              The reliability and  comparability of existing data to present site-
              specific conditions should  be  checked.    Existing  data  for
              geographic areas removed from exact locations of interest will
              usually have to be verified in the field  for comparability.  Any
              significant environmental changes after the field data have been
              collected,  such  as  from new pollution sources or from  recent
              environmentai events  such as  flooding  or  fire,  should  be
              determined.
                                                                   TOOLS
              The use of checklists can  help the EA  team identify potential
              impacts (Attachment  2.B, Part  4.2),  ensure  that  significant
              environmental parameters are not overlooked, and provide an
              diitline of data needs.  It can also help  to  identify alternatives
              which might lessen impact.  Checklists are suited to identification
              of direct impacts but generally not to identification of indirect
              impacts.  A matrix is an extension of a checklist where one axis
              lists description of the proposed action while the other  lists
              environmental conditions.   The> Leopold  matrix (Leopold et. al.
              1971)  provides a format for comprehensive review to remind
              investigators of the variety of interactions that might be involved
              (Figure 4.1-1). The number of actions listed horizontally  in the
              complete  Leopold  matrix is  100  and the  vertical  list of
              environmental characteristics  contains 88,  which  give a total
            •  of 8,800 possible interactions.  The vertical list can  be used as a
              checklist to identify important environmental factors.
                                     1.5.4-8

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                                    -Q  ~O .C as ^ ^  o  u o
                                    ededcducJQOX —»
    A. 2. d.            Water quality
    A. 3. a.       Atmospheric quality
    A. 4. b.                 Erosion
    A. 4. c. Deposition, Sedimentation
    B. 1. b.                  Shrubs
    B. 1. c.                 Grasses
    B. 1. f.            Aquatic plants
    B. 2. c.                     Fish
    C. 2. e.       Camping and hiking
    C. 3. a.    Scenic views and vistas
    C. 3. b.       Wilderness qualities
    C. 3. h.   Rare and unique species
    C. 4. b.         Health and safety
                                    V)
                                    D)
                                    2

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FIGURE 4.1-1. A reduced matrix for a phosphate mining lease.
                (Source: Leopold et al.  1971)
       Environmental  field  studies  can be more  or less extensive
       depending upon the existing information.  Their scope will vary in
       relation to the nature of the proposed action and the information
       gaps that need to be filled.  Field studies document the existing
       environmental conditions and contribute to trend information in the
       potentially affected region.   They provide a reference baseline
       from which the assessment team can predict the effects of the
       proposed  action,  recommend alternatives,  define appropriate
       mitigation measures, and design future programs to monitor the
       accuracy of predictions and the effectiveness of mitigation.
                           1.5.4-9

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    	II
    	'"'[
ii	.,,
 An environmental field study is only part of the EA process and
 as  such Is influenced by external  factors.   These include,  for
 example:

 -     other socioeconbmic studies being performed,
       political and legal requirements to be met,
       specific features and timing of the proposed action,
       project planning and engineering,
       stages of the  decisionmaking  process  requiring environ-
       mental input, and
       how the baseline data will  be used in the construction,
       operation, and closure phases of an approved action.

 For example, the identification of permeable strata in geotechnical
 studies may dictate an emphasis on biological effects-of leachates
 contaminating surface waters down-slope from a development; or
 frequent temperature inversions detected by atmospheric studies
 mafcill for  increased emphasis  on the biological  effects  of
 gaseous emissions; or water resource studies may reveal a general
 lack  of surface  water  in  a  region,  thereby  requiring greater
 emphasis on a few surface water bodies as critical habitats  in the
 ecological studies,          ~~

 Mpst important is the integration of  environmental field studies
 with  engineering design studies.   Impact predictions will  be
 accurate only to the  extent that the best possible environmental
 knowledge is combined with detailed engineering plans in the
 presence of good professional judgment.

 Once environmental  components of interest are identified, it is
 necessary  to  choose methods for measuring the appropriate
 parameters.  Methods selection is tempered by the limitations of
 the state of the  art,  which include considerations of accuracy,
 efficiency, and cost-effectiveness, and the amenability  of various
 methods to statistical analysis.  Stepwise procedures for applying
''these""""important constraints to  the final design of environmental
 studies are  too  extensive  to  be  included in this  sourcebook.
 However, the U.S. Fish and Wildlife Service Manual "A Systems
 Approach to Ecological Baseline  Studies" (1978)  contains the
 conceptual framework for field studies and practical step-by-step
 approaches to designing baseline studies.
                 1.5.4-10


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Whenever possible,  existing data should be used to reduce the
costs of EA.   Attachment  4.A lists some of  the  sources  of
environmental monitoring data in the United States and elsewhere.
In developing countries, such data are less available which limits
description of the affected environment and prediction of potential
impacts.

Federal and state air and water quality monitoring  generally is
designed as a large-scale regional surveillance effort, and thus is
particularly useful for policy, plan, and program EA.  When local
data can be located, they often are  not in a readily usable form;
specific parameters and analytical methods may not be adequate,
or quality control and assurance may not be sufficient.  Existing
data  usually  are  not  computerized with  an  adequate  and
comprehensive indexing code for geographical locations.  Thus,
they are useful only to describe general environmental conditions
and recent trends in environmental quality and will generally have
limited use for site-specific analysis of environmental  change.
Unfortunately, in the U.S. and other countries, central sources for
identifying all national, regional, and local monitoring efforts do
not exist.  Information can be gathered from individual federal
(Attachment 4.A) and regional agencies by contacting the agency
directly  or,  in some rare  instances, by   contacting a  central
information source  (e.g.,  the Oak Ridge  National  Laboratory
Carbon Dioxide Information Analysis Center; Attachment 4.A).

In addition to the U.S. federal laws listed in Part D, other federal
laws contain provisions that affect the content and scope of an EA
under certain circumstances.  Laws on water pollution control,
clear air, and surface mining control and reclamation as well as
permits or licenses may require baseline data.  If a development
involves leasing lands from federal agencies, studies may be called
for  in lease  stipulations (e.g., leases for prototype oil shale
development). Requirements at the regional level of government
may be more strict  than those at the federal level.  In the U.S.,
sixteen states, the  District  of Columbia, and Puerto Rico  have
environmental policy acts or "little NEPAs",  and 18 other states
and the District of Columbia have  limited environmental review
requirements  established by statute,  executive  order or other
administrative directives (Part D).  For the most part, proponents
will have had previous experience on similar projects and will be
able to direct the assessment team to other agencies that should be
contacted.
                       1.5.4-11

-------
ill it:
A summary of applicable legal requirements should be prepared
that includes:

       federal, tribal,  regional,  or local agencies with decision-
       making or review responsibilities;
-      applicable federal, tribal,  regional, or local laws, regula-
       tions or permits and their specific environmental require-
       ments;
       official interpretations of the laws, regulations or permits;
       information needs identified by federal, tribal, regional, or
       local agency representatives; and
-      specific requirements of any reports that must be produced.

Once'this information is available, the existing data for the site
should  be compared  to the  requirements (e.g.,  water quality
criteria) to determine the information gaps and  the extent of
additional  monitoring  data or other  required information (e.g.,
archaeological or protected species surveys).

      	;   '   •  •'   ; '     ''!    ''  '    ,       '  ,;   .  '„ ISSUES

Descriptions of  the affected  environment must concentrate on
issues that are significant and appropriate for the size and location
of  the  proposed  action and  alternatives  rather  than amassing
needless detail.  The level of detail should  be sufficient to convey
to  a  reader or  reviewer the  nature of the natural and human
resources.   Where an action  (and its  anticipated  effects)  is
essentially confined to a particular piece of property, it may be
appropriate to describe natural  and man-made features of the
property and  vicinity.  Where the action  extends across several
regions or political subdivisions,  as with a transmission line,
pipeline,  or canal, the discussion of existing environments  may
ifecefSarily be less detailed in certain categories.
                        Field studies  should not be undertaken without clearly  defined
                        ^^.^ and understanding of the problem to which the data will
                        be applied.  The data must be consistent with  the needs of:  the
                        E. A team for modeling or predictive purposes,  the decisionmaker
                        and the  project  planners, and  the  legal and  socioeconomic
                        requirements.
                                                                                 i •
                        Careful consideration  must be given to the  need for and value of
                        existing   data  in  relation  to  their  inherent  limitations  (e.g.,
                        fragmented, inaccessible, unstandardized) and  their usefulness in


                                                  1.5.4-12                        ;
                                                                               	ii •>

-------
impact analysis and prediction.  The focus is often on collecting
information and data that are readily available rather than on what
is needed for analysis. The data requirements should be defined
by what is needed for assessment of the endpoints.

In addition to the seriousness of anticipated impacts,  the level of
effort expended on  description  of the affected environment is
determined by cost and time factors.  In general, the resources
available will be no more, arid often less, than the minimum that
is required by the decision process. Thus, it is important to focus
on those elements of the affected environment most pertinent to the
decision  process  and to use those methods  that are most  cost
effective in obtaining  adequate  data.  Time may influence the
scope of this part  of EA in several ways.   For instance,  the
environmental parameters of interest may vary from season to
season and even year to year and data collection to establish these
patterns  may not   be synchronized  with  the  needs  of  the
decisionmaker.

Data collected must be amenable for use in models, experimental
designs or statistical analysis so that project-induced effects can be
separated from naturally occurring changes.

                                                 LINKAGES

Description of the  affected  environment should be structured
around the issues, valued resource components, and assessment
endpoints identified during initiation  and scoping. The results of
data collection and any field studies are the basis for assessment of
potential   environmental  impacts  of   proposed actions  and
alternatives.  An  appropriate, well-documented description of the
affected   environment  will  aid   the  decisionmaker   in   the
identification  and resolution  of problems associated with  the
proposed action.   Moreover,  it  is  the basis  for post-decision
monitoring.
                    1.5.4-13

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      ;,:!:  ':;,;          •     i(    •       •     "_'     .   \    REFERENCES

BeanlaiidSj  G. E.,  and P. N.  Duinker.   1983.  An Ecological Framework for
      Environmental Assessment  in  Canada.   Institute  for  Resource and
      Environmental Studies, Dalhousie University, Halifax, Nova Scotia and
      Federal Environmental Assessment Review Office, Hull, Quebec.

Bregman,  J. I.,  and K.  M. Mackenthun.   1992.  Environmental  Impact
       Statements.  Lewis Publishers, Inc. • 121 South Main Street, Chelsea,
     /!J^;  , '   • ....   ..|:  ,        ,p i  . ,|   i|(,   , ,.|	1^,
 Hirsch,  A!   1980.  The baseline study  as a tool in  environmental  impact
       ^sessment.  In:  Biological Evaluation of Environmental Impacts, The
       Prpceeciings of a Symposium.   Fish and  Wildlife Service FWS/OBS-
       8d/l6.  pp. 84-93.
    ,": "	'  "''	'l  '	 "	• ;:  ' '  '	•  '          ,, ,      .'•'', • , •	   V:'  ,  ..  |, '•.   ,   , .
 McBrayer, J. F.,  S. B. Gough, R. C. Robertson, and H. E. Zittel.   1981.
       Identifying alternatives at a reconnaisance  level.  Environmental Impact
        Assessment Review 2:190-195.

 Leopold,  L. B., F. E. Clarke,  B. B. Hanshaw, and J.  R. Balsley.   1971.  A
        Procedure for Evaluating Environmental Impact.  U.S. Department of the
        Interior, Geological Survey Circular 645.

 U.S. Fish and Wildlife Service.   1978.   A  Systems Approach to Ecological
        B|seline Studies.  FWS/OBS-78/21.  406 pp.  Available from National
        Technical Information Service, telephone (703) 487-4780.
      ,•" ii'"1'  '"'fti  . 	"l"ii::;;, .,„,',   '     , '     ° '     i   i '    , , ,,'::"" I,!,,, , i|	" ,:jr   , „,''•'•''
  National Wildlife Federation. Annual Conservation Directory. National Wildh'fe
         Federation, Washington, D.C.,  telephone (202) 797-6800.
                       1.5.4-14

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                        SOURCES OF ENVIRONMENTAL DATA
Federal Interagency Initiatives to Coordinate Environmental Data and Analysis
(Source:  Council on Environmental Quality.  1993.  Environmental Quality.  23rd
Annual Report)

Environmental Statistics Programs Managed by Agencies of the U.S. Government
(Source:  Council on Environmental Quality.  1993.  Environmental Quality.  23rd
Annual Report)

Summary and table of contents for the Manual of Federal Geographic Data Products
(Source:  Federal Geographic Data Committee.  1993)

State of the Environment  Reports and Statistical Compendia Published by
International Organizations  (Source:  Council on Environmental  Quality.   1992.
Environmental Quality. 22nd Annual Report)

Table of contents for A Guide To Selected National Environmental Statistics In The
U.S. Government  (Source: U.S. Environmental Protection Agency. 230-R-92-003.
April 1992)
                                1.5.5-1
   *For purposes of this document, the term Environmental Assessment (EA) will refer to the
   Environmental Impact Assessment (EIA) process.

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                                                                                                                                                                           	,,'""
I  \
                      IS	.,1

-------
       Federal  Interagency  Initiatives  to  Coordinate  Environmental  Data  and
       Analysis  (Source:  Council  on Environmental  Quality.   1993.   Environmental
       Quality.  23rd Annual Report)
        Program
  Lead Agency
                               Coverage
Interagency Committee on
Environmental Trends
CEQ
In 1991 CEQ established an interagency committee with the participation of all
agencies involved in environmental data to undertake development of a
framework for U.S. state-of-the-environment reporting.
National Acid Precipitation
Assessment Program 1990
(NAPAP)
CEQ
NAPAP, established by the 1980 Acid Precipitation Act, coordinates federally
funded research and assessment to develop a firm scientific basis for acid rain
policies. The Clean Air Act Amendments of 1990 extended NAPAP, which
monitors the influence of the Clean Air Act on environmental impacts.
Environmental Monitoring
and Assessment Program
(EMAP)
EPA
A long-term research, monitoring, and assessment program, initiated in 1988 to
provide regional and national reports on the conditions of U.S. ecological
resources. During the next five yean, EMAP monitoring networks will estimate
trends in national ecological indicators on a regional basis; monitor selected
indicators of natural and anthropogenic stresses; seek associations between
human-induced stresses and ecological conditions and provide periodic statistical
summaries and interpretive reports on status and trends for resource managers and
the public.
EPA Center for
Environmental Statistics
EPA
EPA Development Staff established the Center for Environmental Statistics to
gather environmental data from a variety of sources; address data quality and
statistical issues; and use data to provide information on environmental
conditions. The Center currently is situated within the EPA Environmental
Statistics and Information Division.
Intergovernmental
Monitoring Task Force
                            EPA and USCS
                  Established in 1991 by the EPA Office of Water and the USGS. The task force
                  coordinates efforts with NOAA, FWS, COE, USDA, OMB, and DOE to identify
                  and recommend solutions to water quality monitoring problems; establish a
                  national framework for water quality monitoring; agree on environmental
                  indicators; and share water quality data through system linkages and increased
                  quality assurance and control.
Federal Geographic Data
Committee (FGDC)
                            DOI
                   FGDC, with 14 departments and agencies promotes coordinated development,
                   use, and dissemination of surveying, mapping, and related spatial data.
                   Established by OMB Circular A-16, 'Coordination of Surveying, Mapping, and
                   Related Spatial Data Activities,' the committee stresses coordination and
                   standards.
Ocean Pollution Data and
Information Network
(OPDIN)
                            NOAA
                   A 10-year interagency effort by 11 federal agencies to improve accessibility and
                   usefulness of data and to increase communication and coordination on ocean and
                   Great Lakes pollution information; the network publishes information guides and
                   responds to requests for information.
 FCCSET/CEES
 IWGMDGC
                            OSTP
                   Within the President's Office of Science and Technology Policy (OSTP), the
                   Federal Coordinating Council for Science, Engineering and Technology
                   (FCCSET) established the Committee on Earth and Environmental Sciences
                   (CEES) as a forum to coordinate interagency programs, including the U.S. Global
                   Change Research Program (USGCRP). Chaired by NASA and NOAA, the
                   Interagency Working Group on Data Management for Global Change
                   (IWGDMGQ is developing recommendations on interagency management of
                   research data.  In 1991 the National Research Council drafted a "U.S. Strategy
                   for Global Change Dels and Information Management."
                                                      1.5.5-3

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Ktif
                          Federal  Interagency  Initiatives  to  Coordinate  Environmental  Data  and
                          Analysis (continued)
                   President's Water Quality
                   Initiative
                   Water Information
                   Coordination Program
                   (WICP)
                   National Resources
                   Inventory (NRI)
                   Foreat Health Monitoring
                   Program
                                                 Lead Agency
USDA
uses
USDA SoU
Conservation
Service
USDA Foreat
Service
                                                  Coverage
                  This initiative addresses nonpoint source contamination of surface water and
                  groundwaterby agricultural chemicals: 11 agencies, including TVA, USGS,
                  EPA, NOAA, FWS, and COE, comprise the working group on the Water
                  Quality.  Cooperative programs include the USDA Management Systems
                  Evaluation Areas, the USGS National Water Quality Assessment, and the EPA
                  Midwest Agrichemical Surface/Subsurface Transport and Effects Research
                  project.
OMB Memorandum M-92-01 of December 10, 1991, established the Water
Information Coordination Program to include all federal organizations that fund,
collect, or use water resources information.  WICP convenes an Interagency
Coordinating Committee for Water Information and a Federal Advisory
Committee on Water Data for Public Use. The program is establishing effective
working relationships with state and local agencies, Indian tribes, and the private
sector. WICP will plan, design, and operate a cost-effective national network for
water-data collection; develop uniform standards for water information collection,
management, and dissemination; establish a National Water Information
Clearinghouse; and annually report to OMB to document funding and program
activities.
This national multi-resource inventory is conducted every S yean to determine
status, condition, and trends of soil, water, and related resources NRI and
associated soils data are ujetHo formulate policy and assist in strategic planning
of conservation and environmental programs at national, regional, and local
levels.
This long-term monitoring program was started in 1990 to measure, interpret, and
report effects of forest pests, air pollution, other stresson, and management
methods on the health of U.S. forests. The program included 14 states in 1992
and will be expanded nationwide in future years. It has three increasingly
intensive phases: detection monitoring to determine annual differences from
baseline conditions or trends; in-depth evaluation monitoring to determine cause,
extent, and severity of detected changes; and intensive-site ecosystem monitoring
to provide detailed, long-term research data for predicting future conditions.
Cooperators include EPA, the National Association of State Foresters, and other
state and federal resource agencies.
                                                                          1.5.5-4

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       Federal  Interagency  Initiatives  to  Coordinate  Environmental  Data  and
       Analysis (continued)
Program
Lead Agency
Coverage
NOTE: The following abbreviations appear in the environmental data tables:
BLM
CEQ
COE
DOC
DOE
DO!
EC
EPA
FAO
FWS
NASA
NOAA
OMB
OSTP
RPA
USDA
USQS
Bureau of Land Management, Department of Interior
President's Council on Environmental Quality
U.S. Department of Defense, Army Corps of Engineers
U.S. Department of Commerce
U.S. Department of Energy
U.S. Department of the Interior
European Community
U.S. Environmental Protection Agency
United Nations Food and Agriculture Organization
Fish and Wildlife Service, Depanment of the Interior
National Aeronautics and Space Administration
National Oceanic and Atmospheric Administration, Department of Commerce
President's Office of Management and Budget
President's Office of Science and Technology Policy
Forest and Rangeland Renewable Natural Resources Policy Act
U.S. Department of Agriculture
U.S. Geological Survey, Depanment of the Interior
                                                  1.5.5-5

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                          'Oil;:"1'"
':'.,!;   '•' i'ii." I if.  'I:?!  ' ,;LI
1.5.5-6

-------
Environmental Statistics Programs  Managed by  Agencies of the  U.S.
Government (Source: Council on Environmental Quality.  1993. Environmental
Quality. 23rd Annual Report)
Program
Major Uses of Land in
the United States
Agricultural Chemical
Usage Statistics
Pollution Abatement
Control Expenditure*
(PAC)
Energy and
Environmental
Database
Forest Insect and
Disease Conditions in
the United States
RPA Assessment of the
Forest and Rangeland
Situation
Land Areas of the
National Forest System
Tree Planting in the
United States
Survey of Pollution
Abatement Costs and
Expenditures
Sponsor
USDA Economic
Research Service
USDA National
Agricultural Statistics
Service and Economic
Research Service
DOE Bureau of
Economic Analysis
DOC Bureau of the
Census, Center for
Economic Studies
(CES)
USDA Forest Service
USDA Forest Service
USDA Forest Service
USDA Forest Service
DOC Bureau of the
Census
Coverage
Estimated acreage and inventories of major U.S. land
uses and of cropland used for crops.
Estimated treatment acreage and application quantity of
fertilizer nutrients and pesticide ingredients applied to
field crops, vegetables, and fruits; includes state
estimates for those states where the commodities are
predominantly produced.
Summary of all spending for PAC by business,
government, and consumers, and by type.
Census Bureau and EPA data files have been integrated,
yielding longitudinal plant and firm level data on
production inputs, outputs, costs, energy consumption,
pollution emissions, and pollution abatement
expenditures.
Data for U.S. federal, ntate, and private forestlands;
data analyses by region, ownership, type of
insect/disease, area affected, trend data available.
Inventory with trend information on extent, condition,
ownership, and composition of U.S. forests; wildlife
habitat, forage production, and other resource
characteristics.
Data on extent and characteristics of forest, range, and
related lands in the National Forest System.
Summary of tree planting in the United States.
Annual operating costs and capital expenditures for
pollution abatement activities in manufacturing
industries.
Frequency/Most
Recent Report
Intervals of major
land uses coincide
with the Census of
Agriculture; 1991
report with 1987
data. Annual reports
for cropland used for
crops; 1992 report
with preliminary
1992 data.
Annual collection for
field crops; 1992
report with 1991
data. Biennial
reports for vegetables
and fruits; 1991
report for vegetables
with 1990 data and
1992 report for fruits
with 1991 data.
Annual reports; 1992
report with 1990
data.
Annual collection
Annual collection;
1992 report with
1991 data.
5-year cycle; 1989
reports with 1987
data.
Annual reports.
Annual reports; 1992
report with 1991
data.
Annual collection.
                                1.5.5-7

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                      .
Environmental Statistics Programs (continued)
Progr&iB
Classified Shellftshing
Water*
Fisheries Statistics
Program
National Climatic Data
Center (NCDC)
National
Occanographic Data
Center (NODC)
National Geophysical
Data Center (NGDC)
National Coastal
Pollutant Discharge
Inventory Program
Sponsor
NOAA
NOAA
NOAA
NOAA
NOAA
NOAA
Coverage
Monitors classified shellfishing waters as indicators of
bacterial water quality nationwide; classifies waters for
commercial harvest of oysters, clams, and mussels
based on actual or potential pollution sources and
coliform bacteria levels in surface waters.
National compilation, analysis, and dissemination of
biological, economic, and sociological statistics from
U.S. commercial (domestic and high seas) and
recreational fisheries. Mostly marine; historical time
series, some dating back to 1800s; some world (FAO,
EC) fishery data, foreign nation data on fisheries in
U.S. Waters. Data types include landings, prices and
fishing efforts; number of vessels, gear and fishermen;
annual processed products; trade in fisheries products;
species composition; length frequencies; per capita
consumption; and aquacuhure.
NCDC collects, processes, archives, and disseminates
worldwide meteorological and climatological data from
a global network of stations; coverage is global, land
and sea, primarily of U.S. dependencies, especially for
summarized data.
NODC collects, processes archives, and disseminated
such worldwide oceanographic data as marine biology,
marine pollution, wind and waves, surface and
subsurface currents, and temperature.
NGDC collects, processes, archives, and disseminates
such worldwide geophysical data as solid earth
geophysics, earthquake seismology, geomagnetic
surveys, marine geology and geophysics, solar-
terrestrial physics, and glaciology.
Compiles pollutant-loading estimates for point,
nonpoint, and riverine sources in coastal counties or the
200-mile Exclusive Economic Zone. Such sources
discharge to the estuarine, coastal, and oceanic waters
of the contiguous United Stales, excluding the Great
Lakes.
Frequency /Most
Recent Report
5-year surveys; most
recent 1990.
Collect
daily/monthly/yearly
information from
primary and
secondary sources;
monthly, quarterly,
and annual
publications; user
requests via hard
copy, magnetic
tapes, diskettes.
CD-ROM, PC
Bulletin Board.
Responds to over
33,000 user requests
per year; these
records date from
mid-nineteenth
century to present.
Responds to over
10,000 user requests
per yean records
date from late-
nineteenth century to
present.
Responds to 11,000
user requests per
year; records date
from mid-nineteenth
century to present.
East, West and Gulf
Coast estimates are
for 1982, 1984, and
1987 respectively.
In 1993 estimates
will be updated to
1991 for all three
marine coasts.
                                 1.5.5-8
  "I' •	H'  !	| " 'J

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Environmental Statistics Programs (continued)
Program
National Eituarine
Inventory
Month and State
Current Emissions
Trends
National Energy
Information Center
Carbon Dioxide
Information Analysis
Center
Integrated Data Base
Program
National Wetlands
Inventory
Gap Analysis
National Contaminant
Biomonitoring Program
North American
Breeding Bird Survey
Sponsor
NOAA
DOEArgonne
National Laboratory
DOE Information
Administration
DOE Oak Ridge
National Laboratory
DOE
FWS
FWS
FWS
FWS
Coverage
Compiles, evaluates, and assesses information on 102
estuaries in the continental United States, including data
on salinity, bottom sediments, freshwater inflow,
pesticide use, land use, distribution of estuarine fishes
and invertebrates, population, water quality, recreation
use, and wetlands.
Emissions estimates for NOx, SO2, and VOCs by
month and slate from 1975 to the present for 68
emission source groups.
Collects and publishes data; prepares analyses on
energy production, consumption, prices, and resources;
makes projections of energy supply and demand.
Compiles, evaluates, and distributes information related
to carbon dioxide.
Maintains data on all spent radioactive fuel and waste in
the United States.
Develops comprehensive information on the
characteristics and extent of U.S. wetlands resources;
wetlands map coverage for 70% of lower 48 stales,
22% of Alaska, and all of Hawaii, Puerto Rico, and
Guam.
Develops standardized distribution maps of surface
vegetation, terrestrial vertebrates, and endangered
species in the lower 48 states and Hawaii.
Documents temporal and geographic trends in
concentrations of persistent environmental contaminants
that may threaten fish and wildlife; covers major U.S.
rivers and Great Lakes.
Provides uniform basis for assessing long-term trends in
avian populations throughout North America; total
number of individuals by species, survey route, and
state.
Frequency /Most
Recent Report
Many projects are
ongoing assessments; •
others involve a
snapshot view of
existing data. Topics
of the Coastal Trends
series include a
summary report on
U.S. estuaries
(1990), coastal
wetlands (1991),
housing starts
(1992), coastal
pollution (expected
1993), oil spills
(expected 1993).
Monthly; 1975 to
present.
Annual reports.
Data collection
ranges from hourly
to decadal.
Annual data
collection and
reporting.
Continuous wetlands
trend for lower 48
states; statistical
estimates of U.S.
wetlandi acreage
beginning in 1990.
First analysis, 1988
national assessment
to be completed in
1998, to be updated
at 5-year intervals.
2-to-4 year intervals.
2-year intervals.
                                  1.5.5-9

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                     Environmental Statistics Programs (continued)
    I!1  ;:
  I	'Silly,
'• 	I	
Program
Waterfowl Breeding
Population and Habiut
Statistics and
Information Services
Public Land Statistics
National Stream
Quality Accounting
network (NASQAN)
and National
Hydrolojic Benchmark
Network
National Trend*
Network
National Water
Conditions Reporting
System
National Land Use and
Cover Program
Water Data Program
National Water UK
Information Program
Sponsor
FWS
Bureau of Mines
BLM
uses
uses
uses
uses
uses
uses
Coverage
Provides annual breeding population estimates;
measures breeding habitat changes over major portion
of duck breeding range in North America.
Collects, analyzes, and publishes data on metal
production and consumption, including scrap and waste.
Collects summary statistics of land ownership in the
United States and BLM natural resource management
programs at the state level.
NASQAN provides a national uniform basis for
assessing large-scale, long-term trends in physical,
chemical, and biological characteristics of waters;
monitors for pH, alkalinity, sulfate, nitrate, phosphorus,
calcium, magnesium, sodium, potassium, chloride,
suspended sediment, fecal conform bacteria, fecal
streptococcal bacteria, dissolved oxygen, dissolved
oxygen deficit, and trace elements; the Benchmark
Network monitors water quality in surface waters
largely unaffected by human activities.
Monitors atmospheric deposition under National Acid
Precipitation Assessment Program (NAPAP); 150
stations predominantly in rural areas, in combination
wilh USDA National Atmospheric Deposition Program
(NADP); almost 200 sites nationwide.
Collects and analyzes streamftow data, groundwater
levels, reservoir contents, and limited water-quality data
from S sites on major riven.
Includes land-use and land-cover maps and digitized
data. Statistics by political units, hydrologic units, and
census county subdivisions are available. Classes
include urban or built-up land, agricultural land,
rangeland, forestland, water areas, wetland, ban-en
land, tundra, and perennial snow and ice. Maps are
available for most of the country at 1 :2SO,000 scale.
Nearly 60,000 water-data stations throughout the nation
are used to obtain records on stream-flow, stage
(height), reservoir and lake stage and storage,
groundwater levels, well and spring discharge, and
quality on surface water and groundwater. Data, stored
in the WATSTORE database, are available in machine
readable form or as computer printed tables or graphs,
statistical analyses, and digital plots.
Determines purposes for U.S. fresh and saline surface
water and groundwaler withdrawn, water consumed
during use; and water returned to source after use.
Frequency /Most
Recent Report
Annual surveys and
reports.
Monthly, quarterly,
and annually.
Annual reports.
Yearly data
summaries for each
state.
NAPAP publications.
Published in month
newsletter. National
Water Conditions.
USGS publications.
Published by water
year for each state.
National
compilations every 5
years; most recent.
                                                       1.5.5-10

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Environmental Statistics Programs (continued)
PrOgTSQl
Water Resources
Assessment Program
Earth Observing
SyAem
National Air Pollution
Control Program
Compreheniive
EavironmenUl
Response,
Compensation, and
Liability Information
System
Environmental
Radiation Ambient
Monitoring System
(ERAMS)
Hazardous and
Nonhazardous Surveys
Toxics Release
Inventory
Water Pollution
Control Act Section
305(b) Assessments
Ambient Water
Monitoring
Program/STORET
Sponsor
USGS
NASA
EPA Office of Air
Quality Planning and
Standards
EPA Office of
Emergency and
Remedial Response
EPA Office of
Radiation Programs
EPA Office of Solid
Waste
EPA Office of Toxic
Substances
EPA Office of Water
EPA Office of Water
Coverage
Summarizes statistics on slate and national water
resources for USGS biennial report, National Water
Summary, each report oriented to water resource theme,
such as groundwater quality.
Measures key environmental variables using series of
unmanned satelttes; part of NASA Mission to Planet
Earth program; EODIS, iu data and information
system, will coordinate with the Global Change Data
and Information System, which includes the NOAA
data and information system.
Collects and analyzes data on ambient air quality and
air pollution levels and compares them to National
Ambient Air Quality Standards (NAAQS).
Contains information on over 30,000 abandoned or
uncontrolled hazardous waste sites.
Monitors radiation in air, drinking water, surface water,
and milk.
Collect data through survey and regulated entity reports
on hazardous and non-hazardous (solid) wastes
generation and management; information on regulated
entities and the waste volumes they generate and
manage.
Mandatory annual inventory of releases of 328 toxic
chemicals to air, water, land, and off-site disposal from
more than 17,000 manufacturing facilities across the
country. Material is available on CD-ROM.
Compiles state reports on water quality status of surface
water and groundwater,, as required by section 305(b),
Federal Water Pollution Control Act; the states prepare
assessments using various monitoring data.
largest database for water quality information; data
contained in STORET with over 170 million data points
from states and federal agencies, such as USGS, on
surface water and groundwater quality, sediments,
streamflow, and fish tissue contamination.
Frequency/Most
Recent Report
Biennial; 1991 report
covered floods and
droughts.
NASA publications.
Annual reports on air
quality and emission
estimates.
Updated on-line.
Sampling intervals
from twice weekly to
bi-annual, based on
analyses, at 332
stations; since 1973.
Current data is from
1985 biennial report
and two 1986
surveys.
Annual reports.
1990 biennial report
as of 1988.
Updated on-line.
                                1.5.5-11

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                    Environmental Statistics Programs (continued)
Program
Public Water System
Supervision Program
National Pollutant
Discharge Elimination
System Program
Municipal Construction
PiQgiaui
Coastal and ocean
Protection Programs
Sponsor
EPA Office of Water
EPA Office of Water
EPA Office of Water
EPA Office of Water
Coverage
Contains information about public water supplies
(PWSt) and their compliance with monitoring
requirements, maximum contaminant level (MCL)
regulations, and other requirements of the Safe
Drinking Water Act; data is stored in the Federal
Reporting Data System.
Tracks permit compliance and enforcement status of
facilities covered by water pollution permits;
information is contained in the Permit Compliance
System. (PCS)
Inventory of existing or proposed publicly owned
treatment works (POTWs) that need construction or
renovation to meet Clean Water Act requirements;
information is maintained in the Needs Survey System.
Covers environmental data (water quality, biological,
permitting, environmental impact data) for discharges
and pollutant loadings to coastal waters as well as ocean
dumping; information contained in Ocean Data
Evaluation System (ODES).
Frequency/Most
Recent Report
Quarterly state and
EPA regional
reports.
Monthly facility
reports entered on an
ongoing basis.
2-year update from
each state; biennial
report submitted to
the Congress.
Biennial reports to
the Congress for
National Estuary
Program; annual
reports to the Ocean
Dumping Program;
special reports on
coastal programs.
Note: Neither this table nor the source document, which describes 72 federal programs, are exhaustive. For instance, USDA also
maintains mission-oriented statistics in such areas as crops, snowpack, soil erosion, national forests management, and wildfires. The
DOC Bureau of Census maintains social, demographic, and economic statistics relevant tot he environment. NOAA maintains statistics
on marine resources and coastal wetlands. BLM maintains statistics for ELM lands, including condition, wildlife, minerals, and use;
and NFS collects comparable statistics on the status of national parks. The Bureau of Mines collects, interprets, and publishes data on
production, consumption, and trade of over 100 minerals. FWS maintains data on FWS lands and conducts surveys of fishing,
hunting, and wildlife-associated recreation every S years, with the most recent report in 1991. USGS maps national land use and land
cover, and EPA conducts regional and other pollution surveys. DOT compiles highway and other transportation sutistics, and the
U.S. Coast Guard maintains data on marine pollution spills.
Source: U.S. Environmental Protection Agency, Center for Environmental Statistics, Guide to Selected National Environmental
Statistics in the U.S. Government (draft), (Washington, DC; EPA, 1992).
                                                     1.5.5-12
1	

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       Summary and Table of Contents for the Manual of Federal Geographic Data
       Products (Source:  Federal Geographic Data Committee.  1993)
                     Manual of Federal Geographic Data Products

The Manual of Federal Geographic Data Products describes Federal geographic data products
that are national in scope and commonly distributed to the public.  Geographic data products
include maps, digital data, aerial photography and multispectral imagery,  earth science, and
other geographically-referenced data sets. Federal agencies were encouraged to list only those
geographic data products  that are supported by an office to which the public could  make
inquiries and place orders. Federal agencies also were encouraged to list only those geographic
data that would be available by January 1993.

Data products are described in a standardized format  and grouped by producing agency.  A
cross-reference matrix is provided to help readers find products by data type.

The products listed  in the Manual include  only those that  currently are distributed by the
agencies.  Readers interested  in historical Federal geographic data products should contact the
Reference Services Staff of the National Archives and Records Administration at (202) 501-
5579.  The Map and Geography Division of the Library of Congress  also has an extensive
collection of current and  historical geographic data products from Federal and non-Federal
sources.  The Division can be reached at (202) 707-MAPS.

While much effort was made to ensure that the Manual is comprehensive, inevitably there will
be products that were overlooked.  In addition, rapidly changing geographic data technologies,
especially digital technologies, are resulting in new products and new forms of existing products.
Readers should contact the offices listed in the Manual to inquire about the availability of new
products and references to other Federal geographic data.  The FGDC intends to revise the
Manual approximately every 2 years.

Readers are invited to provide corrections and to suggest other Federal products or information
for inclusion in future editions of the Manual. Readers also are encouraged to comment on the
usefulness of the Manual, and to suggest improved methods of presenting the information.

For more information about the FGDC, its activities,  the  Manual, or to be added to the
newsletter mailing list, please contact:

             Federal Geographic Data Committee Secretariat
             U.S. Geological Survey
             590 National Center
             Reston, VA  22092
             USA
              (703)  648-4533
                                        1.5.5-13

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                                            Table of Contents
                                           !"  ;  '' . T i"      ,,-;i:'Hi,1
  •	,v  .r,,; '• i:;   Preface  . . „.,',. . . .  . ._.	...;.. .". .'.•.... I . .-.  .."....; iii"
            Federal Geographic Data Committee Overview	v
            Data Product Keyword Matrix	vii

            1      United States Department of Agriculture
                   Agriculture Stabilization and Conservation Service  	1-1
                   Forest Service	•.	1-5
I  i i1      -    ,;TI;  ./.cj	:^ •*»«••  •» M«	4  «••_,-	<»••.	•      . .•  	•   - •    	   	              , _„
V5L:    ,;::;  ,  I:,,;, :;"  Soil Conservation Service	'. . .'.". . . .  .'.". . . :.". . .  1-21
'fj I* '•     'j.  '  «*',;    '"; . • tsv "HI • : , jr.'-i  /i	!	i, ,-: '	,.   -.  ••    	'.'•'   ;'  '.  '  ."','"' ,!„
            2      United States Department of Commerce
^.^-,'.:,   :    ,.',    Bureau^ of the Census i">i'".	".......".."....'....'.  ". .  .". . . .•. . .  .2-1
                   Bureau of Economic Analysis	 . . . . ."'. .  . ........ .2-31
                   National Environmental Satellite, Data, and Information Service	2-35
;!""  "5.  '   .•     .'.    National Ocean Service^	'	2-85
::  ;";::":;  ;:   "   . •;"' ••   National^Weather Service"'.'	..."....'.'.'.'.".	 .,.."......"... 2-111

'!«, :',;';    3^	\ '_ ,1^11161'States Department of Defense "     "  '     	     '
                   Defense Mapping Agency .....  . . ...........................  .3-1
L"ir  :.	.,    ".;; „  ':	'r'"1  '^',*'	'.,	'.	.',:,: "":,	," v*'":"' •"	"""	•••    |"j  •' •-	   •• •• •
            4      United States Department of Health and Human Services
                   Centers for Disease Control	4-1
"' ;.»	',-!  	'	'  .  «"".:i    .'..'•"". ',""m,  uril .•';	:"i	  	'i,'. ']	" , „;,,-';.  " .. . ' "'"  , "' ".  '"  .. ; "  ;	,' '""-"'    ' ""-"'   ' •.•: .' • ,	
            5      United States Department of the  Interior
                   Bureau of Land Management	5-1
                   Bureau of Mines	5-29
                   Bureau of Reclamation	 .5-33
                   Minerals Management Service	 . . .'. .... . .  . . .  5-37
                   National Park Service	5-45
                   United States Fish and Wildlife Service	5-51
                   United States Geological  Survey .  .	'...'.. '.".. I .'I'."....;....  5-59
                   United States Department of Transportation
                   Federal Highway Administration	
,6-1
             7     Independent Agencies
                   Federal Emergency Management Agency	 . .	7-1
                   National Aeronautics and Space Administration  	7-5
             •IK I'M ;     • ,„, Tifiinf"	il i '••  ' "i. .  •""• . '»! • , "iiiin ":iii:i	 '" •
                   Tennessee Valley Authority	". .	 J .. . . . . .  . . . 7-13

             Appendix A:  Reader Response Form	'.... J ...'.'	 A-l
                                                 i.5.5-14
                                                                                             I	(I;,1
            "I I


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         State of the  Environment Reports  and Statistical Compendia Published by
         International Organizations (Source:  Council on Environmental Quality.  1992.
         Environmental Quality.   22nd  Annual Report)


Commission of the European Communities (CEC)

CEC, The State of the Environment in the European Community 1986, (Luxembourg: CEC, 1987). Earlier editions were published in 1977 uvd
1979.

Eunxut, Boric Statistics of the Community, annual (Luxembourg: CEC, 1990).

Eurostat, Environment Statistics 1989, annual (Luxembourg: CEC, 1990).

Organization for Economic Cooperation and Development (OECD)

OECD, Environmental Data Compendium 1991, (Paris:  OECD, 1991).  Earlier version* were publUhed in 1984 (pilot), 1985, and 1987.

OECD, The Suite of the Environment, (Paris: OECD, 1991). Previous editions were published in 1979 and 1985.

United Nations

A. L. Dahl and L. L. Baumgart, The State of the Environment in the South Pacific, (Geneva, Switzerland: UNEP, 1983).

United Nations Economic and Social Commission for Asia and  the Pacific, State of the Environment in Asia and the Pacific, (Bangkok:
UNESCAP, 1985).

United Nations Environment Programme (UNEP), Environmental Data Report 1991-92, biennial (Oxford, England: Basil Blackwell, 1991).
This report is coproduced with King* College, London; the World Resources Innitute in Washington, D.C.; and the U.K. Department of the
Environment.  It was intended to complement the more easily understood World Resources Report.

UNEP, State of the World Environments, annual (Nairobi: UNEP, 1991). The 1982 and 1987 reports were also published as, respectively, M.
W. Holdgate, M. Kassas, and G. F. White, eds., The World Environment 1972-1982, (Dublin: Tycooly International, 1982); and E. H-Hinnawi
and M. H. Haihmi, The State of the Environment, (Guildford, England: BuUerworth-Hcinemann, 1987).

UNEP, State of the Worid Environments, annual (Nairobi: UNEP, 1991). The 1982 and 1987 reports were also published as, respectively, M.
W. Holdgate, M. Kassas, and G. F. White, eds., The World Environment 1972-1982, (Dublin: Tycooly International, 1982); and E. El-Hinnawi
and M. H. Hashmi, The State of the Environment, (Guildford, England: Butterwonh-Heinemann, 1987).

UNEP, The State of the Marine Environment: UNEP Regional Seas Programme, (Nairobi: UNEP, 1990). The following regions were covered
for the yean indicated:  West and Central Africa (1984), East Africa (1980, 1982, 1984, and 1985), Kuwait (1985), South Asia (1985), East
Asia (1985), Red Sea and Gulf of Aden (1985), Indian Ocean (1985), and Ocecnia and the Pacific (1985).

United Nations Statistical Office and United Nations Economic Commission for Europe, Environmental Statistics in Europe and North America:
An Experimental Compendium, (New York: UNSO and UNECE, 1987).

Worid Bank

Worid Bank, The World Bank and the Environment, (Washington, DC; Worid Bank, 1990).

Worid Bank, World Development Report 1991, annual,  (Oxford, England: Oxford University Press, 1991).

World Resources Institute

A.L. Hammond, ed., Worid Resources 1990-1991, biennial, (Oxford, England: Oxford University Press, 1990). This publication is coproduced
with UNEP and the International Institute for Environment and Development.

Worid Resources Institute. The 1992 Information Please Environmental Almanac, (Boston: HoughtonMifflin, 1991).

Source: I.  Parker and C. Hope,  "The state of the environment: a survey of reports from around the world," Environment 34(1):20. (Heldref
Publications).
                                                      1.5.5-15

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                         1IU
                                                                                                                                                                              aw1 UFIijjjiu	riii;"11,;111,,lll:
::u  "(lull
'!	FJ« 'Hi
                         ".,	i
                                      :    ,;	i,  it  {	;-!„,.-
                                           ,
                                           "*!| '!|!'
                                                                                             1,5.5-16

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United States
Environmental Protection
Agency
Policy, Planning,
And Evaluation
(PM-223)
230-R-92-003
April 1992
A Guide To Selected National
Environmental Statistics
In The U. S. Government

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"Tin;*" i"ii	PSi'li'lBBi	It,1*"!1"1	iJ'IB'BBBii'1
                                            i in	iniiiniii1'1!!" •' i's w lira .ivini	; in;"1 '•  liiiiiii; mr r K < •:' .!!"«'	HI <'' n1"";', ni« ifiiiipsiii11'.  111 n	>'"'	"»ni; i!1":»,  >\	•  iiKiiir1	iiiiiiiiiii!iliii!ii
-------
                                TABLE OF CONTENTS
                                   Statistical Programs

ACKNOWLEDGMENTS	iii
FOREWORD 	v
TABLE OF CONTENTS	vii
INTRODUCTION 	xi

DEPARTMENT OF AGRICULTURE
Economic Research Service
    Major Uses of Land in the United States	1
Soil Conservation Service
    National Resources Inventory	3
U.S. Forest Service
    Forest Insect and Disease Conditions in the United States	5
    Forest Inventory and Analysis	6
    Forest Service Range Management Information System	8
    Land Areas of the National Forest System	9
    Recreation Information Management System	10
    Tree Planting in the United States 	11
    Wildland Fire Statistics	12

DEPARTMENT OF COMMERCE
Bureau of the Census
    Farm and Ranch Irrigation Survey ..._.	13
    Annual Surveys of Government Finances and Government Employment	14
    Decennial Census of Population	16
    National and Subnational Population Estimates and National and State Population Projections	18
    Survey of Pollution Abatement Costs and Expenditures	20
National Oceanic and Atmospheric Administration
    Classified Shellfishing Waters		21
    Fisheries Statistics Program	22
    Living Marine Resources	-	23
    National Climatic Data Center	25
    National Coastal Pollutant Discharge Inventory Program	27
    National Status and Trends Program	29

DEPARTMENT OF ENERGY
Argonne National Laboratory
    Month and State Current Emissions Trends	31
Energy Information Administration
    National Energy Information Center 	32
Oak Ridge National Laboratory
    Carbon Dioxide Information Analysis Center	33
    Integrated Data Base Program 	35
SELECTED ENVIRONMENTAL STATISTICS IN THE U.S. GOVERNMENT                                    PAGE vii
                                        1.5.5-19

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     DEPARTMENT OF HEALTH AND HUMAN SERVICES
     National Center for Health Statistics
         Health and Nutrition Examination Surveys 	1	1

     DEPARTMENT OF THE INTERIOR                    "'     ''  :         ''   ^''''"   '"'   '•'"   '••••'  '    '*'.• ^
     Bureau of Land Management    "               "           ': ••    •<'	'•: • •• -   !•••.  •.   , •   , ,     ,  ,	  .;  ril!
         Public Lands Statistics			 38
         Range Site Inventory ...		.«...	39
         Timber Sale Information System	40
  "  Bureau of Mines        	    "    '  '        "        '   '     "     "          '	        •••  r   ..
         Minerals Information Program 	'.."		......:...:.......,,,...	41
     National Park Service
         Master Deed Listing	43
         National Park Service Gaseous Pollutant Monitoring Network 	44
         National Park Service Visibility Monitoring Network	45
         National Recreational Trails, Long-Distance Trail Management, and National Trail Inventory and Plan  . 46
         National Wild and Scenic Rivers System	j	48
         Public Use Analysis and Reporting Program  	1	49
     U.S. Fish and Wildlife Service
         National Contaminant Biomonitoring Program  	.50
         National Survey of fishing, Hunting, and Wildlife-Associated Recreation	52
         National Wetlands Inventory  ........l...l..J.....r.........;........i.,..;............ .....  t 54
         North American Breeding Bird Survey  	'.	56
 w'. / '   U.S. Fish and WilJlife Service Lands ...'I...."...."........::..."1::.'.','.:".".
         Waterfowl Breeding Population and Habitat Survey  ........	..7	"..
 t:'1'  tLS. Geological Survey                 '   '  "   "	'      '    '"    ':;I"    <"•••)•       ....         	,
         National Hydrolonc Benchmark Network Program	59
 aii'  .        i i   mini      :'	  ,1	,	„	   	 .  	
         National Land Use and Land Cover Mapping Program  ....."..'.'..	"..".".			s •.-. 61
 , ' '        I  II    II II      ..!..  .'•:	-i i ,;.;[	, -. , - . „  . . .   , , „ „ ,,  ,
         National Stream Quality Accounting Network		.....":'."............:			•: -.-  -. 62
         National Trends Network	.64
         National Water Conditions Reporting System	'.	: 66
      . ' National Water Use Information Program	67
         Water Resources Assessment Program		;..................:..		. -.\ 69
        "  ;"^  '*  '-'  '•".  "' »>   '.-.   > .   •   •.        -   ,   ,„  „.	.,,.:    •  ;. j;  ,.".	;•     ,       .„.;.  r
     DEPARTMENT OF TRANSPORTATION                                                        H
     Federal Highway Administration
         Highway Statistics	j	70
     Research and Special Programs Administration
         National Transportation Statistics	72
 • '-   U.S. Coast Guard   "       •••••.     	  „        ....    	 	   ,(|     ,    _,            _^	_
         Marine Pollution Retrieval System	:.....:	:	73

,	,, i  ENVIRONMENTAL PROTECTION AGENCY                    '        '                  ' '  "  "	
     Office of Air Quality Planning and Standards
         National Air Pollution Control Program  	74
    PAGE viii
 SELECTED ENvlRONMEWAL STATISTICS IN THE U.S. GOVERNMENT
1.5,5-20

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ENVIRONMENTAL PROTECTION AGENCY (Continued)
Office of Ecological Processes and Effects Research
     Environmental Monitoring and Assessment Program, Long-Term Monitoring Project	75
     National Surface Water Survey	76
Office of Emergency and Remedial Response
     Comprehensive Environmental Response, Compensation and Liability Information System  	78
Office of Radiation Programs
     Environmental Radiation Ambient Monitoring System	79
Office of Solid Waste
     Hazardous and Non-Hazardous Waste Surveys 	80
Office of Toxic Substances
     Toxics Release Inventory	82
INDEX OF KEYWORDS	83

INDEX OF DATA PROGRAMS  	85
SELECTED ENVIRONMENTAL STATISTICS IN THE U.S. GOVERNMENT                                     PAGE ix
                                           1.5.5-21

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                                                                                                                                                                                                                                                  •HI	
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     COMPUTER-AIDED ENVIRONMENTAL ASSESSMENT
Luhar, A. K., and P. Khanna.  1988.  Computer-aided rapid environmental impact
assessment. Environmental Impact Assessment Review 8:9-25.
                               1.5.6-1

  *For purposes of this document, the term Environmental Assessment (EA) will refer to the
  Environmental Impact Assessment (EIA) process.

-------
':,«'  I   'I!  I"i|f  "'"'  ',   '   ll!'"1'!"               '."IS'
                                                                                                                                                                                                                                                                                                                                                                                                                   Mi	
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                                                                                  ENVIRON IMPACT ASSESS REV I98H;8:9-2S
                                                                                     COMPUTER-AIDED RAPID ENVIRONMENTAL
                                                                                     IMPACT ASSESSMENT
                                                                                     ASHOK K. LUHAR AND P. KHANNA
o-,
   Environmental impact assessment of a project attempts to bring about compatibility
   between ecology and economics. A computer-aided, quantitative and rapid meth-
   odology for environmental impact assessment is presented in this paper. The l
projects, plans, and policies must now be given the same emphasis thai economic
assessments have been accorded thus far. It is here that environmental impact
assessment (EIA) must play a crucial role in resolving the contlicts between
developmental objectives and the concern for environmental quality.
id IOBR Fltrvii-r Srlrnrc Pnhlnhin* Cn . Inc.

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     10
                                                       ASHOK K, LUIIAR AND P. KIIANNA
 :  TABLE 1,  Identification information used as input
    Environmental Componenl
                                                 Infomiaiion Needed
    Air                    Existing air quality, meteorology, topography, emission rates of
                             different pollutants, some physical parameters of the project
                             components, etc.
I   Water                   Existing water quality, aquatic ecosystem of receiving body, water
=                            temperature, water flow and chemical composition of effluent,
!                            physical parameters of the receiving body, etc.
=   Land                   Present state of the sail, porosity of the soil, other physical and
                             chemical properties of the soil, etc.
    Biological                Existing slate of the biological environment (flora and fauna) of the
                             area, population and its distribution, etc.                   ^
    Socioecnnomic            Demography, ethnic composition of the area, age distribution of
                             the people, etc.
i   Noise                   Type of noise sources (vis-a-vis point, line, etc.) and their relative
                             intensity, etc.
      Notwithstanding the fact that EIA is conceived to be a valuable planning and
    decision-making tool, in practice it suffers from several limitations, particularly
  ;  its major requirements for time, finance, expertise, and data. It is therefore not
  •" surprising that most  developing countries have  resorted  to rudimentary ap-
  proaches (eg, checklists) in the absence of objective screening  and scoping
  -i. criteria, guidelines for rapid EIA, and tools  for prediction and evaluation.  In
  :  addition, there is the problem of quantifying intangible impacts of the project.
      With a view to obviating some of the aforementioned limitations, a rapid and
    quantitative methodology  for EIA is presented in this paper. The  present con-
    tribution  provides  an approach, and therefore  no attempt  has  been  made  to
    incorporate all parameters and rigorous mathematical models available  in the
    literature. However, it does include the cost of mitigating detrimental environ-*
    mental impacts.


    Definition of EIA
    Many definitions of EIA have been provided (Battelle 1978; UNEP 1978; Munn
    1979), but none  of them may be accepted as complete. The work  presented  in
    this paper is based on the definition given by  Heer and Hagerty (1977):

      EIA consists in establishing quantitative values for selected parameters which indicate the quality
      of the environment before, during and after an action.
M
lia
Computer-Aided Rapid EIA
The technique "resented here is a rapid EIA technique for assessing impacts on
the major et ^jviental components: air,  water,  land, noise, biological, and
socioeconom.^Pis most relevant  to developing countries.
                                                                                                                COMPUTCR-AIOeO RAPI0 EHVIROWMENTAt IMPACT ASSESSMENT
                                                                                                           The process of EIA can be divided into three parts: identifir
                                                                                                         and evaluation of impacts  (Canter 1977). The computer a'
                                                                                                         prepared based on these general steps of EIA.
                                                                                                                                                                                         I
                                                                                                                Identification
                                                                                                                The identification part of EIA involves the description of existing environmental K!
                                                                                                                components, the project, and the project area. The description included in emu  i|
                                                                                                                putcr-aided methodology is presented in Table I. The identification of significant ^
                                                                                                                impacts in individual cases is project specific and no attempt has been made in £j
                                                                                                                this paper to incorporate these as the objective here is to suggest general purpose:
                                                                                                                methodology.
                                                                                                                Prediction
                                                                                                                Prediction is essentially the quantification step. The impacts of project activities J"
                                                                                                                are predicted through mathematical models and other predictors of environmental fj
                                                                                                                quality. It should be noted  that  a  model should  be calibrated, verified,  ami
                                                                                                                validated before use.                                                        h
                                                                                                                  Unfortunately, in developing countries, nonavailability of sufficient data ham "-
                                                                                                                pers the efforts to calibrate, verify, and validate (he models. The attempt in this
                                                                                                                paper, therefore, is to incorporate models with limited data requirements. Smli
                                                                                                                an approach is considered rational in the context of rapid assessment.
                                                                                                                                                                                           II

                                                                                                                Evaluation
                                                                                                                In the evaluation step, impacts are converted into environmental quality predic-
                                                                                                                tors with recourse to value function graphs. Value function graphs have heen
                                                                                                                prepared for different environmental components based on the aesthetic, cmi
                                                                                                                ronmental, and health risks of different pollutants and their standards. The inaih |j
                                                                                                                ematica! forms of value function curves have been formulated through polymmtial||
                                                                                                                regression and incorporated in the computer program. Suhindiccs arc converted!
                                                                                                                into a single index by taking  their weighted sum. The weights given to diHeienij
                                                                                                                environmental risks and costs for various environmental components depend <>n-
                                                                                                                the type of project under assessment.                                       «
                                                                                                            A Computer Package for Rapid EIA                                  V
                                                                                                                                                                                       ill
                                                                                                            A computer algorithm is depicted  in Figure  I. The algorithm is designed nijj
                                                                                                            keeping with the nonavailability of complete databases in developing count!if1- jj
                                                                                                            Instead, the  program uses simple identification information presented  in T:il>l
-------
                                                         ASIIOK K. LUHAR AND P. Klf ANNA
            (71-
   (A)  IDENTIFICATION
                          1READ INPUT PARAMETERS FOB PREDICTION OP IMPACTS
                          OK Ain,  WATER, LAND, BIOLOGICAL AND SOCIOBCOHOMICx
                          ENVIRONMENT

                          READ INPUT PARAHETERS FOR PREDICTION OP NOISE LEVEL '
                          READ EIA MATRIX (MAXIMUM SCORE I.E. WEIOHTAGB
                          GIVEN TO ABOVE ENVIRONMENTAL COMPONENTS INCLUDING '
                          NOISE FOR DIFFERENT ENVIRONMENTAL RISKS)
                    READ CPST MATRIX  (MAXIMUM I.E.  WEIOHTAOE GIVEN TO THE ABATEMENT\
                    COST (MINUS RESOURCE RECOVERY!  FOR THE ABOVE ENVIRONMENTAL
                    COMPONENTS INCLUDING NOISE) F(,k

                    READ REAL COST MATRIX (REAL SCORE GIVEN TO THE ABATEMENT COST
                    (MINUS RESOURCE RECOVERY) FOR THE ABOVE ENVIRONMENTAL COMPONENTS
                    INCLUDING NOISE)  X
                                 AIR quALirr ANALYSIS BEGINS
                                (ONE RECEPTOR AND ANY NUMBER
                                OF SOURCES AND POLLUTANTS)
                                                               FUNCTION (STACK HEIGHT
                                                               CORRECTION FOR STACK
                                                               DOVNHASH i
HIND SPEED CORRECTION AT
STACK HEIGHT
                                 CALCULATE EFFECTIVE STACK
                                 HEIGHT
                             IS
                      EFFECTIVE
                   STACK HEIGHTS-MIXING HEIGHT
                             OR
                 RECEPTOR HEICHT>MIXIHS HEIGHT
                           7
                                                                CONCENTRATION • 0
FIGURE  1.  General  Flow Chart of Computer-Aided Rapid Environmental Impact As-
sessment.  (A) Identification;  (B) Prediction; (C) Cost-Effective Evaluation.
                                                                                              COMPUTER-AIDED RAPID ENVIRONMENTAL IMPACT ASSESSMENT
                                                                                                                  CALCULATE CONCEN-
                                                                                                                  TRATION FOR STABLE
                                                                                                                  CASE (UNLIMITED
                                                                                                                  MIXING )
                                                                                                                                                                     CORRECT THE CONCENTRATIOH FOR
                                                                                                                                                                     CHEMICAL ATTENUATION
                                                                                                                 12)
                                                                                                                                                O)
                                                                                                                                                                      CALCULATE TOTAL CONCENTRAT-
                                                                                                                                                                      IOH AT A RECEPTOR DUE TO ALL
                                                                                                                                                                      SOURCES FOR DIFFERENT POLLUTANTS
                                                                                                                                                                      CALCULATE CONCENTRATION FOB
                                                                                                                                                                      DIFFERENT AVERAGING TIMES
                                                                                                                                                                        CALCULATE VISIBILITY
                                                                                                                                            ((B) Continued)
                                                                                                                                                                                  15)
                                                                                                                                                             FIGURE I. (Continued)

-------
                                               ASHOK K. LUIIAR AND P. KHANNA
ON
                 CALCULATE THE CONCENTRATION OP SUBSTANCES
                 DUE TO LAND DISPOSAL OP THE HASTE THROUGH
                 DISPERSION EQUATIONS
                CALCULATE THE VALUES OF PREDICTORS OP BIO-
                LOGICAL ENVIRONMENT (WHICH MEASURE THE EFFECTS
                OF A PROJECT ON FLORA AND FAUNA)
                CALCULATE THE  INCREASE IH THE NOISE  LEVEL
                DUE TO THE PROJECT
                CALCULATE THE VALUES OF PREDICTORS  OF  SOCIO-
                ECONOMIC ENVIRONMENT (WHICH MEASURE THE
                CHANGES IH SOCIAL AND  ECONOMIC STATUS OF THE
                PEOPLE LIVING IN THE AREAS NEARBY I
«B)  Continued)
                                      (6)
                      FIGURE 1.  (Continued)
                                                                                                                                    :  !:
                                                                                                                     .COMPUTER-AIDED RAPID ENVIRONMENTAL IMPACT ASSESSMENT
                                                                                                                                                                                                              15
                                                                                                                                                                   161
                                                                                                                    (C)  COST-EFFECTIVE
                                                                                                                 •3,
                                                                                                                         EVALUATION
FUNCTION TO CALCULATE
QUALITY INDEX  FOR ENVI-
RONMENTAL RISKS DUE TO
INCREASE IH WATER TEMP.
                                                                                                                       SUBROUTINE TO CALCULATE
                                                                                                                       QUALITY 1HDEX FOR HEALTH
                                                                                                                       DISKS DUE TO LAND POLLUTION
                                                                                                                       SUBROUTINE TO CALCULATE
                                                                                                                       QUALITY INDEX FOR ASTHETIC
                                                                                                                       RISKS DUE TO LAND POLLUTION
                                                                                                                       SUBROUTINE TO CALCULATE
                                                                                                                       QUALITY INDEX FOR  ENVIRON-
                                                                                                                       MENTAL RISKS DUE TO LAND
                                                                                                                       POLLUTION
SUBROUTINE TO CALCULATE
QUALITY INDEX FOR
SOCIOECONOMIC ENVIRON-
MENT
                CONVERT TUE  PREDICTORS OF
                ALL ENVIRONMENTAL COMPON-
                ENTS INTO THEIR RESPECTIVE
                QUALITY INDICES (REAL
                SCORES)
                 I EXCLUDING COSTS I
            SUBROUTINE TO CALCULATE
            QUALITY INDEX FOR HFAI.TII
            RISKS DUE TO AIR POLUITM'H
            SUBROUTINE TO CALCULATE
            QUALITY INDEX TOR KNVInnll-
            HENTAL RISKS DUE TO AIR
            POLLUTION
           SUBROUTINE TO CALCULA
           QUALITY INDEX FOR AS1lll.fl
           RISKS DUE TO AIR PnLLIIMm; •
                                                                'LAtr   1
                                                                siui.cn  I
SUBROUTINE TO CALCULATE
QUALITY INDEX FOR BIO-
LOGICAL ENVIRONMENT
(FLORA AND FAUNA)
                                                                                                                                         (71*
                                                                                                                                                     FIGURE 1.  (Continued)

-------
                                               ASHOK K. LUHAR AND P. KHANNA
    Brief descriptions of mathematical models incorporated  in the program for
  irediction of impacts follow:
  \ir
  \ short-term Gaussian point source model, which has been incorporated in the
  HAM program of the US Environmental Protection Agency (Novak and Turner
  1976), has been used for the prediction of air pollution levels. The model uses
  P-G dispersion parameters and calculates plume rise using Briggs' equations.
  Wind speed is corrected at the stack height using the power law relation given
  by Deacon (Wark and  Warner  1981). Concentrations are corrected  for stack
  downwash and chemical attenuation (Dobbins 1979). The latter correction, how-
  ever, cannot be applied to all  pollutants because  of the complex chemistry
  associated  with them. The concentrations are converted for different averaging
  times, as required by value function curves, using the power law relation (Stern
  1976). Visibility is reckoned from the concentration of particulates.  The pol-
  lutants considered in the program are NO2, CO, 03, SO2, TSP, and hydrocarbons.
  The model can also be used for long-term predictions by taking the average over
  a wind rose. The assessment of impacts on air quality is described in detail by
  Clark et al. (1984), Jakeman and Simpson (1985), and Shen (1986).
^Water
  The program incorporates  the case of thermal pollution (as in thermal power
  projects) with recourse to simple diffusion equations (Parker and Krenkel 1970;
  Zaric  1978) for predicting  the increase in temperature of a water body (river,
  lake, or estuary) at different locations. The program can be generalized (for
  other projects) by incorporating prediction models for conservative and noncon-
  servative pollutants.    '
  Land
  The prediction refers to the horizontal and vertical concentrations of pollutants
  consequent to land disposal of waste waters. The model parameters are highly
  dependent on soil characteristics.
 Biological Environment
 Various predictors, described in the literature (Rau and Woolen 1980) have been
 used to predict the impacts of a proposed project on a biological environment.
 Sample plot or quadrants methods and a roadside count method are used to
COMPUTER-AIDED RAPID ENVIRONMENTAL IMPACT ASSESSMENT
predict the impacts of the project on flora and fauna, respectively. The prediction
refers to the Importance Value and Census Index.
Socioeconomic Environment
Two predictors, the Index of Qualitative Variation and the Dependency Ratio.
calculated from demographic data, have been used to predict the impacts ol the
project on the socioeconomic environment.
TABLE 2. Environmental impact assessment matrix
Environmental
Component (i)
Air




Water





Land




Biological




Socioeconomic



Noise


Associated risks
and control costs (j)
Health risks
Environmental risks
Aesthetic risks
Cost of control*

Health risks
Environmental risks
Aesthetic risks
Cost of control1


Health risks
Environmental risks
Aesthetic risks
Cost of control1

Environmental risks
Aesthetic Risks
Cost of control*


Environmental risks
Cost of control*


Health risks
Aesthetic risks
Cost of control'
Environmental parameters
and predictors (It)
NO,. CO, TSP x SO,, 0,
NO,. CO, SO,, TSI>.
hyrocarbons
Visibility, odor1
NO,. SO,. TSP
Helminths,1 vims,' colifmms
BOD, temperature
Mosquito,1 fly,1 and «ul
-------
        18
                                                   ASIIOK K. LU'IIAR AND P, KIIANNA
       Noise
       Models are available in literature to predict the noise levels from point »nd line
       sources (Rau and Woolen 1980; Magrab 1975). Inputs for the models are receptor
       location, sound intensity, or sound power (fora point source), number of vehicles
       and their speeds (for a line source), etc.
         The tabular form of the EIA matrix, used in the program, is shown in Table
       2. Out of some number (preferably 1000), weight is assigned to each element
       of the matrix based on its relative significance. A subindex is calculated for each
       of the matrix elements using value function graphs incorporated in the program
       in mathematical forms. A subindex value of 1  is considered best while a value
       of 0 is considered worst. Value function graphs for aesthetic, environmental,
       and health risks for the air environment are included in Figures 2 through  12.
       Average time for Figures 6, 7, 9, and 11 is 24 hours; for Figures 4,  5, 8,  10,
       and 12 the average times are annual, one hour, three hours, eight hours, and
I
     CO
 I
              1.00
           x  0.75
           kl
           O

           a
           m

           £  0.50
           3
           O
              0-25
                                           100
                                            80
                                            60

                                            40
                                            20 ~
                                               x
                                            10;
                                             e t
                                             6 5
                                                                     4 >
                                                                     I
                                         100      200     400  600
                             PARTICULATE  CONCENTRATION
           FIGURl
alue Function Curve for Visibility (Aesthetic Risk)
                                                                                 COMmiTER-AIOED RAPID EHVIRONMENTAt IMPACT ASSESSMENT  .-',  ,
                                                                                                             0-5
  X
  UI
  o
  I 0-3
  n
  v
  j-

  3 0.2
  o
                                                                                                            0-1
                                                                                                                                   DISAGREEABLE
                                                                                                                                   ODOUR
                                                                                                                     HIEAVV FREQUENT I
                                                                                                                                  —M4	
                                                                                                                      POLLUTION ^^
                                    MODERATE
                                  OCCASIONAL
                                    POLLUTION
CLEAR
                                                                                                          FIGURE 3. Value Function Curve for Odor (Aesthetic Risk)
two hours, respectively. An overall index is calculated by taking the wcipliict
sum of subindices for all the project options including the no-project oplion.

                   Overall index   i _  v V V Y  P
                of a project option      777"   i)k  i)k

       i  = number of environmental components (max. i = 6)            _

       j  = number of environmental risks (+ one cost element) for ith

           component (max. j = 4)

      k  = number of pollutants or predictors for ith component and jth

           risks (max. k = 5)

      X  = quality subindex of a particular element, i, j, and k

      F  = maximum score or weight given to a particular element, i,

           j, and k                              ^^

-------
                  0.05         O.t0          0-15

                 NITROOENDIOXIDE  CONCENTRATI Otf



FIGURE 4. Value Function Curve for NO2 (Environmental Risk)
                                                         0-20
                                                      /U
    1-0
    0-8
u  0-6
o
a
w
   0-4
    0-2
                 _L
                                                           J_
                  10         20       30       40        50


                  CARBON MONOXIDE  CONCENTRATION «m«/H-*-
        <:  Value Function Curve for CO (Environmental Risk)
                                                                                           CD
                                                                                           t  °-
                                                                                              0.8
                                                                                              o.s
                                                                                              0-4
                                                                                           I
                                                                                              0-2
       0      0-4     0-8      1-2      1-6      20    2-4

                SULPHUR  DIOXIDE  CONCENTRATION (m«/U —«



FIGURE 6. Value Function Curve for SOj (Environmental Risk)
                                                                                               1-0
                                                                                              0-B
                                                                                              0-6
                                                                                           o
                                                                                           z

                                                                                           i
                                                                                           or
                                                                                                                            i
                                                                                                              100        200         300       400

                                                                                                               PARTICULATES  CONCENTRATION
                                                                                           FIGURE 7. Value Function Curve for Particulates (Environmental Risk)

-------
                                                                                                                                                   «
    =  il-O!
       0-8
    ;  1 0-6i
    '  '
   M
   3
       0-4
    ;   0-2
                     4-
                                 JL.
                                                                                              ,  1-0,
                                                                                             V:
                     0.1          0-2          0-3       CM
                       HYDROCARBONS CONCENTRATION  Infl/ll
^  FIGURE 8.  Value Function Curve for Hydrocarbons (Environmental Risk)
        1-0
                                                             0-5
  10            I02           10s

CARBON   MONOXIDE CONCENTRATION (m«A)
                                                                                             FIGURE 10 Value Function Curve for CO (Health Risk)
                                                                                                                                                      10'
             . wHe
                        NITROOENDIOXIDE  CONCENTRATION
                                                                                                            1000     2000    SOOO    4000   9000

                                                                                                                 T9PXSO,  CONCENTRATIONS Ipfl/n
                                                                                                                                                         600(
Fir.llRF, 9.HIR Function Curve for NO2 (Health Risk)
                                                                                             FIGURE 11. Value Function Curve for TSP x S02

-------
    24
                        ASIIOK K. LUIIAR AND P. KHANNA
""
       1-0
       08
    x
    kl
    O

    i as
    9
    $0-4

    3
    a

       0-2
          10
    102                  10s
OZONE  CONCENTRATION t/i«/m3)
     FIGURE 12. Value Function Curve for O) (Health Risk)
    The option that provides highest value of I is considered  as the best option
    followed by other project options according to their decreasing indices.
    Conclusions
    The scope of E1A in' most developing countries is restricted to the questionnaire
    type checklists defeating the purpose of the exercise as a decision-making tool.
    This presentation is a limited step in the development of computer-aided quan-
    titative EIA. The paper essentially presents a framework for rapid EIA and covers
    six environmental components (air, water, land, noise, biological, and socio-
    economic environments) and the costs of mitigation measures.
   The work presented here forms a part of a project sponsored by the Ministry of Environment and
   Forests, Government of India.
    REFERENCES
    Baltelle Institute. 1978. The Selection of Projects for EIA. Brussels. Commission of the
      Pnrnnean Communities Environment and Consumer Protection Service.
                                                                                                            COMPUTER-AIDED RAPID ENVIRONMENTAL IMPACT ASSIiSSMLNI
 Canter, L. W.  1977. Environmental Impact Assessment. New Ym      Jra\v-||j||.
 Clark, A.  I., Mclntre, A. E., Lester, J. N., and Perry, R.  1984. Air quality ini|
   assessment. Environ. Monit. and Assess.  4:205-232.
 Dobbins, R. A. 1979. Atmospheric Motion  and Air Pollution. New York: Wiley-ln
   science.
 Heer, J.  E., and Hagerty, D. J. 1977.  Environmental Assessments and Staienienn N
   York:  Van Nostrand Reinhold.
 Jakeman, A. J., and Simpson. R. W.  1985. Assessment of air quality impacts from
   elevated point source. J. Environmental Management 20(l):63-72.
 Magrab,  E. B.  1975. Environmental Noise Control. New York: Wiley.
 Munn, R. E. (ed). 1979. Environmental Impact Assessment: Principles and Proceiliu
   Toronto: International Council of Scientific Unions, Scientific Committee on Problc
   of the  Environment.
 Novak, J.  H., and Turner, B.  1976. An efficient Gaussian plume multiple  source
   quality algorithm. J. Air Pottut. Control Assoc. 26(6):570-575.
 Parker, F. L., and Krenkel,  P. A. 1970. Physical and Engineering Aspects of Them
   Pollution. London: Bulterworths.
 Rau, J. G., and Wooten, D.  C. (eds). 1980.  Environmental Impact Analysis Hantlbm
   New York: McGraw-Hill.
 Shen,  T. T. 1986. Assessment of air pollution  impact. Atmospheric Enviromw
   20(10):2039-2045.
 Stern, A. C. 1976. Air Pollution, Vol. I. New York: Academic Press.
 UNEP. 1978. Draft Guidelines for Assessing Industrial Environmental Impact and I
   vironmental Criteria for the Siting of Industry. Paris: UNEP Industry and Environincni
   Office.
 Wark, K., and Warner, C. P. 1981. Air Pollution, Its Origin and Control. New Ym
   Harper and Row.
Zaric, Z. P. (ed). 1978. Thermal Effluent Disposal from Power Generation. Washiiinim
  DC: Hemisphere.

-------
                                                                                                                            	(1
,,,  ,	I	!!',"    ,, «i III! I
                                                                                                                 " .1   ,    I. li11	HI"' '«,
                                                1.5.6-12

-------
^ .      H)                    iu
U>                         OZONE CONCENTRATION t/tg/ffl9)
ON
^  FIGURE 12. Value Function Curve for Oj (Health Risk)
w

   The option that provides  highest value of I is  considered as the best option
   followed by other project options according to their decreasing indices.


    Conclusions
    The scope of El A in most developing countries is restricted to the questionnaire
    type checklists defeating the purpose of the exercise as a decision-making tool.
    This presentation is  a limited step in the development of computer-aided quan-
    titative El A. The paper essentially presents a framework for rapid El A and covers
    six environmental components (air, water, land, noise, biological, and socio-
    economic environments)  and the costs of mitigation measures.


    The work presented here forms a part of •  project sponsored by the Ministry of Environment and
     Forests, Government of India.
COMPUTER-AIDED RAPID ENVIRONMENTAL IMPACT ASSESSMEN.
     ••
Canter, L. W. 1977. Environmental Impact Assessment. New York: McGraw-Hill.
Clark, A. I., Mclntre, A. B., Lester, J. N., and Perry,  R. 1984. Air quality imp
  assessment. Environ. Monlt. and Assess. 4:205-232.
Dobbins, R. A.  1979. Atmospheric Motion and Air Pollution. New York: Wlley-lnl
  science.
Heer, J. B., and Hagerty, D. J. 1977. Environmental Assessments and Statemtnts. N>
  York: Van Nostrand Reinhold.
Jakeman, A. J., and Simpson, R. W. 1985.  Assessment of air quality  impacts from
  elevated point source. J. Environmental Management 20(l):63-72.
Magrab, B. B. 1975. Environmental Noise Control. New York: Wiley.
 Munn, R. B. (ed). 1979. Environmental Impact Assessment: Principles and Procedun
   Toronto: International Council of Scientific Unions, Scientific Committee on Probler
   of the Environment.
 Novak, ). H., and Turner,  B. 1976. An efficient Gaussian plume multiple source t
   quality algorithm. J. AlrPollut. Control Assoc. 26(6):570-575.
 Parker, F. L., and Krenkel, P. A. 1970. Physical and Engineering Aspects of Therm,
   Pollution. London: Butterworths.
 Rau, J. O., and Woolen, D. C. (eds). 1980. Environmental Impact Analysis Handbool
   New York: McGraw-Hill.
 Shen, T.  T.  1986. Assessment of air  pollution impact. Atmospheric Environmei
   20(IO):2039-2045.
 Stem, A. C. 1976. Air Pollution, Vol. I. New York: Academic Press.
 UNEP. 1978: Draft Guidelines for Assessing Industrial Environmental Impact and En
    vlronmental Criteria for the Siting of Industry. Paris: UNEP Industry and Environments
    Office.
 Wark, K., and Warner, C. P. 1981. Air Pollution, Its Origin and Control. New York
  •  Harper and Row.
  Zaric, Z.  P. (ed). 1978. Thermal Effluent Disposal from Power Generation. Washington
    DC:  Hemisphere.

-------
B'ili"'1'	In.,,"  !'  "•   ""'.'liiil'IO1   :	I"1	11    11  ii'ii'1"11!!'
                                                                                                                                                                                                                •  111           II
                                                                                                                                                                                                                                                                            ';»        .   '        '	IF"

-------
                                                   Impact Identification
       Many choices have to be made in the EA process, among which are the
choice of impacts that should -be assessed (Chapters 2 and 3) and the level of
analysis that is required. An impact is described as a change in an environmental
or socioeconomic parameter, resulting from a proposed action compared to the
situation had the proposed  action not been initiated (Wathem 1988).  Because
there are so many possible impacts of a proposed activity, limits and constraints
must be determined  early  in  the planning  process and  endpoints  must  be
established. For example, issues that are identified during scoping are often too
broad for analytical purposes (e.g., ecosystem health).  They must be focused on
expected impacts to valued ecosystem components (e.g., Hudson River striped
bass population) and then decisions made on an  assessment endpoint  (e.g.,
abundance or yield).  The nature of the impacts must also be determined  (e.g.,
direct/indirect,   short/long  term,  reversible/irreversible).   Estimates of the
magnitude, likelihood, and  temporal and spatial distribution of potential impacts
from the proposed activity  must be provided to the EA team by the proponent.
Five main classes of impact-identification techniques exist: ad hoc methods (e.g.,
brainstorming,   expert  panels,  field  reconnaissance),  checklists,   matrices,
networks, and map overlays (Westman 1985).

                                                                  NEEDS

       An interdisciplinary approach is critical to the impact identification stage(s)
of the EA process.  During project initiation all of the technical and scientific
experts, including the proponent, must gather to identify and clarify the potential
impacts of the proposed action on valued resources. Discussions should include
the how, where, and when  of directly, indirectly, and cumulatively affected
resources.  During and following scoping, the team can expect additional impacts
to be identified. Effective  assessment depends on team members understanding
how the proposed action and the affected resources are interrelated and the role
that each discipline has in the integrated analysis.

                                                                  TOOLS

       •     Early intra-and interagency consultation and public scoping provide
              opportunities for identifying potential impacts and determining the
              extent  of subsequent analyses.   In particular, federal,  tribal,
                                  1.5.7-1
 *For purposes of this document, the term Environmental Assessment (EA) will refer to the
 Environmental Impact Assessment (EIA) process.

-------
regional, and local regulatory  agencies  should be contacted to
determine if the proposed action violates any ordinances,  laws,
plans or policies.
  :. • '•!'• '.'"•• .,,? :.".,. ,."',.',;.;;"I.;';.1,:.,;:;  ;:;„„;„"  • •";•':;.;.,.; ,;,",';"„;:"!::,:;:"	:'•;i;  •	:i;,	••
There are generally 18 categories for consideration in EA many of
which have some regulatory constraints:
       Geology
       Topography
       Soils
        round Waiter Resources
      /Terrestrial Ecology ......
       Aquatic Ecology
       Environmentally Sensitive
      ' I;i:   ",  ''and Species .................
       Air Quality
                                        Land Use
                                        Demography
                                        Noise
                                        Socioeconomics
                                        Infrastructural
                                   	 Services
                                        Transportation
                                        Cultural Resources
                                        Economics
                                        Human Health  and
 	::    ;; "/,  '	    ^	;""	•'	  '"••" '•; •••'*•!  ;	'if	'•-•••••	-Safety

Existing  environmental analyses  should always be used  to the
extent possible  in identifying and analyzing  impacts.    This
approach builds on work that has already been done and that has
passed public and agency  scrutiny.    It helps  to ensure that
appropriate impacts  are identified and allows the EA team to
concentrate on issues  that are unique to the  proposed  action.
Existing analyses can include resource management plans, activity
plans, EIAs for similar or related actions including programmatic
EIA documents.  The pertinent information can be summarized for
use and the documents referenced in order to keep the content of
the E^A document focused on significant impacts.

Ad hoc  procedures  involve  assembling panels  of specialists to
identify impacts in their areas of expertise (Canter 1977).  Such
panels were used in the early days of EA but have been  mostly
replaced by scoping,  interagency  consultation,  the  growth of
experienced multidisciplinary EA teams and, if appropriate, the
formal expert judgment process  (Chapter 4.3).  Ad  hoc panels
have  value in  early  planning  for  assembling  information,
comparing alternative sites and developing strategies (Lohani and
Halim 10|7).  The resulting information is usually qualitative and
readily understood (e."g.", identification of general areas and types
of impacts) rather than technical, quantitative, and suitable for
predictive analyses.
                     1.5.7-2

-------
Field reconnaissance is  essentially  qualitative in  contrast to
baseline studies that gather data to resolve specific problems (e.g.,
sampling of plant or animal populations to determine variability).
A site reconnaissance is conducted to complement and confirm
background information from the literature and  from human
sources on  the environmental and socioeconomic  setting for a
proposed action (McBrayer et al. 1981). It is normally one of the
first activities of the  EA team and its value for understanding
problems associated with the proposed action is inestimable.  Site
visits must be planned around  clearly defined objectives.  If
multiple sites are involved, it is essential to gather information that
is comparable from site to site.  Of particular importance is the
understanding of what information  is  needed  and  to  what
problem(s)  it will be  applied;  otherwise,  the  needs  of the
decisionmaker will not  be met.  The  results of scoping and the
completion of a preliminary checklist or matrix can help focus the
reconnaissance activities of the EA team.  The Fish and Wildlife
Service Manual (States  et al., 1978) is useful for  outlining and
describing  the elements  of reconnaissance and baseline studies.

The checklist was one of the first EA methods to be applied and
it is still in general use, although in many different forms, both
generic and project specific.  The main advantage of a checklist is
that it promotes thinking about the array of impacts in a systematic
way and  allows  summarization  of  effects (Westman 1985).
Furthermore, the use  of a checklist early in the planning process
can aid in  determining whether the impacts of a proposed action
warrant the preparation  of an EIA.  The simplest of checklists is
a one-dimensional list of environmental factors to be considered.
Various agencies have prepared such checklists for particular types
of projects (Attachment 2.B, Chapter 4.1).

There are disadvantages to the use of checklists: they may be too
general  or incomplete; interactions  between  effects  are not
identified;  the same effect may be listed in more than one place
under headings that overlap which results in "double counting";
and the large number of categories to be reviewed can distract
attention from the most  significant impacts. The identification of
effects is qualitative and subjective thus the predictions cannot be
tested empirically with precision and the content of a checklist can
vary depending on the investigator (Westman 1985).  Furthermore,
no statements of likelihood of occurrence are made.
                     1.5.7-3

-------
it	1"
't I"::
I., sj.11;1

lii  Hi
I"  ,':;.
  •     Matrices are very likely the most popular and widely used impact
        identification methodology.   One  common application is  in  the
        comparison of alternative actions."  Alternative actions (measures,
        projects, sites, designs) are  listed as column headings,  while  the
        rows are  the  criteria that  should  determine  the  choice  of
        alternative.  In each cell of the matrix, a conclusion can be listed
        indicating whether the alternative action is likely to have a positive
        oj negative effect on  the indicated criterion.  Very often,  the
        conclusion is stated as a numerical value or symbol indicating  the
        level of intensity of the effect.  There is an opportunity, moreover,
        to apply relative weighting to the various criteria when evaluating
   ;:;;;;!;',,thq  completed  matrix  (Chapter 4.3,  Figure 4.3-1, Attachment
	!'	.7  "4.D). ':"	__'  '     	

        The evolution  of an  impact  identification  methodology from
        checklist to matrix is intuitively  and easily accomplished.   A
;,	a/ i ''ill' ,  ' ,i :	li/'i'lj, "'',! !,,;J'!j!;;	il,,;"'1]1]"1!'"  'f	' 'in1   ,	 h.	», m, r	 	Tr,	   *        *
        checklist can be viewed as a single-column summary of a proposed
   ''77"^tfpn,"with only  a  coarse characterization  of the  nature of
        potential environmental impacts.    An environmental impacts
        assessment matrix provides a finer degree of impact identification
        by  associating  a  set  of  columns  (effects)  with  each row
        (environmental attribute) of the matrix (Leopold et al. 1971).  As
        a first step, the columns that correspond with  the nature of  the
        proposed action are checked off.  Then, for each column that is .
        marked, the cells  corresponding  to  environmental effects  are
        examined.  The interpretation  of the  matrix  is based  on  the
        professional judgment of the individuals) performing the EA.

        Within the Leopold matrix (Chapter 4.1), only a few  of  the
        interactions would be likely to involve impacts of such magnitude
        and importance that  they  deserve  comprehensive  treatment.
        Although the items listed represent most of the basic actions and
        environmental factors likely to be  involved in a proposed action,
        not  all would apply to every"project.'" Even such a large  matrix
        may not contain all elements necessary to make a full analysis of
        every project encountered.  However, the coding and format  are
        designed for easy contraction or expansion to include  additional
        items.   Preliminary trials suggest that the number  of  applicable
        interactions for  a typical project usually will be between 25 and
        50.  An impact matrix (Chapter 4.3) is an expanded checklist that
        includes estimates of the relative magnitude (i.e.,  significance) of
        the  environmental impacts (Figure 4.3-1).
                                                      1.5.7-4

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Several variants of the Leopold matrix have been prepared; some
of them have been adapted for computerized analysis (Schlesinger
and Daetz,  1973).  These variants  may integrate the scores  in
groups of cells to provide a quantitative and/or graphical summary
of the matrix scoring.

With the characterization of a particular action expanded to two
dimensions, comparison  of several  alternatives  requires the
addition of a third dimension. This  is readily accomplished both
conceptually and practically. The Leopold matrix analysis can be
performed  on several alterative scenarios,  yielding graphical
summaries that can be visually or mathematically compared.  The
three-dimensional spreadsheet software programs now available
also lend themselves to the comparison of environmental impact
assessment matrices in three-dimensional format.

Networks,  also known as  systems diagrams,  consist of a number
of linked impacts, known to result from initial actions  (Figure
4.2-1);  even mitigation and control measures can be illustrated.
If a magnitude and importance score is assigned to each impact
and the probability of occurrence of each impact is known, a final
index value can be calculated for the network (Westman 1985).
The advantage of a network approach is that it shows  indirect
impacts and the effects  of change can be followed through the
intermediaries.  However, there  are several problems associated
with networks among which are the  postulation of indirect effects
that do not occur,  obtaining reliable data  on probabilities  of
occurrence of effects, and  as with all grand index approaches, the
final index value may obscure important uncertainties in the effects
data (Elliot 1981).

Overlay mapping is useful in displaying areas of environmental
sensitivity, the sum of natural succession, and the development and
associated landscape impacts due to multiple projects (McHarg
1969). Time series of maps from aerial photographs can be used
to view, cumulative impacts over space and time. A base map is
prepared showing the location of the project and the  boundaries of
the area to be considered  in the impact assessment.  Additional
transparent maps at the same scale are prepared for the critical
environmental features of  concern identified during initiation and
scoping  (e.g., wetlands,   cultural  resources,  wildlife  habitat,
vegetative  communities, protected  areas).   The maps are then
overlaid to highlight potential impacts.
                    1.5.7-5

-------
 i. Z'l   il'i illll
' rf"!" "i '"'Tli
                   •„  ','' ' '  '''I'' ' ;


                 • Ir1, :; vii" V   ••
                            Aerial application
                              of herbicides

                             Water herbicide
                              contamination
     Decreased growth
      of algae, phyto-
       plankton. etc.
 Food chain
contamination
   in water
                                    Loss of
                                    riparian
                                   vegetation
                                                    Non-target
                                                      plant
                                                     mortality
                                                         Food chain
                                                        contamination
                                                           on land
                Increased
                  water
                  runoff
                 Increased
                   water
                 temperature
Decreased
 dissolved
  oxygen
                                                             Increased
                                                               flow
                   Increased
                    erosion
Damage to
   fish
 spawning
                      Debris
                     pollution
                                                  Increased
                                                    water
                                                     yield
          Increased
          sediment
 Increased
demands on
 dissolved
   oxygen
         Figure 4.2-1.  Example of a network to identify the potential
         impacts of herbicide application  [Source:  Thoretal.  (1978)]
                                   1.5.7-6

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Geographical  Information  Systems  (GISs)  are  essentially
computerized  graphical  overlay  systems  (Attachment  4.E).
Environmental features are mapped, and the mapping digitized and
stored in a GIS data base.  The mapped features can be combined
to  produce  computer-generated displays  of  one  or  more
environmental features in a specified geographical area.  If GIS
mapping is  conducted systematically, information acquired  on
specific projects can be combined, and the GIS data base becomes
more detailed over time. Overlay mapping is an excellent tool for
showing spatial dimensions of impacts,  but is less successful in
dealing with other impact characteristics such as probability, time,
and reversibility.

The field of environmental modeling  to identify and evaluate
environmental impacts has developed very rapidly due essentially
to two factors (Wrgensen 1991; Chapter 4.3):

       The development of computer technology, which has made
       possible the handling of complex mathematical systems.
       A better understanding of pollution problems, including the
       application of ecology in this context.

Modeling is the most advanced EA method available but it depends
on experts to know which components and processes should be
included; it can be costly; and it  is only as good as the available
data and the assumptions that bound the analysis.  The general
components  of modeling and types of models are discussed  by
J&gensen (1991).  Bregman  and Mackenthun  (1992)  provide
information on computer models for surface water quality and air
quality.  Attachment 4.C describes models that are  useful for
predicting the fate of chemicals in multimedia systems (i. e.,
fugacity models) as well as remediation,  aquatic, soil, food chain,
atmospheric, and spill models.

Luhar and Khanna (1988; Attachment 4.B) present a framework
for computer-aided rapid EA that covers  six environmental
components  (air,  water,  land,  noise,  biological, and socio-
economics) and the costs of mitigation measures.  The authors
recognize that data availability in developing  countries often is
limited; thus, their models have minimal data requirements.  Some
computer-aided impact  identification and data summarization
systems are discussed by Strand et al. (1983), Riggins (1980-81),
and Lein (1993).
                    1.5.7-7

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                            I"  II
I,;:11 ill	T  .1
                            	II
        11     (I
                                                                                     ISSUES
As described above, an impact is a change in an environmental or
socioeconomic parameter.  Westman (1985) limits the term impact
to the  effect of  a human-induced  action  on  an ecosystem.
Decisionmakers and the publics are normally most concerned with
major impacts (i.e., those that would occur and for which no
mitigative measures are proposed or possible to decrease the level
of impact), violations of standards or controversial  issues (e.g.,
those resulting from disagreements among experts and occasionally
from public concerns).  It is important to remember that only those
valued  resources  identified as  having  the  potential of being
significantly impacted need be  analyzed in detail (Bureau of Land
Management 1992).  However,  decisions made  not to  evaluate
resources in detail must be supported by adequate information.
                                 Selecting appropriate geographical and temporal boundaries for
                                 impacts requires learning about the types and rates  of release,
                                 movement, and transformation of materials and energy (Irwin and
                                 Rodes 1992).  It means understanding ecological processes,  such
                                 as bioaccumulation,  that control these rates.   It also means
                                 understanding the ranges of plants and animals and the life span of
                                 valued resources.
Early  in  the planning  process,  it is  important  to establish
geographic boundaries of potential impact(s) for proposed actions
to avoid unnecessary data collection and analysis.  In most cases,
it is necessary to go beyond the immediate project site, especially
for determination of cumulative impacts.  The geographic area of
analysis is likely to vary depending on the specific resource of
interest.  There may be physical boundaries such as watersheds,
biological boundaries such as habitats, socioeconomic boundaries
such as market areas or regions or political boundaries such as
counties (Bureau of Land Management 1992; Irwin and  Rodes
1992).  A rule of thumb is  to consider effects as  far away as
necessary  for those resources  identified as  important during
scoping. Usually the area of assessment is established as the area
beyond which the influence of  the  project  is negligible  or
decreasing.  At  a minimum,  this area  should be as large as the
"service area" of the proposed project.  At this locus of points
(i.e., along the boundary line of the assessment area/volume), it
shouM fee possible to demonstrate that the impacts are clearly not
significant (Bureau of Land Management 1992).
                                                     1.5.7-8
                                                                                                      	IK
                                                                                                     '•
                                                                                                     'III11

-------
In addition to identifying the geographic area of potential impacts
and valued resources, the life of the project(s) must be identified
and related to the life span of the potentially affected resource.
Impacts can be  single, repeated, or multiple.  They can occur
rapidly over a matter of days or slowly over decades building to
cause cumulative impacts.  The past is analyzed to see if trends
have been established; the future is assessed to see what effect the
proposed  action(s) might have  on valued resources identified
during initiation and scoping.  The barriers to selecting spatial and
temporal boundaries  are usually both institutional  [e.g.,  legal
constraints (regulations) and  a lack  of means  to  set goals,
determine roles, and resolve disputes among different agencies and
levels of government] and technical (e.g., lack of integrated data
and acceptable models, limited understanding of environmental
processes, uncertainty)  (Cada and Hunsaker 1990).

Traditional impact assessment usually examines the consequences
of a single source of environmental disturbance (i.e., a discrete
event or project) on valued resources and neglects or gives  short
shrift to tiie problem of potential cumulative impacts.

Assessment of cumulative impact examines the consequences of
multiple sources of environmental disturbance that impinge on the
same valued  environmental components.   The characteristic
"multiple" nature of cumulative impacts may arise in three ways:

       the same kind of source recurs  sufficiently frequently
       through time;
       the same kind of source recurs sufficiently densely through
       space; and
       different  kinds of sources impose similar consequences on
       a valued  resource.

Identifying and evaluating potential cumulative impacts is difficult
for at least four  reasons (Irwin and Rodes 1992):

       the intricacies of environmental systems have only begun
       to be understood;
       there are seldom adequate data  for environmental changes
       or their causes, particularly at appropriate time frames and
       spatial distributions;
       predictions of what will happen are inherently uncertain;
       and
                     1.5.7-9

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                       	I
' O    1	
       legal mandates and organizational interests frequently do
       not match the boundaries of environmental problems.

Dealing with the problems requires learning to address multiple
actions or sources and additive or interactive effects at appropriate
time and space boundaries (Irwin and Rodes 1992).

EPA (1992a) provides a proposed  methodology to assist wetland
regulators in assessing the cumulative effect of individual wetland
impacts within a landscape.  It is designed for situations in which
time, resources,  and information are  limited.  The approach does
not provide a precise quantitative assessment of the cumulative
effects within a particular area. Rather, it provides a mechanism
to compare cumulative impacts between areas.

Any environmental assessment must have defined endpoints (Suter
1989,1990; U.S. Environmental Protection Agency 1992b; Cairns
and Niederlehner 1993).  Information compiled during initiation
and scoping is used to help select endpoints that are relevant to
decisions made about protecting the environment.  Environmental
assessment  practitioners  often distinguish between assessment
endpoints and measurement endpoints.   Often  the assessment
endpoint  cannot be measured  directly,  so  a measurement
endpoint(s) is  selected that can be related, either quantitatively or
qualitatively,  to the assessment endpoint  (U.S.  Environmental
Protection Agency 1992b).  An assessment endpoint is an explicit
expression of an environmental value that is to be protected (e.g.,
a sport fish population).  A measurement endpoint is a quantitative
summary  of a monitoring study, a toxicity test or other activity
that reveals the effects of a proposed action  on the valued
assessment  endpoint. For  example, a decline  in a sport  fish
population (the assessment endpoint) may be evaluated by using
laboratory studies on the mortality of surrogate species, such as the
fathead minnow  (the measurement  endpoint).
                                              i
Sound professional judgment is necessary for proper assessment
and measurement endpoint selection,  and it is important that both
the selection  rationale and the linkages between  measurement
endpoints, assessment endpoints, and policy goals be clearly stated.

In order for the  results of an assessment to be meaningful for the
decisionmaker, endpoints should have the following characteristics:
                                  1.5.7-10
      111!:..' I.,,,!1" ',. ,,:«„:!	 ,,,'U, ••• ,

-------
       societal relevance (i.e.,  understood and valued by  the
       public and by the decisionmaker),
       unambiguous (e.g., effects on the abundance of the Hudson
       River striped bass population in contrast to "ecosystem
       health"),
       biological relevance  (e.g.,  effects on populations  or
       ecosystems rather than individuals),
       assessable to  prediction  or measurement  (i.e.,  if  the
       response of an endpoint cannot be measured or estimated
       from measurements of similar or related responses,  it can
       not be assessed), and
       susceptibility (i.e., the endpoint must have the potential for
       exposure and be responsive to the hazard).

Identification of impacts is only the first step of the assessment
phase.  The predicted impacts must also be interpreted for the
decisionmaker and the public in terms of their influence on the
human environment. For each of the alternatives and the proposed
action, the EIA should address whether the predicted impacts are:

       beneficial or adverse,
       direct or indirect (triggered at a future time, or different
       place),
       short-term or long-term (and thus potentially cumulative),
       and
       irreversible (and thus detrimental to sustainability).

Ecological risk assessment procedures can provide insight  to the
likelihood that an adverse impact will occur and the magnitude of
the consequences (EPA 1992b).

Regulatory  agencies should  be  consulted before embarking on
modeling exercises because they frequently have specific models
that are required or recommended for use in environmental impact
analysis. The results of other models may not be acceptable unless
the models have undergone rigorous validation processes.

Although developing  countries may not have adequate data  and
human and financial resources for elaborate EA, the use of rapid
identification procedures (e.g., checklists and matrices) requires
little collection of technical/ecological data, but rather a general
familiarity with the region and with the  nature of the proposed
action (Biswas and Geping   1987).  Lohani and Halim (1987)
describe the application of  a checklist  and  different types of

                    1.5.7-11

-------
ill   «!,,if
matrices to a proposed pulp mill project in Thailand (Part C). They conclude that
checklists and matrices result in rapid identification of likely impacts and that
their use depends on the expert judgment and coordination and participation of all
concerned, the proponent, the EA team, the public, and the government agencies
responsible for various resources (e.g., fisheries, forests, agriculture).

                                                             'LINKAGES'"

       Identification of potential impacts of a proposed action is a process that
begins informally with the proponent during initiation and gains momentum
during early intra-and interagency consultations and the public scoping process.
Impact identification culminates during the assessment phase when the EA team
describes the impacts of the proposed action and alternatives, quantifies the extent
of the predicteti "impacts''!' identifies  measures  to  mitigate the unavoidable
environmental impacts, and prepares an EA report for the decisionmaker and the
public.
                      n                        ,  ,       „.,..  ..... .:«,.

                 Biswas, A. K., and Q. Geping.  1987.  Environmental Impact Assessment for
                        Developing Countries.  Tycooly International.  232 pp.

                 Bregman, J.  I., and  K. Ml Mackenthun.   1992.   Environmental Impact
                        Statements.  Lewis Publishers, Boca Raton.  279 pp.

                 Bureau of Land Management.   1992.   Draft Guidelines  for Assessing and
                        Documenting Cumulative Impacts.
                   • '	'  '.'	 	,	°	„   ,,	 ,„„,,, ,..£,  ,   „,

                 Cada2 C. F., and C. T. Hunsaker.  1990.  Cumulative impacts of hydropower
                        development:   Reaching  a  watershed  in  impact  assessment.   The
                        Environmental Professional 12:2-8.

                 Cairns,  J. Jr.,  and B.  R. Niederlehner.   1993.   Ecological  function and
                        resilience: neglected criteria  for environmental impact assessment and
                        ecological risk analysis.  The Environmental Professional 15:116-124.
                                                       	t,1, i "i	'*
                 Elliot, M. L.  1981.  Pulling the pieces together:  amalgamation in environmental
                        impact assessment.  Environmental Impact Assessment Review 2:11-38.

                 Irwin,  F., and B. Rodes.    1992.   Making  Decisions  on  Cumulative
                        E^                    A Conceptual Framework.  World Wildlife
                        fund,' Washington, D.C.  54 pp.
                                     1.5.7-12

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Jdrgensen,  S.  E.   1991.   Environmental  management  modelling.   In:
       Introduction to Environmental Management (eds. P. E. Hansen and S. E.
       Jrirgensen). Elsevier, New York.  403 pp.

Lein, J. K.  1993.  Formalizing  expert judgment in the environmental impact
       assessment process.  The Environmental Professional 15:95-102.

Leopold, L. B., E. Clarke, B. B. Hanshaw, and J.  B. Balsley.   1971.  A
       Procedure for Evaluating Environmental Impact. U.S. Geological Survey
       Circular 645, U.S. Geological Survey, Washington, D.C.

Lohani, B. N., and N.  Halim.  1987.  Recommended methodologies for rapid
       environmental impact assessment in developing countries:  Experiences
       derived  from case studies in  Thailand.  In:   Environmental Impact
       Assessment for  Developing Countries (eds., A. K.  Biswas and  Q.
       Geping).  Tycooly International, London.

Luhar, A. K.,  and P.  Khanna.   1988.  Computer-aided rapid environmental
       impact assessment.  Environmental Impact Assessment Review 8:9-25.

McBrayer,  J. F., S. B. Gough,  R. C. Robertson, and H. E. Zittel.  1981.
       Identifying alternatives at a reconnaissance  level. EIA Review 2:190-195.

McHarg, I.  1969. Design with Nature.  Natural History, New York.

Riggins, R. E.  1980-81.  Comprehensive computer-aided environmental impact
       analysis.  Journal of Environmental Systems 10:81-91.

Schlesinger, B., and D. Daetz.   1973.  A conceptual framework for applying
       environmental assessment  matrix techniques. Journal of Environmental
       Science 16: 11-16.

States, J. B., P. T. Haug,  T. G. Shoemaker, L. W. Reed, and E. B. Reed.
       1978.   A Systems  Approach to Ecological  Baseline  Studies.   U.S.
       Department of Interior, Fish and Wildlife  Service, FWS/OBS-78/21.

Strand, R. H.,  M.  P. Farrell,  J. C. Goyert,  and K. L. Daniels.   1983.
       Environmental assessments through research data management. Journal
       of Environmental Management 16:269-280.

Suter, G. W.  II.  1990.  Endpoints for regional ecological risk assessments.
       Environmental Management  14:9-23.
                                 1.5.7-13

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Kill!'	.
     Suter, |3/tv. II.  1989.  Ecological endpoints.  In:  Ecological Assessment of
           Hazardous  Waste Sites:   A Field and Laboratory Reference Document
           (eds.  W. Warren-Hicks, B. R. Parkhurst, and S. S. Baker, Jr).  EPA
           600/3-89/013. Corvallis Environmental Research Laboratory, Oregon.
     	     	     	    	I _
     Thor, E. C., G. H. Eisner, M. R. Travis, and K. M. O'Loughlin. 1978. Forest
           environmental impact analysis  - a new approach.  Journal of Forestry
           76:723-725.
                    :	;.  ";•	.:..:'   	'. •;:•:.  :;.	..":•	-	:,:	; H- • •••	-  -
     U.S. Environmental Protection Agency (EPA). 1992a.  A Synoptic Approach to
           Cumulative Impact Assessment, A Proposed Methodology.  EPA/600/R-
           92/167. "CJffice'bf Research and Development, Washington, DC 20460.
     U.S.  Environmental Protection  Agency (EPA).  1992b.    Framework for
           Ecological Risk Assessment. EPA/630/R-92/001.

     Wathern, P. 1988.  An introductory guide to EIA. In: Environmental Impact
           Assessment:  Theory and Practice (ed. P. Wathern).  Unwin Hyman,
     '"'' "i • • '»! n in "•" .	fi'liBI • -1'!, • ii' in .a, • ' ' iii " "i • f
-------
                                       Impact Analysis and Prediction
       Methods for impact analysis and prediction range from relatively simple
matrices to sophisticated computer models (Westman 1985, ERL 1984). Choice
of the various methods is determined by the EA team based on the nature of the
proposed action and the needs of the decisionmaker. Often, many of the impacts
of a proposed action are trivial and a decision depends upon a small subset of
issues of importance.  The nature of the analysis, must reflect these needs.

       In developing a  general approach to  analyzing environmental impacts,
there are several fundamental questions that must be asked early in the planning
process.  They include:

       •     What effects must be  predicted (i.e., what are  the assessment
             endpoints?)
       •     What are the most relevant methods for analysis and prediction of
             environmental impacts?
       •     What ad hoc standards  or generally-accepted criteria can be used
             to distinguish significant levels of environmental impacts from all
             possible levels of impacts?
       •     Are mathematical or statistical methods  available for objectively
             estimating levels of impacts, or will subjective scoring be used at
             one or more stages of the assessment?
       •     Are there documented studies of the  effects of  prior  similar
             actions?
       •     How can the analysis provide the  information  needed by  the
             decisionmaker?
       •     Is the necessary time, money, and expertise available?

       The term analysis refers to formal methods for  predicting/estimating
effects of proposed  activities.   Broadly, these  methods  can  be grouped  as
professional judgment (e.g., Delphi technique, impact matrices, expert systems;
however, it should be noted that professional judgment  is applied throughout the
EA process); comparison to similar projects (analog studies); field and laboratory
experiments (microcosms and  mesocosms);  and  predictive modeling.  Risk
assessment is part of EA (Andrews 1988) and typically  involves several or more
quantitative techniques to estimate the likelihood (or probability) and severity of
harm to  human  health and the environment  resulting  from exposure  to a risk


                                 1.5.8-1
*For purposes of this document, the term  Environmental Assessment (EA) will refer to the
Environmental Impact Assessment (EIA) process.

-------
,'jgil
 inci
 .in	lij'i
'•« ii-i-l!: " t-•'„„!! I1''
•' .'"' ft1  10:11 ,i
          (e.g., a chemical substance, biological organism, radioactive material, or
    other potentially hazardous  substance  or activity).   Risk assessment usually
    depends on the following distinct but related parts:  source/release data, exposure
    assessment, dose-response data, and risk characterization (i.e., integration of the
    previous  steps into a risk statement that includes  one or more quantitative
    estimates of risk). The use of risk assessment in EA depends on the nature of the
    proposed activity, the issues, arid the needs of the decisionmaker.
          Jill1 i'll	iii;"1)-' Vi«jjf	c,.v :j>s;	i.	 WT .,•.•:	J'.,VT.',	>»'	 *'•!''.•	'i l-l"  r,,,!	'	I	 	  "• "
           |n a study of 140 EIAs (ERL  1984) to determine the use of formal,
    predefined and repeatablemethods of prediction, it was found that mathematical,
    physical or experimental  methods were used in 25 percent of the studies; in a
    further 15 percent, simple methods such as inventories of receptors affected (e.g.,
    numbers of people or properties, areas of habitat) were used to describe effects.
    In the remaining documents, other approaches not involving formal methods were
    used (e.g., experf judgment,analogous  studies, comparisons  with standards).
    Informal and formal approaches to prediction were often used together in order
    to qualify and interpret results.
                                        "  '" •"'"" > .»,;'	BiT,.,(iv; 'V ',  , -51 ';'v. ;,.y	'	• , ri1:: .  :;..  ••  	
           In another study (described in Wathern 1988), staff from four U.S. federal
    agencies were given a list of methods and asked to indicate their use within the
    agency. The results show that the traditional techniques (e.g. overlay mapping,
    habitat evaluation, and the Leopold matrix) are used more often than modeling.
    However, three  of the agencies polled  are responsible for land management
    activities  (i.e.,  Bureau  of  Land Management,  Forest  Service,   and  Soil
    Conservation Service). Thus, an emphasis on habitat  evaluation procedures is to
    be expected.  However, the agencies also indicated that they often rely on their
    own approaches rather than existing techniques.

                         '":. '•     -' 	:	  :: 	'                   i     NEEDS
          T	          i/	'.I •  : ':••  ' .;'•.  . ;;i     '             .        |     ' •  ..'I:;;;
            Impact analysis commonly requires  f) data about the proposed  action
    (e.g., the construction phase and subsequent operational characteristics) and the
    environmental setting (i.e., baseline conditions) and  2) methods for estimating
    effects of:

                  -      contaminant releases,
                         physical destruction or modification of habitat,
                  -      harvesting (either deliberate or incidental as in entrainment
                         of larval fish), and
                  -      socioecqnomic disruption.
     Canter (1977) describes traditional EA methods while Jorgenseri (1988) and Suter
     (1993) provide more  recent  developments  in the  area of  statistical and
     matnematical models.  With the  advent of computers,  sophisticated multi-
                                      : 1.5.8-2

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compartment models (Attachment 4.C)  have been developed but their use in
everyday EA is limited.  Most EA depends on simple single-media air and water
dispersion models for estimates of pollutant concentration coupled to standards or
toxicity data to estimate effects on species of interest (Bregman and Mackenthun
1992). It is important, if at all possible, to use accepted methods and models and
to document their use carefully.

       Jdrgensen (1991) describes  three important  steps in establishing the
credibility of computer models: calibration, verification, and validation.  These
steps are generally useful for other quantification methods as well.

                    Calibration is  an  attempt  to  reconcile  computed  and
                    observed   data   by   systematically   varying  selected
                    parameters.  Calibration can be carried out by trial-and-
                    error methods or by use of software to  find the parameter
                    values that give the best fit between observed and computed
                    data.
                    Verification is a test of the internal logic of a model.  It
                    answers the question, does the model react as expected?  It
                    is a subjective assessment of the behavior of a model.
                    Validation, in  contrast  to verification, is an objective test
                    of how well the model output fits the data. In this step, the
                    modeler tests the  model  against a data  set which  is
                    independent of all data previously used.

                                                                  TOOLS

       •      Professional Judgment.  Environmental assessments are based on
              scientific data that are frequently difficult and complex, conflicting
              or ambiguous,  or incomplete.   Analyses  of such data depend on
              professional judgment based on scientific expertise. Professional
             judgment is necessary to:

                    design and  conceptualize an environmental assessment;
                    evaluate and select methods and models;
                    determine the relevance of available data to the assessment;
                    develop assumptions based on logic and scientific principles
                    to  fill data gaps; and
                    interpret the  ecological  significance of predicted  or
                    observed effects.

              Because  professional judgment   is so  important,   specialized
              knowledge and experience in the various  phases of environmental
              assessment are required.   Thus,  an interactive multidisciplinary

                                  1.5.8-3

-------
 I	SI	
                                                                                                     . 	I'J I	!».:
 'II" HUE III" "J'l'lri h, ' ? ill
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                       	'i	i.'iUL ' •• •in
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   team that includes expenenced biologists, ecologists and other
   appropriate experts (e.g., socioeconomists) is a prerequisite for a
   successful assessment.  Other agencies that have special expertise
   with respect to environmental issues can also be asked to provide
   data for impact analysis and to participate in document preparation
   and review.   Independent experts  can  be asked  to  conduct
   'brainstorming  sessions" to  generate  impact  scenarios  and to
   participate in panels to estimate the likelihood of impacts and to
   address uncertainty surrounding  predictions of magnitude (Lein
   1993).
        - _iii;		   	           • I
   If  the  EA  team  determines   that   objective  analysis  and
   quantification are impossible, expert opinion can be used to derive
   numerical estimates. One approach known as the Delphi technique
   (i.e.,  conceptual polling)  solicits estimates from independent
   experts that are averaged  with  those  of other  experts and the
   median"and range of the estimates are resubmitted to the group for
   a second round of comment.  This  process of iterative refinement
     1 H-	•'	"'	"	"!„ ":,.••!	 ,	•>	,	,...,	.,-	,;.£	  .  ,    ^,   .     . .
   continues until a group consensus  is reached on the issue being
   investigated.  However^ it must be made clear to the public and the
   decisionmaker that such predictions or estimates  are based on
   expert  opinion that reflects the current range of opinion of the
   scientific  community  and  are not a guarantee of correctness.
   Using  formal  professional judgment  is  expensive and   time
  .consuming and,  therefore,  should be considered only for major,
   potentially costly issues after available quantitative methods have
   failed to provide resolution.
i.	                                   ri ,.  i; ii11!!,, 	, !„, ,•  .  II    , ,,   	
                                         ,,. ,,,,,: ,;,,„ ,, ", 	 ,,; , I ',  ; i ^ >f'1 • f .."'H;"; ..^   i '•
   One example of an EA methodology developed using the Delphi
   technique is  the National  Sanitation Foundation Water  Quality
   Index (NSF-WQI) developed in the United States.  The goal here
   was to derive a system for indexing key  water quality variables
   and integrating  the small  group of variables into an indexing
   system.   In  this way, water quality  data  could  be used  in a
   standardized  system of rating that had utility for comparisons in
   "space'arid" time.   	"	

   Expert Systems. Recently, expert systems  have been developed
   as a trol Jhat' incorjwrates  expert judgment, experience, and the
   EA process  (Lein 1989, 1993).  A computer program is encoded
   with and applies knowledge of a specific area of expertise toward
   the solution of problems within a subject area. It takes the general
   form of IF (condition) — THEN (conclusion) statements. Expert
   systems can be useful in screening a project for identification of
                                                        1.5.8-4

-------
factors  that might contribute to  a significant  primary impact
(analogous  to  an  intelligent questionnaire)  and  as  attribute
interpreters (i.e., relating project characteristics to environmental
knowledge).   Their use  is  limited  for  impact analysis and
quantification.

Analog Studies.  One of the best approaches to impact analysis is
reviewing the effects on the environment of similar activities and
existing disturbances or pollution sources. EA documents should
be  reviewed for  assessment methods and  predicted  impacts.
Observational  field  studies of existing sites can then  serve as
models for similar sites  exposed to similar contaminants or
disturbances.   Such comparisons have  been  termed  "analog
studies" by the National Research Council (1986). For example,
in the assessment of whether a proposed reservoir would become
eutrophic, the most credible evidence was the fact that a similar,
nearby reservoir was eutrophic (Goodman 1976).

Observational field studies provide a realism that laboratory studies
or modeling lack. However, there is always uncertainty associated
with the observed effects of contaminants or disturbances due to
variation in the natural environment of  the presumed "similar"
sites.  Confidence in  causal  relationships can be improved by
carefully selecting txjmparable reference sites or by evaluating
changes along a gradient where differences in other environmental
factors are minimized.  It  is important to consider potential site
specific factors during the analysis.  Westman (1985)  provides
references to methods used for predicting pollutant dispersion in
water and air (e.g., dye tests, toxicity texts).

If one  type of  environmental disturbance  is considered  to be
analogous to others, then  relatively well-developed  models and
assessment approaches for  one disturbance can be used to assess
others (Suter 1993). For example, the effects of fishing on fish
populations have been used as a model for effects of mortality
from power plant cooling systems (McFadden  1977) and toxic
chemicals (Goodyear 1972, Barnthouse et al. 1987, 1990). To the
extent that actions resemble fishing, in that they cause mortality at
different rates on different life stages, the mathematical models and
computational techniques developed by fisheries scientists can also
be employed in environmental assessments.

Impact Matrices.  An impact matrix (i.e., scaled matrix) is an
expanded checklist that includes estimates of the relative magnitude
                     1.5.8-5

-------
   • I i  .i,ri;ii'ii"!":
                ii	!:
                                   (i.e., significance) of the environmental impacts (Leopold et al.
                                   1971, Figure 4.3-1, Attachment 4.D ). Values are assigned to the
                                   identified  impacts and  these values can be  summed to  aid
                                   interpretation of the impacts of various alternatives, to evaluate the
                                   temporal phases of a project, to identify beneficial and detrimental
                                   impacts  (through the use of plus and minus signs) or to describe
                                   impacts associated with spatial boundaries (site vs. region) (Canter
                                   1977).	     	  '	
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A. 2. d. Water quality
A. 3. a. Atmospheric quality
A. 4. b. Erosion
A. 4. c. Deposition, Sedimentation
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C. 4. b. Health and safety
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             One   —    Effects occur but are of only slight concern;
                          slightly important effects.
             Two   —    Effects of moderate concern; moderately
                          important effects.
             Three  —    Effects are  of  particular concern;  most
                          important effects.
             Blank  —    The  perturbation has  no  effect  on  the
                          process or component.

      In addition to having the same problems as checklists (Chapter
      4.2), scaled matrices convey objectivity when in fact the values are
      subjective and generated by a very restricted group(s) (e.g., the
      EA team, other independent experts, or decisionmakers). The use
      of summation values,  although they provide  the  decisionmaker
      with an easy way to compare a complex variety of impacts from
      a number of alternatives, obscures the relative contributions of
      different  elements  and  actions.    Moreover, the  database is
      simplified enormously to generate an index. The implications of
      index  values  should  be  corroborated  by  other assessment
      techniques.  Also, any such assessment index should be validated
      by field testing.  Nonetheless, the use of indices derived from the
      consensus  of experts  can  facilitate  comparison  of data from
      different geographical areas or from different points in  time
      (Attachment 4.D).

•     Field and laboratory tests and experiments.  The  kind of data
      needed for analysis of environmental effects depends on the source
      of the impact (e. g., contaminant, disturbance) and  the environ-
      mental endpoint of interest.  Effects can range from mortality and
      reproductive  impairment  in  individuals  and populations  to
      disruptions in community and ecosystem function such as primary
      productivity.  In relation to EA,  field and laboratory tests are
      usually conducted only  when available  data  are lacking  or
      inadequate. It is particularly important that such tests are relevant
      to the endpoints selected during the identification of issues, that the
      quality of the data is assured, and  that the need for extrapolation
      is minimized.

      Controlled  laboratory  (e.g.  microcosms)  and field tests  (e.g.,
      mesocosms) are often called physical models.  They can provide
      strong causal evidence linking a contaminant or disturbance with
      a response and can also help discriminate between multiple sources
      of impact (Suter 1993, Westman 1985, Hilborn and  Walters 1981).
                           1.5.8-7

-------
               I	ill'1
               iiiVi
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The most common type of physical model is the laboratory test
(e.g., a bean seedling in a flask of hydroponic solution as a model
of the crop in me field). The objective of these microcosm studies
is to  isolate environmental components and processes  and to
subject the components to various levels of perturbation.  One of
the principal advantages of this approach is that it provides some
control of boundary conditions so that observed variations can be
attributed to the response under investigation.  A disadvantage is
    results^ ofexperiments under controlled  conditions must be
            witnV caution "to the natural system.  The EPA has
develpjjed standard  microcosm protocols for toxicity testing  for
soil microBIal communities (EPA 1987, Suter and Sharpies 1984,
Van Voris et al. 1985) and excised aquatic communities (EPA
1987, Giddings  1986, Perez et al. 1984).   However, microcosm
tests are  seldom used in EA.

Field   tests  (i.e.,  mesocosms) are  tests  of the effects  of a
contaminant  or  disturbance  in  an  unconfined  environment
conducted at approximately the same scale as the predicted effect.
They  are the most difficult and expensive type of test,  but if
properly  conducted,  they provide  realistic evidence of impacts.
However, the  responses in  field tests  are complex and so
influenced by uriconlrolled variables (e.g., weather, movement of
organisms) that the  results may be difficult to understand and
generalize.   Also,  they are  often unreplicated  and have few
treatment levels because of expense and the difficulty of finding
sufficiently  similar  sites.   The only  field tests that have been
required  by regulation are the natural pond tests formerly required
by the EPA Office of Pesticide Programs and the terrestrial field
tests for  effects on wildlife still required by the EPA for certain
psticides (File et al. 1988).
                                 Predictive Models.   Models are used  in  EA to predict the
                                 environmental consequences of an action (Attachment 4.C). They
                                 are  mathematical,  statistical, or conceptual expressions of the
                                 essential elements of a problem and, as such, every model contains
                                 simplifications.  As a result, predictions derived from models can
                                 neither be completely  accurate nor  can they ever correspond
                                 exactly to reality.  It is a task for specialists to develop models;
                                 however, their use by decisionmakers must  be restrained by an
                                 understanding of the  advantages and  disadvantages of modeling.
                                 The phases associated with development of a model include:

                                 —    defining a volume in space;
                                                       1.5.8-8

-------
—     defining the various reaction rates of processes of interest
       (e.g., biodegradation, hydrolysis, photolysis);
—     defining the various discharges to the system;
—     defining the transport rates between the various media; and
—     solving  the equation to  obtain an  expression  for the
       substance of interest.

The use of the resulting estimates in EA involves an understanding
of  the  tolerances of species  to pollutants,  the  transfer and
transformation of pollutants in ecological systems, and the effect
of toxification of one part of the ecosystem on remaining portions
(Westman 1985).  In addition to the models that are described in
Attachment 4.C, the reader is referred to discussions in Westman
(1985),  Cohrssen  and  Covello (1989),  and  Bregman and
Mackenthun  (1992) for information on  mathematical models for
predicting pollutant dispersion in air, water, and soil.

Mass balance is a fundamental concept in modeling in which a
volume in space of the environment is identified and a mass or
material balance equation is written for the volume (Figure 4.3-2;
Mackey and Paterson 1993).  The "Volume" may be water in a
river, a region of the atmosphere,  soil to a specific depth or even
an organism.  It has defined physical boundaries and, hopefully,
fair homogeneity.  A mass balance equation states that change in
the components of a volume will equal the sum of the inputs less
                INFLOW t
        DISCHARGES D
        FORMATION F
                       TRANSFER FROM OTHER
                        COMPARTMENTS J
                                   PHASE OR COMPARTMENT
                                     ENVELOPE IN SPACE
                                          OUTFLOW X
                                        	*• REACTION R
                                           TRANSFER TO OTHER
                                           COMPARTMENTS T
            INVENTORY CHANGE  «  INPUTS - OUTPUTS

               Vdc/dt "1+D + F + J-X-R-T kg/year
                      At steady state dc/clt * O
                  ltD + F + J = X + R+T kg/year
        Figure 4.3-2. Fundamental mass balance equation.
              (Source:  Mackay and Paterson 1993) ._
                     1.5.8-9

-------
             II."'	I..' 	 '"-...' l"'" - !™^        WWII	iillHIIIII	IlllllilPIlilliiII	JIHIPI^^^K
 III' 5JTJ I'" <1 II	Ill*''	Hi.. I"
	':l:''111111:,1;1;;11	1!:";"";;;":;"1;11	!T"'"S:1"''	••	v 	"v~

 •;"•• . ",-	••'.":, ;. ;.. ii', V... . L, ;, /,
                                 the sum of the outputs.  Input terms may include flow in air and
                                 water, direct discharges, or formation of chemicals. Outputs may
                                 include flow (e.g., water from a lake) or degrading reactions or
                                 diffusion to another medium.  The modeler's task is to develop
                                 quantities (in compatible units) for each of the terms in a mass
                                 balance equation.

                                 Tie following discussion  of predictive  models  is  largely  a
                                 paraphrase of Suter and Barnthouse (1993).

                                 -      Mechanistic  (i.e.. mathematical) models are what most
                                        people associate with the term "model".  In this approach
                                        to EA,  the  principal  cause-effect  relationships  of  a
                                        proposed action  are described in terms of mathematical
                                        functions.and  combined to yield a mathematical model
                                        capable "of predicting  future environmental  conditions.
                                        Mathematical "models" come in all degrees of complexity,
                                        from simple variations on mass balance equations to highly
                                        complex multivariate systems. The mathematical functions
                                        may be purely deterministic, or may have strong stochastic
                                        elements contributing to the model output.  Some models
                                        include statistical routines for estimating error associated
                                        with model outputs.  Most commonly used mathematical
                                        models  for  impact assessment have been  adapted  for
                                        computers.  :"i!	'  ":':	  '"	'"• 'IiV"	•'•'••	•*•	"  >	^ >••'••<.	  *	..„„  , .,
                                              :''::''"','.;  ,,!.:".^; ;:jlv:£h:\ ;•:•':'•'!-'••	•••  •-•-..;	
                                        It has  often  been argued that mechanistic models  are
                                        unsuited to EA because natural systems are so  complex.
                                        Approximations and simplifying assumptions always  have
                                        to be made and these necessarily introduce errors and
                                        uncertainty.  Nevertheless, mechanistic models are useful
                                        components of many assessment studies. Examples include
                                        predicting ecological  effects of climate change, responses
                                    ,,,,,1,of landscapes to regional air  pollution (Hunsaker and
                                        Graham 1991), long-term management of fisheries (Walters
                                        1986) and remediation of PCB contamination  (Limburg
                                  '      -1986).    Where there is (as  there  almost always  is)
                                        substantial uncertainty about the  "true"  nature  of the
                                        mechanisms and the  values of critical parameters, astute
                                        use of more than one model can provide valuable guidance
                                        in making informed management decisions (Walters 1986).
                                        Another important use of mechanistic models is to integrate
                                        complex sets of observations made in different times and
                                                     '1:5.8-10
Mtuuni	liB.'!	a .ai	;	i	,;;i	
                            lii!;!!''!,:.! .i!,!!!!!!1^       in
                                                                          iiim i in

-------
places.  Ecosystem simulation models are often used for
this purpose [e.g., the Narragansett Bay model of Kremer
and Nixon (1978) and the forest stand  composition and
succession models of Shugart and West (1980) and West et
al. (1980)].

Yet  another  use  of  mechanistic  models  is  to  predict
variables or  events that are  difficult or impossible to
measure  from  more  readily  measurable variables  [see
Christensen et al. (1976) on the effects of the operation of
power plants on the  abundance  of fish  populations].
Readers  interested in learning mathematical  modeling
techniques  should consult one of the several available
textbooks on  this subject, including Hall and Day (1977),
Jrirgensen (1988), Rau and Wooten (1980), and Swartzman
and  Kaluzny (1987).   For  water  quality  modeling,
Thomann (1972)  is  an excellent  text.    The journal
Ecological Modeling publishes a variety of papers on both
theory and applications of environmental models.

Statistical models derive generalizations by using statistical
techniques [e.g., regression, principal components analysis;
see Snedecor and Cochram  (1980) or any introductory
textbook for description of these basic statistical methods]
to summarize experimental or observational data.   There
are three distinct purposes for using statistical models in
EA:  hypothesis testing, description, and  extrapolation.
Hypothesis testing was originally developed to determine
whether  data from controlled studies  provided sufficient
support for hypothesized relationships between controlled
independent  variables  and  the observed  responses of
dependent variables.   It is  most often  used in EA for
comparison   of  contaminated  and  reference sites in
monitoring studies. However, it can lead to conclusions of
statistical significance  that   have no  relationship to
ecological significance.

The second use of statistical models is description.  For
example, a multivariate regression model  might be used to
describe  the  results of a pollution monitoring study by
regressing concentration against distance  downstream and
flow rate.  Similarly,  a multivariate classification  method
such  as  principal component analysis  might be used to
distinguish the sets of natural and pollution-adapted biotic

              1.5.8-11

-------
ill; llsl	;	:	"; ir?,,    I

fi'Sei' i/jj-,; i	I'll    I
liil 'KJlSiiiilS'i'i1 ' 'i1 ' "'''I'll |!
               >,•».
               ....... i; ,!•
               Klf1
 ...... ISi
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 !"' ..... II
   communities within an ecosystem.   This description of
   patterns and relationships in observational data is the major
   activity of statistical ecologists. The results can be used to
   frame  hypotheses  which are then tested  in experimental
   studies, to guide further sampling, or simply to  increase
   Understanding  of the  system.    Readers  interested in
   multivariate analysis should consult Gauch (1982).

   The third use of statistical models"is^'extrapolation, the use
   of a model to statistically estimate something other than the
   data from which it was derived. The most familiar type of
   extrapolation is extrapolation of  a  model  to  conditions
   outside the range of the data from which the model was
   derived.    This range extrapolation is  considered  bad
   practice but is sometimes necessary in EA. Another more
   useful  type of extrapolation is extrapolation from a type of
   data that is available  to a type  that  is  desired but
   unavailable.  For example, extrapolation techniques were
   used  to  estimate  the  effects  that  ingestion of food
   contaminated with chemical nerve agents would  have on
   wild  birds  based  on pesticide  data for  rats.    The
   organophosphorous nerve agents and pesticides are similar
   in chemical structure  and  biological  activity.  Available
"!  	il'ilji'liir .'JIIHIIH!	,;!	I'iliEiJ"",!!!!	 :;	,	•	  °          J
   data were sufficient to develop models for mallards and
'•Tring-necked pheasant (Sigal and Suter 1989).

   In  assessments of impacts  of acidification  on  surface
   waters, statistical  models have been  used extensively to
   extrapolate from observations on  subsamples of lakes and
   streams to impacts on regional  surface water resources
   (Baker et al. 1990). Exercises^ of this kind are sometimes
   referred to as "empirical modeling"; they are an important
   part of basic field ecology.

   Strictly speaking, a statistical model makes no presumption
   to  explain observation in terms  of  causal  relationships
   between the independent and dependent  variables.   The
   model simply  summarizes the relationship  between  the
" "/variables.          	     	 "	

   A conceptual model usually contains  three elements:  the
   variables of the ecosystem of interest; the external variables
   that affect the  state of the ecosystem of interest;  and the
   interrelationships  between  them  (i.e.,  the  processes
                            1.5.8-12
- ................. i. .............. ill ....... . ................... • ............. . .......
^  ....... ii ........ , ...... .. ...... ....... ; ...... j ...................... ................... is ....... ,-: ................. i ..... ...
                            	iA

-------
    involved in the response of the environment to the action).
    A conceptual  model is often the preliminary step  in  the
    formulation of a mathematical model. Figure 4.3-3  shows
    a conceptual diagram of the nitrogen cycle in a lake. The
    ecosystem variables are nitrate, ammonium (which in  the
    un-ionized  form  ammonia is  toxic  to  fish), nitrogen in
    phytoplankton, nitrogen in zooplankton, nitrogen in fish,
    nitrogen in sediment and nitrogen in detritus.  The external
    variables  are:    the   water  inflow  and  outflow,   the
    concentration  of  nitrogen components in  the  in-   and
    outflow,  the  solar radiation  (indicated  by the  arrow
    PHOTO) and  the temperature; the latter is not shown on
    the diagram, but it influences all process rates. The arrows
    in  the diagram  illustrate the processes;  these can  be
    expressed by use of mathematical equations in building a
    mechanistic model.   This  conceptual  model might be
    applied to an assessment of the aquatic impacts of a facility
    that would release ammonia.  Such conceptual models  can
    serve  as an aid  to  qualitative assessments and  simple
    quantitative assessments as well as mathematical models.
                    OENIT
           Inflow

          •Outflow L15
                         ig  PHOTO NI-1X
                               al
     Figure  ^.3-3 .   The conceptual  diagram of a nitrogen  cycle in in
     aquatic ecosystea is shown.  The processes are:   1) uptake of
     nitrate and an»oniu» by  algae, 2)  photosynthesis,  3) nitrogen
     fixation, 4) grazing with loss of undigested natter, 5), 6} and 7)
     are  predation  and  loss of  undigested Batter, 8) mortality, 9)
     mineralization, 10) settling of algae, 11) settling of detritus, 12)
     excretion of aownium from zooplankton, 13) release of nitrogen from
     the sediMent, 14) nitrification,  15), 16) and  18) input/output, and
     17) denitrification.
[Source:   Jfirgensen, S. E.   1991.  Environmental management  modelling.   In:

Introduction to Environmental Management (eds. P.  E. Hansen and S. E. Jjirgensen)

Elsevier,  New York.  403 pp.]
                   1.5.8-13

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«IBS
                        • "111*
8      Specialized Analysis and  Prediction  Methods.  As discussed
       atjove. there is rib universal method for analysis and prediction of
	 i»!'	•	|	'HI	"•	      ^^                 **
       enyironrnental impacts".1 Experimental testing is the scientific ideal
       out not generally'feasibleexceptonsmall scales. Thus, alternative
       methods have been developed to assess specific types of problems.
       This section describes some, but by no means all,  of the recent
   "!	Ill , .(,'!.. 1	                        J
   •;<: ^methods used in EA.                           	"	••_•

       -      Habitat Evaluation Methods. Because habitat includes all
              the components, both biotic and abiotic, necessary for the
              survival of a species (e.g. food, cover, water,  breeding
              areas), knowing the general habitat requirements of a
              species allows determination of the potential value of an
              area for wildlife.  (See EPA 1993 for discussion of habitat
              issues  relevant  to   environmental  assessment.)   This
              information  is useful in  predicting effects of physical
              disturbance or destruction on fish and wildlife populations.
              For example when  habitat is  destroyed, the loss of a
              wildlife species will approximately equal the sum over
              habitat types of the wildlife density in a habitat type times
              the area of that habitat lost. This assumes that the species
            •  of interest is effectively immobile or that habitat is limited.

              An  approach  that  allows the  user to  apply  a  value
              systematically to a habitat was developed by the U.S. Fish
              and Wildlife Service  (FWS)  (Farmer  1980,   1981)  in
              cooperation with various conservation groups and state and
              other  federal agencies.    Called  Habitat  Evaluation
              Procedures "(ffiiPyi trie technique is  designed to provide a
              consistent means ""of "assessing project development impacts
              by:   1) assigning a  quantitative index value for existing
              habitat conditions; 2) determining the difference between
              index values of existing conditions and conditions that will
              result from a proposed project;  and 3)  demonstrating, in
              habitat-value> units gained or lost, the beneficial or adverse
              impacts anticipated  as a result of projected  development.
              Thishabitat "evaluation procedure provides a framework for
              determining habitatquality for specific fish and wildlife
              species arid has been extended in an attempt to consider
              pollution effects (U.S. Department of Interior 1987). The
              FWS  has programmed the models to be used interactively
              on microcomputers.
                                                    1.5.8-14

-------
An  investigator   choosing   to   evaluate  a  particular
geographical area can select appropriate endpoint species
from  a master  list, and use  the  habitat requirements of
these  species to generate a  sublisting of environmental
variables that must be analyzed or quantified.  After these
environmental variables are measured or evaluated in field
studies, the habitat information can be entered  into the
interactive program.

The HEP output reports each habitat type in terms  of its
Habitat Suitability Index (HSI), scaled from 0.0 to 1.0.
These HSIs are computed for each of the endpoint species
and, as a weighted mean, for the total area being evaluated.
The investigator  can also examine intermediate model
outputs and perform  a  sensitivity analysis of the  input
variables.  The HSIs and the areas of the habitats can be
combined (by simple multiplication) to yield Habitat  Units
(HUs) for each  habitat category and for a series of
scenarios (target years) with varying combination of land
use.

The HEP  outputs can be used to  assess environmental
impacts by comparing the HUs available to each  endpoint
species in  pre-action and several post-action scenarios.
Additionally, if the  areas of certain habitats are  to be
created or enhanced through mitigation, the effects of such
changes can be compared with the unmitigated scenario.
Atkinson (1990) describes a Simplified Habitat Evaluation
(SHE) technique for biological impact assessment.  SHE is
based on the theory of diversity and an assumption that as
the biological quality of an area increases  so does its
diversity.   A study of 132 habitat-based methods showed
that measurements of diversity obtained  from SHE are
highly correlated to HEPs. Moreover, SHE can be easily
adapted to digital remote sensing imagery and the data can
be analyzed with a computerized SHE.

Landscape Mapping/Geographic Information Systems.
Sets of landscape characteristics/attributes (e.g., sensitive
habitat, cultural resources, slope, soils) can be used alone
or in combination  to assess the suitability or vulnerability
of an  area for various uses.  Typically each -attribute of
              1.5.8-15

-------
                                                                 ill'1 "'it "iL1!*,,-1":1 ."is!
                               interest is separately  mapped  and relevant maps  are
                               overlaid on a baseline map.  Mapping has evolved from
                               hand-drawn   transparency   maps   (McHarg  1969)   to
                               computerized mapping systems, sometimes  attached to
                               automatic systems  of data input from satellite  photos
                               (Westman1985). Collections of automated spatial data on
                              '.lj^jIscape'^aSnbutes are called geographic  information
                              ' ''	i	"M 	.felt!	\.-JJU	= =•	 ,  ,.     ,.   .   .  JL .  .  ..
                              -; systems (CIS) and their application in EA is increasing.
                               Their usefulness depends on the nature of the proposed
                               action, the availability of computerized  data,  and the EA
                               objectives.   GIS  systems can incorporate economic,
                               ecological, and aesthetic  criteria  into the  process  of
                               comparing alternatives. Decisions are then based on how
                               closely each"plan comes to achieving specific goals (Jensen
                               and Gault 1992; Attachment 4.E).
                                  "   ' •' •"	•	-"• •••'•;•","'	"- *''":™:.	;;,:"«;',;,:':;'::	,.;	:,,,	/,),.;•;	,..   /, ; -^
                               Hopkins  (1977) compares  major  approaches  to  land
                               suitability mapping and Westman (1985) provides three
                               examples of the application  of computerized systems to the
                               study of land resources [the Boston Metropolitan Landscape
                               Planning Model (METLAND), the Australian CSIRO South
                               Coast  Study  (SIRO-PLAN), and the  Rasmussen et al.
                               (1980) technique for selecting road paths through forest].
                               Westman (1985) notes the following limitations to GISs:
                                      ~:,-.: •;',;':;'-'''•	'" 	'. :'• -'..''. "-'I	.,.::	::;;;,:'''''":".:':;];;.  "•;;..;';,•' •"'••  •'
                               —     In the  process of  constructing quantitative or
                                      economic indexes   of   landscape  value,   much
                                      information  is  lost,  information is  extrapolated
                                      beyond  the  empirical data base, and sources of
                                      statistical error are compounded.
                                                ...'.	;!i	i.. ,	i
                               ~     The spatial interdependence of landscape units is
                                      often  not  accounted  for  (i.e.,  the  landscape
                                      attributes reflect the" "structural rather  than  the
                                      dynamic features of the environment).
                                                11|;   j1 •'          M        i, ,;i   ,,, 	
                               —     Natural   ecological   boundaries  are  usually  not
                                      recognized (e.g., in relation to  species dispersal,
                                      water-or airshed boundaries).  Hence dispersal of
                                      air or  water  pollutants are typically  modeled
                                      Separately, as  is movement of species between
                                      landscape units.
                                              1.5.8-16
                                                                                            I I
^^^^_^..    	liia  	i	i	i,	i	I	,;	sift.,,	i	iiji	.	„	''n

-------
Ecological Risk Assessment.  Ecological risk assessment
is a process that evaluates  the  likelihood that adverse
ecological effects may occur or are occurring as a result of
exposure to one or more contaminants and/or disturbances
(e.g., chemical, physical or biological agents, construction
activities) (EPA 1992,  Suter 1993). The process involves
identifying hazards such as the release of a toxic chemical
to  surface  waters  that  support  fisheries,  and  using
measurement,  testing,  and  mathematical  or  statistical
models to quantify the relationship between the initiating
event and the effects.  Ecological risk may be expressed in
a variety of ways. While some ecological risk assessments
may provide true probabilistic estimates of both the adverse
effect and exposure elements,  others may be deterministic
(i.e., parameters are assumed to be constant and accurately
specified) or even qualitative in nature.  In these cases, the
likelihood  of  adverse  effects is  expressed   through  a
semiquantitative or qualitative comparison of effects and
exposure.

Ecological risk assessments can help identify environmental
problems, establish priorities, and provide a scientific basis
for regulatory actions (Cohrssen and Covello 1989). The
process can  identify  existing risks or forecast risks  of
chemical, physical or biological agents or other activities
not yet  present  in the  environment.   However,  while
ecological risk  assessments can play an important role in
identifying and resolving  environmental  problems, risk
assessments are not a  solution for addressing  all specific
environmental problems.  For example, for protection of
habitats and endangered species, professional judgment and
the mandates of a  particular  statute will be  the driving
forces in making decisions.

Models  of interest  for ecological risk  assessment are
categorized into two classes:  exposure models and effects
models.

Exposure   models    simulate   the   movement  and
transformations of toxic contaminants in the environment.
Processes generally  simulated in transportation and fate
models include the physical  movement of particles and
dissolved  materials,   chemical   transformations,  and
exchanges between major compartments (e.g., air, water,

             1.5.8-17

-------
              i:;
  	1
  Iliiiii,1
ill i In
;"'* ;•	•
 soil) of the environment.  A detailed account of the use of
 fate models in risk assessment can be found in Mackay and
 Paterson (1993). Attachment 4.C summarizes some of the
 available exposure models (e.g. multimedia, remediation,
 aquatic, soil, fish uptake and food chain, atmospheric, and
 spill models) which can be used for exposure estimation.

 Food  web models are a special subclass of fate models
 often  used to simulate (1) exchanges between  biotic and
 abiotic components of the environment and (2)  transfer of
 contaminants from prey to predators (Suter 1993).  The
 emphasis  in  food  web models is on  the  biological
 components of the environment,  especially the  movement
 of  materials  through  grazing,  predation,  and  human
 harvest.   Models of DDT  and PCB bioaccumulation
 (Harrison et al.  1970, Thomann and Conolly 1984) and of
 contaminant  movement through food chains (Baes et al.
 1987, Lipton and Gillett 1991) are excellent examples of
 this type of model.

 Effects models simulate the effects of stress on biota. This
 is by far the most diverse category of models of interest in
 environmental assessment (Suter 1993). The "stresses" that
 have*   been   modeled   include  human   exploitation,
 	•	' 	i i. 	•	"!..'! 	••«.'",	i	 	' 	'":".!"'• .;':	'	•	I 	.,	,11, • ',,.11,1.1	,	„	*;	,	  ',	
 environmental contamination  on both  local  and  regional
 scales, and, more recently, climate change resulting from
 increasing atmospheric carbon dioxide.  Organism-level
 effects	models  include  toxicodynamic  models (Mancini
."fPlS'J	j^l^':"!^	Mete	1984, Lassiter 1985,  Lassiter	
 anl llillam 1990) that relate the risk of death of organisms
 to  the uptake and internal concentration of contaminants.
 „_ ^_ ^---~-g-g^- ^ gro^ (Kitchell et al.  1977, Rice
 et al.  1983) are also relevant to environmental assessment
 but have not been extensively applied to date.
 '""Me III ili"!	•.i'^v&MiSS."^ /:	J l;!r" -4'"1. [.','•.• /• •.•.•v,>\l-y",: > •  	iiii,.*, , *,\
 The population-level models of current or potential use in
 environmental   assessment include  the  many   models
 developed for management of fish and wildlife populations.
 Logan (1986) and Barnthouse et al.  (1987, 1989, 1990)
 have  provided  examples "of'the use of fisheries-derived
 models in contaminant risk assessment.   Although such
 models  Have  not  yet  been  used to  assess risks  of
 contaminants to wildlife populations,  Emlen (1989) has
                                     13.8-18
                                                           	,' 11,,
ill"1 H 'It ' it' ',   :, >

it' Hliiii  .ijii: •   VI

-------
reviewed  the  available wildlife population models and
discussed their potential uses.

Community-level and  ecosystem  models  are  the most
diverse of ecological effects models. These models may be
site-specific (Kremer and Nixon 1978) or generic (O'Neill
et al.,  1982).   Spatial scales  considered range from
microcosms (Rose et al.  1988)  to regions or landscapes
(Dale and Gardner 1987).  Suter and Bartell (1993) discuss
the reasons why ecosystem-level  testing  and ecosystem
models have not fulfilled their promise as tools for EA.
Among the reasons is  the lack of clear  goals.   At the
ecosystem level, many endpoints have been used but none
have the endorsement of the  regulatory agencies  or the
scientific community.  This problem is analogous to that of
not having indicators  for  assessment of  sustainability
(Chapter 1).

A few integrated  exposure/effects  models  that  permit
changes in biotic compartments (e.g., flora, fauna) to affect
the fate of chemical  contaminants have been developed
(Bartell et  al.   1988).    Such models  are applicable
principally to cases  in which (1) biota are a major sink for
contaminants (true only rarely),  and (2) contamination is
sufficient to cause major disruption of the biota.

Human Health Risk Assessment.  The  goal of  human
health risk  assessment is  to  estimate the severity and
likelihood  of harm  to human health  occurring from
exposure  to a risk agent (e.g.,  a  chemical substance,
biological organism, radioactive material, or other potential
substance or activity).  Although U.S.  regulations require
assessment of the impacts of proposed activities  on the
public health  and  welfare, such  assessments  are often
lacking or inadequate in EA.  Difficulties associated with
health assessment in EA are similar to those associated with
assessment of impacts on natural resources (i.e., lack of
data and knowledge regarding dose/response relationships)
and proponent concern about referring to the health impacts
of a  project  in  terms  of morbidity,  disease incidence,
mortality, or projected death rates  (Circuit 1988).

Human health risk assessment consists of the following
related steps (Cohrssen  and Covello 1989):

              1.5.8-19

-------
   'a	,.
  * MIIIIE  •"
                        ; X'f J|i ' |, Will

                         '	Ifi  "i	lilt
                        "lil'illlll"!!,,' ;nf ,;«|||
1 111	|l
 IS	I ' ,'
             I	r, •
'--,     Source/Release Assessment - estimates the amounts,
       frequencies,  and locations  of the  introduction,
       release,  or  escape of  risk  agents (e.g.,  toxic
       chemicals)   from    specific   sources   (e.g.,
       manufacturing plants) into occupational, residential,
       or outdoor environments.
    1   "           ' i     i        	  j|
—     Exposure Assessment - provides quantitative data on
       individuals, populations, or ecosystems that are, or
       Jii|y be, exposed to a risk agent; the concentrations
       of the risk agent;  and  the duration  and  other
 /     characteristics of exposure.

—     Dose-Response Assessment - provides quantitative
       data on the  specific amounts of a risk agent that
       may reach  the organs  of  tissues of exposed
       individuals or populations and attempts to estimate
       the percentage of the exposed populations that might
       be harmed  or injured and, where relevant,  the
       characteristics  of such populations  (for example,
       sensitive subgroups such as children or the elderly).

T-     Risk Characterization - integrates the results of the
       previous steps into  a risk statement that includes
       one or more quantitative estimates of risk.
           '•'	' ' " 	" 	  	" 	 '	 *•'•' '. 	'	l,i ' 	 I'll I	 ,	 ;•  	n
Although the approach to human health and ecological risk
assessment  is   conceptually  similar,   human  health
assessment considers effects on  Individuals of a single
species and has a well-defined set of values to be protected
that can be generally applied.

Economic-Demographic Assessment Models. Economic-
demographic models integrate economic, demographic,
public service,  and fiscal projections that are essential for
EA of broad planning efforts. Models of this general type
have been  used for macrostructural international analysis
(Sanderson 1978) and in the projection of the impacts of
resource development  (Leistritz  and  Murdock  1981).
These models have  recently  been  adapted  to project
changes  in key economic and demographic indicators for
smaller areas such as counties or individual towns (Leistritz
et al.  1990),  butputfrom" the models includes projections
of:
                                                      1.5.8-20

-------
             demographic factors  such as  total population and
             population by age and gender;
             economic  factors  such  as  business   volume,
             employment by type, personal income;
       —     public  service  demands  for   housing,  school
             enrollments,  medical and criminal justice service
             needs; and
             public costs and revenues by type and  net fiscal
             balances by jurisdiction.

                                                    ISSUES

The lack of reliable baseline data is one of the major problems for
quantitative EA.  It has made objective evaluation of changes in
environmental quality difficult and often impossible.  Moreover,
acquiring baseline data is generally one of the most expensive and
time-consuming activities in the EA process.

Most studies of man-made impacts focus on structural  responses
of individual organisms. These components are relatively sensitive
and are easy  and inexpensive to measure; however, linkages of
these parameters  to  adverse impacts on biological populations,
communities, and ecosystems are mostly lacking.  Measurements
of effects at the higher levels of organization are confounded by
natural variability,   long response  times,  climatic  variation,
pathogens, and other factors.  In addition, the lack of replication
and of true control  areas creates severe problems for  design of
monitoring programs and testing of hypotheses concerning effects
(Sigal and Suter 1987, Jdrgensen 1991).

A mathematical model represents the synthesis of knowledge and
data and thus is dependent on the depth of understanding of the
particular system being modeled, the expertise of the modeler, and
the quality of the available data.   A model cannot fill gaps in
knowledge or data.   However, it can provide new understanding
about the reactions and properties of a system (Jorgensen 1991).
Generally,  an  ecologist,  an environmental  scientist,  or  an
environmental engineer with some knowledge of mathematics and
computer science  is  a better fit to developing and using  ecological
and  environmental   models than a  mathematician  with  some
knowledge of ecology and environmental science (Jorgensen 1991).
However, the very  best  development and use of environmental
models is carried out by  a  team representing all the  relevant
                    1.5.8-21

-------
          ;;• ,"i'	S"E'11 »*« "'	i	«	i*1"!	i'njsan" w	•• •, ,,.i
           	Mr .iilifc!' "; ';".   ':  i, ,,,,,*)'(I1 ,  •   i .
                                                    11 "iilid!!	!'i/".
                                                                                        . ]	»	IR;
                                                                                                    ''!• "'''> I ,V''PI|	 ' ,i	'.,
!!!!!•(! IB!	
I!	IK.
'"• ill' "
   disciplines,   such  as  ecology,  environmental   engineering,
   mathematics, and computer science.

   The major types of uncertainty in EA are uncertainty in impact
   prediction and uncertainty in relation to decisionmaking (De Jongh
   1988).  The extent of the uncertainty in predictions about direct
   and indirect changes in the environment depends on the data and
 •"•''the methods used.  Decreasing uncertainty in prediction usually
   involves more sophisticated methods, additional expertise, more
   resources,  and almost  invariably more information about the
   proposed  activity, the local  environment,  and the behavior of
   possible environmental contaminants.  Most  predictive methods
   involve either a mathematical, physical, or conceptual model of the
t   environment. The sources of uncertainty in the development and
   application of models include the following (De Jongh 1988):

   -      data collection (i.e., accuracy in measurement and sampling
          and the inherent variability of environmental data);
          structural error (i.e., simplification of ecological processes,
          incorrect  assumptions  about  functional  relationships,
          imprecise spatial and temporal resolution);
          numerical  error   (i.e.,  approximations  in  numerical
          solutions);
          use outside the range of circumstances for which a model
          was developed and calibrated; and
          simple human mistakes.
    .     'ft       !    .i'>'lv"'	i;":" w	-	„(•	aril".	:,,«.,;	.,..,,L,, „	  .
   Approaches  to   estimating  uncertainty  m  modeling   include
   sensitivity analysis and Monte  Carlo error analysis (De Jongh
   1988).  Sensitivity analysis  is  a technique  for identifying the
   variable or parameter within a model that causes the largest change
   in model output per unit variance in input.  Monte Carlo analysis
   is a simulation  approach that estimates the variance in model
   output  resulting  from  the  estimated  variance  in the input
   parameters.  Methods for reducing uncertainty in prediction are
   summarized by Environmental Resources Limited (1985).

   The uncertainty in decisionmaking is the result of politics and
   subjective choices made during the EA process (De Jongh 1988).
   These include, but are not limited, to:

   -     political sensitivity of the proposed action;
          the choice of alternatives to be investigated;
   -     the choice of impacts to be studied and their relative value;
                                                      1,5.8-22

-------
       definition of the limits and constraints of an  assessment;
       and
-      confidence in impact predictions.


Management approaches  to  resolving  uncertainty   related  to
decisionmaking in the EA process include decision analysis (Figure
4.3-4), amalgamation (i.e., the pulling together of many impact
variables into a few  valuative indices; see Elliot 1981), better
guidelines for the application  of EA, and  better communication
between the proponent and the public and the assessment team and
the decisionmaker (De Jongh 1988).
                        DECISION ANALYSIS

  Decision analysis provides a consistent method for structuring
  and clarifying the decision problem.  Expert opinion is  used
  to derive numerical  estimates  for subjective considerations
  when objective probabilities are not available.  Decision
  analysis rests upon two  assumptions.  First, there are
  incomplete data; secondly, the decisHonmaker will be
  influenced by the likelihood of events occurring and the
  values associated with the possible consequences.  One of  the
  main tools in decision analysis is the "decision tree",  in
  which different actions, along with their likely consequences,
  resulting from alternative decisions are shown systematically
  in graphical form.
                                             FURTHER ACTON
    Figure 'f.B-'K

   A decision tree for the problem of groundwater contamination.
    (Source:  DeJongh  1988)
                     1.5.8-23

-------
                                  There  are  no procedures for the systematic integration of the
                                  environmental components of a study with the social and economic
                                  aspects.  It is possible in some instances to construct ecological-
                                «j^8pfftie	models, ibut such models| are not yet sufficiently well
                                  developed to give reliable results (Jtfrgetisen1991, Kjeldsen-Kragh
                                  1991).
                                                                                   LINKAGES
                     Impact analysis is linked to  all of the EA elements.   During initiation  and
                     scoping, alternatives and issues requiring in-depth analysis are identified.  Any
                     croSs-media (e.g., effects of air pollutants on water quality) and cross-impact
                     (e.g., effects of wetland loss  on waterfowl) linkages are determined and the
                     assessment endppints are identified.  Other applicable laws and regulations (e.g.
                     for permits) are identified and reviewed for any specific requirements for analysis
                     related to the proposed action and the issues of interest.  The result of impact
                     analysis should be a succinct,  comparative presentation of information about the
                     proposed alternatives for use by the decisionmaker and the public.  It identifies
                     areas where monitoring and/or mitigation are needed.  Thus, it forms the basis
                     for post-decision analysis and  follow-up.
  (ill
r'»	hi  1 »• I!,:1'"
Vffli, Mf	iriU
o :'  i -
iii1  '\>
                                                           REFERENCES

 Andrews,  R.  N.  L.   1988.   Environmental  impact assessment and risk
       assessment:   learning from  each other.   In:   Environmental  Impact
11  ||   '(111 Jill  lUrmMPii.-:'..'*'*'"	•	>	!-"	S	,.	,	-.	 >._,,,.   v   ~~   •  „
       Assessment,  Theory and  Practice (ed.  P. Wathern).  Unwin Hyman,
       Boston, Massachusetts. 332 pp.

 Asher, S. C., K. M. Lloyd, D. Mackay, S. Paterson, and J.  R. Roberts.  1985.
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                     Atkjppn, S. F.  1985.  Habitat-based methods for biological impact assessment.
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                                                    u, /'L5.8-24

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Baes, C. F. IE, C. T. Garten, Jr., and V. R. Tolbert.   1987.  Long-Term
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Baker, J.  P.,  D.  P.  Bernard,  S. W. Christensen, M. J.  Sale, J.  Freda, K.
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Bamthouse,  L. W.,  G. W.  Suter  II, and A. E. Rosen.   1989.   Inferring
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Bamthouse,  L. W., G. W. Suter II, and A. E. Rosen.  1990.  Risks of toxic
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Bamthouse,  L. W., G. W. Suter 11,-A. E. Rosen, and J. J. Beauchamp.  1987.
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Bartell, S. M., R. H. Gardner, and R. V. O'Neill.  1988.  An integrated fate and
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Bonazountas, M., and J. M.  Wagner.   1984.   SESOIL - A seasonal soil
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Bonazountas, M.,  A. Brecker, and R. G.  Vranka.   1988.   Mathematical
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-------
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        11"
  ill  1
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 1	1
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iiini
in i
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                                                                             "'* , '« i,,, ',»  ii 	iiii
                                                   1.5.8-34

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SUMMARY OF FATE MODELS USED IN ENVIRONMENTAL
                                                   ASSESSMENT
  Summary of Fate Models used in Environmental Assessment. (Source: Mackay, D.,
  and S. Paterson.  1993. Exposure assessment:  mathematical models of transport and
  fate. In:  Ecological Risk Assessment (ed. G. W. Suter, II). Lewis Publishers, Inc.,
  Chelsea, Michigan)
                             1.5.9-1

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II   I      II    111  II
                                                                                                    II         II    II
                                                                                                                                                                                    I Illlllllll    111 III     II III   III  II  III 111 111
                                                                                                       Z-6'S'l
                                                                                                                                                                                   4PI;'',i  ,	.mi11,.
                                                                                                                                                     III..'!	;,:	'!  LI. ".iiHi   I'm	i ,, liiiiii.-'"'!:  >\,,, •„

-------
  Summary of Fate Models used in Environmental Assessment. (Source: Mackay. D.,
 and S. Paterson.  1993.  Exposure assessment:  mathematical models of transport and fate.
       In: Ecological Risk Assessment (ed. G. W. Suter, II).  Lewis Publishers, Inc.,
                                  Chelsea, Michigan)
This attachment provides a list of some of the models that can be used for exposure estimation.
It is not a comprehensive list.  The reader  should 'Consult Mackay and Paterson (1993) for
additional information about this list.  Reviews of available models are also found in Cohen
(1986), OECD (1989), Dickson et al. (1982), and Jorgensen (1984). See references to Part 4.3
for citations.
             MULTIMEDIA MODELS

             A series  of fugacity-based (i.e.,  fate) models has been developed in the last
             decade at the University of Toronto by Mackay and co-workers (Mackay, 1979,
             Mackay and Paterson, 1993, Mackay et al., 1985).  They vary in complexity
             from a simple equilibrium distribution of a conservative chemical, to steady state
             and time varying descriptions of the fate of reactive compounds.  These models
             are primarily useful for predicting the fate of chemicals in multimedia systems.

             GEOTOX.   GEOTOX  (McKone and  Layton,   1986)  is a  comprehensive
             multimedia compartmental  model  which calculates  chemical partitioning,
             degrading reactions and diffusive and non-diffusive interphase transport.   The
             concentrations  estimated  for   various  environmental  compartments  are
             subsequently combined with appropriate human inhalation and ingestion rates, and
             absorption factors to calculate exposure. It treats an environment representative
             of the South Eastern United States, consisting of the following compartments:  air
             (gas), air (particles), biomass, upper soil, lower soil, groundwater, surface wat r
             and sediments.'

             Enpart (Environmental Partitioning Model). Enpart (OECD, 1989) is one of
             a set of models developed by the EPA as a first level screening tool for new and
             existing organic chemicals of possible concern.   It is a fugacity-based model
             which estimates the steady-state equilibrium or dynamic partitioning of organic
             chemicals among environmental compartments. It identifies dominant pathways
             and data gaps and estimates  the chemicals'  persistence  and bioconcentration
             potential.

             Toxscreen. Toxscreen (Hetrick and McDowell-Boyer, 1983) is a time-dependent
             multimedia  model,  developed  by  the  EPA to. assess  the potential  for
             environmental transport and accumulation of chemicals released to the air, surface
                                        1.5.9-3

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              water or soil.   It is modular in concept and incorporates intermedia transfer
              processes.  It is intended  as  a screening tool  to assess the  human  exposure
              potential of organic chemicals.
£SA WWdtJWiJ*  Afc- *U 4-l*b««AtUW%A Ud

potential of organic chemicals
              Environmental Exposure  Potentials (EEP).  EEP (Klein et al.,  1988) is a
              fugacity-based equilibrium multi-compartment model used by member states of
              the  European  Community to determine exposure  potential  of new  organic
              chemicals. The methodology is applied to chemicals being imported or produced
              in quantities of 1 metric ton per year or more.
                            •IK
" ''         I   SIMPLESAL.	SIMPLES AL (OECD,	1989)	is a	spreadsheet-based	multimedia	
           •'  fugacity cmnpartaerital micxjel which" can be'used	to'esimate steady	state' or time-	
              dependent concentrations of organic compounds as well as heavy metals.  It
              determines dominant environmental pathways and processes for contaminants and
              was designed for use in The Netherlands as a screening tool to predict results of
              various scenarios for emission control  of new and existing chemicals such  as
              benzene, cadmium, lindane and copper.  It considers compartments of air, water,
              suspended solids, aquatic biota, sediment  and soil.
ill           II III   I III I          I  I III  i I 111                i     111   , t..' |:, <".• '   •'   	i ''  : "      	
       •      REMEDIATION MODELS
          «                                                     ' ' ' !l	      ' "
                                                                 i
:	:	;   	  •  :;-;; |4ERIS. AERIS	(Senes Consultante, 1989) is a n^time^ia risk ass^mimt modej.
              that estimates environmental concentrations and subsequently human exposure in
              the vicinity of contaminated land sites.  It is intended for use at sites where
              redevelopment is being considered.  The model is novel in  that is runs within a
              user-friendly  expert  system  programming  environment.    An   "intelligent"
              preprocessor interrogates  the  user about the redevelopment scenario to be
              assessed,  assisting the user where necessary, or supplying default values.

       •      AQUATIC MODELS
               ill                                          i        i.            .,  i      in
                                                                 i
              Persistence.  The persistence model (Roberts et al., 1981; Asher et  al., 198-/J
              was developed for the National Research Council of Canada as  a screening
              method to estimate the fate of various organic chemicals but especially pesticides
              which are released into the aquatic environment. It considers four compartments:
              water, catch-all (representing suspended solids, invertebrates or other components
              of water systems excluding fish), sediment, and fish. It calculates both a steady-
              state or fixed solution and a time-dependent solution.  Default environments for
              the model are a Standard Pond and a Standard Lake simulating a small, eutrophic
              pond and a deep oligotrophic lake. Removal pathways include photodegradation,
              volatilization,  and hydrolysis in water; biodegradation in  fish; and microbial
              degradation in suspended solids and sediments.
                                        1.5.9-4

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EXAMS - Exposure Analysis Modeling System. EXAMS (Burns et al.. 1981)
is an interactive mass balance model developed at the EPA Research Laboratory
in Athens, Georgia, which predicts the fate of organic contaminants in stratified
surface waters as a result of continuous or intermittent releases.  It is widely used
by EPA and other environmental agencies in the U.S.

EXWAT.   EXWAT (OECD,  1989) is a steady  state model, developed in
Germany,  to  describe chemical fate in water bodies.  It is a  simple approach
suitable for application to continuous single point sources.  It is intended for use
as  a screening tool to assess comparative hazards of existing  chemicals in the
Rhine River.  It is also a submodel of the multimedia E4CHEM system (Exposure
and Ecotoxicity Estimation for Environmental Chemicals), an exposure  and
hazard assessment model developed  in Germany  for  priority  setting  within
OECD.

Inorganic Chemical Models (e.g., metals and phosphorus).  Modeling of
inorganic compounds in  the aquatic and other environments proves to be more
difficult in the sense that the chemical properties and speciation tend to be unique,
thus the generalizations which apply to organic chemicals do not usually apply.
Bonazauntas et al. (1988) have reviewed fate models for such chemicals.

Speciation Models, e.g., MINTEQAL MINTEQAI (Brown and Allison, 1987)
is an example of an equilibrium metal speciation model applicable  to metallic
contaminants in surface and groundwaters.  It is thus quite different in purpose
from the mass balance models  discussed earlier.  It calculates the equilibrium
aqueous speciation, adsorption,  gas phase  partitioning, solid  phase saturation
states, and precipitation-dissolution of 11 metals (arsenic, cadmium, chromium,
copper, lead, mercury, nickel, selenium, silver, thallium and zinc).  It contains
an extensive thermodynamic base and  is designed to make minimal demands on
the user.

SOIL MODELS

Several models have been developed to describe chemical fate in soils. Notable
are SESOIL [a Seasonal Soil Compartment Model, OECD, (1989)], Bonazountas
and Wagner (1984), PRZM (Pesticide  root zone model) by Carsel et al.  (1984),
PEST AN (Pesticide Analytical Model) by Enfield et al. (1982),  and the "Jury"
Model by Jury et al. (1983).

FISH UPTAKE AND FOOD CHAIN MODELS

Because of the importance of the human exposure  route via fish consumption,
considerable effort has been devoted to estimating chemical concentrations in fish.
Contaminants may enter  fish via the gills (bioconcentration) and, especially in the

                           1.5.9-5

-------
   case of hydrophobic chemicals,  by way of food (biomagnification).   These
   pathways are the subject of discussion in recent examples by Thomann (1989),
   Clark et al. (1990) and the text by Connell (1989).
   ATMOSPHERIC MODELS
	                                                j
   Numerous air dispersion models with general or limited geographic applicability
   have been developed with the objective of deducing ground level concentrations,
   aid hence exposures, from stack emissions.  Most texts or handbooks on air
   pollution contain full descriptions of such models.  Models range from simple
   application of Gaussian dispersion equations  to complex,  multi-source models
   containing allowances for depositing particles and topographic features of the
   terrain.  The "use of such models is often written into legislation as a means of
   translating desired  ground level concentrations into acceptable stack emission
   rates".	      	••• •— •••••-     	
   SPILL MODELS
                                                      i" '   '"'    	      n  -    - •
   Several models are available that deduce the fate of chemical spills.  These are
   often used to provide guidance for spill response personnel.  An example is the
   POSSM (PCB On-site Spill Model) described by Brown and Silver (1986).  Most
   regulatory agencies and many industries concerned with the marine environment
   (e.g., the Coast Guard) have available models which can describe the movement
   and fate of spills of materials such as oil, when subject to variable winds and
   currents.	  	l!
                              1.5.9-6

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PROBLEMS ASSOCIATED WITH AMALGAMATION OF DATA
   Elliot, M. L.  1981. Pulling the pieces together:  amalgamation in environmental impact
   assessment.  Environmental Impact Assessment Review 2:11-38.
                              1.5.10-1

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1.5.10-2
              .''"Ili""! • '"''i;'1  "i''1"!'  /   V!: :|11111 '!l111  "•  •  •'!,
                    ',,,1  ,i"  '     K««.  "!,' 	.', 	•  ,,p   r..'

-------
                                                   s
                                                   a
                                                   &
Gr:iiid Tclon
Pulling  the Pieces
Together:
Amalgamation in
Environmental
Impact  Assessment
                                                                                   Michael Lawrence Ellioll
                                                                                   Mil hue! Elliott is an inslrudor and doctoral candidate in tlir
                                                                                   Department <>/ Vrban Studies and Manning at the Afnitnr/m-
                                                                                   selt\ Institute (i/ Technology. Cambridge, Alautir/iufrttt. In jail
                                                                                   W8I. he will be a I'. O. Key Fellow at the Joint Center for I'rban
                                                                                   Studies of MIT and Harvard University.


                                                                      It may seem counterintuitive, hut the more effectively eriviroiuneniiil
                                                                      impacts arc specified, the mote  difficult (he problem  of dioosini;
                                                                      among project or policy options becomes. Impact specification, if
                                                                      done well, should cause decision makers to consider tiadeoffs they h;id
                                                                      not previously considered. The more impacts enumeiaied in an envi-
                                                                      ronmental assessment, the tic bet the array of iiadcoffs. The moir
                                                                      obvious the tradeoffs, the moie complex the task of evaluation.
                                                                           To facilitate the evaluation task of the decision maker, envitou-
                                                                      mental analysts have experimented with a wide vaiiely of environmen-
                                                                      tal impact statement (EIS) presentation techniques. The tradition;*)
                                                                      presentation technique of listing all potential impacts is of little use i<>
                                                                      either decision makers or public interest gtoups. Many analysis, tlicic-
                                                                      fore, have attempted to meet the infottnation needs of the KIS n add |>y
                                                                      summarizing and by directly computing policy or project opiinus
                                                                      based on the significance of  the impacts.
                                                                            In the absence of scientific and political consensus about wluil
                                                                      constitutes a desirable environment, analysis have found (his task ol
                                                                      pulling the pieces together rather clilfit nil. Scientific ally, many c|ti;ili •

-------
                                                       tff^m
                                                       m
                                                       n-•"> «
ISs
IK
in
   tiesBjf tlicicirviroinneni irriost rekvajrt to public polic;y;are those
i,; ,amenahle jto di,rect measurement, and many changes in qualities ihatj^
   'are measurable ate not easily predicted. Politically disparate sectors
   =(he community perceive arrd value lire same  impacts differently."*=
..'-. Taken together, EIS data (pariicularly forecasts and evaluations)
i1  Ifrcquenlly scientifically inconclusive and value-laden,             JI
         EISs, however, carr be irrforrnative without being completely^
:  ; ^objective or value-free. To reconcile (*oni|K'ting social goals,
 -.makers icquire  irrfoimaiion that discriminates  between policy
   (boices. The simplification of environmental data carr be misleading
i   unless it simultaneously clarifies the potential impact oieach alterna-
:   live. If an EIS is to reveal rather than obscure the choices available, thejl*
   assumplions behind (he methods of data manipulation must beexarn-ip
   irred carefully.                                                 >"
; M      This article, then, is about ways of manipulating EIA daia—4n
   ways that  are  analytically correct  and ways that  are  faulty. More
'   specifically, the article focuses orr how analysts convert disassociated^
'.!; i sets of predicted impacts (many of which are difficult to quantify) into
:-; 'comprehensive indices  of environmental quality. I am calling this^
   •process amalgamation  because the lerrrr  best captures the pulling
,1,1 together of many impact variables into a few evaluative indices  for*,:
Ln: presentation in an EIS.                                         *}
^        To  help us belter understand (he problems associated with;
^amalgamation, the EIA process  used for the Jackson, Wyoming^
   wastewater treatment plant  will be described first. This process is?;
   : typical of the  tweniy-orre environmental impact assessment processes^
   > studied  at  the Massachusetts Institute of Technology (MIT) last
   • summer,' with one important exception: (he Jackson EIS is presented
   ' in a concise format that employs a comprehensive method for amalga-
   ; mating and evaluating impacts.  The Jackson story is illustrative off
   ! how and why amalgamative  methods are used, as well as how an
   : fits into the decision-making process. Using (he case, we will look at a
   • wide range of amalgamative methods, arrd conclude with lessons that
   can be drawn from the discussion.

   THE JACKSON EIA PROCESS: KEY ANALYTIC  PROBLEMS  :
   Jackson is a rapidly growing city in the foothills of the Teton moun-a
    tairr range.2 The town is largely surrounded by federal land.  Since-
    1972, the town's wastewater treatment plant had been out of com-^
    pliance with state and federal regulations. The town could only grow
    south, and so proposed to locate a new plant six miles to the south of
    the  town line, which would accommodate all future private develop-,:
    mem in the Jackson-South Pink area. Simultaneously, T;.ion County^
    was  preparing a comprehensive plan and zoning restrrcti""r.  whicht:
    were expected to severely  limit growth in South Park. '1 he c mrntyS
    therefore. --<*ued that Jackson should upgrade its existing plant to
                  town growth orrly.                                *«
                                     Hi
                                                                                                                                                                W!
                                                                                            '               =! -iipJi  «      >
                                                                                                   Because the wasiewatertjireatmeni .plant was to bciburlt with
                                                                                             federal moneys on a wildlife preserve, a'rv.ElS was required. In add!-?
                                                                                            -iron, the U.S. Environmental Protection JAgency (EPA) saw the ElAi
                                                                                             process as an opportunity to intervene in [the dispute. EPA suggested!
                                                                                             seven alternatives for the treatment of the wastewaier.These included*
                                                                                             two process methods (a mechanical treatment plain and a stal>ili7;iti|>>ik   •   |i
                                                                                                              Tl t^anduiMtoi      r7
                                                                                                                I fomiilml     	j
                                                                                                          LINK ASSEUMKNT II) INrUHMATKlN NtF.IISor MS I'SFM U»»>T - M«r l»»l
                                                                ii:
                                                                  Jft
                                                                                                             Steps followed in the environmental impact assessment
                                                                                                             process ol the Jackson wastewater treatment plant project.

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cull io:,, ..;,HH e the project li;ul mult iple effects, data on environmental
conditions weie not specifically  collected for the assessment, and
institutional boundaries did not always coincide with the location of
impacts. Alternatives had to he generated even though guidelines for
selecting appropiialc alternatives  did not exist. Since environmental
conditions change even in the absence of any project, appropriate
baseline conditions had to be estimated. Expensive models and mea-
surements were required lo precisely and accurately predict the magni-
tude and distribution of those impacts that could be quantified. EPA
and two engineering consulting firms found that the effect of waste-
walei licaiuu'itl ou walei quality and estimates of capital and main-
tenance costs could be quantified, but that most other impacts could
only be qualitatively described.
       The analysts then entered the final stage of the E1A process, the
stage on which this article concentrates. In this stage, (heenvironmen-
tal information collected and analyzed is linked with the informa-
tional  rcquhements of political decison makers. The analysis knew
that the administrator of EPA Region VIII would not wade through
disaggregated  data on  fish saved, elk herds  redirected, and growth
induced.1 Tradeoffs among the EIS alternatives would not be obvious
il ptedic ted impacts were listed without distinction as to their cnviron-
menial significance. To focus attention on the most important trade-
offs, predicted impacts (such as changes in dissolved oxygen and
turbidity) were amalgamated along fewer dimensions of concern (such
as water quality), with each  impact and dimension of concern being
ei'aluated as to its significance.
       Environmental analysts such as Eugene Odum of the Institute
of Ecology,5 Charles Solomon of the U.S. Army Engineer Waterways
F.xpei imcnt Station,6 and Norbert  Dee of Baitelle Columbus Labora-
tories7  have attempted to devise standard methods for amalgamating
many impact variables into a  few, more comprehensible indices. Other
analysis, such as Wes Wilson of EPA in our Jackson case study, have
created more individualized  methods to be applied to a specific EIA.
Each of these nielhodscan be judged in part by its validity and clarity.
This aiiicle, without discussing all methods, discusses the basis for
devising or evaluating an amalgamaiive method." Before specifically
desc i ibing the amalgamator method employed in the Jackson EIS, let
us fiist consider the problems with amalgamtion generally.

PROBLElVfS IN AMALGAMATION
While  amalgamation can greatly assist decision makers and the inter-
ested public to belter understand tradeoffs, it is open to misleading
mathematical manipulations, which can cause problem-. In the EIA
processes we studied,9 virtually all EISs were  presented  • !i'•••m  any
attempt to amalgamate the hundreds of bits of information, 01 were
amalgamated in a manner that could easily lead to faulty or overly
confident conclusions.
Jackson Area of Telon County, Wyoming
           c{Ji  Existing Wastewater Treatment Plant Located on Flat Creek
           A  South Park Site
           D  Elk Feedground Site

-------
     'O
      o\
I
        •--'•'        ---  "    ;   **=•     -    ~  ,
      Aiiuilganuuion is difficult brcjstuse it requires that the signif-
ferric C|C»I i impacts be evaluated. The,significance of impacts can be
determined only if a common basis for comparing the magnitude of
piedic ted effects can be developed. A common basis for significance in
turn presupposes both scientific consensus on theory and political
consensus on value. Neither is readily available, particularly when
environmental impacts are being compared to the nonenvironmcnlal
costs and benefits of the proposed  project. Thus, great care must be
taken to maintain the original data's uncertainty and diversity when
amalgamating data  in an EIS.
      Amalgamation involves  the  compression  of information.
Amalgamation makes data more comprehensible by reducing detail,
that is to say, by discarding some information and reorganizing what
remains. The result of amalgamation is a summary judgment about
how estimated impacts of a project will affect some dimension of
environmental quality. Consequently, proper techniques  for amal-
gamation will depend on both how the impacts were first  measured
and how environmental quality is defined. These are  problems of
scaling  and weighting, of  magnitude and significance.
       Ikrause environmental quality cannot be directly measured,
 analysts must rely  on indicators of environmental  quality that
 can be  measured or estimated. Each measure, however, is tailored to
 the irrdicator  in question. Consider the Jackson example. The EPA
 analysts estimated flood damages and capital construction in dollars,;
 BOD and phosphorus load in milligrams per liter, the elks'wintering
 habitat and agricultural land in acres, and growth pressures in "signif-
 icance" of effect. How can  Jackson's Elk Feedground stabilization
 pond proposal be compared to the alternative that upgrades the exist-
 ing wastewater treatment  plant? How can dollars and milligrams be
 compared to  acres and unquantified "pressures"  when a hundred
 indicators and measurements must be considered?
        Proper amalgamation of several  impact  indicators into one
 dimension of concern requires consideration of both magnitude (scal-
 ing) and significance (weighting). The magnitude of an impact is the
 measured or predicted change in the environment. The effect of Jack-
 son's wastewater treatment plant  on dissolved oxygen  (DO), for ex-
 ample, can in principle be estimated  with some degree of certainty.
 The magnitude of changes in DO for each alternative can  be directly
 compared. On (be other  hand, magnitudes of DO and phosphorus
 cannot be directly compared or aggregated. To aggregate DO and
 phosphorous into  a single dimension of concern  (water quality), a
 common scale of magnitude must be applied to each impact variable
 and a model of significance must be used to weight the relative impor-
 tance  of each variable. Only then can the magnitudes of the two
 variables be combined. Thus, the analyst must consider is     r liolh
 scaling and significance  irr any process of amalgamation dm starts
 with iryi^  tan one impact variable. These issues are  not easily
resolved since great" uncertainty remains within the envhonnic-nial
sciences, and public interests frequently disagree on definitions of
environmental quality.                              ;

SCALING THE MAGNITUDE OF IMPACTS
Scaling is based on the levels of measurement used to,predict the
magnitude of each variable. There are four levels of measurement'.
nominal, ordinal, interval, and ratio.  Nominal measurements oflci
the least precise information and ratio the most precise. Amalgama-
tion is valid only if the new composite scale is no more precise than the
least detailed data scale. Reseating data using inappropriate mathe-
matical functions or assigning nominal scaled data to ordinal or latio
scaled dimensions  of concern may lead to significant  errors  in
amalgamation.

 Nominal Scales
 The least flexible level of measurement, the nominal  scale, assigns
 data into categories. For example, the Jackson EIS categorizes land use
 into residential, agricultural, wildlife, and commercial zones. Nomi-
 nal data can be reclassified into other nominal scales, but no mathe-
 matical operation  can be  performed.  Nominal  data  can  also be
 assigned  to ordinal scales if the desirability  of each category can be
 rated or  ranked. If preferences  among categories cannot be deter-
 mined, the nominal data cannot be compared.
       Nominal scales require the least amount of quantification and
 measurement and hence are used to classify variables that are difficult
 to quantify. EISs are filled with  lists of varieties of wildlife, yet rarely
 provide bird counts, nor indicate preferences for trumpeter swans over
 peregrine falcons. Likewise,  changes in land use,  displacement of
 archaeological sites, rare and endangered species, natural hazards, and
 many cultural and political patterns are either listed or classified, but
 not quantified.
        Nominally scaled data can only be amalgamated by combining
  precise classifications of bald eagles and snail darters into composite
  classes of birds and fish. Consequently, nominally-scaled impacts arc-
  frequently dropped  from amalgamations. An inherent bias is intro-_
  duced when  unquantified or imprecisely quantified data  is  over-
  looked.  Summaries that highlight unquantified data can  usefully
  accompany   presentations  of  more  quantified  amalgamation
  techniques.
        Figure 2 shows an  informational display technique used in
  several EISs to summarize nominal data. The display technique com-
  bines verbal descriptions with analytic quantifications and alluu-s all
  forms of data to be summarized in one table. Obviously, as the numbei
  of variables and alternatives increases,  these tables can become very
  complex (see Fig. 4). In addition, comments are needed to communi-
  cate the potential significance of each variable. Despite    umber-

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Figure 2.        An  example of information  organization used in the
                Haverhill, Massachusetts, Resource Recovery Plant EIS.
                The original chart included three additional alternatives.
                The information is presented inconsistently. Biological
                impacts are ranked, noise impacts are rated, air quality is
                described, and economic impacts are quantified. How do
                all these impacts relate -to each other? Certainly more
                consistency was possible, and a comment column could
                have related the significance of each impact group to the
                other impacts. (From M. Schippereii, E. Williams, and H.
                Yaffee, "Site Evaluation for the Northeast Massachusetts
                Resource  Recovery  Project,"  MITRE  Corporation,
                August 1977.)


Sleim Market!

Air Quality













Noite Impacii
Note, DEQE
Wittr/Wellindi/
Ilydfogeology
(Wctlandi. DEQEJ
(Water Pollution
Control, DEQE)
(Water Reiourcei)



Biological ImpKti
FUhetin If Wildlife
Soclo- Economic
Impact I


#1
Lowell


Sunounded by
reitdenlltl
areai. Impact
would be in
Downtown Lowell
liven ihe pre-
vailing wetter-
ly wlndi. Ac-
ccpttble, but
a relatively
poor choice.



Moderate Impact

(Potential In-
volvement with
We Hindi. Frot.
Act Small!
(No Problem*)
(#6 - Lagoon Re-
quire! Draining)


#1 - Acceptable

Full Value
Savingi * f 1.70
Unemployment
Rate • 6.6%
*S
Methuen


Near Lawrence
but ihould not
Impact ilgnlfl-
canlty on the
City due to Ihe
prevailing wind*.
Near the N.II.
border, but will
have little Im-
pact In N.II. for
the tame reaion.
Alio, r eilden-
llal area adja-
cent to lite.
Minor Impact

(Potential In-
volvement Small)
(Drainage Would
Apparently Re-
charge Wetlandi
or Go toSpkk*
ctt River)
(#1 - Moderately
Favorable)
#2 - Acceptable

Full Value
Savingi - 12.80
Unemployment
Rate - 7.9%
ft
Newburyport
Blxby Intl.
S t are n tier Inc.
Impact would be
In Newburyport
population cen-
ter, eait and
generally down*
wind of the
lite. Air qual-
ity In the area
U good and
ihould not be
downgraded. Ac-
ceptable, but •
relatively poor
choke.
Minor Impact

P.. 	 1
(Leill Fivori-
We)
(#6 - Sillnlly)





#7 - Lent Ac-
ceptable
Full Value
Slvlngl * 16.90
Unemployment
Rite • 8.0%
someness, tabular formats are one of (he few vehicles n'-ii'-ible for
summary presentations of not;*: tall- sailed'1    I he abiii.j m high-
light key ideas and to keep the table slu u <       ,11 makes the summary
more useful to decision makers.
Ordinal Scales
Ordinal, or discrete, scales are comparative: one alternative's impa< is
are judged to be significant or insignificant, or to be greater ihiin.
equal to, or less than those of other alternatives. The Jackson EIS, f<»
example, found that the Elk Feedground location would be a moio
significant catalyst tr. growth than other alternatives. The EIS did n<>j
precisely quantify the additional growth by forecasting numbers of
new homes or loss of agricultural land.
       Ordinal data are not measures of absolute magnitude, only
relative magnitude. In the absence of a  standard scale with known
intervals and a common zero-point, analysts are likely toassign differ-
ent scores to the same conditions. Even if analysts could reliably assign
the same score, a rating of "excellent" or "very significant" is noi ;i
specific amount better than "satisfactory"—neither is a ranking ol
first over a ranking of second or third. The summation of ordimlly
scaled data is therefore arbitrary because different scales  will  lead lo
different summary points as shown in Figure 3. Algebraic operations
such as addition are therefore invalid. Unfortunately, however, EIA
analysis frequently summarize ordinal data by adding the rankings.
       Impacts can be scaled ordinally using either rankings or lai-
ings.  To  order alternatives  relative   to  the impact  of  other
alternatives—by labeling them first, second, beter or worse—is to rank
those alternatives. To order alternatives  relative to a scale of signifi-
cance that is independent of other alternatives being considered-
deducing whether an impact is slight or very serious—is lo rate those
alternatives.  Rankings are generally poor amalgamation  techniques.
Unless one alternative clearly dominates other options, rankings (surh
as those used in Fig. 3) provide lillle information about the seriousness
of impacts or the tradeoffs needed lo make a decision. On ihe other
hand, ratings incorporate the analyst's judgment about the signifi-
cance of effects and present the decision maker with a greater under-
standing of the tradeoffs. Ratings are generally preferable to rankings.
       The mosl frequently used approach lo amalgamating ordinal
data is the frequency distribution. Statements such as "85 percent of
Florida residents prefer visits lo Disney World over visits to the Ever-
glades" are easy to grasp. However, the amount of information they
provide is  limited, and amalgamation beyond frequency distributions
is difficult.
       Caution must be used in assessing whether an impact is being
scaled ordinally. Paired comparisons are an obvious variation of rank-
ing techniques (and hence cannot be added together), yet EIS preparcrs
have amalgamated paired comparisons  into overall  rankings.I0 A
more subtle misuse of ordinal data can be found in the Mcll;iif4 map
overlay technique."
       Visual displays have been developed to array ordinal data, as is
 shown in Figure 4. These displays, while rich in detail, are difficult to
comprehend. Small geometric shapes swim in and out of the reader's

-------
                                               » 11
      i! IB;
s i

   locus.^Simpler presentations,; such askh'owiiMn Figures 2 and 8, are
   icasienito read because they summarize information, at a less detailed'
   level. The proper choice of detail will of course vary among impact
   assessments, but in general an overly diflicuh table only creates confu-
   sion. H a (able contains complex, detailed information, the preparers
   should consider hicaking (he table into several charts and highlight-
   I ing important impacts with comments.
    Figure 3.        Summary  chart  from (he New York  Southern Tier
                   Expressway EIS. The original chart compared  eleven
                   alternatives by  ranking  each  alternative wiiliin each
                   problem and impact area, and then adding the ranks for a
   ;                total score. These ranks and scores are  shown for four
                   alternatives as  the numbers outside the parentheses.
   ;                Consider what  would happen if we used this scoring
                   method to rank only these four alternatives. The results of
                   the new ranking are shown in bold type within the
                   parentheses. We note that concept 6 now ranks behind
                   concept 10 and that concept 2 ranks behind concept 9.
                   Why  did  this happen?  Also note (hat environmental
                   impacts is only one  of  seven classes of problems and
   *                impacts. Concept 6,  which ranked first out  of eleven"
   '                alternatives, ranked tenth in environmental impacts. In
                   poker a chart like this would be called a stacked deck.
                   (Department  of Transportation,  Federal  Highway
                    Administration, Southern  Tier  Expressway  Study,
                    Albany, New York, September 1977.)

                                    Concept 2 Concept 6   Concept 9   Concept 10


PROBLEMS:
Irnptove depreiied
economy
Imptoved depremd
employment and Income
Improve community
icrvicei
Improve travel
lafcly
IMPACTS; '
Economic
Social
Environmental
TOTAL PROBLEMS
ANUIMPACIS
RANK
Impiove
all tail
icrvkei
6 (9)*
' (3)
10 (4)
8 (3)
5 (3)
5 (3)
3 (2)
44 (21)
Dlh (4lh)
Completion
of Southctn
Tier
Exprcliway
1 (O
M«)
4 (2)
3d)
1 ID
6 (4)
10 (4)
27 (IS)
lit (2nd)
Incieaied
bul
lervkel
10(4)
MO
8(9)
7 (2)
10 (4)
9 (2)
1 01
48 (?«•
I0lri(9idl
Induilrial :
development !

H w :
i o) "
! (1)
10 (4)
4(2,
I ID
9 (J)
91 (14)
i'h (lit)
Figure 4.
Summary char( from (he United Kingdom North West
Water Authority Regional Water Resource Studies rcpoul.
The three alternatives displayed here are examples of (he
fifteen contained in the original. Summary charts of this
complexity provide little understandable information for
decision makers and the public. (North West Regional
Water Resources Studies, Environmental Appraisal o]
Four  Water  Resource Schemes,  Report  of the
Environmental  Impact Study,  United  Kingdom,
November 1978.)
                   •  Light numbers score all eIn • •• '"i!!'"-'l alternatives. Bold
                     numbers rescore four of (lie altcinatives.
                 •  Strategic long term irreversible
                 D  Strategic long term reversible
                 •  Local long term irreversible
                 O  Local long term reversible
                 O  Short term reversible
                 A  Beneficial
                 T  Adverse
                  ?  Area of uncertain impact
  Interval and Ratio Scales                                         >
  Interval, or continuous,  scales are quantitative. Intervals between •
  units of measurement are constant. Ten exceeds nine exactly as mitclf"
  as two exceedsone. However, the zero point is arbitrary. Measurements
  of the dissolved oxygen deficit of Jackson's Flat Creek is an example of ',
  an interval scale. While at any point in time an assessor can estimate
  the deficit, to do  so he or she must arbitrarily select a point of zero
  deficit. The zero point depends on (he aquatic life, mechanical fea-
  tures, and temperature of the stream. A deficit of two is not twice as big
  as a deficit of one, since by redefining the zero point the two and one ;
  may be transformed  into a five and four. Only mathematical opera-;
  lions that do not affect the relative differences between units can be'
  employed, division or multiplication by a constant, addition, sub-
   traction,  integration, and differentiation fulfill this reqi  _   rit.
                                                                                     M

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       Ratio scales are also quantitative. In addition to constant inter-
 vals between units, ratio scales also have nonarbitrary zero points. The
 total amount of phosphorus released into Flat Creek is a ratio-scaled
 measurement. The zero point is fixed at the point of no release. All
 mathematical operations, including multiplication by a variable,
 power functions, and log transformations, are analytically justifiable
 in ratio scales.
       Analysts typically quantify a number of environmental condi-
 tions using interval and ratio scales; water and air quality indicators,
 project costs, and engineering data are common examples. Each indi-
 cator quantifies the magnitude, not the significance, of impact. Attri-
 butes are measured along interval or ratio scales that are tailored to
 each  impact. For example, area can be measured in square miles,
 hectares, or acres. Two different attributes cannot therefore be amal-
 gamated by simple addition. Addition would allow a characteristic
 measured in large absolute numbers (e.g., square miles) to dominate
 the comparison and would be arbitrary since a simple linear rescaling
 of the units (from square miles to acres) could reverse the apparent
 comparative value of  two alternatives.  Amalgamation requires  the
 creation of a common scale, a scale consistent with judgments about
 the relative significance of the variables and along which both attri-
 butes can be measured.
       Two approaches to the unequal  interval problem have been
 developed by environmental analysts:12 standardized proportions and
 quality  scaling. Proportions are calculated using a standard level
 selected  by the analyst. The standard can be a target level (possibly
 established by environmental regulations) or the highest value of each
 dimension that is forecasted among the alternatives. The latter is not a
 reliable method since the inclusion of a new alternative can change the
 rank  order of the original alternatives: Without theory to  set target
 levels, the standardized proportion method is arbitrary.11
      To create standardized proportions, the value of each forecast is
 divided by the standard level.  The  Oak  Ridge Air Quality  Index
 (ORAQ1), for example, amalgamates forecasts of the concentrations of
 five air pollutants by converting each of them to proportions of federal
 standards, adding the  five scores, and then  rescaling  the  resulting
 index to range between (en for "unpolluted" and a hundred for "com-
 pletely polluted" air.14 The standardized proportions method assumes
 that environmental quality decreases linearly as impacts increase. The
 assumption is questionable since many environmental impacts have
 threshold or synergistic effects.
      Impacts can also be standardized using a postulated quality
 scale.  The Battelle  environmental  evaluation system  for water-
 resource development uses this procedure.15 Each dimension is calcu-
 lated  and converted into  ;\ rating, which varies fi     "to (poor
environmental quality) to one (good environmental   ; • ilily). As
shown in Figure 5, the value of the rating may vary nonlinearly or
Figure 5.
                Examples of environmental value functions from die
                Battelle environmental evaluation system: (a) terrestrial
                carrying capacity for browsers and graiers; (b) dissolved
                oxygen, assuming 9 mg/l as saturation. How would you
                evaluate these  functions?  Consider the discussion ol
                dissolved oxygen in the section titled Preferences. (N. Dee
                et  al.,  Environmental  Evaluation  System lor Water
                Resource Planning, Final  report prepared by Battelle-
                Columbus for the  Bureau of Reclamation, January 31,
                1972.)
                                  t.o
                                     X
         20   40   60   60  ' 100%

 Pticent of cwiyini cipjclly bated on anlmil unlit
                                                            10 m,M
nonmonotonically relative to observed measures. The impact of an
action on the quality of the environment is measured as the change in
the score along each dimension before and after the decision.
      These standardized methods of rescaling  introduce specific-
notions of "goodness." The ORAQI index is set against external
targets. Battelle standardizes a measure of quality against which the
impacts are scored. Notions of  "goodness" cannot be  determined
solely from scales of magnitude. They emerge  from explicit (01
implicit) judgments about the significance of a variable. Combining
several variables into a common dimension of concern requires run
only careful scaling of magnitudes (as discussed in this section) but
also careful estimation of significance.

EVALUATING THE SIGNIFICANCE OF IMPACTS

Preferences
The amalgamation of impacts produces an overall ranking of prefer-
ence, not a composite measure of impact. This distinction is impor-
tant. Amalgamation of several impact variables into a common index
involves judgments about the relative importance of each variable.

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                                                g:
O
These judgments, once injected into the El A process, arc indicative oL
a!|Meference for,specifir.qualities of the environment.
      Considerithe following example. Dissolved oxygen (DO) is an|!
important  indicator of water quality. Yet, not all groups equally -
prefer the qualities that a high DO level indicates.16 While complete;
oxygen depletion creates a lake unfit for either fish or humans, high*
levels of DO do not necessarily make the water more inviting. Ecolo-J
gists may be equally concerned with nutrient levels that could create
nlgal blooms when  DO  is increased. Swimmers will equally avoid
disease-carrying organisms, toxic chemicals, and turbidity. Boaters art
concerned  with visual and olefactory qualities of  water and with
material floating on the surface. Industrial users actually prefer a low
DO level because pipes rust in the presence of oxygen. Thus, many
indicators may be used to measure waterquality and each is likely lobe
important to different groups. Environmental impacts can be scientif-
ically estimated against some standard of quality, but a standard of
quality cannot be set except as a function of what individuals or
groups prefer or value.
      Preferences also depend on risk. The evaluation of significance
is therefore complicated by the  environmental  analyst's frequent,
inability  to prove causal relationships or accurately estimate changes
in baseline conditions. The greater or more uncertain a risk, the more
significant an impact may be evaluated. Unfortunately, few assess-:
mem techniques are explicit about risk and uncertainty.
      Formal techniques for determining the relative significance of -
probable environmental impacts must be logically consistent with the
types of scales along which the impacts are measured. Different tech-; :
niqucs can be used to incorporate judgments about significance into,,
nominal, ordinal, interval, and ratio scales. Because, as we have seen,
some  mathematical  operations are valid only for interval or ratio
scaled data, techniques applicable to ratio scales are not necessarily
applicable to nominal scales and vice versa. In the EIA process, tech-
niques for determining significance generally fall into the two catego-
ries of screening and weighting methods.
   Screening
   Screening consists of "knocking out" alternatives that exceed a preset
   level of impact along a particular dimension. The preset level may be
   derived from a legal standard or from an analysis of the  political
   realities in a given situation. For example, an oil refinery  site that
   threatens an endangered species of bird might immediately be elimi-
   nated no matter how attractive other aspects of the site were. Exclu-
   sionary screening is inexpensive and requires relatively simple data.
         Nominal scales can be used for screening purports. If dimen-
   sions of impact can be ordc"d by significance,  altem      can be
   screened by the most impoitant dimension first, the next most impor- j
   taut ^|^d, and so on until the number of alternatives has been

        W
                                                                                                      ^ r. ^-P --

                                                                                                      II
                                                                                                      s*,l,-lt
                                                                                                      "13^-
                                                                                                      «*
                                                                                                                              .Uilli.sii;
                                                                                      narrowed,0 Thus; ^elmayi exclude from coiisMeratibbpllsites that Ael Si
                                                                                     , located in marshlands or,in residential rones. Ordinally scaled data"
                                                                                     
-------
                   can be used to eliminate obviously unacceptable
   alternatives, but it should be used with care. Screening can easily
   oversimplify reality. Nominal scales assume homogeneity within cate-
   gories and  step-function differences between categories. Important
   differences, however, could be hidden within categories. Moreover,
   statistical uncertainties that surround environmental analysis and
   possibilities of  mitigating impacts by.altering project designs can
   make the distinction between screened and unscreened  alternatives
   dubious. Figure 6 demonstrates the problems of oversimplification
   more fully.
         In general, it is best to remove only those alternatives domi-
   nated by other  alternatives unless there is sufficient reason to act
   otherwise. Screening should not be used as a presentation device when
   the unscreened alternatives will not be further analyzed. Such screen-
   ing unnecessarily simplifies the alternatives presented to the decision
   maker and  to the public.

   Weighting
   Amalgamation  of several variables into a  composite.dimension of
   concern is  a common EIS presentation technique.  Amalgamation
!""* requires judgments about (he relative weight (or significance) of each
;_, variable's contribution to the dimension of concern. Weights are not
o necessarily quantitative; ordinal comments  such as "variable A is the
£ most important  factor to consider in evaluating the alternatives" also
   weight the significance of impacts. However, weights cannot be used
   in  amalgamation  unless they are quantitative since amalgamation
   requires the mathematical manipulation of data. In like manner, the
   impact factors being weighted must also  be quantitative (that is,
   interval or ratio scaled).
         The most commonly developed evaluation systems are based on
   weighting-summation models. These models take the general form of

      U(F) =  S Wjf.
            i'=l
   where
      U(F) = desirability or utility, either along a composite
            dimension of concern (such as water quality) or along
            an overall index of environmental quality,
       w. = the i'h weight, and
        f( = the ilh impact factor.
   Because the EIA  process rarely produces ratio scaled data, several
   restrictions apply to the weighting-summation model. Interval scaled
   variables cannot be multiplied by a second variable. Su.'    'dupli-
   cations are unreliable since by moving the arbitrary zero point of the
   interval scale, the rank of alternatives can be changed. Models of
 interaction and nonlinearities require multiplication of two variables
 and are therefore invalid for  interval scaled data. Ecological and
 preference interaction models cannot be incorporated, nor can non-
 linear risk aversion models. Since environmental preferences are fre-
 quently the product  of interacting factors, and decison makers are
 rarely risk neutral, the linearity assumption is usually invalid.
       Along the same line of reasoning, the weights must always be
 ratio scaled. Weights are multiplied by variable impact scores and are
 unreliable if scaled with an arbitrary zero point. Yet few methods for
 determining significance are careful about setting the zero point.
 Nonarbitrary zero points of desirability are created by answering the
 question: "Is the ratio of points X and Y a correct indicator of the ratio
 of desirability  of those two factors?" More concretely,  "Do I really
 prefer a factor scored at  four  twice as much as another factor (or
 alternative) scored at  two?"
       Despite  the logical difficulties associated  with  the weighting
 summation model, methods based on this model are often used in
 amalgamation. The weighting of impacts usually proceeds as a var-
 iant of the process shown. The magnitude of variables is standardized,
 the significance of variables is weighted, the two are multiplied, and
 all products are added to produce a composite index.  The resulting
 index is not an impact magnitude; it has no independent value and can
 only be used tocompaic tiifferent alternatives similarly indexed. Abso-
 lute differences between alternatives are lost in the index.
       This reduction of absolute data to a relative index may not help
 decision makers who must later incorporate nonenvironmental fac-
 tors into their decisions. Nonenvironmental data will not be similarly
 indexed, and cannot be easily compared. Tradeoffs once incorporated
 into a weighted-summation analysis may be difficult to trace. Neither
 decision makers nor the public may be aware of the consequences of
 particular weights. Furthermore, significance, as a measure of prefer-
 ence, can only be determined from the viewpoint of a particular class
 of people. In the absence of social theories for analytically combining
 different viewpoints,  amalgamation across groups is not possible.
 Amalgamation across viewpoints is a political problem. Therefore, to
 amalgamate only into dimensions of concern  (such as air or water
 quality) is generally preferable. Where differences of preference exist
 within a dimension of concern, an analysis of the sensitivity of the
 index to different assumptions should be provided.
      There are a number of methods for selecting weights, some
 more theoretically valid than others. Ranking and rating are the least
 precise of these methods; decision analysis is among the most pu •• isc.
The methods fall into two categories: client explicated methods thai
query various groups about what they value,  and observer derived
methods that use multiple regressions of observed behavior to calcu-
late weights. Hobbs and Voelker provide an excellent review of these
weighting schemes."

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   ME
IP  l
 THE JACKSON WASTEWATER TREATMENTIIPLANT
 REVISITED   8    i   !          !        :   ;   ,[
 The  environmental  analysis  who produced  the  Jackson i EIS ~±
 appioac heel lire problem of presentation with care. Most importantly, ^
 they wrote a clear, concise draft ElSof two hundred pages. But the EPA -^
 pioject manager [ell thai an explicit comparison of the alternatives ^*: !
 was ncctlcd to convince the EPA Regional Administrator to reject the || •
 town's proposal.19 The evaluation matrix and rating system shown in  t
 Figures 7a and 7b weie therefore included in the draft EIS. The matrix i* i
 is both a professional judgment about potential impacts and a politi-    :
 cally motivated summary statement about preferred alternatives. The  -
 draft EIS was designed to assist EPA in the partisan debate between
 Jackson and Teton County. The evaluation matrix, while a creative"
 aiienipt to deal with the problem of amalgamation,  underlines the
 difficulties of this operation. Before moving to the next section, take a
  few minutes to examine the matrix in Figure 7a. Can you see what the
  difficulties ate?

  Problems with the EIA Matrix                                  ~.
. Pctliaps as you examined  (he matrix yon  noticed that mathematical
i operations are used incorrectly. The rating system and the weightsare--
^ treated as if they are interval scales. The mathematical operations of;,
a addition  and multiplication are employed.  However,  scales  that
J assign variables into minor, significant, or major impact classes are
  ordinal, not interval. The addition or multiplication of ordinal data is
  misleading. A single impact that  results in  major  long-term and
  extensive adverse damage is likely to  be  more significant than five*;: s
  minor adverse impacts over limited areas. Yet both will yield ratings of
  five when added.
         Of equal importance, the matrix is domirrated  by EPA's oppo-w- ,
   sition to growth iir rural  South  Park.  The lowest scores were invar*r ;
   iably given to options that operred the most land to development.,
   Jackson's proposal received the lowest scores becaue the Elk Feed-;!
   ground sue would induce the most growth. The impacts of urbaniza-Su
   lion are repeatedly incorporated into  the matrix as separate  impact
   areas; induced development  cost,  loss of agricultural productivity.1  i
   regulatory -'legal, aesthetic values, adherence to the planning process,(
   giowth  inducement, and growth regulation are all  alternative con-\
   cc-pis lot  the same  urbanization effects. These seven impact areas-
   ace ouni foi one-thiid of the impact variables and approximated two-
   thirds of the points scored negatively  by  the proposal. By repeatedly,,
   incorporating these variables and scoring them as they did, the EPA*
   analysis were showing theii clear displeasure with the possible urbani-s
   zaiion of Smith Park. The tov. n council of Jackson, on tl.    '  i hand.E:
   fell  ih:>' a desirable South Paik environment was an urban environ-
   men ^fe. illy this conflict of values is buried in the EIS evaluation
                                                                           ta i-
                                                                                                               The terrain of South Park and the Elk Feedground is
                                                                                                               open, lint rangeland. In the early 1970s, (be county i
                                                                                                               government sought to  preserve the agricultural and
                                                                                                               wildlife character of the area, while the town council •.'•
                                                                                                               favored its development.


                                                                                             Aftermath of the Jackson Draft EIS
                                                                                             In July 1977, three months after the EIS draft was released, Jackson's
                                                                                             town council announced its approval of a new South Park site for the
                                                                                             wastewater treatment plant—on private lands immediately north of
                                                                                             the Elk Feedground and the former site. The EPA matrix (see South -  :
                                                                                             Park Road option shown in Fig. 7a) shows this site to be the second to .;
                                                                                             worst alternative. The council majority  gave little consideration to * •-
                                                                                             alternatives suggested in the Draft EIS. The council wanted the plant
                                                                                             constructed as far south as possible to serve future development in  -
                                                                                             South Park by gravity flow interceptor lines.20                   1«
                                                                                                    Four options, which according  to the Draft EIS were  the ,,
                                                                                             second, third, fourth, and fifth best alternatives, were eliminated from
                                                                                             further consideration. The expansion of the existing plant alternative"  -
                                                                                             (scoring best in the EIS and preferred by EPA and the county) and the!
                                                                                             southern South Park alternative (scoring sixth in the EIS and preferred  *
                                                                                             by the town council) received continued attention. During the summer'
                                                                                             of 1977, EPA Region VIII staff became increasingly aware of Jackson's;
                                                                                             commitment to urbanization. Early efforts by EPA project officer Wes'  :
                                                                                             Wilson failed to open  discussion; town officials considered Wilson
                                                                                              biased toward the county's preservationist position.               i  ,
                                                                                                    EPA's role in the dispute changed markedly with the'   ember) ;1
                                                                                              1977 appointment of Alan Merson as Regional Adminisii*k   EPA;  >

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  Figure 7a.        A simplified version of the Jackson EIS Environmental
                    Evaluation  Matrix.  The  original  matrix  included
                    evaluations of four alternatives not shown in this figure.
                    (U.S.  Environmental Protection Agency, Region VIII,
                    Draft  Environmental  Impact  Statement,  Jackson
                    Wastewater  Treatment  System,  Town  of  Jackson,
                    Wyoming, Denver, Colorado, May  1977.)
o
V~4
U)
                      NATURAL ENVIRONMENTAL VALUES
                       Alt Quality (localised)
                       Wilcr Quality (wtfict)
                       Water Quilliy (pound)
                       Wildlife
                       Fiiheiiei
                       Ve|ttillon and Ihbltil
                       Raie ind Endangered Speclea
                       Nilunl lluudi
                          TOTAL
ECONOMIC VALUES
                       Loci) Capital Colt
                       OfcMCoil
                       Induced Development Coill
                       Individual Coit
                      _ jjQ^i of A|. f rodjiclivUy ^
                         TOTAL
                      SOCIAL-CULTURAL VALUES
                       Iliilork-Archaeologieal
                       Public Acceptability
                       Regulatory /Legal
                       Cultural Fallem (life ilyle)
                       Aeilhetiea Valuei
                       Recreational Valuea
                     LAND USE PLANNING VALUES
                       Adherence lo the Planning Proc.
                       Growth Inducement
                       Grow ill Ki'tulation
                         TOTAL
                          y+A
                                                •13
                                                -22
                         /-*/*
                         /*A
                                                •2
                           •A
                                                -*
                                                -18
                                10
                                                     -12
32
                          <*A Y
-------
                                                                                i
  *=  * =- ---=
     :--L*-- '  ;;!:  '  !,"-:'  !  :"Ji               r  =•!.    .!!M ,,:.
 Finally, Merson also believed that South. Padc would develop rapidly,,
 the county plan notwithstanding, Merson, feared that  Flat Creek's!  '
 water quality would suffer if South Park development was served byf Ilji I
 package plants  and individual  septic systems.                    , i,T!
        Recognizing that serious differences still remained between the ":.;
  two panics, Mcison in mid-December 1977 hired Andrew Briscoe, of' \?
  the planning firm Briscoe, Murray, Muphis, and Lamong (BMML), to ;
  negotiate a settlement between the town and county. On April 13, 4:1) i
  1978. an agreement to accept the South Park site was reached. The
  agreement specified plant size and design  capacity, empowered.the ill;
  county lo limit  annual  out-of-town sewer hookups as part of its   ;
  comprehensive plan, and required the town to base out-of-town hook-  "s
  up policies on  a specified set of customer classes, and sewage hookup '.
  fees on a  "full-cost pricing" system—both policies subject to EPA ! -
  review and approval.                                           ;;,  ;
        Like  so many projects, agreement on the Jackson wastewater''J(
   treatment plant required negotiations and compromise. The draft EIS :;i'
   provided much of the analysis on which negotiations were eventually:..;;
   based, but it did not clarify the issues nor incorporate different view-
   points.  The impacts predicted in the EIS were amalgamated based
   only on the EPA analysts' judgments of significance. EPA's judgment
   was  too narrow. It did not allow for uncertainty (such as whether
*   South Park would develop with or without the proposed waslewater':-.
1   treatment plant) nor for alternative values (such as the town council's
>   urbanization  preference), and it employed invalid  operations toU
*   manipulate data (such as addition of ordinal data). The EPA analysts,
   working hard to produce a concise EIS, fell into several of the traps
   common to most EISs that  use amalgamation. These traps,  while
   common, are not inevitable. The next section will review the discus-  ;
    sion on amalgamation, and suggest ways of using it to produce more
    accurate and informative EISs.

    SUGGESTIONS ON THE  USE OF AMALGAMATION
    As  the Jackson case makes quite  clear, alternatives are eventually"
    chosen not by optimization but by the interaction of  interest groups.^
    Confrontation, negotiation, mediation, and compromise are the final:
    arbiters.21 For a political decision, well-structured information on a
    range of alternatives is needed. Since amalgamation simplifies details
    as  well as interprets the data, amalgamate only to the extent that it
    facilitates comparisons of policy options. Selective use of amalgam-;
     ation to highlight significant problem areas and tradeoffs among
     interest groups is an important aid to decision makers. Indescriminate
     use of amalgamation, however, obscures problems and hides tradeoffs.'
           Amalgamation implicitly involves value judgments. Whenever
     impacts are rescaled and r<—'bined into more conrisc ''""fusions of
     concern,  describe the original impacts in the units in which they are :
        ""*". I in a second summary chart.  An attempt at displaying
            ' (o facilitate comparisons is shown in Figure 8. Also, describe!
      *-
 i

•o-SifSsg-g
-

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 the      ;i for amalgamation. When individual impacts are displayed
 in (a ho la r form, present (he significance of each individual impact in
 die same table. A column for comments may be usefully employed to
 indicate  the importance of individual impacts.
       Give special care to the summary of nominal (named or catego-
 rized)  data. Such data cannot  be amalgamated (since they are not
 quantified), and thus are easily  forgotten. Make certain that attention
 is focused on unquantified values in summary tables.
       Avoid amalgamating interval or ordinal data into nominal
 scales.  If criteria are established to judge the significance of an impact,
 indicate (he extent to which the criteria are exceeded. Simple yes/no
 scoring is of limited use  to decision makers.
       Express ordinal scales alphabetically (A, B), verbally ("signifi-
 cant,"  "slight"), or symbolically (I  , ?). Avoid the use of numerical
 scales because they create the temptation to add the rankings across
 categories. Since ordinal scales do not account for the absolute magni-
 tude of individual impacts, any mathematical manipulation is inap-
 propriate. Frequency distributions are the most common method of
 amalgamation.
       Ordinal scales that rale the relative difference between impacts,
 rather  than simply ranking their order of importance, are generally
 preferable. More information Is contained in  the statement "Alterna-
 live A has a serious effect on water quality while Alternative B has no
 effect" than in the statement "Alternative A has a more serious effect
 on water quality than does Alternative  B."
      When using interval data, take  care to differentiate between
 magnitude and significance. The magnitude of a specific impact may
 be a poor measure of community preference or ecological vulnerabil-
 ity. Amalgamation of interval data can be accomplished if the relative
 significance of several variables can be weighted. Since weighting
 implicitly involves value judgments, explicitly identify the process of
 arriving at weights. The views of affected parties are important sources
 of value identification. When expert judgment is employed, identify
 the expert along with his or her affiliation and  the basis for making the
 evaluation. Avoid the temptation to over-amalgamate.
      Clearly indicate the degree of uncertainty in professional or
community judgments in the body of the EIS and in the summary.
 Highlight uncertainty, interactive effects, or lack of data and their
 possible repercussions. Show differences in impacts over time when
 impacts accumulate,' when projects are staged, or when environmental
conditions change. Demonstrate the implications of giving greater
 weight to one type of impact over another. Also show the ?'-"<-itl\ ity of
 the analysis to changes in the assumptions.
      Finally, careful analysis is a necessary but not sufficient crite-
 rion for writing an effective EIS. There are a vast number of methods
for determining  significance and for amalgamating. The      effec-
tive are those that not only use techniques that are valid and reliable,

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   SHE
   K
  p*
  »
  I
  1
 «
Ise;-
 i  i
                                                   i «i
                                                   " r
IBs?
 1
 ,3,  For a discussion of (he key analytic problems found in the EIA
 .  . ^process, see Craig Milter and Michael  Bever, Assessing the
 ;   ^Environmental Impacts  of  Resource  Recovery  Facilities
    a (Laboratory of Architecture and Planning, MIT, Cambridge,
 ••   I 1978), and Lawrence Bacow, 'The Technical and Judgmental
 ;   j Dimensions of Impact Assessment," Environmental Impact
    ^Assessment Review I, no. 2 (June 1980): 109-24.
 • 4. i Wes Wilson, personal communication, 1980.
 j 5. j Institute  of Ecology,  Optimum Pathway Matrix Analysis
    , Approach to the  Environmental Decision Making Process
    * (Institute of Ecology, University of Georgia, Athens, Georgia,
    J 1971). Eugene Odum et al,, "Totality Indices for Evaluating
 ;    Environmental   Impact"  in  Environmental Impact
 i   ; Assessment, ed. Marian Blisset (Lyndon B. Johnson School of
 1   5 Public Affairs, University of Texas, Austin, Texas, 1976).
 1 6. " Charles  Solomon,  el al.,  Water  Resources Assessment
     Methodology (WRAM): Impact Assessment and Alternative
    ; Evaluation" (U.S. Army Engineer Waterways Experiment
    i Station, Vicksburg, Mississippi, February 1977).
  7.  Norman Dee et al., "An Environmental Evaluation System for
"   ; Water Resource Planning," Water Resources Research 9, no. 3
    : (June 1973): 523-35.
' 8. i More detailed discussions of specific amalgamative methods
    '- are available to the interested reader.  A recent study by the
    i author produced an inventory of thirty different methods for
    - amalgamating impacts and determining their significance.
   * The best known include Handle's Environmental Evaluation
    , System, Rolling's Adaptive Environmental Assessment, the
     Institute of Ecology's  Optimum  Pathway Matrix Analysis,
   I Leopold's Matrix Procedure, Hill's Goal-Achievement Matrix,
   i McHarg's Overlay Technique, and the U.S. Army Corps'
   * Water i Resource  Assessment  Methodology.  Three  good
    * discussions of these and other methods  can be found in (a)
     Brian  Clark,  Ronald  Bisset,  and  Peter  Wathern,—
   i Environmental Impact Assessment: A  Bibliography  with
     Abstracts  (New York: Bowker, 1980); (b) Donald McAllister,
   * Evaluation  in Environmental Planning  (Cambridge, Mass.:
   § The MIT Press, 1980); and (c) Robert Nicholsand Eric Hyman,
     A  Review  and  Analysis   of  Fifteen  Methodologies  for
   -. Environmental Assessment (Center for Urban ai<-' Regional
     Studies, University of North Carolina, Chappl Hill, February
     1980). Anexcellont'iutmorespecializeddiscussinrMsofferedby
     B. Hobbs and A. Voelker, "Analytical Multiobjective Decision
     Making Techniques and Power Plant Siting: A .     \ and
     Antique,"   Draft  ORNL-5288  (Oak  Ridge  National
       •oratory, Oak Ridge, Tennessee, 1977).
                 i
                 f
                                                                              IE" "I
                                                                            fit 1  Bii
                                                                            (HP
 9,  See Now L  j                                  ;   !
10^  The Economic Evaluation for theU3L Bristol Area Transport
    Study makes paired! comparisons! across seven dimensions of
    concern, then identifies the preferred alternative by examining
    the pairs. This ranking of all alternatives based on the ranking
    of  many  pairs is invalid  unless  one alternative clearly
  '.  dominates in all dimensions. Otherwise, the dimensions must
  i  i be  weighted, and weighting cannot be incorporated into
    ordinal data. See Jamieson MacKay  and Partners, Strategic
    Environmental Evaluation Technique—Bristol Study, Part 1,
    Application of the Methods. (United  Kingdom, 1975.)
11.  The McHarg Overlay Technique is based on an overlay of map
    transparencies, each map dealing with specific environmental
    and land-use characteristics. Each of these characteristics is
    shaded differently to represent three degrees of "compatibility
    with the highway." By using overlain maps, one of which is the
    proposed  route, a comprehensive picture showing the spatial
    distribution  and  intensity  of impacts can  be  obtained.
    However, this method requires that all data be converted to
    ordinal scales. Considerable information contained in interval
    or  ratio scales can be lost by such a conversion. Once all
    measures are scaled ordinally, the tonal variation with respect
    to each environmental parameter and the comparative color
    densities for the scales of the different transparencies must be
    determined. The former is an implicit judgment about scaling
    the magnitude of  individual environmental parameters, the
    latter about weighting the relative importance of different
    environmental  parameters. Since these  judgments are not
    explicit, they lend to be subjective. Moreover,  the process of
    overlaying the maps is  equivalent  to visually adding the
  i  parameters. As this article points out, ordinally scaled para-
    meters  cannot be added or  weighted  because  the  scales
    associated with the various parameters are in different units of
    measure. Additions and weightings are valid only if a siandard
 -— poinl of reference and fixed intervals are set for the full range of
    parameters, and this is not possible with ordinal data. See lair
    McHarg, "A  Comprehensive  Highway Route-selection
    Method," Highway Research Record,  No.  246 (Highway
    Research  Board,  Washington, D.C., 1968), and McHarg,
    D«r"gn with Nature (Garden City, N.Y.: Natural History Press.
    1969.)
 12.  A third alternative can be noted,  but is of limited use in
    environmental  impact assessment. Data can be standardized
    using standard devialions when a large number of alternatives
    are  being compared. For  each  dimension,  ihe difference
    between the observed measurement of that characi«~!
-------
     standard deviation. The resulting "z-score" can be added to z-
     scores of other characteristics because each characteristic is
     expressed in terms of standard deviation from a mean. Z-scores
     can be amalgamated. Social impacts are frequently derived in
     this fashion. The means and standard deviation methods do
     not  directly  indicate goodness,  but  provide   instead a
     statistically  stable  tool to meas-ure differences by  internal
     comparisons. Since environmental impact statements usually
     assess a limited range of alternatives, internal comparisons are
     not likely to be helpful.
 13.  Standardized proportions are unreliable. The  inclusion of a
     new alternative can change  the rank order of two previous
     alternatives. Consider a simple water quality index based on
     toxic ammonia and  total phosphorus.  We  compare two
     alternatives  with ammonia  values of .007  and .012 and
     phosphorus values of .01  and .005  milligrams  per liter
     respectively. We divide by the largest values (.012 and .01) and
     add. Alternative  I  equals  (.007/.OI2) M (.OI/.01) M 1.6.
     Similarly, alternative 2 equals 1.5. Now, if we  include a new
     alternative with an ammonia value of .02 and a phosphorus
     value of .05, the new  largest values are .02 and .05,  and the
     standardized proportions for alternatives I, 2, and 3 are 0.55,
     0.7, and 2.0 respectively.  Alternative I and 2  have changed
     order.
 14.  Lyndon Babcockand Niren Nagda, "Indicesof Air Quality" in
     Indicators of Environmental Qualify, ed.  W. Thomas  (New
     York: Plenum  Press, 1972).
 15.  Dee. See Note 7.
 16.  Bruce  Ackerman  et  al.,  The  Uncertain  Search for
     Environmental Quality (New York: The Free Press, 1974).
 17. 'N. Georgescu-Rogen,  "Choice, Expectations,  and Measur-
     ability," Quarterly Journal of Economics 64 (1954).
 18.  Hobbs and Voelker. See Note 8.
 19.  See Note 2, especially personal cotnmuication with Wilson.
20.  Steven  Hill,  "201  Grants  for  Municipal  Wastewaier
     Treatments," p. 24. See Note 2.
21.  Lawrence Susskind et al., Resolving Environmental Disputes:
     Approaches  to Intervention,  Negotiation,   -•>.'   Conflict
     Resolution (Laboratory of Architecture and Planning, MIT,
     Cambridge  1978).

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                    GEOGRAPHIC INFORMATION SYSTEMS
Jensen, J., and G. Gault.  1992. Electrifying the impact assessment process.  The
Environmental Professional 14: 50-59.
                           1.5.11-1

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Geographical  Information  Systems  (GISs)  are  essentially
computerized  graphical  overlay  systems  (Attachment  4.E).
Environmental features are mapped, and the mapping digitized and
stored in a GIS data base.  The mapped features can be combined
to  produce  computer-generated  displays  of  one  or  more
environmental features in a specified geographical area.  If GIS
mapping is  conducted systematically,  information acquired  on
specific projects can be combined, and the GIS data base becomes
more detailed over time. Overlay mapping is an excellent tool for
showing spatial dimensions of impacts,  but is less successful in
dealing with other impact characteristics such as probability, time,
and reversibility.

The field of environmental  modeling  to identify and evaluate
environmental impacts has developed very rapidly due essentially
to two factors (Jorgensen 1991; Chapter 4.3):

      The development of computer technology,  which has made
      possible the handling of complex mathematical systems.
      A better understanding of pollution problems, including the
      application  of ecology in this context.

Modeling is the most advanced EA method available but it depends
on experts to know which components  and processes should be
included; it can be costly; and it is only as good as the available
data and the assumptions  that bound the analysis.  The general
components of modeling and types of models are discussed  by
Jdrgensen (1991).  Bregman and Mackenthun  (1992) provide
information on computer models for surface water quality and air
quality.  Attachment  4.C describes  models that are  useful for
predicting the  fate of chemicals in  multimedia systems (i.  e.,
fugacity models) as well as remediation, aquatic,  soil, food chain,
atmospheric, and spill models.

Luhar and Khanna (1988; Attachment 4.B) present a framework
for  computer-aided  rapid EA  that  covers  six environmental
components  (air,  water,  land,  noise,  biological,  and socio-
economics) and the costs of mitigation measures.  The authors
recognize that data availability in developing countries often is
limited; thus, their models have minimal data requirements.  Some
computer-aided impact identification  and  data summarization
systems  are discussed by Strand et al. (1983), Riggins (1980-81),
and Lein (1993).
                     1.5.7-7

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             "!(''" ilHiii  i   .  1	;, !. iiiiliil ••iliiBllil'
                                                                                     PROFESSIONAL REPORTS
i	I1!!1?;1!!	Pt
        ELECrrRIFYING THE IMPACT ASSESSMENT  PROCESS
        James Jensen
        Gregory Gault
        Dames and Moore
                                                                                                            various
         selection of the environmentally-preferred routing alternative.


         a credible resource pluming and decision process.
II	;	;;	B^TRODUCTION
            K» 1970, the National Environmental Policy Act (NEPA)
           .d the fanplernenting regulations (40 CFR1500-1508) have
         providedthemandateforenviroiunentalconsideiationsinthe
         federal decision-making  process.   Environmental Impact
jnjijfc"     Sutcments	(EISs) and Environmental Assessments (EAs)
• '•*»i <<('IE? are prepared routinely by federal agencies to evaluate alter-
         natives to a proposed action, to document the environmental
          consequences, and to show clearly what rationale was used to
          determine the preferred alternative among proposed actions,
          alternatives to a proposed action, or no action.

          In its 20-year history, j$j~p"^ j^ matured into a more sophis-
          ticated planning mandate and decision-making  tool for fed-
          eral agencies due to several factors:  (l)litigation interpreting
          the intent of NEPA and Council of Environmental Quality
          (CEQ) regulations, (2)higher environmental standards of the
          federal agencies, (3)highcr public environmental conscious-
          ness, (4)more significant' technology brought to bear in pro-
          viding decisionmakers with more complete information.
    •• i :i	li: -1
        	James Jensen isaUndscapeSrutectanSenvirbnrhentalplanner. As
          an associate with Dames and Moore, 1750 Front St., Suite 100,
          BoSe, 5> 83702, Mr. Jensen has managed a wide variety of
          multi disciplinary environmental planning and recreation studies in
        	the western U.S. 	
          Gregory Gault is a private consultant with the firm of Dames and
            wore], .where he is responsible for guiding the design and coordi-
           ^tting trie hnpiemcnianon of environmental resource studies.
          Thbpaperwas presented at the 1991 annual meeting of the National
          Association of Environmental Professionals.
This paper illustrates with  a case study the utility of a
geographic information system (GIS) to assess the potential
environmental impacts and to compare alternative routes for
a major regional transmission project for an EIS.

PROJECT DESCRIPTION
The Southwest Interne Project is a 500 kilovolt (kV) trans-
mission line proposed to originate from southern Idaho and
extend southward to the Las Vegas, Nevada, area. A second
portion of the project will extend from roughly t;ie midpoint
of the north-south segment (near Ely, Nevada) to Delta. Utah
(Figure 1). The total project length is about 1,140 kilometers
(700 miles). For over 25 years, the need for the project to
provide reliable power and regional power exchange has
been recognized by the utility companies in the western
United States and in the Congress (PL 88-552,1964).

 The EIS is being prepared for the United States Department
 of Interior (USDI) Bureau of Land Management, the federal
 lead agency. Cooperating agencies include the United States
 Department of Agriculture (USDA) Forest Service, USDI
 National Park Service, the USDI Bureau of Reclamation, and
 the USDI Bureau of Indian Affairs.

 The project was conducted in two major phases:

     Phase 1 - regional studies to identify alternative corridors

  •  Phase 2 - corridor studies for the EIS

  The Phase 1 work involved an area of approximately 97.500
  square kilometers (60,000 square miles) in southern Idaho,
: « :, n  ;^^ tfffi£A«M^fi|3«OI^ Volutn. 14 pp. 50-59 1992.
                                                     	•	• ••»•	1.5.11-3
                                                               nlliiiill!!!1, !	Iliiliilil!1	Ilililliii1'1 	i'l'"','!!!
                                                                                            I       0191 -5398/92 $3.00 + .00
                                                                          Copyright © National Association of Environmental Protesstonals

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IMPACT ASSESSMENT
                                                51
                                       Figure 1. Regional Study Area
        San
 western Nevada, and eastern Utah (USDI, 1989b).  The
 purpose of the regional study was to identify alternative
 corridors that would be considered "reasonable and feasible"
 for routing transmission line alternatives (Figure 2).

 GEOGRAPHIC INFORMATION SYSTEMS
 DATABASE
 A database was constructed using a GIS at 1:500,000 scale.
 Secondary, or existing data, in the form of documents and
 maps, were collected and input into the GIS system through
 digitizing or through reading digital data from tapes.  In
 addition. United States Geological Survey (USGS) digital
elevation mapping and remotely-sensed dau.  . .lulti-Spectral
Scanner imagery) complemented the environmental data-
base.  Data were organized and arranged by distinct types,
forms, or categories into files or layers for use in modeling
and data reporting.

The remotely-sensed data used in the Phase 1  studies were
classified into land cover types (e.g.,  agricultural lands,
vegetation types, etc.)  using an image  processing system
(Howald, 1990). Once compiled, the GIS database was used
to identify opportunities and constraints based on environ-
mental and engineering parameters that could affect trans-
mission line routing.
                                              1.5.11-4

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Hi iifciiiil,, I-1!; :„.(
               Figure 2. Alternatives for Detailed Studies
           The Phase 1 regional study results were presented at a series
           of public scoping meetings held during the beginning of the
           Phase'^HS stulies'cySDl, 1989a). From over4,900 kilome-
           ters (3000"rniles) of iliernative corridors identified during the
           Phase	I" studi«t~"a6qut 2j90p'^lalonieters'' (1800 miles) of
           alternative corridors were carried forward into Phase 2 for
           detailed study as "reasonable and feasible" transmission line
           routing jQ^jj^jjyg^	

           The regional database then was enhanced for the corridor
           studies (Phase 2) by retaining the secondary data from the
             lasclstudicsandmodifyingthcsedaiatoaccommcxiatethe
         	-; "ii^^^ll^^;e'-l~lu|^i|—g^gp|^e~2 studies. Refined Phase
           1 data were supplemented with additional detailed data from
         ': E: iespt^TB3OBii^^.qc^|ecttd and mapped at 1:100,000
           scale. Detailed data were mapped within a six-mile wide
                                                                                                  JENSEN and GAULT
corridor centered on the assumed centerline of alternative
routing corridors. The individual GIS data layers mapped for
the corridor studies are listed in Table 1.

IMPACT ASSESSMENT MODELS
The purposes of assessing the potential environmental im-
pacts of placing a transmission line along each of the alterna-
tive routes are to document environmental effects  and to
determine the alternative route that has the lowest  overall
impact (i.e., environmentally-preferred alternative),  for the
decision-making agency. The GIS was used as a  tool to
estimate and documentpotential environmental consequences
and to provide summary information to the public and the
agencies to assist the decision-making process. The key word
forusing advanced technology in the NEPA process is "tool."
Because CIS lacks the ability to understand complex, inter-
related environmental systems or issues, it should not replace
traditional methodologies used on many linear projects to
assess impacts and compare alternative routes, which gener-
ally are considered by professionals and public and agency
reviewers as credible and defensible. Conversely, it should
be used to facilitate consistency in applying impact assess-
ment methodologies and documenting then- results hi a thor-
ough and defensible EIS document

To determine potential impacts, it is necessary to determine
what types of impacts are expected.  For example, most
resource impacts from a transmission line project on public
lands in the western United States can be determined by
asking three questions: (1 )How will ground disturbance from
construction and operation affect sensitive resource features
or values? (2)How will increased access from new roads
constructed hi remote areas affect sensitive resource features
orvaluestypicallyprotectedbytheu-remoteness?and(3)What
 director indirect effects will the presence of transmission line
 structures have?

 Modelling the Affected Environment
To answer these predictive questions, it was nect  jy to
 develop several "pre-impact assessment" models to establish
 the magnitude of change that would occur hi the environment
 from the introduction of a SOOkV transmission line.  Most
 modelling of potential impacts was done using two bas:  ure-
 impact assessment models: (l)the ground disturbance model
 and (2)the public accessibility model.

 Based on five slope categories that considered the estimated
 mileage of road needed to access tower construction sites and
 the estimated size of construction areas at tower sites, a set of
 assumptions called accesslevels was developed. These ac-
 cess levels provided the basis with  which the pre-impact
 assessment models measured the potential change hi the
 environment, per mile of transmission line constructed.
  By using components of the GIS database (Table 1), other
  capabilities of the GIS, and the two basic pre-impact assess-
                                                              1.5.11-5
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IMPACT ASSESSMENT
                                                                        53
   Data Layer
Table 1. CIS Inventory Data Base

     Comments
   Residences and Other Structures

   Transportation and Access

   Parks. Recreation, and Preservation


   Land Uses

   Miltary Air Space

   Range Allotments

   Wildlife

   Botany

   Scenic Quality Classes

   Visual Resource Management Classes

   Soils

   Water Resources


   Cultural Resources

   Land Cover

   Terrain/Elevation
     Locations interpreted from satellite imagery

     Existing highways and paved and unpaved roads

     Wilderness areas, national parks, state parks, other public and
     private recreation facilities

     Transmission lines, pipelines, mines, wells, corrals, and other surface uses

     Military flight research and training areas (to 100 feet above the ground)

     Public land areas used for livestock grazing

     Threatened and endangered species, other sensitive species, and sensitive habitat

     Rare and sensitive plants and their habitat

     Federal agency classification of landscape aesthetics

     Federal agency designations for the management of the visual landscape

     .Erosion and structural load characteristics. Prime/Unique farmland designations

     Rivers, perennial and intermittent streams, other waterbodies, floodplain
     areas, high water table

     Known archaeological/historical sites

     Classified from Thematic Mapper (TM) data

     USGS Digital Terrain data and mapping
 ment  models mentioned above, several other prc-impact
 assessment models were developed:

 •   visibility from sensitive viewpoints (e.g., residences,
     parks, recreation areas, scenic overlooks)

 •   visual contrast from vegetation removal, changes in
     landform from road construction, and presence or ab-
     sence of structures such as buildings or other transmis-
     sion lines

 •   cultural resources predictive model (USDI, 1990)

 •   buffers for critical habitats for some sensitive plant and
     wildlife species locations (e.g., distance or zone around
     the nesting site of a threatened or endangered raptor
     species, which generally is considered  necessary to
     protect the nest)

  •   slope categories
                     The data and mapping that resulted from the pie-impact
                     assessment models were used as the basis for determining the
                     specific locations and severity of resource impacts. These
                     pre-impact assessment models are described in more detail
                     below.

                     Ground Disturbance Model - The project wil' -itilize existing
                     unpaved roads and will require the construct,  t of some new
                     access roads for construction crews to place lower footings,
                     erect towers, and string the conductors. Where no access
                     roads exist, new roads will have to be built  Also, some
                      existing roads will need to be upgraded to support construc-
                      tion equipment and vehicles. In either case, some ground
                      disturbing activities will be necessary to construct and oper-
                      ate the transmission line.

                      The ground disturbance model combined the CIS database
                      layers of land cover, slope categories, and transportation
                      listed in Table 1 toquantify and map the area of potential land
                      disturbance into five levels of magnitude. The level of distur-
                                                   1.5.11-6

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JENSEN and GAULT

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IMPACT ASSESSMENT
bance varies depending upon the presence or absence of
existing roads, the terrain that might require grading, and the
circuitous routing for grade limitations. Figure 3 illustrates
the ground disturbance levels.

Public Accessibility Model -This model estimated the degree
of remoteness of areas along each of the transmission line
routing alternatives. The primary assumption of developing
this model was that impacts could occur to certain resources
if new access roads are constructed and maintained in largely
remote areas. Legal or illegal hunting could endanger sensi-
tive plant or wildlife species and increase pressure on game
species.  Cultural resources (e.g., early-man sites) may be
more susceptible to vandalism or damage due to the cumula-
tive impacts (e.g., repeated damage from vehicle tire tracks)
by public land users (USDI, 1990).

The public accessibility model utilized the transportation
layer of the CIS database in conjunction with the results of the
ground disturbance model. The model estimated the increase
in the area accessible by roads in remote areas expressed in
terms of five percentage values.  Several of  the impact
assessments models used these values to predict the potential
impacts associated with increased access. Figure 4 illustrates
the five levels of access.

Visibility - This model was constructed using the digital
terrain data and selected land uses (e.g., residences, parks,
scenic overlooks, highways) that were  considered to be
sensitive viewpoints.  Mapping of viewsheds was generated
through  a CIS operation mat "looks out" from these view-
points over the digitally-modeled terrain of the project study
area. The resulting maps represented visibility as distance
thresholds of visual perception (0-500  meters, 500-1500
meters).   These maps later were utilized by CIS impact
models  to determine the potential  visual impacts of the
construction and operation of the transmission line.

Visual Contrast • Visual contrast is a measure of visible
change in the landscape (USDI, 1986). The visual contrast
model was developed by combining the results of two other
pre-impact assessment models. The first of these models was
created to predict the contrasts that would result from vegeta-
tion removal and changes in landform. This model used the
 landcover and terrain database layers in conjunction with the
 ground  disturbance model to determine the contrast from
 ground disturbing activities.  The second model, structure
 contrast, was created from elements of the land use database
 layer (e.g., existing structures, transmission lines) and the
 proposed project description (e.g., types of new towers pro-
 posed).  Mapping of visual contrast represented the level of
 change in the characteristic landscape. Visual impacts were
 determined through an evaluation of how visual contrasts
 were perceived from sensitive viewpoints.

 Cultural Resources Predictive Model - The locations of most
 cultural resources (prehistoric, ethnohistoric. and historic) in
the western U.S. are not known or recorded, except where
specific surveys have been conducted. To assist in determin-
ing where sensitive cultural resources likely may be found, a
cultural resources predictive model was developed.  ~~
model includes the landcover, terrain, and water reso
database layers. The probability of findin:; culturally-seiu«-
tive sites was estimated by a model that evaluated several key
environmental factors, such as proximity to water, presence
of specific vegetation types, and elevation.

Sensitive Habitats - The CIS buffering capability was applied
to establish zones of potentially sensitive habitats associated
with known habitat locations. For example, a buffer of 812
meters (1/2 mile) was used around known locations of sage
grouse leks or spring strutting grounds to include potential
nesting habitat. Similarly, ferruginous hawknests, bald eagle
nests, and other sensitive wildlife habitat or botanical loca-
tions were buffered to establish a zone  where potential
disturbances from the construction or operation of the trans-
mission line could be assessed.

5/ope-Fiveslope categories were mapped usingthe 1250,000
scale USGS digital elevation mapping. The slope categories
were selected based upon degree of soil erosion potential,
construction difficulty, and other environmental and con-
struction parameters. These categories were important in the
development  of the access  levels for use in the ground
disturbance and public accessibility pre-impact assessment
models, described previously.

Combining the results of the pre-impact assessment nv
with the selected layers of the CIS database, the L
assessment models performed three functions: (l)estim
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[•• is
IN, «

                                     »*
•      ii
:•      ;;i
^:!

fc^::
                                 Figure 4. Pubic Accessibility Model
                                                   PUBLIC ACCESSIBILITY

                                                     PERCENT CHANGE
                                                     IN ROAD DENSITY
                                                       LINK DESIGNATION
                                                                     8 Miles
                                                      Southwest Intertie
                                                                   Project
                                                                                     O)
                                                m

                                                at
                                                a
                                                O

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IMPACT ASSESSMENT

would be disturbed when crossed by the assumed centerlinc
of arouting alternative. If the ground disturbance is expected
to be low, the potential to disturb sage grouse habitats would
be minimal.  Minimal ground disturbance would be the case
if the alternative route parallels an existing road or similar
linear land-use feature.

Similarly, a series of matrices was applied by the  impact
assessment models that assigned impacts to specific resource
features and values (e.g., cultural, wildlife, and botanical
resources) based on the level of potential increase in public
access. For example, ferruginous hawks are less likely to be
disturbed during sensitive nesting periods or shot illegally if
they  are in  inaccessible or remote areas.  Where areas of
 significant change in accessibility coincide with sensitive
 resource features or values, potentially significant effects are
 likely to result.

 The next step in the process of determining and documenting
 potential impacts was to recommend mitigation that wouldbe
 effective in reducing initial impact levels. A standard set of
 mitigation measures was developed for the project. Matrices
 were used to apply mitigation measures to specific locations
 and  to specific types of impacts.  For example, one might
 expect impacts upon big game species, such as pronghom
 antelope or elk, during their sensitive breeding or fawning
 periods, but these impacts can be eliminated effectively by
  applying the mitigation measure of avoiding construction
  during these sensitive periods.
                                                                                                          57
              The final step in the automated impact assessment process
              was to determineresidual impacts, or those impacts expected
              to remain following mitigation.  A matrix again was appbfi
              to determine the level of residual impact.  The  spec
              location  and quantified severity of residual impacts w.
              documented in printed tabular reports  and illustrated  in
              impactmapsgeneratedbytheGIS-Boththemapsandtabular
              reports document impacts on an increment of approximately
               162 meters (0.1 mile) along each of the 2,900 kilometers
              (1800 miles)of alternative routes. An example of the tabular
              report for ground  disturbance impacts  related to wildlife
              resources is illustrated in Table 2.

               Preliminary maps were generated for each step in the impact
               assessment process, initial impacts, mitigation, and residual
               impacts, to verify modeling operations and to assure data
               integrity.  A total of 22 impact assessment  models was
               developed to evaluate the ground disturbance, public access,
               or visual effects of a transmission line on the resources in the
               layers of the GIS database (Table 1). The results of each of
               the individual impact assessments were compiled to summa-
               rize impacts and  determine an environmentally-preferred
               alternative.

                SELECTING AN ENVIRONMENTALLY-
                PREFERRED ALTERNATIVE
                Because  of the inherent difficulty in comprehending  the
                voluminous  data generated by the twenty-two individual
                impact assessments, the data from the tabular impact reports
                                Table 2. Ground Disturbance Impacts to Wildlife
                  Initial   Mitigation Residual
Resource Theme   Impact   Measures   Impact     Comments
        Mile Post
      From    To  Length
      Route Link 167

        0.0     0.1     0.1
                                              crosses within
                                              1/4 mile of lek
                                                                                         crosses edg- of 1/2 mile
                                                                                         habitat buf:
                                                                                         crosses with::.
                                                                                          1/4 mile of lei.
                                                                                          crosses edge o: 1/2 mile
                                                                                          habitat buffer
                                                                                          crosses edge of 1/2 mile
                                                                                          habitat buffer
                                                   1.5.11-10

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                                                                                                       JENSEN and GAULT
i ill I i
Hi ill!™* i	;['
Resource Discipline

Biological Resources

Cultural Resources

Earth Resources

Land Uses


 Visual Resources
     Table 3. Resource Discipline Impacts

                                  Individual Impact Assessment
            Ground Disturbance                            Public Accessibility
            Wildlife
            Botanical
            Known Sites
            Predictive Model
            Soil Erosion
            Water Resources
            Parks. Recreation, and Preservation
            Existing and Planned Land Uses
            Agricultural Lands
            Military Operating Areas
            Views from Residences
            Views from Sensitive Recreation Areas
            Views from Sensitive Travel Routes
             Scenic Quality Impacts
                                                                                                    Wildlife
                                                                                                    Botanical
                                                                                                    Known Sites
                                                                                                    Predictive Model
                                                      Table 4. Alternative Routes
                         B
               16.8     16.8
              202.7    206.9
              118.8     963
               98,7     115.5
               40.9     453
                  16.8
                 199.9
                 117.2
                  97.8
                  40.1
Construction
    16.8
   211.4
   103.9
   105.1
    42.9
                                                                                               Access Levels
 16.8
187.8
 96.7
 98.8
 43.7
                                       Natural Environment
 22.0       16.8       Agricultural lands
210.5      199.9       Existing access with spur roads
119.8      117.2       New access roads in flat (0-8%) terrain
 933       97.8       New access roads in rolling (8-35%) ten ••
 37.4       40.1       New access roads in steep (35-65%) ten

                                  Wildlife
                                                                                        Ferruginous hawk nest buffers
                                                                                        Desert tortoise habitat
                                                                                        Sage grouse (leks or winter range)
                                                                                        Crucial big game habitat
                                                                                         Crucial nesting habitat
                                                                                         Sensitive fish species
                                                                                         Federally-listed orcandidate species
                                                                                         Other sensitive species

                                                                   1.5.11-11

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IMPACT ASSESSMENT
                                                 59
and maps were collapsed into the five resource disciplines:
visual, biological, cultural, land use, and earth resources. The
process of collapsing the data involved GIS operations that
overlaid several residual impact maps from each resource to
create a single integrated map that represented the maximum
or worst-case impacts for that  resource discipline.  For
example, the higher biological impacts always took prece-
dence over he lower impacts in the same location.  The
impact values of high, moderate, and low for each of the
twenty-two individual impact assessments were developed
using the same criteria. As an example, a high impact for
cultural resources was considered to have a parallel effect to
high impact to soils.

The collapsed biological resource impact map was derived
using the GIS from the four individual impact assessments
done for biology (Table 3). In addition, the GIS produced
summary reports of the resource discipline impacts for each
of the alternative routes. These summaries will be used in
selecting the environmentally-preferred alternative.

As a tool to assist the selection of preferred alternative routes
for each resource discipline (e.g., biological resources), the
GIS was queried to select the least impact route. An imped-
ance model was developed to identify  the "path of least
resistance" for each resource discipline by adding up impacts
(e.g., impedance) along alternative route segments until it
arrived at its destination point. The results of the impedance
models were used to construct eleven alternative routes from
the numerous alternative corridor segments.

These alternative routes will be compared in the EIS. The
summarized alternative route comparison data, supplemented
by the results of the impedance models, will be used to select
an environmentally-preferred alternative route in the EIS.
Table  4  shows examples  of construction disturbance ex-
pected and some of the critical wildlife resources that would
be crossed for seven of the alternative routes (A through G).
Similar summary data tables were produced for each of the
resource disciplines. The summary data are displayed in a
format to facilitate comparing the alternatives.

SUMMARY
The application of GIS technology has been instrumental in
the management of the voluminous data gathered for the
studies of this transmission line project. The development of
the capability to model the potential impacts associated •
the construction and operation of a transmission line p^
vided planners with the data needed for a strong siting
process, and provided decisionmakers with the best informa-
tion available to assist them in the selection of a preferred
alternative route for this project.

Environmental planners are charged with integrating the
activities of man into a fragile and sensitive environment.
The advanced technologies of GIS are available to manage
large databases and to perform comprehensive impact assess-
ments. The GIS is a tool that is gaining widespread accep-
tance and credibility with industry, environmental interests,
and land managers; it can be utilized effectively to perform
detailed analysis, as well as to provide the much-needed
consistency to environmental documentation. Coupled with
other advanced technologies, like remotely-sensed data and
other large databases, GIS is a powerful tool for the informa-
tion age.

The value to our society of utilizing these types of automated
tools is to incorporate the increasing volumes  of data and
information into the decision-making process.  Credible
methodologies applied by environmental planners and close
observation by agencies and activists are the irreplaceable
human elements.  An intimate sense of what  is credible,
needed, and sustainable should be die heart and soul of r
planning, environmental, and development missions, t
data management and analysis tool, GIS can help guide tho-
missions into the future.

REFERENCES
40 Code of Federal Regulations PartslSOO-1508.
Howaid. KJ. 1990. GIS Analyzes Powerline Corridor. GIS World
   3(5): 46-49.
Public Law 88-552.  1964.
(USDDU.S. Department of Interior. 1990. Southwest Interti? Project
   HS/PA Cultural Resources Impact Assessment Rep - (unpub-
   lished document). Boise, ID.
{USDI) U.S. Department of Interior. 1989a. Southwest Interne
   Project Public and Agency Scoping Notebook  (unpublished
   scoping document). Boise. ID.
(USDI) U.S. Department of Interior. 1989b. S-  Jiwest Interne
   Project Transmission Line Regional Environmental Report (un-
   published scoping document).  Boise, ID.
(USDI) U.S. Department of Interior. 1986. Visual Resource Con-
   trast Rating. BLM Manual Handbook 8431-1. Washington, DC.
                                                   1.5.11-12

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           ; •
           '
'I!!!, T'lllininl'lH'llKi"" . "i. !!'M»
                                                                                  ,,„,, ;     ,,,,, „
                                                           Determination of Significance
          Significance is that characteristic of an impact that determines its degree
   of influence on a decision.   In the U.S., significance is described in terms of
   context and intensity. The significance of an action will vary within the context
   of the action (e.g., local vs. global scale) and the intensity (i.e., magnitude) of
   the impact.  Generally accepted criteria for determination of significance are
  	described below.	

          Significance is a key  factor in (1) determining the appropriate level of EA
   for a proposed action, (2) deciding on measures that avoid or mitigate predicted
   impacts, and (3) choosing among alternative actions. If potential impacts are
  n thought' to be significant,  the EA  review  generally results  in a formal  EA
   document (i.e., an EIS in  the U.S.).  When, as a result of the EA process,
   predicted impacts are shown to be significant and treatable, mitigation measures
   must be included in the EIS and in a public record of decision.  However, the
:   choice	of	alternatives is a management decision  that is based on many factors
   including government policy, applicable laws and regulations, agency mission and
   objectives, as well as public values and biological significance.
                                                   	"ll '	'	:J 	"	«"•'-'	 "..HI:	i	 ,!!,j	i"!!,	I,-, ,  	j.
          The significance of a proposed action is considered at both the beginning
   and the end of the EA process.  In the beginning, the proponent determines the
   appropriate level of EA review and documentation based on screening  the
   proposed action. When a proposed action is precedent-setting, unique,  and/or the
   potential impacts are unknown or thought to be significant or the ability to
   mitigate effects is unknown, a formal EA document is appropriate. The public
   plays  a role  early in planning (i.e., during  scoping)  in determining  the
   significance of issues and the choice of alternatives for analysis.  Determination
   of significance at the end of the EA process involves evaluation of the predicted
   impacts for each of the alternatives and, as described above, ultimately rests with.
   the decisionmaker.  Explicit procedures, which identify the values of the public
   and the significance of the  effects  of the alternatives on each value, provide a
   better basis for rational analysis, decisionmaking, and public acceptance of the
   proposed action.

          fn the U.S., the NEPA review and documentation process is predicated on
   the  significance of proposed federal  actions.  Elsewhere (e.g., the United
   Kingdom), a" significant impact is considered one  for which the developer should
 =:	•  :;::::	::	:::	:   - ;„:	:	,	 ::,	 .-  1.5.12-1
    *For purposes of this document, the term Environmental Assessment (EA) will" relfer to the
    Environmental Impact Assessment (EIA) process.
                               i'll	SI	 JlH'Jfi	;!|1iijijiii!",ijii;!;';

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seek some form of mitigation.  Significance is determined by reference to legal
or accepted standards as far as possible, but if no standard is available, the EA
team evaluates significance basing their determination on clearly described ad hoc
criteria.

                                                                  NEEDS

       It is the job of the EA team to identify, clarify the options and trade-offs,
and summarize the potentially significant impacts for the decisionmaker.  For
this, criteria are needed to determine significance of effects of an action on a
particular entity and also a method is needed for scaling effects for each criterion.

       •      Criteria for significance upon which  decisions are based include
              the:

              —    value  of the potentially  affected  entity.    Particularly
                    important are public health and  safety, threatened and
                    endangered species,  and important geographic areas (e.g.,
                    historic sites, park lands, prime farmlands, wetlands, wild
                    and scenic rivers, ecologically critical areas);
              —    magnitude of the effect (severity);
              —    nature of the effect;  -
              —    spatial extent of the  effect;
              —    duration of the effect;
              —    predicted degree of recovery;
              —    political repercussions;
              —    public concern; and
              —    legal mandates.

              Furthermore,  actions or effects  that are likely to be highly
              controversial,  involve unique or unknown  risks,  or  establish an
              important precedent are also considered to be significant.

       •      Determination of significance  requires predicting change  (Part
              4.3).  These impact predictions are, along with societal values, the
              major input to significance determinations.  The input must be
              good  if the output is  to be  good.  Ideally,  change should be
              compared against thresholds of concern,  some of which may be
              legally mandated and others which  may  be levels  or states of
              valued components  determined  by the public, the decisionmaker,
              or the EA team. However, because all alternatives may be above
              the threshold or all  may be below the threshold, it is  necessary to
              at least estimate relative magnitudes of effects in order to compare
              significance.

                                  1.5.12-2

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Traditionally, the emphasis in EA has been on the biophysical
environment.     However,  human  concerns  about  project-
environment interactions and the associated risk have contributed
to the development of socioecbnohiic impact assessment (Murdock
et al. 1986).  Numerous computerized models are available that
quantitatively integrate social, economic, demographic,  public
service, and fiscal impacts (Leistritz and Murdock 1981), but the
models are, most appropriate for large-scale development activities
and are rarely integrated with biological analyses.
 .......................... :"" ......... : ..... '" ..... " ........ • ..... """ ........ *'"•'•''''    ..... ' -"; • "'"'-. '":.,'"':;" ! ..'•:•:.-:•; .-: "..•:. |: '••.';;: ..... :•••
The task of evaluating an EIA and communicating the conclusions
to the public and the decisionmakers is complex.   It  is  the
responsibility of the EA team to summarize and highlight the key
findings, including discussion of those issues determined not to be
significant.

Except for exceedance of standards set by government regulations
(e.g., National Ambient Air Quality Standards), the description of
significance  is  largely  judgmental,  subjective, and variable.
Conover et al.  (1985)  present a system  to rate impacts  as
negligible, minor, moderate or major impacts (Attachment 4.F).
Haug et al.  (1984)  present  a system that ranks  thresholds  of
potential impacts on the basis of legal factors, principles of sound
resource use, and human  preferences.  These are described  as
having  highest,  very high, high,  moderate,  or  low priority
(Attachment 4.F). FEARO (1986) described the need to determine
thresholds of concern  (i.e. , a maximum or minimum number or
other value for an environmental impact or resource use which, if
exceeded, causes it to take on new importance) based on statistical,
ecological, social, and safety and health significance.

Terms used to describe the significance of project-induced changes
can and should be simple and clearly defined (e.g., major, short-
term, local, regional).  In the absence of clear definitions, such
terms are subject to a wide range of interpretation.
 Comparison of predicted levels of pollutant emissions or effluents
 IS legally mandated thresholds (e.g., against national ambient air
 quality standards)  can  identify exceedances that would clearly
 result in significant  impacts.   However,  generally, predicted
 impacts  are  not those  related to exceedances  of set standards
                                   '"''Si
                    1.5.12-3
                                                                         I  i

-------
because the reason for such excursions would be mitigated during
project design.

Coordination of surveys and studies required by executive orders
and other environmental review laws (e.g., U.S. Fish and Wildlife
Coordination Act, National Historic Preservation Act, and  the
Endangered Species Act) with the preparation of the EIA document
can ensure that protected resources are  identified early on and
factored  into the decisionmaking process.   (Part D  summarizes
some of the U.S. environmental laws written  to protect specific
resources.)

In addition to legally mandated thresholds, Haug et al. (1984)
discusses functional,  normative, controversial,  and  preference
thresholds (Attachment 4.F). Sometimes an environmental impact
will not  be a concern if it is small or if it occurs in an already
disturbed area.  However, the significance of such  concerns is
usually determined by the affected public.  If possible, negotiating
a threshold of concern for an environmental impact or resource use
which, if exceeded, will cause the impact or use to take en new
importance,  usually  resolves  the  conflict (Attachment 6.A).
Although establishing  numerical values for such thresholds is often
impossible, identification of the concern  aids the  decisionmaker,
helps to establish monitoring needs or criteria for  mitigation, and
satisfies the public.

Risk assessment provides information  that can be  useful  in
weighing alternatives and analyzing trade-offs, especially when
answers  are not obvious and available information in ambiguous
and uncertain.   However,  neither health risk  assessment nor
ecological risk assessment (Part 4.3) determines significance.  The
significance  of  an  estimated  risk  is  determined  by   the
decisionmaker.

Professional  standards  (e.g.,  general  usage  and  engineering
standards)  based on population ratios (e.g., hospital beds/1000
population, recreation acres/1000 population) are often used for
projecting  needs  for social services.  These standards should  be
used cautiously because they vary widely from one information
source to another and they are unlikely to be applicable to areas
(particularly rural areas) that are dissimilar to the areas for which
they were developed (Leistritz and Murdock 1981).  On the other
hand, the standards are widely used and  accepted, easy to apply,
and some of the standards are based on analytical analyses.
                     1.5.12-4

-------
ffi
..... ' ..... :,?Si,
' ...... ' ....... :
. . 1 •' ............ :
             Public  opinion and the level of controversy associated with a
             proposed action  help  to identify and to determine the relative
             significance of environmental impacts. Useful "input requires that
             the public be informed on the proposed  action, alternatives, and
             major potential impacts, and encouraged to participate in the EA
             process,  particularly  during  scoping  and  document  review.
             However,  it has been  documented that  public meetings do not
             naturally attract  the representative cross-section  of society that
             would provide a balanced input to the  EA process (Thompson
             1990).  Thus, values and significance  are probably determined by
             groups  of self-selected people.
                                    	                          I
                                  "    ! ":"\/"  "'    '               ISSUES

             The technical interpretation of  significance is  based on impact
             assessment techniques that exist on a continuum from those that
             simply  summarize to those that  also evaluate impacts (Part 4.3).
             Westman (1985) notes that all of the  quantitative  assessment
            "'tecnniques	can" be  criticized from one  br'anotner	perspective:
             either they summarize too much or not enough';''attempt'to quantify
             based on inadequate (subjective) data or remain too qualitative; are
               itrary and incomplete in their selection of impacts to include or
                 too exhaustive; "'""ariS"]take  away  too much judgment from
             decisionmakers or leave too much to be decided.   However, he
             notes that the need for evaluation is inescapable.  In the absence
             of explicit  evaluation, implicit  evaluation  is  performed  by
             decisionmakers.  The job of the EA  team is to choose methods
             whose assumptions and data requirements are appropriate to the
             task and to  remind the decisipnrnaker of the assumptions and
             limitations of the evaluation methods being used (Westman 1985).
             Even the use of legally-set standards to detearrhihe 'significance" can
             i nil ill HI 111 ninn 11 i iii! *: i	i!!:!iii!,,i",si!!,,!ii.ii,iP i	T,	•	,	¥...	„  ir	S	
             be misleading.   Standards are compromise figures  based  on
             scientific information  on species tolerance to  toxic substances,
             primarily from single-species bioassays  and, to a lesser extent,
             from  field  studies.     A  panel   of experts  determines the
             recommended "standard" based on available literature.  Thus, even
             legally  set standards are only crude guides to acceptable levels of
             protection (Westman 1985).
  Some recent papers on the value of EA methods suggest that the
|  ii i in  HI || ||  ||| || || i *  f                                C'C'
  accuracy of prediction in EA leaves much to be desired (Thompson
  1990, Attachment  4.G; Tomlinson and Atkinson  1987; Bisset
  1988; Elliot 1981, Attachment 4.D; Hollick 1986).   there is
  uncertainty associated with determinations of significance that are
       iiiiii
                             1.5.12-5
111 !'''lil;" 	 ' "'*' 	 :"" '""!l1
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' 	 : 	 : 	 :":'' 	 :'':1'
	 '"" 	 " "''"• ' • 	 «' '™'i ' 	 - ' ' ''" ..!'".! . 	 - -
	 IW!1 	 ' "I'll,:,,!', is111* ,' ,1,1 '111! "'!' Vil'i''"" 	 , "! •?"". ' ,'liniS 	 i:".!1'
• i ' lilllji,: • ••(!:*' 'j .. .Jf'lltii" fl'rll , , '; ! 	 	 ( .„>'.. !J.|"! . : if.
*' • „ ' • 	 iln ;11ii":i ... . "! j „ i,
" :: . i:, ' m" . ' »i in ,i limn 	 „ 	 ' , ,. ;j i, 4 	 1 1 ip
I*?',"'! "•'" • 	 vi' 	 ::;; 	 '•(:> •••>•••< : .vi1 " '..',••.''.'>(
't,:t::! ii '•'; • • ,., i', 	 1' * "J\ -:Wi '/"':,;"'<;'
> -;'1;;; ' ; ',.• <: .\'t^ J "" ", •|.!;(t.;^ ' , :i"! "S ';,
	 II „ ' ''' , "I1'' V'"'i'' E! i '»i'', v"'-'i"' . ' Jl 	 '1,
, ,, | ' i " ; i ^i/liil/; ',"; ! '' 'lin! X 	 j1; ; ' it!, 	 |
	 ' ' 	 ' 	 ' •' " 	 ' " ;::":l 	 • ' '" -'" -; 	 ~- ->'''
• 	 „ , i ' .j:;:1:11, ' ' / " ,i "i - f i" ii. win: < ii. ',
{;?-:,.' •••::l!f^:'l"'Vi^'.fc^j'i'.,p;l?
f ;:.;..;_• ^ ."(iAfe; v:;' :i/t: 	 .Muty'fe 	
1 ..'I'1 , ' "l "»' '"'' ii, " ""> , ;' " i1""1' ''tiilijiill!1 ', ill I'!' V ',,".'
"•/ '" : 	 : ' - 	 ;V, 	 " ''^ -1-""" -";~'-"': -""•-''•
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-------
             predictive methods.  Comparison of proposed actions to similar
             ongoing activities is suggested as a way to reduce the level of
             uncertainty.

       •     Public perception of the significance of an issue is influenced by
             (1) the  existence  of competing demands for the resource in
             question, (2) differences in human values regarding the relative
             worth of resources, and (3) the availability of knowledge and level
             of understanding of the costs, benefits, and risks related  to the
             issue  (Westman  1985).   Ensuring  that the public who has (or
             should have) a substantive interest in the proposed action plays a
             role in deciding the issues is the most effective way of determining
             the significance of the issues and also is the most effective way of
             avoiding conflict.

                                                             LINKAGES

       Significance is linked to almost all aspects of EA. Initially, the required
level of documentation is determined by screening at the initiation stage  of EA
review. For those actions thought to have potentially significant effects, an EIA
is prepared. During scoping, the public has the opportunity to identify significant
issues, and these significant issues and concerns help to determine the  range of
alternatives that are analyzed during assessment.  Decisionmaking is based on the
significance of the predicted environmental impacts along with other economic
and technical  considerations and  agency statutory  missions.   Mitigation is
designed to reduce potentially  significant effects that  are unavoidable or to
compensate for them.  It is usually associated with a monitoring program during
and after implementation of the project.

                                                          REFERENCES

Bisset, R.  1988. Developments in EIA  methods.  In:  Environmental Impact
       Assessment,  Theory and Practice (ed. P. Wathern).  Unwin  Hyman,
       Boston.  332pp.

Bonano, E. J., S. C. Hora, R. L. Keeney, and D. von Winterfeidt.  1990.
       Elicitation and use of expert judgment in performance  assessment for
       high-level radioactive waste repositories.   NUREG/CR-5411.    Sandia
       National Laboratory, Albuquerque, New Mexico.

Buffington, J. D., R. K.  Sharma, and J. T. McFadden.  1980.   Assessment of
       ecological damage:    consensus.   In:    Biological  Evaluation  of
       Environmental Impacts, The Proceedings of a Symposium.  Fish and
       Wildlife Service.  FWS/OBS-80/26.

                                 1.5.12-6

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Burton, I.,  J.  Wilson, and  R. E.  Munn.   1983.   Environmental impact
       assessment: national approaches and international needs. Environmental
       Monitoring and Assessment 3:133-150.

Cohrssen, J. J.,  and V. T.  Covello.  1989.   "Risk" Analysis:  A Guide to
       Principles and Methods for Analyzing Health and Environmental Risks.
       Council on 'Environmental Quality, Washington, D.C. 407pp. Available
       from the National Technical InTo'rmation  Service, U.S. Department of
       Commerce, 5285 Port ftoyaTRoaif,Springfield, Virginia 22161.
Conoverj S. A. M.'^ K. W. Strong, f. 1. Hickey, and F. 'Sander.  1985. An
       evolving framework for environmental  impact analysis I.   methods.
       Journal of Environmental Management 2 1:343-358.

Elliot, M. L.  1981. Pulling the pieces together:  amalgamation in environmental
       impact assessment.  Environmental Impact Assessment Review 2:11-38.

Federal Environmental Assessment Review Office (FEARO).   1986.   Initial
       Assessment Guide.  Federal Environmental 'Assessment  Review Office.
       Ottawa, Ontario.  36pp.
Giroult, E.  1988.  World Health Organization interest in environmental health
       impact assessment,  in:  Environmental Impact Assessment, Theory and
       Practice (ed. P. Wathem).  Unwin Hyman, Boston. 332 pp.

Haug,  P. T., R.   W.  Burwell,  A. Stein,  and B.  L. Bandwiski.   1984.
       Determining the significance of environmental issues under the National
       Environmental Policy Act. Journal of Environmental Management 18:15-
       24.
       ii  in niii
                              •	'„"' IT •	 it	i :

Hirsch, A,   1980.  The baseline study as a tool  in environmental impact
       assessment.  In:  Biological Evaluation of Environmental Impacts, The
       Proceedings of a Symposium.  Fish and Wildlife Service.  FWS/OBS-
       80/26.
Hollick,  M.    1986.   Environmental impact  assessment:
       evaluation.  Environmental Management  10:157-178.
an international
James, T.  E. Jr.,  S. C.  Ballard, and M.  C. Devine.   1983.  Regional
       environmental  assessments   for  policy  making  and  research  and
       development planning. Environmental Impact Assessment Review 4:9-24.
                                                                              '*	1 i 'i	'	'll'illu'lilll . Ml",	"•,.
                                                                                   ': i;, ili'iili',. .ii!::1,	  iV1:
                                1.5.12-7
                                                         I (
                                                                                     	I"  I'l    I1'1" 111
         1 till 111
                          III III II
                                                                                             III 111

-------
Leistritz, F. L., and S.  H. Murdock.   1981.  The Socioeconomic Impact of
       Resource  Development:    Methods   for  Assessment.    Westview
       Press/Boulder, Colorado. 286 pp.

Murdock, S. H., F. L. Leistritz, and  R. R. Hamm.   1986.  The state of
       socioeconomic  impact  analysis  in the  United States of  America:
       limitations and  opportunities  for  alternative  futures.    Journal  of
       Environmental Management 23:99-117.

Richmond, H. M. 1981. A framework for assessing health risks associated with
       national ambient air quality standards.  The Environmental Professional
       3:225-233.

Schaffman, P.  1986.  Assessing the assessors:  toward "risk aware" courts.
       Environmental Impact Assessment Review 6:331-343.

Thompson, M. A.  1990. Determining impact significance in EIA:  a review of
       24 methodologies. Journal of Environmental Management 30:235-250.

Tomlinson, P.,  and S. F. Atkinson.  1987. Environmental audits:  a literature
       review.  Environmental Monitoring and Assessment  8:239-261.

U.S. Environmental Protection Agency.  1992. Framework for Ecological Risk
       Assessment.  EPA/630/R-92/001.

Westman, W. E.   1985.   Ecology,  Impact Assessment,  and Environmental
       Planning.  John Wiley & Sons.  New York. 532 pp.
                                 1.5.12-8

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                                 FOR DESCRIBING SIGNIFICANCE OF IMPACTS
                    •;;	  ^   .   ...   , ,     	   	                 ,  :j
                   Impact definitions  currently used  in  the  Canadian  approach to  biophysical
                   environmental impact analysis.  (Source:  Conover, S. A. M., K. W. Strong, T. E.
                   Hickey, arid F. Sander.  1985.  An  evolving framework for environmental impact
                   analysis.  I.  methods. Journal of Environmental Management 21:343-358)

                   Thresholds of potential impacts.  (Source:  Haug, P. f., R. W. Burwell, A. Stein, arid
                   B. L. Banduski. 1984. Deterriiining the significance of environmental issues under the
                   National Environmental Policy Act.  Journal of Environmental Management 18:15-24)
ill!	!,n
            if! '•
            •LI" :
                     'I!1'!"  i'11'!!; ' I "'.I-
                                                  1.5.13-1
                                                                                             ill	I lull
                                                                                        \ ; :. b!l	!i;  '?„;;,
  LJLUHIJJJLJI	J	y.	                                   	

-------
1.5.13-2

-------
                       Impact definitions currently used in the Canadian approach to biophysical
                       environmental impact analysis. (Source: Conover, S. A. M., K. W. Strong.
                       T. E. Hickey, and F. Sander. 1985. An evolving framework for environmental
                       impact analysis.  I.  methods.  Journal of Environmental Management 21:343-
                       358)
                Impact Definitions

                       A Major Impact is defined as one affecting a whole population or species in sufficient
                magnitude to cause a decline in abundance and/or change in distribution beyond which natural
                recruitment (reproduction, immigration from unaffected areas) would not return that population
                or species, or any population or species dependent on it, to its former level within several
                generations.  (In some instances, with respect to resource use by humans, an impact that might
                n(jt,,,satisf£ the above  conditions might nevertheless result in significant effects on the human
                user.  Thus, a major impact  may  also be classified as one  that affects a subsistence or
                commercial activity to the detriment of the user.)
        '  ll'1'1 'Ill|llli   '  lllb ' !!l' !'' -   i 11 HI I IIIII   iiIII ill |
                       A Moderate Impact is defined as one affecting a portion of a population which may result
                in a change in abundance and or distribution over one or more generations of that portion of the
                population or any population dependent on it, but which does not change the integrity  of any
                population as a whole. It may be localized.

                       A Minor Impact is defined as one affecting a specific group of individuals in a population
                at a  localized area and/or over  a short period (one generation or less), but  not affecting other
                trophic levels or the integrity of the population itself.

                       A Negligible Impact is defined as one  affecting the population or specific group of
                individuals at a localized area and/or over a short period in such a way as to  be similar in effect
                to small random  changes  in the  population due to environmental vagaries, but having no
                measurable effect on the population as a whole.

                       In many instances, either no interaction occurs, or the interaction does  riot"resul* in an
                impact of any sort. Such instances will be identified as no impact.

                       In some cases, & positive impact may be registered.  These will also be identified, using
                the same definitions as above with the positive nature of the impact identified.
                                                        1.5.13-3
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       Thresholds of potential impacts.  (Source:  Haug, P. T.,  R. W. Burwell, A.
       Stein, and B. L. Bandusld. 1984. Determining the significance of environmental
       issues under the National Environmental Policy Act.  Journal of Environmental
       Management 18:15-24)
Thresholds of Potential Impacts
       Highest priority - legal thresholds.  Thresholds of impacts or resource use established by
law or regulation. These may not be exceeded under any circumstances.

       Very high priority -functional thresholds.  Thresholds established for resource use, or
thresholds involving unavoidable adverse impacts on the human environment, and so great that,
if these thresholds are  exceeded, the  impacts will disrupt the functioning of an ecosystem
sufficiently  to destroy  resources  important to the nation or biosphere irreversibly and/or
irretrievably.

       High priority - normative thresholds.   Thresholds of impacts or resource use that are
clearly established by social norms, usually at the local or regional level, and often tied to social
or economic concerns.

       Moderate priority - controversial thresholds.  Thresholds of impacts or resource use that
are highly controversial, or which are sources of conflict between various individuals, advocacy
groups, or organizations, and which do not warrant higher priority for other reasons.

       Low priority - preference thresholds.   Thresholds of impacts or resource use that are
preferences of individuals, groups, or organizations only, as distinct from society at large, and
which do not warrant higher priorities for other reasons.
                                        1.5.13-4

-------
                                                  DETERMINING IMPACT  SIGNIFICANCE  IN EIA
                                   	   '	'                  ,5   ',  i,,,,; •   „„;                      !
                              Thompson, M.  A.   1990.   Determining  impact  significance  in  EIA:  a review  of 24

                              methodologies.  Journal of Environmental Management 30:235-250.
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1.5.14-2

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                                              f.-.i.
          Jtmmal «f Bmtfamttari Management (1990) 30,235-250
Nil
 : Determining Impact Significance in EIA: a Review of 24
j; | Methodologies      \

1 I !                      ;
   Mark A. Thompson

   78 Atherford Road, London SW9. U.K.
          Received 23 November 1988
          The determination of impact significance from predictions of impact magnitude
          is a source of much debate among proponents and practitioners of
          environmental impact assessment (EIA). Of particular concern has been the use
          of formal quantitative methodologies for comparing project alternatives in
          order to produce a total impact score for each alternative. It has been suggested
          that this technique removes the responsibility for the decision from the hands of
          elected decision-makers. This study concerns a review of 24 EIA methodologies,
          concentrating on the way in which each addresses the issue of impact
          significance. The methodologies are each assigned to one of six groups
          according to their performance against a number of basic criteria. The
          characteristics of each group are outlined with, by way of illustration, a
          description of one methodology from each group. A set of IS evaluative criteria
          is then presented. These criteria emerged from discussions with a number of
          EIA practitioners and from reviews of previous general critiques of
          methodologies. The criteria are then used to re-evaluate the 24 methodologies in
          order to display the merits and limitations of each, and to highlight attributes
          essential to any worthwhile methodology. Finally, recommendations for a
          coherent approach to EIA and warnings against using unsuitable techniques are
          presented, together with suggestions for future training and research that might
          benefit EIA practice.

          Keywords: environmental impact assessment, significance, methodology
           1. Introduction                                                         ~~  ~ •   T-

           The recent implementation of the European Directive on Environmental Assessment
           (8S/337/EEC) makes environmental impact assessment (EIA) mandatory for certain!
           types of development project and discretionary for many others. It is likely that the next
           few years will see an increase in the number of EIAs produced. The directive has the ;
           following to say regarding the application of EIA in the planning process:

              ... development consent for public and private projtc"  ' oh are likely to have significant
              effects on the environment should be granted only alter prior  assessment of the likely
              significant environmental effects of these projects has  been car-' ' mit (Council of the
              European Communities, 1985),
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                                                                                                           This need to determine "signj&tntjleflects'* reinforces Hie importmce of understanding -
                                                                                                           the various methods that can be used to arrive at a 1st of significant impacts.
                                                                                                                      I
                                                                                                                      t*T;;
 2. CMf catltrt of EIA nwt&odotoftes accordlaf (o treatment of Impact
 significance

 In order that EIA may fulfil its function as a decision-making tool, it is necessary tha
 there be a clear distinction between impact magnitude and impact significance. Th
 former is arrived at by prediction based upon empirical measurement, the latter is a
 expression of the cost of a predicted impact to society. Previous studies have tended tu
 stress the organizational characteristics of EIA methodologies, classifying them as being
 of an Ad Hoc, Checklist, Matrix, Network or Overlay type. It is felt that a rcclassifica-
 tion on the basis of the approaches used to determine significance is more appropriate.
 Accordingly, a group of 24 methodologies has been examined for the extent to which
 they fulfil the following criteria:

    I.  Is the issue of impact  significance considered at all, and, if so, is it handled
       discretely from impact magnitude?
    2.  Can the methodological guidelines for determining significance be described as:
       (a)  precise and explicit?              .   .
       (b)  non-existent?
       (c)  intermediate between (a) and (b)?
    3.  Are directions given for aggregation of impacts for use in comparing project
       alternatives?
    4.  Does the methodology explicitly require an element of public participation?

    Whilst it is recognized that the methodologies could arguably be represented as
 different points on a continuum, it is felt that six discrete groupings can be defined using
 the above criteria (see Figure I) from which further assessment can proceed. By way of
 illustration, an example from each of the six groups is presented.
                                                                                                    2.1. GROUP I

                                                                                                    The Water Resources Assessment Methodology (WRAM) (Solomon el al., 1977) makes
                                                                                                    explicit use of scaling and weighting methods. Environmental,  social and economic
                                                                                                    components are weighted by an interdisciplinary team using a ranked painvise compari-
                                                                                                    son technique. Scaling is achieved by three alternative approaches; the use of the scaling
                                                                                                    part of the weighted ranking technique; the use of function curves (see also Dee el at.,
                                                                                                    1973);  and the proportioning of resulting scaled impacts. Full details are included on
                                                                                                    how this scaling may be carried out. Values obtained for the effects of each alternative on
                                                                                                    specific environmental components are expressed in terms of "alternative choice co-
                                                                                                    efficients". Weighting and scaling values are multiplied in a matrix to produce a final
                                                                                                    aggregate score for each alternative. At no stage is there an input of public opinion.
                                                                                                    2.2. GROUP 2
The Crawford Methodology (Crawford, 1973) has less explicit guidelines than those
exhibited in group I. It was devised for use  in highway route planning and makes
                                                                                                                                                                           ningand

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M. A. Thompson
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                                                                                               238
                                                                                                                                   Determining Impact significance In EIA
                                                                                extensive use of public involvement by employing a Delphi technique on three reference
                                                                                publics to gather information for the following:

                                                                                    I. The assigning of relative weights.
                                                                                    2. The prediction of consequences for the alternatives to be evaluated.
                                                                                    3. Estimations of probability for the predicted consequences.
                                                                                    4. Numbers to represent the magnitude of the impact of each consequence on each
                                                                                      evaluative criterion.

                                                                                    An interdisciplinary panel of experts is responsible for predicting consequences and
                                                                                estimating probabilities for each  highway corridor alternative.  Estimates of impact
                                                                                magnitude are developed on a seven point scale, from  + 3 to - 3.  The impact  of an
                                                                                alternative on each of a set of evaluative criteria is then calculated by multiplying impact
                                                                                size by its probability. Results are then presented showing each highway alternative as a
                                                                                percentage of the maximum possible positive or negative impact. Crawford presents this
                                                                                as a basis for analysing  the value trade-offs involved in a decision between project
                                                                                alternatives.

                                                                                2.3. GROUP 3
                                                                                The PADC methodology (Clark et al.,  1983) favours a dis-aggregated presentation  of
                                                                                impacts (i.e. there is no attempt to group impacts under generic headings) and there is no
                                                                                specific mechanism for public involvement. Significance,  for each impact, is determined
                                                                                by a choice on each of the following five polarities:

                                                                                    1. Adverse/Beneficial
                                                                                    2. Short-term/Long-term
                                                                                    3. Reversible/Irreversible
                                                                                    4. Direct/Indirect
                                                                                    S. Local/Strategic

                                                                                Qualitative statements of significance  such as  this could clearly be aggregated  by
                                                                                summing the numbers within each polarity. To do so would, however, implicitly weigh
                                                                                all impacts equally. No indication is given as to how comparisons between alternatives
                                                                                may be made, although the use of "Summary Sheets"  as an  aid to identification of
                                                                                important impacts is suggested. Ranking and weighting of impacts is also mentioned,
                                                                                but with a warning to guard against creating an "illusion of objectivity".
                                                                                               2.4.  GROUP 4

                                                                                               The Leopold matrix (Leopold et al., 1971) contains no guidelines on how significance
                                                                                               should be determined. There is no attempt at aggregation of impacts, nor any input of
                                                                                               public opinion. The technique influenced the development of many subsequent metho-
                                                                                               dologies, employing matrix cells to relate project activities to environmental parameters.
                                                                                               The matrix cells are bisected by a diagonal line, above which is entered a value for impact
                                                                                               magnitude whilst below is placed  a value for importance. Definitions of magnitude and
                                                                                               importance are presented and it is proposed that:
                                                                                                  ... evaluations of the importance of impact, generally will be based on the vahr
                                                                                                  the evaluator. (Leopold, 1971 p. 2).
                                                                                                                                                       •went of

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             subjective opinion and the method asks that impact "statements should contain the
             reasoning behind the assignment of values for magnitude and importance.
2.5, GROUP 5
The Fischer and  Davis methodology (Fischer and Davis,  1973) does not explicitly
differentiate between impact magnitude and significance. A complex three-phase process
is handled by an interdisciplinary team to develop an implicit indicator of significance.
Impacts are assigned a " + " (benefit) or " - " (cost), for which some guidance  is given,
and the degree ofimpact from 1 (low) to 5 (high) is assigned subjectively by the team.
Additionally an "s" or "I" suffix is used to indicate short-term or long-term  impacts.
Those achieving plus or minus 4 or 5 scores are transferred from  an "environmental
compatibility matrix" to a "decision matrix".
   The exclusion of "low strength" impacts from the decision matrix can be seen as
risking the loss of valuable information, or as focusing the study  upon "key issues",
depending upon one's viewpoint. The authors claim that the methodology:

    ... recognises that many decisions are based upon judgement and works to sharpen that;,
   judgement ralher than increase precision at Ihe expense of clarity. (Fischer and Davis, 1973, p.» j
    225.)                                                                       ;

 2,6. GROUP 6
 The  Loran methodology (Loran,  1975)  does not consider  significance explicitly and-
 makes no specific provision for input of public opinion. It uses a matrix of 234 project,
 activities and 27 environmental features. Each element is scaled according to a forecast
 severity of impact from 0 (none) to 5 (severe) by the interdisciplinary team. The result i&
'recorded using a computer algorithm and a primitive aggregation of impacts is  achieved
 via a "clustering" of highly rated impacts.                                        :;
    It is suggested that the technique serves to identify critical environmental areas. No ;
 further evaluation is made and it is not clear how project variant discrimination should
 proceed. Neither is it clear how isolated high impact values, distant from the "clusters" |
 should be treated.
 2.7                                                                           1
 The different approaches to handling impact significance, represented by the above:
 examples, exhibit a  wide  range of techniques from highly quantitative through to
 qualitative. Whilst it is not suggested that any are ideal, many incorporate ideas or;
 techniques that could be included in any useful EIA methodology. Having outlined thes
 existing range of EIA methodologies, the following section  presents a number of
 attributes which it is felt are either essential or desirable in an EIA methodology. On the
 basis of these attributes, the 14 methodologies are further evaluated.

 3. Evaluation of EIA methodologies
 Information gained from three sources namely: the review of 2      'nJologies already
 presented, together with conclusions drawn from discussions with a number of EIA
 practitioners,  and examination of general methodology reviews  (see,  for example,
***                  ' '                    *       DttrnmMoj br^ct ilinfRcmct ta EU

Environimental Resources Ltd, 1981) provided theibasis for the set of evaluative criteria^
that follows. lib felt that using the experience gained in the practical application of ElAi j
to evaluate and criticise methodologies should serve to highlight a group of components* 5
to be included in any useful methodology. The wide variety of applications to which ElAs
can be put, however, precludes the possibility of defining a single technique of universal! .
suitability. The following list of criteria should be used as a guide to Table I wherein the  *
extent to which the methodologies fulfil the criteria is shown.                      | J
                                                                                                          3.1. JS IMPACT SIGNIFICANCE CONSIDERED DISCRETE FROM IMPACT MAGNITUDE?
                                                                                                                                                                                        1!
It is of paramount importance to the EIA process that an attempt is made to ascribe1 <
significance to any given impact. Not to do so is to leave a project unrelated to the
proposed receiving environment. As each site is unique, it will respond in a unique way  *
to any given development. Statements of impact magnitude will, therefore, differ in  i1
significance between any two sites. What the decision-maker requires is an expression of '.
this significance. As applied to the 24 methodologies, this criterion differentiates between  *
those that present raw or scaled data with a derived value to indicate significance, and  •>
those that simply present one value to indicate importance.

3.2. IS SEMI-AGGREGATION THE END RESULT OF THE PROCESS?

The attraction of an aggregate "final score" for each project alternative at the end of a
complex assessment procedure is understandable. An "answer" may be felt to help  <
justify expenditure of effort and  resources. The main disadvantage of this approach is
that scores mask the strengths and weaknesses within each project alternative. This
works against the interests of effective project modification because information needed
to perform trade-offs between different areas of impact is obscured.                  *
    In contrast, semi-aggregation, where impacts are  grouped under any number of,
suitable headings such as "ecology" and "infrastructure" makes clear which project
alternative will produce the best result in relation to any given heading. This allows the
decision-maker to draw conclusions based upon a relatively small number of trade-offs
and the degree of priority he or she feels is appropriate to different areas of concern. For
instance, if "ecology" and "agriculture" are favoured, alternative "A" may be chosen,
whilst weighting in favour of "housing" and "employment" might lead alternative "B"
to be chosen.
    Semi-aggregation  should  also help to avoid giving the misleading impression  of
scientific accuracy to which full aggregation of impacts is prone. It has been argued that
the latter may be used to avoid scrutiny by members of the lay public. Bisset (1978)—
remarks that:

    Those who choose the method of assessment are able to make a strategic choice which may
    give a tactical advantage when pursuing a particular outcome. (Bisset, 1978, p. 56.)

He suggests that opposition views may be weakened by putting them through a method
designed to overcome opposition and so remove assessment from public debate. Mobbs
(1985) also advises caution on the use of impact amalgamation  which, it  is argued,
should only proceed to a level consistent with maximum clarification of trade-offs. This
leaves room for the essential subjective element of the assessment process that  is  the
responsibility of the elected and accountable decision-maker.

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M. A. Thompson                                                                  241

3.3.  ARE METHODS PROPOSED TO ENSURE PUBLIC PARTICIPATION?

The significance of an impact is essentially an expression of the cost or value of an
impact to society. Bcanlands and Duinker (1983) state that:

   ... what is really of concern at the decision-making level is the significance to society as
   determined through social and economic values. Significance... cannot be confined to what
   we regard as biologically significant. (Beantands and Duinker, 1983, p. 45.)

The focus of EIA, therefore, must be a judgement as to whether or not impacts are
significant, based upon the value-judgements of society, or groups of people chosen to
represent the wishes of society. As stated by Pattison (1976):

   Our benchmarks for clean air, clean water or clean streets have less to do with a definable
   "degrees above zero" than with what various members of the public consider acceptable or
   attainable. No matter how accurately the probability and magnitude of certain fish  kills are
   quantified, the "impact" of such kills is essentially subjective, loaded with emotional factors
   not amenable to cost value analysis.  It is the impact of a particular  set of findings or
   predictions upon the minds of men, not the impact of the pollutant on the environment per se
   that is our key unknown. (Pattison, 1976.)

If this is accepted, then it is clear that an assessment of the way in which significance is
handled by EIA  methodologies should include consideration of the  value-judgements
made, whose values they actually represent, and whether or not they can be taken as
representative of society as a whole.
    Unless a methodology contains specific provision for an element of public opinion,
there is a danger that the views of study-team members may exert undue influence upon
the result. Few would question the use of experts to define impact magnitude, but leaving
them as sole arbiters of significance  is open to challenge.  O'Riordan  (1976) quotes
Joseph Sax,  a noted American lawyer and EIA advocate:

    ... the special knowledge of the highly trained mind produces its own limitations, and it may
    be argued that expertise sacrifices the light of common sense to the intensity of experience. It
    breeds an inability to accept new views from the very depths of its preoccupation with its own
    conclusions	There is also a class spirit about it so experts tend to neglect all evidence that
    does not come from their own  ranks. Above all, where human problems are concerned, the
    expert fails to see that whatever judgements he makes, which are not purely factual in nature,
    bring with them a score of values which has no special validity about it. (O'Riordan, 1976, p.
    279.)
    An example of expert judgement likely to be at  odds with public opinion can be
 found in the Battelle methodology (Dee et al., 1973) where, as observed by Dickert and
 Domeny (1974)  the assignment of  over  a third of  possible weighting points to
 environmental pollution,  whilst only 26 (out  of a total  1000) go to housing and
 employment opportunities,  is  unlikely  to find  favour with  those  from  tow socio-
 economic groups.
    There is  a clear need to achieve a balance between expert opinion  and the wishes of
 society in general. The assignment of weights in favour of long-let in considerations such
 as the continued  integrity of ecological systems may be at odds wi'1  •'  • more immediate
 socio-economic needs of large sections of society, but, if the EIA |<.     u to  gain the
 support c'    general public, then their immediate needs cannot be (unlocked.
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                 1H 1            ^             Ei        = -  ~  "^ - - *'  :
      The difficulty in achieving effective public! participation wasThligfiighW in work by   '
   Ertel (1979). The following are statistics for the attendees of a public meeting:

      1.  13-1 % of attendees were not educated beyond secondary school level.
      2.  37-7% had done college work.                                         :
      3.  48-1% had college degrees.                                                  :S
      4.  35-5% had yearly family incomes in excess of $20000.                         K

   It was further  revealed that 44-8% had attended more than five public meetings in the  '*
   preceding five years and that 36-7% held elective or governmental positions. This result
   suggests that public meetings do not naturally attract the representative cross-section of
   society that would provide a balanced input to the EIA process.                     •;
       It is therefore apparent that special efforts must be made to involve  the disadvan-
   taged and less well-educated sections of society. Over half the attendees in the survey  -•;
   were present as a result of receiving a direct postal invitation, far fewer having responded
   to media advertisements. This suggests that personal invitations to members of target  ~:
   populations may help redress the  balance. Another remedy may lie  with the use of ,
   polling or extensive questionnaire surveys, an effective example  of which, the Yosemite
   National Park Master Plan, is outlined in McAllister (1980).
       As applied in Table  I, the methodologies that qualify are those  in which public
   participation is an integral part. In others, such as Stover (1972) and Clark el al. (1983)
   participation  is suggested, but left to the discretion of the study-team.                :'
Ur
    3.4.  IS THE LEVEL OF QUANTIFICATION RESTRICTED TO THAT ADEQUATE FOR A
    DECISION?
    From the beginning of an assessment, the aim of the study must be clearly defined, based
    on an appreciation of the exact nature of the decision to be made. Study resources
    should then be directed towards a continual clarification of the main issues involved and  I
    a refining of the study team's judgement. Quantification of impacts far beyond the point,;;:
    where the difference between alternatives is apparent may be wasteful of resources that J
    would be better used on areas of study where differences are less clear. The methodolo-
    gies that score on t'his criterion do not advocate exhaustive attention to detail.        •*



     3.5. ARE QUANTITATIVE AND QUALITATIVE DATA PRESENTED TOGETHER?

     The attraction of quantitative data lies in their apparent objectivity, whether real or .
     illusory, and  with the fact that they facilitate easy comparison between alternatives.:.
     Where both quantitative and qualitative  data are presented, care should be exercised
     that the former are not given undue importance. On no account should  qualitative data
     be discarded because they do not fit conveniently into an assessment technique; instead,
     a way must be found to incorporate them. Certain imparts may be better presented in a
     quantitative manner whilst others lend themselves to a qualitative treatment. Criteria
     number five highlights those methodologies where both types      ''  are likely to  be;;
     presented. The extent to which they are segregated to allow en     moderation  is,:;™
      however,airesentational  matter, the success of which will vary from one case to the
      „„.                                                                          •
               m                         "                       D«»Mi«J«ti>i:hnH« «*X»l»ci»« hi EIA

               3.6i!sruDYT8^M rx)ai^WEmTUNo^^Bi^^J^^^c&oNTI^EOt^roM8          I  |;
               The shortcomings  inherent in relying solely upon  expert  opinion  when  assigning
               significance to impacts were outlined in 3, This criterion applies to those methodologies
               where some input of public opinion serves to limit the influence of the study team.
                3.7.  IS A STRUCTURED GROUP DECISION-MAKING TECHNIQUE SUGGESTED?
                Methods used by a study team to achieve consensus on key issues can have an effect on
                the outcome and are thus worthy of consideration. The effectiveness of various methods
                was investigated by Delbecq and Van de Ven (1974). Although not applied specifically to
                EIA, their study is of interest as it shows a way in which consensus decisions might best
                be achieved. A comparison was conducted between conventional interacting groups, the
                Delphi technique, and one of their own devising, the Nominal Group Technique. The
                latter uses a strict procedure for group meetings. The meeting begins with all participants
                writing down ideas. One idea from each person is taken in turn and written on an agenda
                board. These ideas are discussed for clarification before independent voting via ranking
                or rating is used to reach decisions.
                    The three methods were assessed for their ability to bring new ideas to light, and oh
                 the  satisfaction with the decision-making process as expressed by those taking part.
                 Results suggested that there exist a number of inhibiting influences that decrease the
                 performance of conventional interacting groups in decision-making. These included too
                 much time being spent on maintaining the social/emotional  relationships of group
                 members, and not enough on actual business. An  absence of time to think things
                 through individually, a tendency for group norms to emphasize conforming behaviour
                 and for discussions to dwell on areas of agreement at the expense of areas of conflict,
                 were also cited. Furthermore, a problem with higher status/stronger personalities whose
                 views were given a disproportionately large amount of time was also identified.
                     It was suggested that the Nominal Group and Delphi techniques avoided many of
                 these pitfalls, with the former being the preferred method as it made provision for some
                 structured group interaction. The Delphi technique  was favoured  when, for logistical
                 reasons, a meeting could not be convened. Work by Baumann el al. (1972) suggests that,
                 to  the ends of alerting a  decision-maker to  all the possible options involved and
                 highlighting areas  of conflict  as well as consensus,  the Delphi technique can  be
               .   particularly useful.


                  3.8. IS THE DEVELOPMENT OF LOW IMPACT ALTERNATIVES ENCOURAGED?
                  The value of EIA as a tool for project modification cannot be stressed too strongly. Its
                  success  in this function may depend largely  on the  way in which any given  EIA
                  methodology is applied to the project in hand. There are some methodologies, however,
                  which by their design, lend themselves to this  function. The prime example of this is
                  McHarg (1969) where the whole purpose of the process  is to create the low  impact
                  alternative. Other techniques, such as the computer overlay of Krauskopf and Bunde
                  (1972),  also  have  this capability. Sorensen (1971) may also qualify in this respect,
                  although more indirectly, by identifying impact networks and key areas of concern.

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   M. A. Thompson

   3.9. WHEN WEIGHTING IS PERFORMED ARE A NUMBER OF ITERATIONS USED?
145
   Uncertainty as to the reliability of any weighting scheme can be overcome to some extent
   by  using a  successive series of weights. These can be derived from any  number of
   reference publics or by  the  study  team itself. Computer-based methodologies  are
   particularly suited to the manipulation of weights. The value of this process lies in the
   way it reveals the emphasis placed by any particular weighting system by comparison
   with other  systems. Successive treatments may well define key areas of impact, which
   emerge regardless of the weighting system used. The use of the technique is probably best
   confined to that of an in-house tool, refining the study-team's insight into the trade-offs
   involved.  The methodology  of Krauskopf and  Bunde  (1972)  is computer-based,
   allowing easy manipulation of weighting schemes. In this respect, it is similar to the
   method developed and practiced by British Coal (Allett, 1986).
    3.10.  IS THE METHODOLOGY EASILY ADAPTED FOR USE ON ANY TYPE OF PROJECT?

    Whilst it is acknowledged that a technique developed for a particular type of project may
    be of value, as  long  as it  is used in appropriate circumstances,  the flexibility  of a
    methodology is itself an important asset. The ability to shape the assessment technique
    to fit the  unique situation at hand should increase the likelihood of a reliable report
    being produced. The use of rigid methodologies, with predefined impact categories and
    weighting schemes, where inappropriate, will distort the assessment and greatly reduce
    its value.
00  3.11. IS PROGRESSION THROUGH THE STAGES OF ASSESSMENT EXPLICIT?

    The importance of this criterion lies in the need for an assessment to be readily
    intelligible to lay decision-makers and the public. If it proceeds via a number of clearly
    defined steps, such as predictions of impact magnitude, followed by conversions to
    impact significance and explanation of the choice of key trade-offs, then this goal is more
    likely to be achieved. As applied to the 24 methodologies, this criterion excludes those
    that were lacking in specific guidelines or those such as Leopold ei al. (1971) which
    consist of only one stage.
    3.12. ARE RESOURCES TARGETED TOWARDS REACHING A DECISION?

    This criterion is essentially a combination of moderate resource needs and a clear
    presentation of trade-offs.  It implies that an on-going clarification of issues will be
    achieved during the process, without incurring unnecessary costs.
    3.13. ARE TRADE-OFFS PRESENTED CLEARLY?
    This criterion highlights those methodologies which are likely to provide the decision-
    maker with a clear series of choices between different areas of impact. It disqualifies both
    those methodologies that proceed to presentation of a final score nnH those that progress
    no further than a disaggregated presentation of data.
                  246                                                Determining Impicl significance In EIA

                  3.14. DOES THE METHODOLOGY CONTAIN A TECHNIQUE THAT, IN ITSELF, IS A USEFUL
                  ANALYTICAL TOOL?

                  It  is important that the value of quantitative techniques to the EIA process is  not
                  overlooked. Their role should, however,  be confined to that of an in-house analytical
                  tool, applied only to the types of impact that lend themselves to a quantitative treatment.
                  Scaling procedures such as the function curves used to define environmental quality in
                  the Battelle methodology (Dee el al., 1973) and WRAM (Solomon el al., 1977) are of
                  value in this respect. Also noteworthy are the transparent impact map overlays to be
                  found in McHarg (1969), and the impact identification  networks of Sorenson (1971).

                  3.15. RESOURCE NEEDS OF THE METHODOLOGY ARE UNLIKELY TO BE EXCESSIVE?

                  The methodologies that do not qualify in respect  of this criterion are those which  are
                  likely to incur high costs, either through the need for such high quality data or  via
                  expensive public participation programmes.

                  3.16

                  Examination of Table  I allows comparison of the performance of the 24 methodologies
                  against  the IS evaluative  criteria. The  criteria can all be  seen  as positive  aspects,
                  worthwhile goals for any assessment technique. The qualification of a methodology for a
                  particular criterion is indicated by a "X" in the appropriate cell of the table. It is thus
                  possible to give a broad outline of the attributes held by the methodologies within each
                  of the six groups.
                     It appears that the  methodologies in group I consider impact significance explicitly,
                  perform a number of  weighting operations where appropriate and progress explicitly .
                  towards a fully aggregated "final score" presentation. In most other criteria they fail to
                  score, although aspects  of some would  be useful components of a methodology for
                  which quantitative presentation of certain impacts was  necessary.
                     Group 2 methodologies appear generally to be an improvement on those in group I,
                  They incorporate public opinion in some cases, which tempers the influence of the study
                  team, and favour semi-aggregation of impacts and a restricted use of quantification with
                  the emphasis on targeting resources towards the clarification of trade-offs.
                     PADC methodology (Clark et al., 1983) of group 3, scores highly, except that there is
                  no specific provision for public participation which, it is felt, is a major omission. The
                  methodology  of Leopold el  al. (1971) scores poorly, but was a forerunner of many
                  techniques and as such contributed to development of EIA procedure.
                     Group 5 and 6 methodologies are at fault in not presenting an explicit indication of
                  significance, relying instead on a composite value that is part impact magnitude and part
                  subjectively assigned importance. In general, they adapt well to many different types of
                  project and have lower resource needs than their counterparts in groups 1-4. Some of
                  group 6 aid the development of low impact alternatives,  and McHarg  (1969) scores
                  highly by virtue of its presentational qualities.
                     It would, however, be wrong to sum the number of Xs for each methodology in order
                  to determine a rank order. To do so would effectively  place an equal  weight on each
                  criterion when such is not the case. Of the IS evaluative criteria, it is felt that several are
                  absolutely essential to the development  of good  EIA  practice. Significance must  be
                  considered discreet from impact magnitude; and  there  must be some  input of public
                  opinion  to regulate the influence of the study team. Development  of low impact

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              alternate should te encouraged and1 res^^                                         E
              tradc-ofls,                    • i  -  i -                i             i       i
                 A number ofother points are worthy of consideration prior to the formulation of an
              approach to any EIA.

              3. 17. CLARIFICATION OF ASSESSMENT GOALS

              A correct approach to EIA requires thorough forward planning. The aim of the study
              must be clearly defined, based on an understanding of the exact nature of the decision to
              be made. Project resources can then be directed towards a continual clarification of the
              main issues involved and a sharpening of the judgement of the team responsible for the
              study. Specific assessment techniques should be selected to perform appropriate tasks
              and not used simply because they are suggested in any set of guidelines.


              3.18. PRESENTATION OF DATA

              Where both quantitative and qualitative data are presented, care should be taken  that
              the  former are  not  given undue emphasis. The conversion of raw data by scaling,
              ranking or rating, results in a loss of information  that may be both of use and readily,
              comprehensible to the decision-maker. If it is accepted that a semi-aggregated presenta-   ~
              tion of data under broad impact-type headings is of most use to a decision-maker, then;  ;
              complex data manipulations can be avoided. Qualitative impact descriptions, combined,
              with quantitative data where appropriate, should suffice to indicate which project option?  >
              is favourable for any given impact type. It  is then for the decision-maker to make the
              necessary value-judgements.
                 The presentation techniques chosen should serve to highlight trade-offs. The use of
              checklists, matrices, graphs, summary tables and transparent map overlays may all be of
              value as long as their use is integral  to the  assessment, and not merely cosmetic. Such   -
              graphic presentation may be very persuasive and should be justified by the importance of  u
              the information it represents.                                                      :
            3.19. THE STUDY-TEAM INFLUENCE

            All decisions made by the study-team should be adequately documented if possible in the
            main body of the  report and  not  in appendices or additional volumes. Whilst the
            attraction of separating details of the techniques employed is understood, it is necessary
            that the decision-maker and any lay-readers have the reasons for any decision or line of
            procedure readily to hand. If not, their understanding of the report will be incomplete.
               The use of structured group decision-making techniques should be considered by the
            study-team to ensure that a true consensus of views within the group is reached.
            3.20.  UNSUITABLE TECHNIQUES

            It  is recommended that the degree of quantification of impacts should be carefully
            regulated, particularly  in cases where only  a few project alternatives exist, and a
            relatively "coarse" assessment may  be adequate to determine the standing of each
            alternative  with  respect of any  particular  impact.  Further  refinements,  which are
            unnecessary to the decision, may prrve costly in time and money .n.J might only serve to
            complicate  the issue.
                                                                                                       ltt"
                                                                                                                                                                  31 •! '
                                                                                                                                                                  lii in

                                                                                                                                                                                               !i a
                                                                                                                                                                                -i
                                                                                                                                                    MS I  Dtftn»lnt»t l»j«1 jJt_      fc"EIA
   It is strongly recommended that methodologies which proceed through full aggrega-
tion of impacts lo a "final score", should not be used as an assessment technique, the
results of which are intended for use by the decision-maker. Such an approach would
remove the decision from those appointed or elected for that purpose and place it in the
hands of the study-team. There is, however, a strong case for using certain component
techniques from such methodologies as in-house tools for the clarification of certain
impacts.
   Arbitrary weighting schemes that are the product of study-team preferences should
also be avoided. The impression gained from consultation with EIA practitioners is that
weighting of impacts is commonly performed, but most agreed that it is necessary to
confine this weighting to an in-house procedure.  If a public consultation process is
operating, the basis of a weighting scheme not derived solely from expert opinion should
be readily to hand.
4. Future training and research

An awareness and understanding of the use of quantitative techniques is essential to the
production of good EIAs in the future. Appreciation of their merits, limitations and
most appropriate areas of application  will hopefully serve to eliminate the use of
numbers  for their own sake. In its place must come appropriate quantification, i.e.
quantification that is both reserved for impacts that lend themselves to such treatment
and that results in a clarification  and not a  clouding of the issues. Accordingly,
competence in the performing of impact prediction, scaling, weighting and aggregation
is essential for the analyst. This competence should,  however, be accompanied by an
appreciation that the role of these techniques is best restricted to the in-house level.
    A point worthy of strong emphasis, when training future EIA practitioners, is that
standard  methodologies and techniques are, in every case, of secondary importance to
an appreciation of the unique nature  of the project  and its interaction with the
environment. Quantitative techniques  should  be seen as  useful  tools  to aid  the
evaluation and expression of this interaction. Otherwise, a pre-occupation with compre-
hensive assessment methodologies runs the risk of reducing the project's status to that of
a source of raw data with which to complete the various "boxes" of a methodology.   =
    Prediction, probability and risk  analysis are areas in which  improvements in
 information and understanding would benefit  the EIA  process, by working towards
 more reliable statements of impact magnitude.
    Study could also  usefully be  made  of current trends and practice in pub1ic_
consultation. Within the field  of EIA, this study will determine the current state and =
highlight areas of deficiency. A study of related fields where information is gathered
from populations may provide a number of techniques  which could  be  applied -
 innovatively in EIA.
    It is important that the products of any such research are effectively communicated.
 Alerting  the developers responsible for large projects to the benefits of public consul- :
 tation is worthwhile,  one of the  main benefits  being  the  avoidance of t.-itly  and
 protracted public inquiries.
    The range of methods available to a study team  for maximising the objectivity of
 their output is also worthy of study.  Useful options must exist in other fields, which
 could be applied to the EIA process.

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M. A. Thompson

References
24»
                 ISO
                                                                                Determining Impact significance In EIA
Adlcins. W. G.. and Burke D. Jr. (1974). Social. Economic and Environmental Factors In Highway Decision-
   Making. Research Report 148, Texas A and M University College Station, Texas.
Allelt, E. J. (1986). Environmental impact assessment and decision analysis. Journal of Operational Research
   Society 37. 901-910.
Baumann, N.. Ervin, O. and Reynolds, O. (1982). The policy Delphi and public involvement programs. Water
   Resources Research 18,721-729.
Beanlands.  G. E. and Duinker. P. N.  (1983). An Ecological Framework of EIA  In Canada. Institute for
   Resource and Environmental Studies, Dalhousie Uni.
Bissell, R. (1978). Quantification, decision-making and environmental impact assesimenl in the U.K. Journal
   of Environmental Management 7, 43-58.
Bissett, R. (1980). Methods of environmental impact assessment: recent trends and future prospects. Journal of
   Environmental Management II, 27-43.
Clark, B. D.. Chapman, K., Bisset, R., Walhern, P. and Barrett, M. (1983). A Manual for the Assessment of
   Major Development Proposals. PADC Aberdeen University. London: HMSO.
Council of the European Communilies(l985). Council Directive 85/337/EEC. Official Journal ofthi European
   Communities.
Crawford, A. B. (1973). Impact Analysts Using Differentially Weighted Evaluation Criteria, in Multiple Criteria
   Decision Making. Cochrane,  J. L., and Zeleny, M. (eds). Columbia, SC: University of South Carolina
   Press.
Dee. N., Drobny, N., Duke, K., Whimann, I., Fahringer, D. (1973). An evaluation lystem for water resources
   planning.  Handle Laboratory Water Resources Research 9,523-535.
Delbecq, A. L. and Van De Yen. A. H. (1974). The effectiveness of nominal, Delphi and interacting group
   decision-making processes. Academy of Management Journal 17.
Dicker!, T. G. and Domeny,  K. R. (eds). (1974).  Environmental  Impact  Assessment: Guidelines  and
   Commentary. Berkeley, California.
Eliolt. M. L.  (1981). Pulling the pieces together: amalgamation in EIA. EIA Review 2,11-38.
Environmental Impact Centre, Inc. (1973). A Methodology for Assessing the Environmental Impact of Water
   Resources Development.  PB-226 545. U.S. Dept.  of the Interior, Bureau of Reclamation, Denver,
   Colorado.
Environmental Resources Limited. (1981). Environmental Impact Assessment. Studies on Methodologies,
   Scoping and Guidelines. Final Report for the Govt. of the Netherlands. London: ERL.
Environment Canada. (1974). An Environmental Assessment ofNanaimo Port Alternatives, Ottawa. Environ-
   ment Canada.
Ertel, M. O. (1979). A survey research evaluation of citizen participation strategic*. Wafer Resources Research
   IS. 757-763.
Fischer, D.  W., and Davis,  G. S. (1973).  An approach to assessing environmental  impacts.  Journal of
   Environmental Management I, 207-227.
Hill, M. (1966). A method  for evaluating alternative plans: the goals-achievement  matrix applied to
   transportation plans. Ph.D. Dissertation, University of Pennsylvania, Philadelphia, PA.
Hobbs, B. F.(I985). Choosing how to choose: comparing amalgamation methods for EIA. EIA RevIewS,3Q\~
   319.
Hollick, M. (!98l).iThe role of quantitative decision-making methods in environmental impact assessment.
   Journal of Environmental Management 12,65-78.
Kane, J., Verlinsky, I. and Thompson, W. (1973). A methodology Tor interactive resource simulation (KSIM).
   Water Resources Research 9,65-79.
Keeney, R. L. and Robilliard, G.  A. (1977). Assessing and evaluating environmental  impact at proposed
   nuclear  power plant sites. Journal of Environmental Economies and Management 4,153-46.
Krauskopf, T. M. and Bunde,  D. C.  (1972). Evaluation  of environmental impact through a computer
   modelling process. In Environmental Impact Analysis—Philosophy and Methods,  Dillon, R. and Goodale,
   T. (eds), pp. 107-125. Madison Wl:  University of Wisconsin Sea Grant Program, 107-125.
Leopold, L.  R., Clark,  F. A.,  Henshaw,  B. R. and  Balsey, J. R. (1971).  A Procedure for  Evaluating
   Environmental Impact. U.S. Geological Survey Circular 64S.
Loran, B. (1975). Quantitative assessment of environmental impact. Journal of Environmental Systems S, 247-
   256.
McAllister, D. M.  (1980). Evaluation in Environmental Planning. Assessing Environmental, Social, Economic
   and Political Tradeoffs. Cambridge, MA: MIT Press.
Matthew, W. H. (1975). Objective and subjective judgements in environn^-'nl impact assessment. Environ-
   mental Conservation 2,121-131.
McHarg, I. L. (1969). A Comprehensive Highway Route Selection Method,  i        -iil«p Nature, pp. 31-41.
   New York: Doubleday.
Mullia--  v  Task  Force. (1972). Guidelines for Implementing  Principles and Siaiiil:ii
-------

                             Mitigation measures are actions designed to minimize or to compensate for
                     undesirable impacts of a proposed activity. Furthermore, they are often the focal
                     pints for opposition and debate relative to  projects.   (Canter et.  al    1991;
                     Attachment  4.H).   Although the U.S. regulations implementing NEPA  include
                     avoidance as a mitigation measure, many practioners make a distinction between
                     avdidanceas a mitigation measure and other types of mitigation [i.e., reducing
                     or eliminatingj'parts of'the proposed activity; repairing, rehabilitating, or restoring
                     the  affected  environment; instituting  management practices over the life of a
                     project to reduce or eliminate the impact;  or replacing or providing  substitute
                     resources or environments (i.e.  compensation) (Table 4.5-1)].  These categories
                     of mitigation are arranged in order of their desirability; compensation is the least
                     desirable approach.
                       Table 4.5-1.  Categories of Mitigation.  (Source:  Adaptation of Council on
                                   Environmental Quality Regulations, 40 CFR 1508.20)
 •liiill	r;
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    1. Avoidance:             Mitigation by not carrying out the proposed action or the unacceptable parts of the
   	    	,	,	i	.1, ,.,.	,, , ,„,',	'	  propo»ed action. For example, if the only area available for a regional airport happens
                            to be an area of extensive wetlands that would be filled in by construction of the airport,
                            avoidance of the action might be the only reasonable way to protect those wetlands.
   I''S ',I f^iilSt '*aljtl	'Sill-i'»I'i,W^Jj^JjJ Jgf.JiJIIjl i; "llljjl	f,fl	Ji ;•	|!|j|i|;;.ii;- -,,ijii,,.;,, „, .r^ _	,,,,,, ,(ll; „	  	||r| IM,	, | |	

    2. Minimization:           Mitigation by scding^own the magnitude of a project, reorienting the layout of the
                            project, or employing technology that reduces the factors generating the undesirable
                            environmental impact. For example, the treatment capacity of a wastewater treatment
                            plant discharging to a river might be reduced or it might be required to use advanced
               	       " water treatment techniques.


                            Mitigation through the restoration of environments affected by the action. For example,
                 ., jii.,:,!	,	    areas cleared for the installation of pipelines or power lines can be regraded and then
                            replanted with native vegetation.

                            Mitigation by taking maintenance steps during the course of the action.  For example,
                            stormwater management systems can be designed to trap sediments from developed areas.


    5. Compensation:           Mitigation through the creation, enhancement or acquisition of environments similar to
::='•:; 'I'i'i;,":	in:,:;::;::-, '.jiv •;•., "I-v^..'...;,;;	 those affected by an action. This step should only be considered after all steps above
      •./li	»	i	,	n r	' ,   ,  have been completed. Xi a last resort, donation of land or money for a regional program
      .sly i: *l	I iJiAilfa:.	,,111111	f;	I!',; >„ ,i :i'	;:', in1 is1 fij	jraiii	i	me a	„	,„	.is,	                       J       °    r  *
                     •'tii,:":,) :;i   of habiut creation or enhancement could be considered.
                    h in i, '„,'!" 1 „!;''! ,v, :'ll,li"" mill niion,!, i nil	a i .:iii|iiiii«ii,!ii:i s1" Ulnuii iriui'I	I!"!	'" n' "Ilu""!ll "!„;	r .,
                                                    Mil   II   III 111  (111 III                 1           ;,
                                                          	  I III I   I  I III III I III 	II  IR-
 3. Rectification:
                     4. Reduction:
                    -
                 iilia	iK
                                 'I.!, iliilllt.'!
1  ''	  J' »'  \-iS^^	,	K,s;ii5,.vlJ;\	.,	
 *For purposes of this  document, the term Environmeni
 Environmental Impact Assessment (EIA) process.
                                                                                              will refer to  the
                                                                                                                                      •III

-------
       Ideally, potential impacts of a proposed activity are identified early during
the initiation and scoping stages of a project and all reasonable means to avoid
and  minimize impacts are incorporated into  the  alternatives that are being
considered.   Compensation  for  the  remaining impacts is a final stage of
mitigation.

       If the acceptability of an  alternative depends on fulfillment of certain
mitigation measures, then it  is important to clearly specify and consider the
mitigation measure(s) in the analysis of alternatives and to ensure  that any
mitigation measures  are incorporated into the final decision  on the proposed
activity.  Records of decision in the United  States  must identify  the mitigation
measures and  the monitoring and enforcement programs that the agency has
committed to adopt.  These commitments are legally enforceable when they are
included in  permits,  licenses or grants.  However, other than monitoring for
conditions written into permits, licenses or grants, the EA laws of most countries,
(excepting the United States and The Netherlands) do not explicitly require post-
EA monitoring for the effectiveness of mitigation measures.  Thus, there is
generally no motivation to confirm that mitigation measures identified during the
planning stages of a proposed activity and/or written into a decision document are
actually carried out.

                                                                  NEEDS

       •     Effective mitigation  planning  based  on the availability  of
             information for and understanding of the proposed activity, its
             potential impacts, and the affected environment.

       •     Identification   of   realistic  mitigation  goals   and  measures.
             Innovative approaches  and attitudes should  be encouraged in
             solving problems and developing mitigation plans. The public may
             provide  acceptable ways of resolving local issues of concern
             (Attachment 6. A).

       •     Identification of any local, regional, tribal, national or international
             laws, regulations, or standards that may affect proposed mit=  -ntion
             measures.  For instance, the  U.S. Surface Mining Contri  and
             Reclamation  Act has requirements which must  be undertaken to
             avoid,  reduce  or  compensate for adverse impacts  of mining
             activities.

       •      Surveillance  and legal and regulatory enforcement of mitigation
              measures.  Non-governmental organizations can play an important
              role in overseeing the effectiveness of mitigation actions.
                                  1.5.15-2

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                               I
                           Periodic  evaluation of mitigation  measures  and  subsequent
                           modification as appropriate (Chapter 6).
                         11	•	! 	•"   	  «   •      "  I    	          	
                                                                                TOOLS
  llilPli ', {'


  I'll	Ii, !, "" «|,
''lii1 Ijli IP"

,il" !|i:'""
IIMlL '

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                      . 	HI! ol'llllllJIUI	"!>. BINIl
                           Checklists
For many major activities,  the environmental issues and
potential environmental impacts are well known and  there
are recognized common mitigation measures.  Checklists,
either computerized or otherwise are a good way to screen
proposed activities for potential impacts  and to  identify
potential  mitigation  measures.     The  U.S.  Army
Construction   Engineering   Research   Laboratory
(Champaign, Illinois)  operates an Environmental Impact
Computer  System mat  indicates,  for various  project
activities, fhe probability of impact occurrence,  why the
activity was scored as it was, and ways to lessen  or avoid
jhe impacts of the activity.   The World Bank has  recently
published (1991) an Environmental Assessment Sourcebook
that reviews  the  major issues and provides checklists of
potential negative impacts arid mitigating measures for 32
different development,  urban, energy, and industry projects
     ai	i-,r -'"i	:,
filiii'ii> i' *W1 'iiiiiir*'
             *"'	: '•*	'	'"'	''	'*'•• "(Attachment 2.B).
             • "I"1!-1	III1'1'!*! >' illiilllli. i.'H ,'; Hill,;	i,!(lt i,!! if,;;	;,; • (.Jin	;  ,!';,;, .
             '	**':'"	^ilii"!111 iJIiii:1'!:,;11 ivsiHM^	k'i, 'viS! " ,>'*•.' "',
             *,""„,Case Studies
                                          '.i '••' iii'-S'i	 • •;,.!; < ;,i ,f;"(i;,,,!1

                                          .. T f*,!'^'1'ii'l,!' '. '.i•:','»:;.
                                  Review of EA documents for similar projects is a useful
                                  way to identify potential impacts and associated mitigation
                                  measures.  Canter" etal.   (1991) summarized the general
                                  biological impact mitigation  measures  for wastewater
                                  treatment projects, surface mining operations and highway
                                  projects found in  18 environmental impact statements and
                                  three project reports (Attachment 4.H).  Certain impacts
                                  were generic to nearly all major construction activities;
                                  operational phase impacts were addressed less frequently.
                                  The  specifics  of the mitigation  measures  varied  in
                                  accordance with the location and magnitude of the proposed
                                  activity.  Table 4.5-2 summarizes the predicted impacts arid
                                  associated mitigation measures of these 21  studies.  It is
                                  not meant to be all inclusive but is included  here as  an
                                  indication of some of the approaches to mitigation.
                                                                              ..::	: t:

-------
          Table 4.5-2.  Summary of Impacts and Mitigation Measures
      for 21 Projects (Eight Wastewater Treatment Facilities,  Five Surface
          Mining Operations, and Eight Highway Construction Projects.
                        Adapted from Canter et. al.  1991).
Impact
Mitigation Measure
Lou or disturbance of vegetation
Diiruption or lot* of wildlife (including
habitat and nesting areas)
Erosion and sedimentation
Potential introduction of toxic substances
into soil or surface water
Limit/zone areas to be cleared; Conserve topsoil; Revegetation
program; Management of reclaimed lands; No use of herbicides or
defoliants

Consult wildlife agencies; Minimize habitat disturbances; Avoid
sensitive areas; Replacement of affected areas (e.g., nesting area);
Creation of aquatic habitat (ponds); Enhancement of habitat; Plan
activities around critical periods for wildlife  (e.g., migration,
spawning); Management program; Bus transportation to work site

Schedule activity during dry months; Buffer zones along streams;
Limit area disturbed at any one time; Avoid stream crossing by
boring beneath or bridging across; Temporary cover crops prior to
revegetation;  Use  of silting basins, traps;  Keep excavation
materials away from streams; Slope contouring; rip-rap on bridges
and approach slopes; Stream reconstruction

Control rate of application to acceptable amounts; Dike treatment
works, storage tanks, etc.
                Design specifications

                        During initiation, mitigation measures applicable to design,
                        construction,  operation,  and  abandonment  should  be
                        defined and  subsequently  incorporated into  final  design
                        documents (e.g., best  engineering  practices:  pr ~tices
                        specified by  state and local requirements  for const;   '.ion
                        such as erosion control; American Society for Testing ^nd
                        Materials  Standards).     Consultation   among   project
                        managers,  engineers,  and environmental staff helps bnng
                        about   clear  direction on  mitigation  through  planting,
                        design,  project  phasing,   construction   techniques  and
                        scheduling.  Some measures must be individually adapted
                        to specific project situations,  others can be drawn  from
                        reliable resource  documents with acceptable mitigative
                                       1.5.15-4

-------
                          ill ill
                                   I 'I I"
"I i!	£..im*:
       measures  (e.g.,  Forest  Service  Management Plans).
       Individual or innovative measures should be field tested to
       verify their adequacy under a range of conditions prior to
       wide-spread use.

       Once mitigative measures have been incorporated into
       project  planning and  design,  the  remaining  potential
       impacts are evaluated during the analysis of alternatives.
       The remaining (residual) impacts resulting from the project-
       environment interactions will consist  of those which were
       reduced but not eliminated by mitigative  measures and
       those for which mitigative measures  were not necessary,
       not possible or not implemented.  Residual impact analysis
       can  also identify  the  persistence and  duration of any
       impacts that may extend beyond the life of the project,
       including permanent environmental alterations.

 Expert judgment                                            '

       The value of expert judgment in the choice and  design of
       mitigation measures (and to the EA process; Part 4.3) lies
       in me ability of the professional to: sort through  irrelevant
       information to get to the root issue; reach solutions using
       incomplete data; make finer categorical distinctions than
       non-experts; and perceive recurring patterns in a problem
       aid to associate solutions to  the patterns.   This ability is
       based  on   conceptual,  analytical   and  experimental
 ;":":!: ^™^^So\j^dgje acquired through training and practice.  The
 ..^ ^^^^^[•^^^Q^	t0	expert judgment in EA relate to the
*'^ ^^§Sality	of  expertise and the uncertainty inherent  in the
       judgment and reasoning of the expert. Moreover, there is
       often a great  diversity of opinion  among experts on any
       given environmental question (Nelson  1990). Nevertheless,
       there are experts on mitigation who should be consulted on
       practices such as revejgetation, wetland reclamation, and
       erosion control.
                                                     ISSUES
 Illll1
 Mitigation  strategies  may  require  integrated  planning  and
 negotiation to reduce  conflicts  with local  views,  needs,  and
 customs  and local,  state, tribal, and  other federal  agencies
 (Attachment^.A).  	 		
                                         1.5.15-5

-------
       •     Institutional  arrangements  for  implementing  and  evaluating
             mitigation measures must be defined, agreed to, and adequately
             budgeted for at the time of decisionmaking.  Mitigation, to be
             meaningful, must be able to last over time thus the need for post-
             project analysis and financial guaranties to ensure that if mitigation
             does not succeed initially, as proposed, further efforts will be
             made to achieve the objectives described in the decision document.
             The selected alternative and its associated mitigation then become
             the basis for the conditions of permits, contracts,  and the detailed
             design of the project.

       •     There are  many approaches to  identifying potential  mitigation
             measures for adverse biological impacts of proposed projects (e.g.,
             checklists,   computerized  systems,  case  studies,  professional
             judgment).  However, the information provided is mostly generic
             and must be adapted to site-specific conditions; the methodologies
             have not been used extensively as a part of the EA process; and
             data are lacking on the effectiveness of the mitigation measures.

       •     The reasons given by Lee (1987) for lack of success in mitigation
             for wetland loss are applicable to other situations as well.  These
             include:

                    inaccurate bounding/delineation of the predicted impact;
                    use of mitigation as a means to access the resource and/or
                    to assuage regulators;
                    inadequately developed or understood technical means to
                    achieve the mitigation objectives;
                    use of spatial and temporal scales for mitigation that are
                    inconsistent with site-specific impacts;
                    lack of project continuity; although goals are  set  and
                    planning is completed, projects are never begun, finished,
                    or monitored for success.

       •     Care must always be taken that a mitigation measure does not shift
             a problem  in one medium to another medium (e.g., air pollution
             to waste disposal)

                                                              LINKAGES

       Consideration of mitigation measures is linked to each element of the EA
process.  During the early planning stages of initiation, determination of the need
for and  development of mitigation measures starts with the proponent and
continues during scoping with input from the public and other agencies.  During
                                   1.5.15-6

-------
               the  assessment  stage,  mitigation measures  are factored  into  the analysis of
               alternatives.  For decisionmaking. EA documentation should include the options
               for mitigation of impacts for each of the alternatives if necessary.  Throughout
               implementation of the project (i.e.,  construction, operation, and abandonment),
               post-decision  analysis  should  evaluate the  impacts and  the effectiveness of
               mitigation measures to allow for modification of the project or development of
               addition mitigation measures in  case of unpredicted impacts.  A post-decision
               analysis of mitigation  measures provides feedback on the accuracy  of impact
               predictions and  the  effectiveness of the  mitigation in order  to  transfer the
               experience to future activities of the same type.
                                                                                           CES
               ganter, L. W., J. M. Robertson, and R. M. "Westcott.  1991.  Identification and
                      evaluation  of biological  impact  mitigation measures.    Journal  of
                      Environmental Management 33:35-50.
 11 in
  in
               Lee, L. C.  1987.  Mitigation for wetland loss:  how much is appropriate? In:
                       Environmental Impact Assessment, Proceedings of a Conference on the
                       Preparation and Review of Environmental Impact Statements (ed. N.  A.
                       Robinson).  New York State Bar  Association,  One Elk Street, Albany,
                       New York 122671 ™ "="1":	'"'"	'	""":::  ™""'s	= '"	ri
                in            ill  n in i   i (•'',:, ",	  ii	ir 'inr	:,'"", »i	MI;  j	,,!iii,'iii ,"",,1,  'r	} ,11,1,  ,'i,i" sill,,!	,1,1"',	     i  i     I, i in
                                    "ill,,",,,""'1, • ,  "i"!	i,	s "a ,- '::i""iii,,'
Nelson, R. W.  1990.  Can experts agree on policy directions toward wetlands
        and agriculture?  The Environmental Professional 12:131-143.
               World Bank.  1991. Environmental Assessment Sourcebook. Volumes 1^ II, HI.
                      The World Bank, Washington, D.C.
               i HOI'
               liSS"1 "
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                  •Ill il	!||ii '111,  'IM'T: iljji liijiiillfi  Mill  i	 >ri,,, ,'4 ! '. :'/- ,,,'' |, i'T  lit; ,  "V.i1  ', „,' ILI'in  "  J''r,  " V  ',,,! ft ;' 'f]'f>^ I'J,	,i	:;	'illiiiliiW'V'.iilri'* ' ilJr,'! Iilin :!;. ill!!1: „,.!"„ ' lin'SIPW111,''. .JfV.'Jr'.ll	["'if	l^l'lililL 'W'-'lll1'1 ':! 	!- 'I'*!
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                                  MEASURES
-':	"> ''•'•'-" '•'< •''"'3""-.	3	T	!:;•!'!*:':	^ « '"f ii	:' • '	; i, :'  &w	•.', i	: jii- ;^/jj	„:	a;m	•; •	j	,|;•.   ,;,:,.f
                         Canter,  L.  W.V L  M! Robertson,  and R. M. Westeott:    1991.   IdeMflcalbn and
                         evaluation  of  biological  impact  mitigation  measures.    Journal  of  Environmental

                         Management 33:35-50.
                                               M! !!!' .f'l'lliii;, 	I
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                                                                      1.5.15-9
                                                                                                                                             11 111

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1.5.15-10

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ii

    1  '«(
v»
(U>
 I
                                                                        i   ':
            ' Identification and Evaluation of Biological
                        Impact Mitigation Measures
            f
                   L. W. CANTER, J.M.  ROBERTSON AND R. M. WESTCOTT
                                                                                       =   Wentlficatlon «nd Ev*fu»Hon of Biologlcallmpact MlffgaHon    i    =
                                                                                       =  Measures                                           i                !
                                                                                                      :        i           --              ;        =:   !

                                                                                           L. W. Canter,* J. M. RotxrUonf and R. M. Wesfcollj*  I             j    =
                                                                                                                                                '   i             •    _
                                                                                       .   * Environmental and Ground Water Institute University of Oklahoma, Norman,   i
                                                                                           Oklahoma, U.S.A. and ^University of Oklahoma. Norman, Oklahoma,  U.S.A.    f


                                                                                           Received 26 February 1990
                                                                                                  Identification and evaluilion of mitigation measures Tor adverse biological
                                                                                                  impacts of proposed projects are often the focal points for opposition and
                                                                                                  debate relative to the projects. This paper delineates several positive approaches
                                                                                                  for both identifying and evaluating potential mitigation measures. Identification
                                                                                                  approaches include the review of utilized measures for similar projects,
                                                                                                .. computer-based literature and information searches, and the use of
                                                                                             '? .'. computer-generated checklists of potential measures. Utilized measures for eight
                                                                                              1 '• waslewater treatment projects, five surface mining operations and eight highway
                                                                                             ; jj;, .projects are described. Evaluation approaches include posl-EIS environmental
                                                                                             '£ :i monitoring, pre-project qualitative evaluation based on case studies, and
                                                                                               -- J" pre-project quantitative evaluation using structured habitat-based methods.
                                                                                                  Based upon this review, it has been determined that there are an ample number
                                                                                             "f ;: of approaches which can be used to identify potential mitigation measures lor
                                                                                                j the adverse biological impacts of proposed projects. However, while systematic
                                                                                                l\ methodologies are available for evaluating the potential effectiveness of
                                                                                                  mitigation measures, these methodologies have not been used extensively as a
                                                                                              i •; part of the EIS process. Additional attention needs to be given to the
                                                                                             : v :> incorporation of mitigation evaluation schemes in pre-project environmental
                                                                                                  impact studies.

                                                                                              a   Keywords: environmental impact, monitoring, wastewater, mining, highway
                                                                                                  projects
                                                                                                  1. Introduction
                                    Reprinted from the
                           Journal of Environmental Management
                                 Vol. 33, No.  I, pp. 35 50
                                         July 1991
                                                                                          Planning and implementation of appropriate mitigation measures for adverse biological
                                                                                          impacts represent important activities in the environmental impact assessment process.
                                                                                          Actual mitigation measures may  encompass  several techniques.  For example, the
                                                                                          Council on Environmental Quality (CEQ) in the United States has indicated that impact
                                                                                          mitigation  should include the  sequential consideration of the following (Council on
                                                                                          Environmental Quality, 1978): (I) avoiding the impact altogether by nut taking a certain
                                                                                          action or parts of an action; (2) minimizing impacts by limiting the degree or magnitude
                                                                                          of the action and its implementation; (3) rectifying the impact by repairing, rehabilitat-
                                                                                          ing or restoring the affected environment; (4) reducing or eliminating the impact over
                                                                                       I                                        35
                                                                                       _  0301-4797/91/050035+16103.00/0                             © 1991 Academic Preii Limited

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      36
                                                    Dlologkil Impict mlll|*llofl mcumti
K>
time by preservation and maintenance operations during the lire or the action; and (S)
compensating Tor the impact by replacing or providing substitute resources or environ-
ments.
   Sequential consideration  suggests that the more easily implemented techniques
should be selected first, for example, avoiding impacts or minimizing impacts. Compen-
sation would only  be considered  if other techniques  do not completely satisfy the
mitigation needs. It  should also be noted that the techniques are not mutually exclusive,
that  is, several might be used in combination in an overall mitigation plan for a given
project.
   The purpose of this paper is to document several approaches which can be used  to
identify  both potential  biological impact mitigation  measures  and evaluate their
potential effectiveness prior to and following implementation. The paper will begin with
background information on the institutional requirements for mitigation; this will  be
followed by the delineation of several approaches for the identification and evaluation of
specific mitigation measures.


2. Institutional requirements for mitigation

The  generic  legislation within the United States which calls for biological impact
mitigation  is the National  Environmental Policy Act (NEPA) of 1969 (PL 91-190).
Procedures for implementing the environmental impact statement (EIS) requirements  of
NEPA have been developed by the CEQ. Agencies within the United States are required
to prepare records of decisions (RODs) on projects having EISs. The RODs must state
what the decision was and identify all alternatives considered  by the agency in reaching
its decision,  specifying  the alternative or alternatives  which were considered  to be
environmentally preferable (Council on Environmental Quality, 1978). In addition, the
RODs shall slate whether all practicable means to avoid or minimize environmental
harm from  the alternative selected have been adopted, and if not, why they were not.  A
monitoring and enforcement program shall be adopted and summarized where appli-
cable for any mitigation program.
   Several  specific environmental quality and natural resources protection laws have
been  adopted within the United  States.  These laws  typically include  policies and
implementation requirements for  biological impact  mitigation  measures.  Table   I
includes an example listing of some of these laws. Two notable laws in addition to NEPA
are (he Surface Mining Control and Reclamation Act (SMCRA) which delineates
mitigation requirements directed toward restoring habitat disturbed by surface mining
operations; and the Endangered Species Act (ESA) which addresses requirements for the
protection of habitat for threatened or endangered plant or animal species.


3. Identification of mitigation  measure*

Systematic  approaches can be used to identify  potential mitigation measures for the
adverse biological impacts of proposed projects. A complete review of all approaches is
beyond the scope of this paper; however, three examples will be presented: (I) review  of
utilized measures for similar projects; (2) use of specific literature-based information on
appropriate measures for  reducing particular adverse impacts; and  (3)  use  of a
computer-generated checl-M«i of potential mitigation measures. The review of EISs and
'"{dance documents can <  'istful  in gaining insight into mitigation requirements and
    •lices. To illustrate lh  usefulness, examples  for United States projects r   ' Te
 L. W. Cinlcr tl *l.

 TABLE I. Example listing of United Stales laws which may directly or indirectly address biological
                             impact mitigation measures

 Anadromous Fish Conservation Act
 Bald Eagle Protection Act
 Clean Air Act
 Clean Water Act
 Coastal Zone Management Act
 Comprehensive Environmental Response, Compensation ;md Liability Act (Supcrfund)
 Endangered Species Act
 Federal Insecticide, Fungicide and Rodenticide Act
 Fish and Wildlife Coordination Act
 Golden Eagle Protection Act
 Marine Mammal Protection Act
 Marine Protection, Research and Sanctuaries Act
 Migratory Bird Conservation Act
 National Environmental Policy Act
 Resource Conservation and Recovery Act
Superfund Amendments and Reauthorizalion Act
Surface Mining Control and Reclamation Act
Toxic Substances Control Act
Wild and Scenic Rivers Act
Wild Horses and Burros Protection Act
                                                                                              categories—wastewater treatment facilities, surface  mining operations  and highway
                                                                                              projects—will be presented.


                                                                                              3.1. UTILIZED MITIGATION MEASURES FOR WASTEWATER TREATMENT PROJECTS

                                                                                              Development and implementation of wastewater treatment systems are presumed to tic
                                                                                              beneficial to  the physical-chemical and biological environments in that the pollution:)!
                                                                                              components of wastewater discharges are minimized. While this is generally true, there
                                                                                              may be many adverse impacts associated with wastewater treatment facilities, including
                                                                                              those that  occur to the biological environment. Table  2 contains a summary of the
                                                                                              general biological  impact mitigation measures identified in  eight EISs. Four major
                                                                                              biological  impacts were associated with the  construction  phases  of  the facilities.
                                                                                              including two direct impacts (loss of vegetation and disruption of wildlife) ami two
                                                                                              indirect impacts (erosion and sedimentation, and destruction  of streams and degluti-
                                                                                              tion of water quality). The most frequently used mitigation measure was a revcgclaijnn
                                                                                              program. Operational phase impacts were less frequently addressed and include only
                                                                                              two issues: (I) problems from land application  of wastewater; and (2) eulrophicaiion
                                                                                              from nutrient additions or accidental discharges.
                                                                                                  Construction phase erosion represents one  of the major  impacts of concern for
                                                                                              waslewater treatment plants. Basic information necessary for es'; -'ling erosion in-

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Ul
t—»
OJ
      TA.U 2. Summary of biological iwpiet
                                                             for eJffct wistewater treatment
                                            ficililies i
                                                      Wutewiter treatment fict'Hlyt
      Impact

      Construction phase)
        Loss of vegetation
                          Mitigation measure
         Disruption of
         wildlife
         Erosion and
         sedimentation
          Destruction of
          streams and
          degradation of
          water quality
                Revegelation pro-
                gramme
                Reduced destruction
                by zoning construction
                areas
                No use of herbicides
                or defoliants
                Plan activities around
                critical periods for
                wildlife
                Minimize habitat dis-
                turbance
                Plan activities during
                dry months
                 Use temporary cover
                crops or immediate re-
                 vegetation
                 Use silt basin and
                 structures to catch silt
                 in runoff
                 Accomplish stream
                 crossings by boring
                 beneath or bridging
                 across
                 Keep excavation
                 materials away from
                 stream
        Operational phase
          Land application
          of waslcwater to
          vegetated areas
                  Control rale of appli-
                  cation to acceptable
                  amounts
Hutrophicalion   " Use non-phosphate de-
and/or degradation tergents
of water quality
                  Enclose major treat-
                  ment works with dikes i
Spring,.
                 Env.ronr,,
                  : (4) Be..
                                                         EnS^menUl Protection Agency. 1979); (5)
                                                                     a. Oklahoma (U.S. Environ-
                ...n.l,nn.r« miM»nnn n,r»,mf
  eludes selected soil properties such «s erosion potential, soil suitability for various (anil
  uses and geographical distribution. This information can be procured from several m
!  sources, including a computer data base called SOILS; this data base is  part of the I
:  Environmental Technical Information System of the U.S. Army Construction Engineer- *
\  ing Research Laboratory (U.S. Army Construction Engineering Research Laboratory, i
I  1988). The information in soils  is from the data collection program of the U.S. Soil »
•  Conservation Service,                                                               J
!     Commonly used erosion mitigation measures include planning construction during j
,  drier months so that there is less potential  for the impact, and revegetalion involving _
!  seeding or replanting the area as soon as possible. Physical measures involve  the building i
  of dikes, diversions and stabilizing structures. Table 3 addresses erosion and seditnen- j
  talion impacts and mitigation measures as related to waslewater treatment facilities; =•
  included are some alternative revegetation enhancement methods (FilzPatrick el til., ;
  1977). There are ample mitigation measures  which can be  used to  minimize the;
  detrimental biological impacts which might occur as a result of erosion during the 5
•  construction phase for wastewater treatment facilities.                               ?


  3.2. UTILIZED MITIGATION MEASURES FOR SURFACE MINING OPERATIONS                  ''•

  Surface mining activities may cause numerous undesirable impacts on  the biological $
,  environment. The key law related to mitigation measures for surface mining operations ^


  TABLE 3. Mitigation measures  for erosion during waslewater treatment facility construction
                                 (FitzPatrick  el a/., 1977)                               ~

  Plan development based on drainage patterns, topography and soils of site.                  ;
  Avoid removal of trees and surface vegetation wherever feasible.
  Minimize exposed land area and duration of exposure.                           '        ^
  Divert runoff around exposed areas to stabilize outlets.
I  Provide temporary cover on areas of critical erosion hazards, and establish permanent cover as 4
1  soon as possible.                                                                      |
  Construct impoundments to  trap  sediment and reduce runoff peaks before flow leaves  the J
;  construction areas.                                                                    j
r- Fording streams  should be carried out by bridging, sheeting, using conveying equipment. or^_
  constructing a stabilized roadbed into and through the stream.                             a
  Control soil by  revegetation  and mulching bare  slopes  (netting over mulch may increase
  effectiveness of mulching). Examples of revegelation enhancement methods include:           ^
     (a) Grading of spoil areas; if revegelation must be delayed, cover area with tarpaulin,      jj
        burlap or mulch.                                                               J
     (b) Dikes and ditches to control runoff.                                              ;
     (c) Development of adequate fertility of denuded soil (treated wastewaler is good for       ?
!        vegetation growth).                                                             '
     (d) Shallow tillage of area immediately prior to seeding.                                j
I     (e) Seed mixture containing fast and slow growing species.                              |
!     (0 Mulching area which has been seeded or  planted.                Jj^             (

-------
                                                        Biological Impicl mitigation m
40

is the SMCRA of 1977. Section SOI(b) of SMCRA requires that a permanent regulatory
program  be implemented,  and the  regulatory program  which has been developed
contains requirements which must be undertaken as a part of mining activities. These
requirements may be considered as mitigation measures in that they avoid, reduce or

TABLE 4. Summary of biological mitigation measures suggested by the regulatory program as
        mandated by Section 50l(b) in SMCRA (U.S. Department of Interior, 1979)
                                                                    L. W. Canter ti •(.
Biological impact
 Possible mitigation measures/requirements of regulatory
 program
Loss of wildlife
and wildlife habitat
Disturbance of aquatic
organisms and aquatic
habitats
Erosion and sedimentation
Destruction of
vegetation
A wildlife protection plan is required 89 part of mining permit
application
Wildlife agencies will be consulted
Timing, shaping and sizing operations will be conducted to
avoid breeding or nesting season ind trees, protecting key food,
cover and water resources

Fencing will keep large mammals from direct contact with toxic
chemicals in sedimentation ponds and from roadways to reduce
number of roadkills

Revegetation will use species with high nutritional or cover
value
Topsoil handling and replacement prior to revegetallon will be
conducive to wildlife
Topsoil storage will be covered with vegetation, thus providing
cover for wildlife
A 30 m buffer zone on each side of streams will be undisturbed
implementation of a regulatory program designed for re-
storation, protection, enhancement and maintenance of aquatic
life
Casing and sealing of surface and underground mine openings
to prevent escape of acid and toxic discharge

Buffer strips  be left between mining operations and waterways
Restoration of all streams to include alternating patterns of
riffles, pools  and drops

All diversions will be removed
Surface runoff will be collected in sediment ponds
Disturbed soils will be revegetated
Affected land must be restored to pre-mining productive capa-
city

Topsoil must be removed, segregated, stored and redistributed
with minimum loss or contamination
Topsoil and subsoil may be removed separately and replaced in
sequence

Fslablish native vegetation or appropriate substitutes after
mining

Agricultural lands must be returned to the same or greater.
productive capacity as prc-mining conditions.
                                                                                              TABLE S. JSummary of biological impact mitigation measures for five surfaclMming opcniti»hs
                                                                                              Impact
                                                                                               Mitigation measure
                                 Surface mining operation!

                                 I    2     3    4    S
                                                                   Destruction of vegetation
                                                                                              Disturbance of wildlife
                                                                                              Erosion and
                                                                                              sedimentation; and
                                                                                              destruction of
                                                                                              streams and
                                                                                              aquatic organisms
 Revegetalion programme

 Limiting areas to be cleared
 Management of reclaimed
 lands
 Enhancement of habitat
 Creation of ponds
 Management program
 Transportation to work site-
 reduce road kills

 30 m buffer zone
 on each side of stream

 Use of sedimentation ponds


 Temporary crops prior to
 revegetalion

 Scheduling operations during
 dry periods or around spawn-
 ing seasons
 Stream reconstruction
Slope contouring
                                                                                                                                                                    +    +
                                                                                                                               +    +    4    +    f
                                                                                                                                                         +    +

                                                                                                                                                         +

                                                                                                                                                         +
                                                                                               fThe surface mining operations are in: (!) Rusk County. Teas: {U.S. Environmental Protection Agency.
                                                                                              19830); (2) Deioto Parish, Louisiana (U.S. Environmental Protection Agency. I9H.V), (3) Mercer Count).
                                                                                              North Dakolt (U.S. Department of Energy, 1980); (4) Campell County, Wyoming (U.S. Department of the
                                                                                              Interior, 1980); and (5) Robertson County, Texas (U.S. Environmental Protection Agency, I982r).
                                                                                               t Plus lign denote* mitigation measure mentioned in the EIS for the operation.
                                                                                              compensate Tor adverse impacts. A summary of some mitigation measures which relnlc
                                                                                              to biological systems or biological impacts is presented in Table 4 (U.S. Department of
                                                                                              the Interior, 1979).
                                                                                                 In  order to  determine  which impacts  are actually  being identified,  am!  what
                                                                                              mitigation measures are being suggested to offset these impacts in actual practice, live
                                                                                              EISs which include mining activities were reviewed. Table 5 contains a summary of the
                                                                                              identified impacts  and general  mitigation measures for implementation.  The  most
                                                                                              commonly used mitigation measures were the development of a revegetalion program
                                                                                              and enhancing the habitat Tor wildlife. All five of the EISs reunified implemented some
                                                                                              measures which fit these categories, though the specifics varied in accordance with  Ihc
                                                                                              needs created by the mining  activities.
                                                                                             3.3. UTILIZED MITIGATION MEASURES FOR HIGHWAY PROJECTS

                                                                                             Many sensitive areas are traversed by highways. These include: we''    's; alpine areas;
                                                                                             deserts; and areas that are habitats Tor endangered species. Mitig       >rocediircs f<>r

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Ithesi sensitive areas; ma5|iincUide! replacementibfj rwbltat size for size, selection of  j
 alternate  route(s), or complete  abandonment of  the  project (U.S.  Department of  ;
 Transporation, 1975). In order to investigate mitigation measures being addressed in
 s highway projects, five EISs and three project reports were reviewed. Table 6 provides a  ,
<| comparison of (he types of impacts versus the mitigation procedure used for the eight  ^
•' projects. Certain impacts are associated with nearly all highway construction activities,  j
•: including toss of vegetation, erosion and sedimentation, loss of habitat  and loss of
: wildlife.                                                                            j
 ;    Proper revegetation and reforestation is essential to alleviate vegetation loss and also
'••- the erosion and  sedimentation related to vegetation loss. Erosion control  devices vary ;
*; from  project-to-project depending on variables such as  topography, soil type  and
: rainfall. In most cases, revegetation is best accomplished using native species. Fertilizers i
. may be useful but care should be taken so that excessive amounts are not used; excessive
 *  use can cause reduced  water quality and  stream eutrophication.  In some wetland
   situations, important considerations may involve dredging or filling operations and the
;;  possibility of dredging toxic substances. Testing prior to moving the dredged material is
';  a very important aspect  which is required by current  legislation and regulations. If a
 i  dredged material is found to be toxic, it should be placed upland in a secure landfill.  '

M
1  3.4. SPECIFIC LITERATURE-BASED INFORMATION
A;
   Usage of computer-based bibliographic retrieval systems can be an effective approach
   for identifying potential mitigation measures for biological impacts. These systems
   provide a fast, efficient means of conducting literature searches that produce lists of titles'
   and abstracts of published materials relative to specifically identified topics. There are
   several  commercial companies that provide access  to traditional systems such as the
    National Technical Information Service, Air Pollution Technical Information Center,
    Water Resources Abstracts, Biosis  Previews, Compendex, Pollution Abstracts,  Agri-
    cola. Smithsonian Scientific Information Exchange and Enviroline.
       One example of the usage of a computer-based literature search will be cited. Water
    resources projects involving the construction of dams and creation of surface water
    reservoirs may cause certain environmental health impacts via vector-borne diseases.
    Several mitigation  measures are available for controlling vector-borne diseases, and
    Table 7 provides a summary identified via a literature search (PEEM Secretariat, 1983).
    Mitigation  measures can be  considered in  terms of environmental modification  or
    manipulation, or modification or manipulation of human habitation or behavior. These
    measures were identified as a part of developed guidelines for addressing the biological
    impacts of water resources projects (PEEM Secretarht, 1983).
        Some  specific  data bases  have  direct applicability  for  identifying  mitigation
     measures. For example, the U.S. Fish and Wildlife Service has developed an Endangered
     Species Information System (HS1S) for storage and retrieval of information on nation-
     ally listed threatened or endangered plants or animals (U.S. Fish and Wildlife Services,
     1988). Records for 435 species were available as of mid-1988, and additional records are
     still being added. Mitigation-retain) information in ESIS include reasons for the species'
     preser^ulus, actions recommenced for the species' recovery and habitat requirements.
     Usa^^KSIS, and the 66 data items of information for each species record, would
               • systematic identification of potential mitigation measures for threatened «T
                       »» -nim.il cncrii"<; in a nroiect  study area.
:-.-=  fs   «
r = -S-    -  -f   - '
      if   aJ
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  TAUB& Co

                                                                                                                               "    !                =              t  *    ,
                                                                                                                               i metswes used i« efgbfMghway constm.  ~   afeeu
                                                                                              Impact
                                                                                                                Mitigation measure
  Loss of          Revegelation
  vegetation        programme
  Lou of habitat    Replacement of afltcted
  and nesting areas  areas
                   Creation of aquatic
                   habitats
                   Plant green-tree
                   reservoir
   Loss of wetlands  Replacement of affected
                   areas
                    Excavations designed to
                    produce wetland
                    habitats (proper water
                    depths)
                    Planning so route will
                    not affect nesting or
                    other sensitive areas
                    Replacement of nesting
                    areas and other sensitive
                    areas
                    Revegelation and
                    reforestation including
                    sodding, sprigging and
    .                fertilizing
                    Construction of silting
                    basins and traps
                     Rip-rap on bridges and
                    approach slopes
                     Limit amount of soil
                     disturbed at any one
                     lime
    Possible          Test all fill material
    introduction of-   placed into surface
    toxic substances  waters for toxic
     of fill materials   substances
     into surface
     waters
                                                                                                 Effects on
                                                                                                 endangered
                                                                                                 species
                                                                        Erosion and
                                                                        sedimentation
                                                                                                                                              Highway cowtroction projectf

                                                                                                                                             234567
                                                                                                                                                    +    +
                                                                                                                                          +     +    +   .
                                                                                                                                                                          +    -HS !?
                                                                                                   t The highway construction projects arc in: (I) five separate locations (Schuldincr ri al., 1979); (2) Monicrcy
                                                                                                 County, California and Interstate 10 in Florida (U.S. Department or Transportation. 1975); (3) Tennessee
                                                                                                 State Route 29. North Dakota 1-94. New Mexico MO. Georgia 1-95. Colorado MO. West Virginia 48, Oregon.:
                                                                                                 numerous projects, (Desjardins, 1979); (4) Oklahoma City. Oklahoma, Stl-74 (U.S. Department of Transpur-i
                                                                                                 lalion, 1985); (5) Woodward County, Oklahoma, SIMS (U.S. Department of TransQJIh|ion. l9R8a): ff>),
                                                                                                 Virginia-Maryland, District of Columbia, George  Washington Memorial Parkway ^^•Nalional Park:
                                                                                                 Service, I98S); (7) Mays County Oklahoma, SII-J3 (U.S. Department of Transportation^^); and (8) Tuba!
                                                                                                                                                    f "*"     * •*    I nr»n»             :

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 3.5.  COMPUTER-BASED CHECKLIST

 The final example for identifying potential mitigation measures involves the use of a
 computerized system called the Environmental Impact Computer System (EICS). The
 U.S. Army Construction Engineering Research Laboratory  in Champaign,  Illinois,
 U.S.A., operates EICS (U.S.  Army Construction Engineering Research Laboratory.
 1981). The EICS includes eight areas of project activities called functional areas, and the
 "environment" includes 13 categories called technical specialties. The specialties arc
 further disaggregated into basic attributes or indicators. The project activities are then
 compared to the attributes in each technical  specially, and  the system  indicates the
 probability of impact occurrence, rather than the potential magnitude of the impact.
( Keyed to the activity are ramification and mitigation statements. Ramification remarks
 explain why the activities were scored as they were. The mitigation statements describe
 ways to lessen or avoid the impact of that activity (U.S. Army Construction Engineering
 Research Laboratory,  1981).
    An early activity in any environmental impact study could include the use of EICS
 for a preliminary identification of potential impacts, and the  assemblage of pertinent
 generic information  on the ramifications and mitigation measures for those potential
 impacts.  The functional areas include: construction; mission change; operation, main-
 tenance,  and repair; training;  industrial; procurement; research development, testing,
 and evaluation; and real estate. The 13 technical specialties include ecology, health and
 safety, air quality, surface water, ground water, sociology, energy  and  resources,
 economics, earth science, land use, noise, transportation, and aesthetics. To serve as an
 example of the types of mitigation measures which can be identified with EICS, Table 8
 summarizes a portion  of the key ramifications and  mitigations for the impacts from
 construction on ecology. This information can be used to develop preliminary plans Tor
 impact mitigation programs.                                                    '<-


 4. Evaluation of mitigation measures

 An issue which is often not addressed in an environmental impact study is the evaluation
 of the potential or actual effectiveness of planned or previously implemented mitigation
 measures. Systematic  evaluations  of proposed measures are  becoming increasingly
 important  due to the costs of such measures, cost-sharing  requirements  for water
 resources development projects and the growing usage of the concept of incremental
 justification of mitigation measures in an overall mitigation program. This section will
 highlight three examples of evaluation approaches: (I) post-project monitoring; (2) pre-
 project qualitative evaluation; and (3) pre-project quantitative evaluation.


 4.1. POST-EIS MONITORING

 The CEQ regulations do not specifically address Ihe evaluation of mitigation measures
 except in the context  of follow-up monitoring to ensure that planned  measures arc
 implemented and working (Council on  Environmental Quality,  1978). Specifically,
 paragraph  IS05.3 in  the regulations states (Council on Environmental Quality, 1978):
    "Agencies may provide for monitoring to assure that their decisions arc carried  out and should
   • do so in imporlanl cases. Mitigation and other conditions established in the FAS or during its
    review and committed lo as part of Ihe decision shall be implemented by the  lead agency <»r
    other appropriate consenting agency. The lead agency shall: (u) include appreciate condiiio^s
    in grants, permits or other approvals; (b) condition funding of actions on      'on; (c) upmn

-------
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                  r*=SS*ii, ~"  ~= i
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                         1  J";
                                                        J
                                                        I!
                                                             - mKf&tfl WWWfi'WWI .
TA*U 8, Sommtry-of'^pottimtt of the ecology impact ramitatloiw frowcomlruclfcMij and
miiigalion  mcasutcj »s obtained from ibe environmental impact computer system (U.S. Amy
                 Construction Engineering Research Laboratory. 1911)
EICS code
number

1060
Selected ramifications and mitigations
1061
1064
                                                                          sr:As-
                                                                          :-V'.:
Ramifications
  Establishment of the support facilities for i major construction project often   ;
  disturbs vegetation and wildlife Tor a wide area around the site itself,
  especially if not regulated.                                              |
Mitigations
  Limit spread of support facilities by contract provisions and/or temporary     :
  fencing, especially if adjacent areas contain trees or other vegetation which is
  to be retained.

Ramifications
  Construction  of  temporary access roads may represent the first major  .
  intrusion into a remote building site. Numerous superfluous roads may cause   ;
  more terrain damage than the project itself.
Mitigations
  Plan access roads carefully; improve them if necessary; then restrict develop-
  ment of all other roads and paths.

Ramifications
  Vehicle fueling and servicing areas, especially temporary ones, may lack
  precautions against disposal of petroleum wastes on the soil surface or In
  drainage ways where it then damages aquatic life.

Mitigations
  Require that fuel and oil storage be diked and that drain oil be removed
  from the site in closed containers and disposed of properly, preferably by sale
  to reclaimers.
  t Thii is an example only;« number of additional EICS code numbers have been omitted.
   request, inform cooperating or commenting agencies on progress in carrying out mitigation
   measures which they have proposed  and which were adopted by the agency making the    _
   decision; and (d) upon request, make  available  to the public the results of relevant
   monitoring."

   Planning and implementation of a post-EIS environmental monitoring program for    ~
a  project typically involves a number of activities. Detailed information on these
activities is beyond the scope of this paper; such information is available elsewhere
(Canter and Fairchild, 1986). While details will not be provided herein, the use of such
monitoring data to evaluate the effectiveness of mitigation measures is obvious.


4.2. PRE-PROJECT QUALITATIVE  EVALUATION

Systematic evaluation of potential mitigation measures for biological impacts should be   •
acco^Bked as a part of the EIS process. This evaluation should enable, the selection^—.
and rVJPnenlalion of the most cost-effective mitigation program. This pre-projec^BJ
                                  :  ;,                      i                        47
  - •*   Pre-projecl evaluation approaches cam beconsldered in two categories^-quaKiativc
    and quantitative. A qualitative approach is represented by the evaluation of measures
  ' Jfiised for similar types of projects. In this context, the earlier section on identification i
    could be considered as an  approach to validate  qualitatively  the effectiveness of
   "identified measures.  However, the  explicit assumption  is that  the implemented
    measure(s) will be successful, and  this  is not necessarily so. For example, Race (1987).
    summarized a number of studies of the effectiveness of man-created wetlands used as
  iJ|mitigation measures in the San Francisco Bay area. It was concluded that reports of the

                                                                                           success of these man-made wetland projects have been over-slated. Therefore, the keys
PF l= consideration in a pre-projcct qualitative evaluation should be related to the demon-
  c strated effectiveness of the measures. Case studies which incorporate post-EIS monitor-9
   " ing to verify mitigation program effectiveness would be extremely useful; however, at
  !l this time the number of such studies is minimal.


    4.3. PRE-PROJECT QUANTITATIVE EVALUATION                                        ~
  *r Several structured habitat-based methodologies have been  developed for evaluating
    both biological impacts and the potential effectiveness of proposed mitigation measures.
    Three examples  include: (I) the habitat evaluation system (HES);  (2)  the habitat
    evaluation procedure (HEP); and (3) the wetland evaluation technique (WET). The first
    two examples can be used for determining mitigation land  requirements for projects
    impacting fish and wildlife resources (U.S. Army Corps of Engineers, 1980; and U.S.
    Fish and  Wildlife Service, 1980). The  latter example can be used systematically to
    evaluate mitigation measures for projects exhibiting wetland impacts through considera-
    tion of wetland functions and values (Adamus et a/., 1987). It is beyond the scope of this
    paper to  review  thoroughly all  three examples; however,  the HEP will be briefly
    described to illustrate its usefulness in a pre-project evaluation of proposed biological
    impact mitigation measures.
       The HEP is a method which can be used to document the quality and quantity of
    available habitat for both aquatic and terrestrial animal species (U.S. Fish and Wildlife
    Service, 1980). The HEP is based on the assumption that habitat for selected species can
    be described by a habitat suitability index (HSI). This index value (from 00 to I -0) which
    is indicative of quality is multiplied by the area of available habitat (quantity) to obtain
    habitat  units (HUs). The first step of a HEP application consists of: (I) defining the
    study area; (2) delineating cover types; and (3) selecting three to five evaluation species.
    Information on species selection is contained elsewhere (U.S.  Fish and Wildlife Service,
    1980).
        A HEP analysis is structured around the calculation of HUs for each evaluation
    species in the study area. The total area of available habitat for an evaluation species
    includes all areas that can be expected to provide some support to the species. The total
    area of available habitat is calculated by summing the areas of all co ver types likely to be
    used by the species. The HSI  values are described via HSI models. The HSI models are
    usually presented in graphic, descriptive and mathematical formats (Schamberger et al,
    1982). HSI models have been published for about ISO evaluation species, and more are
    being developed.
        Impact in the HEP is defined as the difference between HUs with  the project and
    HUs without the project. Averaged annual HUs are used in the impact calculations. The
    final step in  the HEP involves the development of mitigation  plarutfkappropriale.
                                                                    III
                                                                                                             .. :.i—.:<•.. —,_..>„,. .!,„. ,

-------
Ui
 I
)—I
oo
mea    ,s to existing habitat to effect a net increase in HUs. The existing habitat ma)'
may not be located in the "impact" study area. In order to obtain mitigation, the hu
losses due to the proposed action must be fully offset by the specified acquisition and/or
management measures. The three possible mitigation goals are (U.S. Fish and Wildlife
Service, 1980):

    I. In-kind  (no trade-off)—This goal is to  offset  precisely the HI)  loss Tor each
      evaluation species. Therefore, the list of target species must be identical to the list
      of negatively impacted species. The ideal compensation plan will provide, for each
      individual species, an increase in HU's equal in magnitude to the HU losses.
    2. Equal replacement (equal trade-off)—This goal is to offset precisely  the  HU
      losses through a gain of an equal number of HUs. With this goal,  a gain of one
      HU for any target species can be used  to offset the loss of one HU  for  any
      evaluation species. The list of target species may or may not be identical to the list
      of impacted species.
    3. Relative replacement (relative trade-off)—With this goal, a gain of one HU for
      any target species is used to offset the loss of one HU Tor an evaluation species at a
      differential  rate depending on the species involved. The trade-off rates can be
      defined by relative value index (RVI) values for each species.
    After the goals are set, the mitigation analysts is the same as that used to identify
project impacts. The steps in  the process are to:
    I. Select a candidate mitigation study area. The area can be of any size but must be
      at least large enough to be a manageable unit for the target species. Develop a
      cover type map and determine the area of each cover type.
    2. Conduct a baseline habitat assessment for each target species. Baseline data for
      individual species in the "impact" area may be used if the candidate compensation
      area is similar in terms of HSI values. If this is not the case, additional field work
      to determine IISIs will  be  necessary in the study area.
    3. Determine the average annual HUs for the study area assuming no future
      proposed action.
    4. Identify  a proposed management action that will achieve specified goals. Specify
      the management measures (e.g. prescribed burning, selective timber cutting and
      others) that will be used to increase the HUs for the target species in the candidate
      area.
    5. For the mitigation area, contrast the HUs without management to the HUs with
      proposed management measures and determine the net increase in  HUs.

    One brief example of a HEP analysis will be mentioned, with this analysis focused on
evaluating thermal mitigation alternatives for two nuclear reactors. Specifically, Mackey
ei al. (1987) evaluated the potential effects on wildlife of the implementation of thermal
mitigation alternatives for the C and K reactors at the Savannah River Plant in South
Carolina, U.S.A. The HEP approach as modified by the Savannah River Laboratory
was used. This approach enabled the relative  ranking of project alternatives and/or
mitigation strategies with respect to representative wildlife species over the life of the
project or for selected time periods in the future. For the C and K reactors  the potential
wildlife impacts and/or benefits of once-through and recirculating cooling lowers were
evaluated for both neat term (30 year) and long-term (100 year) lime periods.
    Based upon this brief review of the HEP, it can be stated that this method can be used
to evaluate  the costs and pn1' nlial effectiveness  of differing mitigation strategies for a
'      '. The structured nature of the HEP is conducive to its use as an evaluation •- -'
      logical impact mitigation  measures.
5. Summary

Identification and evaluation of mitigation measures for adverse biological impacts
proposed projects has become an important component in the EIS process. The foctil
point for opposition and debate relative to a proposed project often centers on the lypc
and extent of appropriate  mitigation  measures. This paper has delineated several
approaches for both identifying and evaluating potential mitigation measures. Examples
of identification approaches include the review of utilized measures for similar project;;.
the use of computer-based literature and information searches, and (he use ofconipulci-
generated checklists of potential measures. Examples of evaluation approaches include:
post-EIS environmental monitoring; pre-project  qualitative evaluation bused on CUM-
studies; and pre-project quantitative evaluation using structured habitat-based methods
Based  upon this review,  the following conclusions can be drawn:

    I. There are an ample number of approaches which can (Mused to identify poicniiiil
      mitigation measures for the adverse biological impacts of proposed projects.
   2. While systematic methodologies are available for evaluating the potential effec-
      tiveness of mitigation  measures, these  methodologies have not been extensively
      used as a part of the  EIS process. Perhaps one reason for limited usage is tlie-
      uncertainty associated with measures such as habitat development and enhance-
      ment.
   3. Post-EIS environmental monitoring can be a definite aid to impact management
      and  determination of  the  actual  effectiveness  of implemented  mitigation
      measures.
   4. Many have the perception that mitigation is simply an unnecessary add-on cost
      for a project. However, while the implementation of a mitigation program may  he
      cosily, it may be much more cost-effective to have a mitigation program from I tic
      beginning  of a project rather than  having to initiate an even more costly
      environmental clean-up program al some future point in time.
                                                                                                  References

                                                                                                  Adamui,P. R.,Clairain,E.).,Smith.R. D.«nd Young, R. E.(1987). WeitanJEvaluation Tectinigur (ll'£II
                                                                                                     Volume It-Methodology, Vkksburg, Mississippi: U.S. Army Engineer Waterways Experiment Station.
                                                                                                  Ctnler, L. W. ind Faltchild, D. M. (1986). Post-EIS environmental monitoring. In Methods and Experiem e\ m
                                                                                                     Impact Assessment (H. Becker and A. Poiter, eds), pp. 265-285 The Hague. The Netherlands: Re Mel
                                                                                                     Publishing Company.
                                                                                                  Council on Environmental Quality (1978). National Environmental Policy Act- Regulations. Federal Rtgnn-r
                                                                                                     43 (210), 29 November, 5S978-S6007.
                                                                                                  Desjardini, C. R. (1979). Ecological Mitigation: A viable option in the federal-aid highway program. In llu-
                                                                                                     Mitigation Symposium-A National Workshop on Mitigating Losses offish anil Wildlife Habitats, pp. 562
                                                                                                     565. Washington. D.C.: U.S. Forest Service.
                                                                                                  FitzPilrick, M., Willson, J.. Erkson. 0., Fan. G. and Wood, D. (1977). Manual for Evaluating SrmmfiiM
                                                                                                     Impacts ofWastewater Treatment Facilities, pp. 111 -112. EPA-600/S 78 003. Washington DC: F.nvitim
                                                                                                     mental  Protection Agency.
                                                                                                  Mackey, II. E. el al. (1987). Habitat Evaluation Primitive IHEF) Assessment fat  Thermal Miiifiiiinn
                                                                                                     Alter natives for CandK Reactors. DPST-87- 578. Aiken. South Carolina: DuPonl de Nemours (I! M ami
                                                                                                     Co.
                                                                                                  Monterey Peninsula Water Pollution Control Agency. U.S. Environmental Piolw!iiin Agency and Junes ami
                                                                                                     Stokes Associates Inc. (1977). Final Environmental Impact Statement and Environmental Impact Ri-pmi
                                                                                                     North Monterey Facilities Plan, pp. XVIII  XXI and 188 198. Monterey. California.
                                                                                                  PEEM Secretariat (I98J). Panel of Experts on Environmental Management fur Vecliir Cnnlnil tPfl-MI.
                                                                                                     Report of the Third Meeting. Rome 12-16 September I9S). VBC/83--4. Geneva. Switzerland: World Hc.ilili
                                                                                                     Organitation.
                                                                                                  Race, M. S. (1987). "San Francisco Bay experience". In Proteedings of the Conference an Nori/inesi llv* Aim A
                                                                                                     What Are They? For Wham? Fur What?, pp. 201-209. Seattle, Washington: Insti'-  rur  Envmiimicnl;il
                                                                                                     Studies, University of Washington.

-------
Schiimberger. Mn Farmer. A. II. i*d Terrell, J, Wr (1912). W«*"«» &*«»/% Met Mmteh-
   FWS/OBS 82/10, Foil ColiM, Cdortdo: US FWi wd WMIifc Service
SlmUfner. P W,, Cope, D, F. Md Newton. K. A. (I9T9) Ewlvglcal Efttu efHighvw Mi en Wtikmls.
   Vxr's  Manual NCIIRP Report 2I8B. WaiMntlon. DC: National Cooperative Ilifttway Research
   Program. Transportation Research Board, National Research Cornell.
U S. Army Construction Engineering Research Laboratory (1911). ETIS Quarterly. Champaign. Ilinoii,
US. Army Construction Engineering Research Laboratory (1981) The Environmental Technical Information
   System Overview ami Vur Orientation, Champaign. Illinois.
US. Army Corps of Englnetri (1910) A HaWwi Etaluatlim Syitemfw Wattr Kttimnei naming. Vkkihur|.
   Miiiiiiippi: Lower Miultiipp! Vdley Dlvlilon.
U S  Reparlmenl of Energy (I9JO). Final Etnttcmmaltl ImpaH Suiemtnl: Great Plaint Cailficaihn finjecl.
   Mercir County. North Dakota, p^ 4-7 lo 4-14. DOE EIS C072F, Vol. I. Wnhin|lon, D.C.
U S  Depirlmenl  of Ihe Interior (1979). RIM! Entltcumenlal  Impact Statement: Peimanenl  Refulatnry
   Fruitam Implemenllni Sec. iOl(b) aftht Stafaa Mtoliit Control and Reclamation Acl of 1977. pp BIII-71
   lo Blll-ll. Washinilon, D.C.
U.S. Department  of the Interior, Ofllc*  of  Surfw* Mlrtlnf Recltmillon tnd Enforcement (1980). Draft
   Environmental Statement: frofoui Mlnfaj mi Reclamation Plan. Koja Cabelhi Mine. Campbell County.
   H'yomlnt, pp. A-9 lo A-IJ. WnMn|lon, D.C.
U S  Depirlmenl of TriniporHllon (I9l8a).  Eniliaametital Antnmtnt: AMtlon of Parallel Lanei lo SH I)
   from Woodwari lo Moorelona.  Woofwmi County.  pp.J-U. Fort Worth. Teu$:  Federal  Hiihway
   Adminlilrallon Region 6.                                                      ....
U S  Department of Traniponallon (I9I»»). Enrtonmtniol Aimtmtnt efSHM Project oter the Neoiho Klnr
   East ofCheuteau, Mayi County. Oklahoma, pp. 3-11. Appendin A. Fort Worth, Te»ai: Federal Highway
   Adminiilralion Region 6.
U S  Department of Traniportatlon (1910). Final Emltonmenial Impact Statement: Oiafe Route. Tuba anil
   Otate Counllel. Oklahoma, pp.F-l lo F-15, and K-l lo K-ll. Fort Worth. Te»u  Federal  Highway
   Adminiilralion Region 6.
U.S  Department of Twniportallon (1915). Final Entlrtnmenial Impact Statement: frofoiea SH  74. N.W.
   tiri to N.W. I7llh. Oklahoma Clly. Oklahoma, pp. JO-41. 55-56. A-14 lo A-ll. Fort  Worth. Te«a»:
   Federal Highway Admlniilrallon Region 6.
U.S. Department ofTianiportalion (1975). Mlllfaltoi Ainru Environmental Effecli of Highway Cliniiruc-
   lion, pp. 1-24. Waihlnglon. D.C: Tiamporlallon Reiearch Board Annual Meeting.
U S Environmental Protection Agency (1979). Draft Environmental Impact Statement: Alternative Wauevater
    Treatment  Sytlemi for Rural Lake Project* Case Study No. I: Crystal  Lake Area  Sewage Disposal
   Authority, finale County. Michigan, pp. 151-HR. Chicago. Illlnoii.
U S. Environmental Protection Agency (I9«ln). Draft Environmental Impact Statement: Martin Lake D Area.
    Lignite Surface Mint. Henitnon. Rusk County.  Ttxas. pp.i-9S lo 6-109. EPA 9M/9-H-003. Dallai.

 U.S Environmental Protection  Agency (!9Mf). Draft Environmental tmpatt  Statement: Twin Oak Steam
    Electric Station. Robertson County. Ttxat. pp.6-95 lo 6-107. EPA 906/9-M-OIO. Dallas. Te»ai.
 U S. Environmental Protection Agency (I9»J»). Draft Environmental Impact Statement H'oirnrarfr  Treat-
   ment radiates. Tulsa (NonraOe). Oklahoma, pp. 5-135. EPA 906/9-M-009. Dallas. Te«af.
 U.S. Environmental Protection  Agency (1980). Draft Environmental Impact Statement for  tfaitewaier
    Treatment Facilities. Northeast El Paso. Texas, pp. 6-42 lo 6-56. Dallas, Teaai.
 U S Environmental Protection Agency (I9IJ6). Environmental Impact Statement: rVastewater Treatment
    FaciliiieslCity  of Fort Worth. Tarranl County. Texas, pp.5-ISt lo 5-161. EPA 904/9 83 MS. Dallas.
    Texas.
 U S  Environmental Protection Agency (I982o). Birfrenmnifo/ Impact Statement: Waste water Treatment
    F.
 U.S Environmental Protection Agency (1977). Final Environmental Impact Statement: Steamboat Springs
    Regional Serme Authority. XI tt'etttwaur Facilities Plan. pp. 17 and 165-167. Denver. Colorado.
 U.S. Environmental Protection Agency (1976). Final Environmental Impact Statement for Sea-age Treatment
    Facilities for the South Bloomington and Lake Monroe Service Areas. Bloomington. Indiana, pp. 4  11 -1 lo
    4  II  5. Chicago. Illinois.
 U S Environmental Protection Agency (I983c). Supplemental Final Environmental Impact Statement: Doles
     Hills  Lignite Kline Project. DeSoto Parish. Louisiana (Supplement to the Dole! Hills Power Plant EISI,
    pp. Ml to I  13. and III 12 lo III 40 EPA 906/9 83 007. Dallas. Tei.l.
 U.S. Fish and Wildlife Service (1988). Endangered Spetiei Information System-Project Brief. Washington.
    DC                       _
 U S Fish and Wildlife Servke (UftoUabiiai  Evaluation ProceJurn (HEP). ESM 102. Washington. DC
 U.S. National Park Service (I^^Bo/l  Environmental Impact Statement  for  Traffic and Reireaiimal
     Hanotenient.tieoriett'aihiii^fnemitrial Parkwav  Vutinia-Marrlniul-nhinri nf f~aln»M* ™  11  n

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1.5.15-20

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                            AN  UNREADABLE  EIS IS AN ENVIRONMENTAL  HAZARD
                            Weiss, E. H.   1989. An unreadable EIS is an environmental hazard.  The Environmental

                            Professional '11:236-240.	,
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1.5.16-2

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                                                                              KHOFESSIONAL REPORT
An Unreadable EIS is an Environmental Hazard
Edmond H.Weiss
Cherry Hill, New Jersey                                                            '

Abstract. An Environmental Impact Statement alerts the government and public to the possible hazards of proposed actions.
An unreadable EIS is an environmental hazard, potentially as deadly as stack emissions or dioxin in the groundwater.
Many EISs. of course, are written by engineers and re-
scarchgg, without benefit of professional "wordsmiths."
The engineer's notorious aversion to ^tnig (and the un-
willingness of most firms to buy writing services) means
that EISs arc at least as unreadable as most other technical
documents prepared by a team of middling writers working
to an unforgiving deadline.

But, despite what some consultants may think, the bad
writing in an EIS is much  more serious than a matter of
esthetics; the issue is not "English" or refinements of style.
The issue is the quality of the document, its usefulness in
support of the goals of environmental legislation, and, by
implication,  tie quality of the  environmental
stewardship entrusted to the scientific community.
    111    i in i ii  iiiiiiiiiiii  i mill M      ii  ill i
PART OF THE PROBLEM
OR PART OF THE SOLUTION
                     i
An unreadable  EIS not only hurts  the environmental
protection laws and, thus, the environment. It also turns the
sincere environmental engineer into a kind of "polluter."
                     1         	 '"  '" l"1	' 'll11'1	' '"	' ?"
 Consider the irony. Environmental engineers, those
 solitary champ ions of environmental quality, usually more
 than ready to do battle with well-financed developers and
 Edmond H. Weiss, Ph.D. is an independent consultant, writer,
 and lecturer, specializing in technical communication. He spends
 most of his time traveling throughout North America teaching
 writing seminars for engineers, scientists, and computer profes-
 sionals. He is the author of The Writing System for Engineers and
 Scientists {Prentice-Hall, 1982), How To Write a Usable  User
 Manual (IS1 Press; 1985), and How To Document a System (Oryx
 Press. 1990). His base is Cherry Hill, New Jersey.

 Requests for reprints may be addressed to Edmond  H. Weiss,
 Ph.D., 1612 Crown Point Lane, Cherry Hill, New Jersey 08003
 (609/795-5580).
                                                            well-connected waste handlers, are increasingly perceived
                                                            as paid apologists for the people whose actions may foul
                                                            the environment. Why? Because most Environmental Im-
                                                            pact Statements are so difficult and unpleasant to read that
                                                            they make people  suspicious.  Even someone  only
                                                            moderately skeptical might suspect that readers are dis-
                                                            couraged from reviewing the report too carefully. And, in
                                                            a time when bright people worry that environmental laws
                                                            can be manipulated and undermined by powerful interests,
                                                            the inaccessible and unreadable EIS has come to be viewed
                                                            as part of the problem instead of part of the solution.

                                                            Some EISs, then, are seen as a deliberate effort to obscure
                                                            the questions, to inhibit debate and intimidate all the op-
                                                            ponents of a proposed project or action.
                                                            1  I"    I'    , Igl	"I	H	 .!,,(	It	Ij	••	  :	' - J	5	v V i-	" 	¥"	
                                                            Of course, this public perception is unfair. Although en-
                                                            vironmental consultants occasionally err in the favor of the
                                                            agencies who pay their fees, the typical individual or firm
                                                            is scrupulously honest  in describing and  predicting en-
                                                            vironmental consequences. Whether motivated by the
                                                            noble ethics of the profession or just by the mundane fear
                                                            of  being discredited in the consulting marketplace, en-
                                                            vironmental specialists would be the last to defeat the spirit
                                                            of the environmental protection laws and codes.  Quite the
                                                             contrary. The typical EIS is not obscure by intent. It only
                                                             seems that way —the consequence of certain bad habits of
                                                             thought and expression.

                                                             There are three broad classes of errors that undermine the
                                                             clarity and credibility of many EISs:

                                                                 Strategic Errors are mistakes  of  planning,
                                                                 failure to understand why the EIS is being written
                                                                 and for whom.

                                                                 Structural Errors are mistakes of organization,
                                                                 failure to arrange the elements in the document in
                                                                 a way that makes them easy to follow, and
  THilNVI5ONM|^A|.PRpPESSIONAL Volume 11 pp. 236 - 240                    0191-5398/88 0191-5398/89 S3.00  + .00
  1989. Printed in the USA. All rights reserved.                    Copyright © National Association of Environmental Professionals
111. ii's :, IB::
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                                                       1.5.16-3
                                                         "i1	M «:	* • liar"!.'!:	I	.<  • i, .Iliuiii'	•„, miff;,; | rv. 4; j; |"s ir.;1;	,	if,3:' <;.

-------
UNREADABLE EIS
                                                 237
    Tactical Errors are mistakes of editing, failure
    to test  and revise the texts for clarity and
    readability.
STRATEGIC ERRORS

A strategic error is tantamount to writing the wrong docu-
ment. That is, the engineers and others, for a variety of
reasons, produce an EIS that misses the true objective of
the project— even while it complies with federal or state
"guidelines." Especially when the EIS is composed by
several authors working independently, the risk is great
that the final product will meet the letter of the law but not
the spirit.

More specifically, EISs are often undermined by naive
attitudes, the most prevalent being that the document is a
dispassionate, objective collection of unambiguous, hard
facts about environmental effects. Typically, though an
EIS  vitally affects hundreds or thousands of people—in-
cluding a few very rich and powerful ones. In a sense, the
principal function of the EIS is to provide facts, projec-
tions, and analyses that raise the level of debate among
those thousands at interest.

In countless cases the EIS has affected the commercial
interests of developers and contractors, even the political
aspirations  of local officials whose campaigns include
promises of projects with environmental implications. No
matter what the guidelines say, and no matter what dis-
claimers appear in the introduction, the findings in an EIS
may potentially help or hurt the progress of some project.
At the very least, it can uncover adverse effects that add
corrective costs to a proposed action. In extreme cases,  it
can  curtail the plans of the very agency or firm that paid
 for  the study.

 Moreover,  an EIS, like even  the best science  done in
 support of public policy and health, contains a substantial
 number of extrapolations and inferences,  many built on
 simplifying assumptions,  debatable theses, and  even
 secondhand data from parties with vested interests. (Given
 two or  three questionable presumptions,  environmental
 assessment becomes only slightly more precise than stock
 market forecasting.)

 In short, an EIS is a work of  science, as opposed to an
 aggregation of hard facts; it is rich with, to use Popper's
 term, intelligent conjecture.  Consultants, often under
 pressure from sponsors to produce unambiguous con-
 clusions, must remember that the quality of their assess-
 ments derives from the quality of the underlying warrants
 (Stephen Toulmin's term) in their models.

 The document should be much more than a compendium
  of technical details, interesting mainly to readers with the
• appropriate technical background. But, without meaning
 to,  most EIS  authors aim their writing at  the  wrong
 audience. They assume not only that the work will be read
 almost  exclusively  by environmental engineers and
 specialists, but also that each specialized component (air,
 water, archeology, odor...) will be read only by persons
 with that specialty.

 Even though many of the readers are such specialists, the
 most important readers are not. Quite the contrary, the
 main readers of the EIS are in three motivated groups:

     A higher jurisdiction of government, respon-
     sible for a series of decisions, often including
     enforcement, frequently under political pressure
     to approve or disapprove (in the guise of "neutral"
     review for compliance)

     Supporters of the proposed action, hoping that
     the EIS will not forecast any unavoidable conse-
     quences or more attractive alternatives, impatient
     to have it approved as quickly as possible

      Opponents of the action, alert to any instance in
      which its adverse effects are minimized or in
      which those of the alternatives are exaggerated,
      especially skeptical of all assumptions, inferen-
      ces, and secondhand or imputed data.
  By failing to appreciate that the EIS is a work of scientific
  conjecture, aimed at motivated and even cynical readers,
  environmental engineers commit the worst strategic error
  of all, the one that undermines not only EISs but many other
  technical documents as well: lack of apparent function
  or purpose. (That is,  there is a tendency among among
  intellectual writers—scientists, engineers, scholars—to act
  as though the purpose of the document was to write about
  the subject. An effective EIS, though, or any effective
  technical publication, is designed and written to ac-
  complish specific communication  objectives in well-
  defined audiences. Ironically, the more fascinated the
  author is with the subject, the  greater the risk that the
  document will lack purpose and frustrate its readers.)

  An EIS. in addition to presenting its facts and projections,
  must assure those who deserve to be assured, arouse those
  whose interests are at risk, satisfy the stewards of environ-
  mental laws, and stimulate enlightened discussion among
  decisionmakers and their constituents.

  The assessment of environmental impact  is hardly ever
  simple, objective, or uncontroversial. Rather, it is a prob-
  lem in scientific advocacy, in  which the main issue is
  whether the investigating team has assembled enough
  credible evidence and argument to prove a  central thesis.
   Either that:
                                                   1.5.16-4

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                                                                                                 EDMOND H. WEISS
             The proposed action will have no important ad-
             verse effect on the environment, or

             The proposed action is better for the environment
             than "no action," or

             The proposed action is clearly better for the en-
             vironment than the alternatives, or

              Although  there is an environmentally superior
              alternative, its greater costs are not justified by its
              environmental benefits (or are justified)	

          For an EIS to have an effective thesis (one of those above,
          or some other more appropriate to the situation), the Project
         , Director must	assert Tesponsibility and take intellectual
         n n   Jill ill i  inn n i ii iriiiiiiiiiiiii!	nil	uf-	^	-	^	 .
          risks. Put simply, he or she must direct the project and see
          that the EIS has a.coherent point of view—that each of the
          five or ten or twenty specialists at work on each of the
          "parameters"'knows the aucKence and the thesis. Without
          such direction, the EIS will look as so many of them do: a
          patchquilt.
           STRUCTURAL ERRORS
     "|l|lli'i,1	'	 '	',,»	I	"'	..'H/i	t; w	g	y	.,
           If form follows function (as some architects are fond of
           saying), it is not surprising that many EISs are in a form
     l™'::i	Islhit/reflects'Itheir lack  of thesis and their indifference
   |,	;<,: iiii  ",| toward the audience. Generally, they are huge and inacces-
   miSm.";!i sible. Like a patchquilt, they are filled with beginnings and
           endings, choppy, inconsistent, ragtag.
     nil-i , iiiiii,; 	!
in iSiiii)




INI 111:IE: I	nil1 ,: ,,,11 111,
      •In i»,,III, 1:18:
       ni : in	lie	'
            Most EISs appear to be organized in a way that makes them
            easier to review or "check off than to study and question.
            They are arranged so that even a superficial reviewer will
            qlulckly see that everything that is supposed to be in the
            document is there. And if that were the only mission of the
            HIS, to satisfy some mindless bureaucratic checklist, such
            an organization would be appropriate. Furthermore, if that
          "'Silrejheonly function of the EIS, there would be no reason
         •,	if	jgwrjte	this essay!
                  ,         I
            §uf"Sat is not the sole mission or function. EISs are
         ";"  !	'i""1'»	a	isiiiiiiii 5, 	u	i,	'~c	 , ,          . .
            important  documents meant  to be read by interested
            readers with vital concerns. (Not just compendiums of fact
            to be appraised with a checklist.) It is shamelessly cynical
            for/environmental  consultants to regard the writing and
         ;;;;;' '^\ ^%wing of the EIS as nothing more "than "going through
             the mot5onsw oFenvironmental assessment, a tiresome ad-
          ;T;:J. "fninistrative	hassle,	^red	tape"  en route to getting the
          ,,,'. jJroject approved.	'	"''	
ii' r	nm	it, PHI a,1'!	
             For many readers, the typical EIS  has an inaccessible
             'organization. Most readers do not want to study each
             "environmental parameter" in depth. They do not want to
             reflect on the history of the planet before they find  out
             11	-I"""	'	  1	i .,	I/,!	,.	 v	I,	,, „	 ,	,,	 ,,„„,	
whether the local groundwater is likely to be fouled. Nor
do they want to read several hundred pages to learn if there
are any unavoidable consequences of the project.
                            ii
For the sake of most readers, the EIS should be organized
to allow direct and immediate comparison of the proposed
action with the "ho action" alternative, followed by a
similar  comparison with alternative sites, technologies,
and actions. Moreover, the  comparisons should address
only^hat is relevant If trie effect on a certain parameter
is inconsequential, it should be reported briefly and dis-
missed (even though we paid a hefty fee to the subcontrac-
 tor specialist). If differences between alternatives are too
 small to matter,"they need not be discussed—unless there
 is reason to believe that part of the audience is especially
 interested. Nowadays  it is hard to escape  the impression
 that the controversial or "soft" parts of the study are being
 deliberately camouflaged beneath hundreds of pages of
 unimportant detail.

 In a well-made EIS, the average reader—including the
 lay reader—should be able to find what he or she wants
 to  know in less than five  minutes. One minute, if the
 findings are unusually straightforward.

  An effective EIS should be well-endowed with "search
  tools": intro^uctTons^ summaries, overviews, reviews,
  digests, or abstracts. It is even easy to imagine an EIS that
  is mainly summaries, with much  of the technical detail
  relegated  to  attachments  and appendixes. In contrast,
  though, what do we usually see?

      The introduction is malnourished; it reads like an
      afterthought.

      The table of contents is incomplete, and the head-
       ings (the names of the sections) do not address the
       questions raised by readers. In effect, one must be
       an expert to find anything.

       There are no chapter  introductions or section in-
       troductions; no  marginal glosses.

       There is hardly any typographic emphasis or ac-
        cent: underscoring, boldfacing, italics,  indenta-
        tion,  color, capitalization—none of the simple
        techniques for making the most pointed and con-
        clusive sentences stand  out from the dense back-
        ground of the page.

        (I recently read a 500-page EIS that had not one
        underscored sentence. When I proposed changes
        in presentation and typography, I was told direct-
     	ly'by	trie'sponsor tHaVhe didn't want the EIS to
        stimulate any more  discussion than neces-
        sary!)
                 tl m M,"' ii Silt	;
                                                                                                                    ;	;	ji	J	

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UNREADABLE EIS
                                                                                                       239
Because of the way they are written, most EISs are clumsy
and disjointed.

They are obviously the work of many authors, with jarring-
ly different styles of writing.  Typically, each  author
doesn't care much about what the others are up to; the
project director spends more time reassuring the sponsor
than ensuring that all the authors are working on a coherent
document.

Often, the several sections are at radically different levels
of detail  or  difficulty—some containing sophisticated
models, others high school primers on the measurement of
sound. The worst problem is the disjunction of text and
exhibits, the  needless separation of text  from the charts,
tables, photos, and figures. Readers are perpetually told to
"see Map X"—which is typically several pages away, or in
another volume.

My own research in technical communication has led me
to  conclude  that this  simple mechanical problem—the
separation of the text from the exhibits needed  to make it
 clear—is the single greatest barrier to the reading of EISs
 and other technical  publications. In a well-designed EIS
 (Note: EISs must be designed, not just assembled!), nearly
 every time a reader is told to see a chart or table it will be
 either on the same page or a facing page. The more we
 ask readers to jump, skip, detour—the more often we ask
 them to be in two places at once—the greater their
 suspicion that the writers do not really want the material
 read.

  Of course, most of the people who write the separate parts
  of an EIS do not even think about so pedestrian a question
  as the position of the charts and maps. That, after all, is an
  editor's problem—or, in some places, the typist's problem.
  Generally,  the only writers who care  deeply about the
  physical layout of the document are those who want it to
  be easy to read.
  TACTICAL ERRORS

  Tactical errors are failures of editing. They include the
  mechanical mistakes—misspellings, errors of grammar
  and punctuation— as well as misused words and phrases.
  More subtle, and more serious, are failures of style: clumsy
  syntax  or awkward, wordy sentences. When most en-
  gineers think about "writing," it is these tactical issues that
  come to mind. And when most engineers disparage their
  writing, it is actually their editing that is at fault.

   Tactical errors add "friction" to communication. Where
   there should be a simple transfer of facts and ideas from
   writer to reader, instead there are distractions, irritations,
   rubs.
There are two broad kinds of tactical errors: obvious viola-
tions and subtle mistakes. The  obvious ones are less
dangerous because they are more likely to be detected and
corrected. Misspelling "supersede," using the word criteria
as a singular, using "due to" in place of "because of: these
are the bugs that should be caught by the writer, or even
such "style-checking" software as RightWriter or Gram-
matik.

The trouble with the subtler mistakes is that they are rarely
textbook errors. And, unless there is a real editor or an
especially  literate Ph.D in the firm,  no one is likely  to
correct them. These are errors of style, like the "smothered
verb" ("perform the computation or versus "compute";
 "conduct an inspection or versus "inspect"). Or the
 "vitiated predicate"  ("The possibility of damage to the
 crops from the steam  exists"  versus "The  steam might
 damage the crops").

 There are also scores of wordy, windy, wasteful construc-
 tions, like "consensus  of opinion" or "ten-year period of
 time" or "visible to the eye." And ostentatious synonyms,
 like "utilize"  for "use" or "facilitate" for "aid." And
 misused words, like "fortuitous" (which does not mean
 lucky) and "enormity" (which does not mean immensity)
 or "preventative" (which is not the same word as preven-
 tive) or "remediate" (which is a solecism on the verge of
 being a barbarism, no  matter how many people use it).

 Recently  I edited an  EIS in which I removed the word
 "situated" more than  100 times. "X  is situated in Y" be-
 comes "X is in Y."  "Q is situated west of P" becomes "Q
 is west  of P." In  the same  document I  also changed
  "presently" to "currently" at least fifty times.

  Why are there so many young  professionals who cannot
  distinguish "historical" form "historic"? And why is there
  no basic agreement on whether the word "impact" itself
  refers to all effects or only to undesirable ones. (Does "no
  impact" mean no effect, or no harm? If all "impacts"  are
  bad, why do we write "adverse impact"?) Would it improve
  our EISs if we wrote them without any form of the word
   "impact"? Answer: Yes

   And these are the easy mistakes, the ones even a green
   editor would correct in a  minute. What  about the more
   difficult problems, though? The unbearably long sentences
   and paragraphs? The lack of links to connect one sentence
   to the next? The jarring differences in style from section to
   section? The oppressive lack of variety in sentence pat-
   terns? These problems need a  better editor, who, in turn,
   needs the time and authority to correct them.

    Most EISs have never been visited by a real editor. Of those
    I've read, about one in five shows evidence of anything
    more than rudimentary editing. Partly, this is because most
                                                    1.5.16-6

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1.5.16-8

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              i	
                              EPA RATING SYSTEM CRITERIA FOR DRAFT  EISs
                    The U.S. Environmental Protection Agency rating system criteria for review of draft

                    environmental	impact statements.  (Source: U.S. Environmental Protection Agency.

                    1984.   Policy and Procedures  for the Review of Federal  Actions Impacting the

                    Environment.  EPA Manual 1640)
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1.5.17-2

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                                                                                 '|I'*|I=I s^S'
                      	t	^	   . Protection Agency rating system criteria for review"
                      	draft environmental	impact statements (Source:   U.S.  Environmental
                ^.^p^^gjjnXgencyl  1984.  Policy and Procedures for the Review of Federal
                    Actions Impacting the Environment. EPA Manual 1640)
                     SUMMARY OF RATING DEFINITIONS AND FOLLOW-UP ACTION
             Environmental Impact of the Action
                                                                                              iJJif vi.ii£1FiJ1lJ(lft '": K
             Lo—Lack of Objections.   The EPA review has not identified any potential environmental
             impacts requiring  su'S'stantive changes  to  the proposal.   The  review may have disclosed
             opportunities for application of mitigation measures that could be accomplished with no more
             than mlnbr c&ahges to me proposal.
                                                                               |        ..;;	„	
             EC~EnvironmentaI  Concerns.	The EPA review has identified environmental  impacts that
             sho^teavoipTm	order to	fully prbtecf	the environment.  Corrective measures may require
             changes to the preferred alternative or application of mitigation measures that can reduce the
             environmental impact. EPA would like  to work with the lead agency to reduce these impacts.

             EO—Environmental  Objections.  The  EI»A" review has  identified significant environmental
             impacts that  must  be avoided in order  to provide adequate protection for the environment.
             Corrective measures may require substantial changes to the preferred alternative or consideration
             of some other project alternative (including the no action alternative or a new alternative). EPA
             intends to work with  the lead agency to  reduce these impacts.
                                                                      :::::, ':„;:; i,	•:,;, ',:,;	 -'•• •'•-.•\'.~	-
             EU— Environmentally Unsatisfactory.  The EPA review has identified adverse environmental
             impacts that are of sufficient magnitude that they are unsatisfactory from the standpoint of public
             health or welfare or environmental quality. EPA intends to work with the lead agency to reduce
             these impacts.  If the potential unsatisfactory impacts are not corrected at the final EIS stage,
             tij|s proposal will be recommended for referral to the CEQ.
             Adecmacy of the Impact Statement

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             Category 1—Adequate.  EPA believes the draft EIS adequately sets forth the environmental
             impact(s) of the preferred alternative and those of the alternatives  reasonably available to the
             project 5F'action.  No further analysis or data collection is necessary, but the reviewer may
                    me Addition of clarifying language or information.
                                                    1.5.17-3
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Category 2—Insufficient Information.  The draft EIS does not contain sufficient information
for EPA to fully assess environmental impacts that should be avoided in order to fully protect
the environment, or the EPA reviewer has identified new reasonably available alternatives that
are within the spectrum of alternatives analyzed in the draft EIS, which could  reduce the
environmental impacts of the action.  The identified additional information, data, analyses,  or
discussion should be included in the final EIS.

Category 3—Inadequate.   EPA does  not believe  that the draft EIS adequately assesses
potentially significant environmental impacts of the action, or the EPA reviewer has identified
new, reasonably available alternatives that are outside of the spectrum of alternatives analyzed
in the draft EIS,  which should be  analyzed in order  to reduce  the potentially significant
environmental impacts.  EPA believes that the identified additional information, data, analyses,
or discussions are of such a magnitude that they should have full public review at a draft stage.
EPA does not believe that the draft EIS is adequate for the purposes of the NEPA and/or Section
309 review, and thus should be formally revised and made available for public comment in a
supplemental or revised draft EIS.  On the basis of the potential significant impacts involved,
this proposal could be a candidate for referral to the CEQ.
                                        1.5.17-4

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                                                      SECTION 1.6
                                                DECISION  MAKING
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                                                            DECISIONMAKING
      For the purpose of this Resource Manual, decisionmaking is the authorizing
decision for a proposed project.  It does not refer to the incremental technical
decisionmaking that occurs throughout the EA process (e.g., choice of impact
analysis techniques) or  decisions made early on during initiation and scoping
(e.g., choice of alternatives) or decisions made during screening that proposed
actions dp not require the complete EA process. However, the real value of the
EA process may be in the avoidance of, or reduction in, adverse environmental
impacts as a result of  incremental  decisionmaking before a proposed  action
reaches final decisionmaking.

       Integration of EA into the decisionmaking process varies among countries.
In the U.S., EA is designed to assist agency planning and decisionmaking and not
to justify decisions that have already been made.  An agency decision to adopt a
particular alternative is based on the EA document and formalized by a record of
decision that is available to the public.  In the United Kingdom,  the EA report is
seen as a supporting document to the submission of a project for authorization.
However, such projects have met a number of other statutory requirements during
their development.

       In the U.S., decisionmaking can be seen as a two-stage process.1 Before
a draft EA document is ready for public and other agency review and comment,
 ,           	Ill* ^	L"	-	      -     .        , ,. .     .       .      ,
the proponent  must endorse the draft subject to additional information  and
comment during public hearings and review.  After the draft document is revised
to reflect public and other agency comment, the document is finalized, an agency
decision is made, and a formal record of decision is published.
                                                             	I	
                                                                  NEEDS
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                    Effective decisionmaking  depends on  1)  coordination and  continuing
             communication 5^^ the EA team leader and the decisionmaker(s), 2) a well-
             organizedexecutive summary  of the final EA  document  that provides the
             decisionmaker with concise and objective information relevant to the important
             issues, and 3) a public decision  document that summarizes the basis for the final
             decision  including  the  uncertainties  and  mitigation  and/or   monitoring
             requirements.  "'":	:"'"'"";'';	:":'	::::":"':;"'  '" ' ' ' : -:  ; ''": •-' •":	:: •;":"••;;	-• •- •• ---•.	 -::.- ::..••..•• .-: •.	;.,
           	::;:  •_••••_	,	1.6-1  	
              JFqr purposes of this document, the term Environmental Assessment (EA) will refer to the
              Environmental Impact Assessment (ElA) process.

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Decisionmaking requires compromise among many elements (e.g.,
technical, environmental, economic, political and administrative
factors).  Thus, it is important that the decisionmaker is an integral
part of the EA process so  that his/her  decision is based  on
understanding the choice of issues analyzed in the EA document
and the limitations of the analysis. Progress reports and periodic
briefings serve to eliminate surprises.

Decisions are often made by persons who are not closely involved
with the EA.  Thus, an executive summary, based on the table of
contents of the EA document, must provide the decisionmaker with
clear  and  concise  information to  facilitate  comparison  of
alternatives  and to support the  choice of  the environmentally
preferred alternative. The executive summary should include brief
discussion of the:

—     proposed action with a schedule for implementation;
—     viable alternatives that reflect the purpose of and need for
       the proposed action;
—     potential impacts of implementation (e.g., construction,
       operation, accidents);
—     relative importance of the environmental issues;
—     basis for balancing the environmental impacts with other
       impacts/benefits (e.g., economic, social, technical);
—     recommendations and their implications;
—     uncertainties  and risks   of  proceeding  and  how  the
       uncertainties will be managed;
—     concerns/views of the publics and  technical specialists
       (e.g., biologists, engineers);  and
—     mitigation  in  response  to  unavoidable  impacts  or
       outstanding concerns and follow-up requirements.

As a general  guide, an executive summary should be about 10
percent of the length of the report, up to a maximum of 10 pages.
It is often useful to print the executive summary on paper of a
different color (South Africa Department of Environment Affairs
1992)

The decisionmaking process  culminates in the preparation of a
concise public record of the decision. It should include:

—     a statement of the decision;
—     discussion  of the alternatives considered in  reaching a
       decision,  including identification of .the environmentally
               1.6-2

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                                                                                        '"I    I'll "I"  ' I "I	III'III'1 I I"
       	i . "	i,:	,i,
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         pi',^:^
  ;t	
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          preferable alternative or alternatives and any other relevant
          factors that entered into the decision (e.g., economic and
          technical considerations including, if appropriate, trade-offs
          made in not selecting one of the preferred alternatives, as
., ||i;!::', .^^!w«]l. as ajency statutory missions and national policy);
„• ;i	isrrsi"1.;	i	^temei^ffiar^"practical means to  avoid  or minimize
'. '„"!.' I	.~,! Tenvir^nmental harm from the selected	'alternative have been
""; ™" ;;:i	''i;* adopted, and if not, why not; "and	
f !'^-r^,	^IT^SSiim^	of the monitoring and enforcement program for
          any mitigation measures.
                                                          i
                                                        TOOLS

   Westman (1985) reviews  the methods and limitations associated
   wi|| ignomic  approaches  to evaluating resources  [e.g.,  cost-
   benefit  analysis!    hypothetical   valuation   (willingness-to-pay
   surveys)].  He notes that although monetary units have a. familiar
   meaning to  decisionmakers  and the public, they  are  almost
   impossible to apply  in a universally acceptable way  to resources
   that are not typically marketed (e.g., human life, bacteria,  wind).
   Nevertheless, the  need  for evaluation is inescapable and in the
   absence of explicit evaluations, implicit evaluations are performed
:*a*!Jby_ detisionmale'S	'	Thus,	it "is	important to remind  decision-
   makers of the  assumptions  and limitations  of the evaluation
.J	^i^f^^.^ng used (Westman  1985).  The  use  of sensitivity
K=at^jrsis	jjjsee	t!eTow),"	553	of.several different evaluation methods
   simultaneously, can help to	reveal the assumptions and limitations
	ol'an	analysis (Westman 1985).

          Cost-benefit analysis (CBA) among alternatives of projects
          is widely  used  in decisionmaking  to determine  if the
          ,econpjnuc benefits of development exceed the costs.  The
      	cosS	and'	lienefils'	icbhsidered	include not  only the
          expenditures and revenues of public sector entities but also
         "lienelfti and  costs experienced by private businesses and
          individuals.  It  may go  beyond  consideration  of direct
          economic  issues  and also assess  indirect  effects and
          "intangibles"  (e.g.,  aesthetics) but  is seldom addresses
          "externalities" (e.g., media that act as pollutant sinks such
          as atmosphere or watercourses). Thus,  although CBA may
          be   important  in  decisionmaking  it   excludes   most
          environmental costs'!	
                                                  1.6-3

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—     Cost-effectiveness analysis focuses on the cost of providing
       selected services, or more broadly, of achieving selected
       objectives.   This technique emphasizes  determining  the
       least cost approach  to achieving a  given  objective and
       typically considers a range of alternative actions within the
       constraint of a  fixed level of resources  (Leistritz and
       Murdock 1981).

—     Results of public opinion polls show that individuals  are
       deeply concerned about the environment and that people in
       both rich and poor nations give priority to  environmental
       protection over economic growth (Dunlap et al. 1992).  At
       present,  however,   scientific   dispute  and  incomplete
       knowledge limit our ability to balance scientific, social and
       economic factors in decisionmaking. Nevertheless, there
       is increasing interest in developing environmental indicators
       that translate environmental data into a form that can be
       readily understood and used by decisionmakers and  the
       public  (Environment Canada 1991).  Efforts have been
       made to weight individual (expert-selected)  environmental
       indicators into   composite environmental  indices  using
       expert opinions (Inhaber 1976).  More recently, an effort
       has been  made  to  use public opinion  polls to  weight
       environmental aggregate indices (Alberti and Parker 1991).
       To date, monitoring the status of environmental resources
       has increased the volume of environmental data but  has
       failed to provide decisionmakers and  the public with
       specific answers  to  critical questions concerning  actual
       conditions, trends, and the causes of environmental damage
       (Alberti and Parker  1991).

Trade-off analysis  typically involves comparison of a  set of
alternatives relative to a series of decision factors (Table 5-1).
               1.6-4

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             Table 5-1.  Trade-off Matrix.  (Source:  Canter, L. W., S. F. Atkinson, and
                  F. L. Leistritz.  1985.  Impact of Growth.  Lewis Publishers, Inc.,
                                         Chelsea, Michigan.)
" 	 ' . „" 	 ',11 "„ ," "; ' ; "," ' '. ". '" 	 	 	 	 ' 	 • 	 Alternatives
Decision Factors
1234
5
i
1
' 1!
	 !,! 	 1 .
Ill ll
                 to Meeting
           Needs and Objective!

           Economic Efficiency                                            	I"

           Social Concern*                                                              I
           (public preference)                                                            "

           Eavirpomeaul Impacts                   '                              ""      	•

                  -Biophysical            		'	"' '  "" '"	'"	'""	"" "	"" 	I
                  —Cultural
                  —Socio-economic                                                      "
                    (include health)
           The following approaches can be used to complete the trade-off matrix (Canter
           et al.  1985):
                       '		"'•''•'	•"" '	"	 "••  • •	"  '•• «»	••-  ' «.'.•«,- -.-,!	 	M,,,,	r«...|	:	..,,v	
                          —     qualitative approach in  which descriptive information on
                                 each alternative relative to each decision factor is presented
                                 in the matrix;
                          —     quantitative approach in which quantitative information on
                                 each alternative relative to each decision factor is displayed
                                   .,       .  	l|r '""• '	"	"		' "	"'	.1 •••	•'	'	• •	'	'	1! '.I	.•	« 	,	iii|	, :-,„ i,	 -
                                 in the	matrix;	
                          —     ranking, rating, or scaling approach in which the qualitative
                                 or  quantitative  information  on   each   alternative   is
                                 summarized via the assignment of a rank, or rating, or
                                 scale value relative to each decision factor (the rank, or
                                 rating, or scale value is presented in the matrix);
                          —     weighing approach hi which the importance weight of each
                                 decision factor relative to each  other decision factor  is
                                 considered, with the resultant discussion of the information
                                 on each alternative (qualitative; quantitative; or ranking,
                                 rating or scaling) being presented in view  of the relative
                                 importahce of the decision factors; and
                          —-     weigEng:rahkihg/rating/scaling  approach  in  which the
                                 importance weight for each decision factor is multiplied by
                                                       1.6-5
                       	   ;   ,; ll"	 ;• '"_  "' •'•'' '1.	"'!  "•.  	    , ,iv	,! •.  ' Bl-ULi!	,	i


                       •"I	I	  ", 	 '	  ' -i, 1	.1, • j. .  ,:.  ..   ,.  „,  . 	 '" .'.  ' '"' '"'

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       the  ranking/rating/scale  of each  alternative,  then  the
       resulting  products for each alternative are summed to
       develop an overall composite index  or score for each
       alternative.

Importance weighing and ranking techniques are described by
Canter  et  al.   (1985).   Description  and  references for  the
weighing-scaling/rating/ranking approach  are found  in Canter
(1979). The problems associated with the development and use of
environmental indicators  are  discussed by Alberti and Parker
(1991; see Attachment 5.A).

Scaling-weighing or ranking-weighing  checklist methodologies
(Canter et al.  1985; Chapter 4.3)  involve  the assignment of
importance weights to environmental  factors and the scaling or
ranking of  the  impacts  for  each alternative  on each factor.
Comparisons of alternatives can be made through the development
of a product  matrix which consists of multiplying importance
weights by the scale or rank for each alternative.  Canter et al.
(1985) note that information for these approaches can be based on
impact prediction.  They list some structured importance weighing
or ranking  techniques  as well as suggesting that  less-formal
approaches such as scoping can be used as the basis for importance
weighing.

Sensitivity analysis is a  technique that identifies the parameter or
variable of a model that is  most sensitive to  change.  It  also
provides a measure of the sensitivity of the important variables to
changes in the parameters.  For instance, if  the endpoint of the
analysis is to predict the effects of herbicide application on insects,
then varying the kind or amounts of herbicides should be reflected
in the response(s) of the insect(s) of interest.  Because there is so
much  uncertainty  associated  with  prediction  in  EA  (e.g.,
assumptions  underlying  models, correctness. of input  data,
significance of results), examination of the sensitivity of a result
to differing  assumptions on ranking  and  weighing within a
methodology helps modelers and decisionmakers understand  how
changes to the input of an analysis affect the predicted impacts of
a proposed action (Jfcrgensen 1991).

                                                     ISSUES

In the U.S., there is a minimum 30-day period between publication
of a final EA document and publication of the agency decision on
               1.6-6

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  ""1""1 ................... '"'
                                                                                       ..... i T, ..... in IK ...... • ...... .••<,
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                               ifeiques, by their nature,  involve some  degree of uncertainty.
                             So along with each  attempt  to quantify an impact,  the EA team
                             should also quantify the  uncertainty of the prediction in terms of
                             probabilities  or  "margins of error".    Factors  contributing to
                             uncertaintyare:
                            •   111      i                       	 ,,,	, ir	           |
                             —     limits on resources for planning and analysis,
                             —     lack of evidence that a system is sensitive/insensitive to
                                    uncertain input,	'	!	
                                    inadequate  training/understanding   of  probability   and
                                    statistics,
                             —     concern about public  acknowledgment of uncertainty,  and
                             —     lack of understanding of the importance/consequences of
                            I!   "I IIIII" I II   I I  III I III 11 II | ||||||||||||| nil 11  i | i|li;1||.	hl,	S	,7              ^
                                    uncertainty in decisionmaking.
               	' jii,	|;;|;f,!jij|	: Hi	^jwpttpa
               "'"'	'	' '"	
                             Decisions are not made Soieiy On  the basis of environmental
                              	ilium	mill 111 iiiiii II1I ill mi in 11 in iiii  .  	,	„	X	
                             consequences.   There are  mteragency agreements; regulatory
                             constraints, and political realities that must be considered when
                             selecting a course of action.  Moreover, the decisionmaker must
                             take into account not only the facts, but also people's perceptions.
                             Once a  decision is  reached, perhaps with  mitigation measures,
                             there are usually additional  responsibilities.   These may include
                                         and  oversight of plans to reduce conflict (e.g., public
                             participation  in  planning,  public education,  compensation for
™i	;:£;;;;::*::: ':-;'       -'i;:-  "  'affected groups) and  to  provide for mitigation and monitoring
                             (Attachment	6. A).   	

" "M™.."""  ",;:;" !;:;,; ;	:;;"!•„     The scope of decisionmaking often is constrained by the nature of
?|ii:^:^fi=«  ::! i- :" /'«"^ii,;^~.^.,prpposa[.  For instance,  there are proposals with:

;":lliSS^ir '" j,,,;,,F> ,'';:•..&$&'Spi"^:;^:^ii(^ja^ysis  of alternatives	(e'lgJ1,	legislatively  directed
7^*?|i;'^l!r "J'l^E^lT'i'i.!^^!^"*	^^Kisipni'ln	SeY*how-to-do" context),
                                                                                                          'i'w^^^^         	inni
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                lU	ihllri'J	nilH'! 'lilin;;,,!
                                 "" I"1,!1'111 Jl If "i *ili BOTM^  4,',' ', T" :,
                                                                                                     ' -i ii,'i,i,:;,p	••!•!
                                                                                                    M	:i;l!:ifPi::ii;;;!ii
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             —     limited analysis of alternatives (e.g., the mandated closure
                    of military bases  under the Defense Base  Closure  and
                    Realignment Act of 1990), and
             —     analysis of multiple alternatives where the decisionmaker is
                    faced with sophisticated EA  methods.

                                                             LINKAGES

       Effective decisionmaldng depends on integration of all of the elements of
EA.  During initiation and scoping,  issues are raised, alternatives are generated,
and valued resources are identified;  public perception of the proposed action and
the potential for controversy are usually detected during these early stages.  The
assessment process, beginning with description of the affected environment and
culminating with documentation, provides the decisionmaker with answers to the
following questions:

             —     what will happen as a result of the project?
             —     what will be the extent of the changes?
             —     do the changes matter?
             —     what can be done about them?

Mitigation is designed to address the last question and although most agencies do
not have requirements for follow-up studies, there is a growing interest in post-
decision analysis.

                                                          REFERENCES

Alberti, M., and  J. D. Parker.  1991.  Indices of environmental quality:   the
       search for  credible measures. Environmental Impact Assessment Review
       11:95-101.

Canter, L. W., S. F. Atkinson, and F.  L. Leistritz.  1985.  Impact of Growth.
       Lewis Publishers Inc., Chelsea, Michigan.

Canter, L.  W.   1979.   Water Resources Assessment  -  Methodology  and
       Technology Sourcebook.  Ann Arbor Science, Ann Arbor, Michigan.

Dunlap, R. E., G. H. Ballup, Jr., and A. M. Gallup.  1992. The Health of the
       Planet Survey.  The George H. Gallup International Institute, Princeton,
       New Jersey.

Environment Canada.   1991.    A Report on  Canada's Progress Towards a
       National Set of Environmental Indicators.  SOE Report Number 91-1.
       Environment Canada, Ottawa.
                            1.6-8

-------
Inhaber, H.  1976. Environmental Indices.  Wiley Interscience, New York.

lirgensen, SI E. 1991. Environmental management modeling. In: Introduction
        to Environmental Management (eds. P. E. Hansen and S. E. Jorgensen).
        Elsevier, New York.  403 pp.
                                                                           I
Lcistritz, F. L., and S. H.  Murdock.   1981.  The Socioeconomic  Impact  of
        Resource Development:   Methods  for Assessment.   Westview Press,
        Boulder, Colorado.  286 pp.
                                     .'..;.;;„,., I,;,;,;	;;	;;,,,;  ,;	;;;,; ;	";	;;:;;;;;;;;	;	:    |
South Africa Department of Environment Affairs.  1992. Guidelines  for Report
        Requirements.  Department of Environment  Affairs, Private Bag X447,
        Pretoria 001, Republic  of South Africa.  (One of six documents in The
        Integrated Environmental Management Guideline Series that are available
        on request).
ILK I",.],: j '1 ';	|IF"'i vi 111	" JlFBij;1 i 'i"'!':	;  ]	i ;S	nB3B,»T	 , i*'; Wl	,'"' .' '•!(	l;'!!
111!	a rt	II1 'ill I'll	'illiiliJi;:,;!!!!!!''!11':!-!	!>„' ' t	i	!'.,	aSffll!11*!.!11 i,'1	Ill  : ';	i1"1' I' .'•",.	, i.
                                                 iW;..ii!'(.3ia}t	..ILTOiif'TKfti
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           iil>: ;;;iii	"liiiiiiiKii  ' ni	,11	i, i ,„ ,, ititi/j11" "it:; n
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                                                1.6-9
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               INDICES OF ENVIRONMENTAL QUALITY
                                                                                            Ill11 'I
                 Aibertij"M,""and J.DV Parker".''' 1991. Indices of environmental quality, the search for
                 credible'measures.'  Environmental Impact Assessment Review 11:95-101.
           •' I	
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                                                                                             EWWON IMPACT ASSESS REV mi;1l:9S-tM
                                                                                                                         VIEWPOINT
                                                                                               INDICES OF ENVIRONMENTAL QUALITY
                                                                                               THE SEARCH FOR CREDIBLE MEASURES
o\
                                                                                               MARINA ALBERTI*
                                                                                               Massachusetts Institute of Technology
                                                                                               JONATHAN D. PARKER**
                                                                                               University of Cambridge
                                                                                             Informed choices about environmental policy require increasing our capacity to
                                                                                             monitor changes in the status of environmental quality. For example, monitoring
                                                                                             concentrations of toxic substances in the atmosphere, water, soil, and food chain
                                                                                             is crucial in order to prevent adverse health effects. Monitoring alterations in
                                                                                             the productivity and biodiversity of various ecosystems is essential to the antic-
                                                                                             ipation of problems before they reach critical proportions. Moreover, measuring
                                                                                             changes in environmental quality over time gives policymakers a basis for as-
                                                                                             sessing the effectiveness of environmental policies.
                                                                                               However, monitoring environmental change is much more difficult than most
                                                                                             people think.  Environmental changes are difficult to interpret without a clear
                                                                                             understanding of how environmental systems work. There are sharp disagree-
                                                                                             ments among scientists and  policymakers  concerning the best measures and
                                                                                             methods for  measuring changes in environmental quality. In this Viewpoint
                                                                                             article, we argue that the measures and methods used to monitor the status of
                                                                                             the environment play an important role in framing environmental problems and
                                                                                             in shaping the way we think about possible solutions. We suggest that the success
                                                                                              AiUreu cotnsfoadtnct to: Marina Albert!. 9-334D. M.I.T., Cambridge, MA 02139.
                                                                                              •Marina Albert! is * Hi.D. candidate it the Department of Urtian Studies md Pluming of Ihe Massachusetts
                                                                                             Institute of Technology. Cambridge. Massachusetts.
                                                                                              "Jonathan D. Patter U • Ph.D. candidate at the Judge Institute of Management Studies, Univenily of Cam-
                                                                                             bridge. England.
                                                                                             C 1991 Elsevler Science Publishing Co.. Inc.
                                                                                             653 Avenue of the Americas. New Yotk. NY 10010
|9J-9255/9l/$J.JO

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96
                                     MARINA ALBERT! AND JONATHAN D. PARKER
of environmental monitoring activities and their impact on policy-making depend
above all on our ability to handle disagreement among experts.
The Need for Environmental Indicators
Attempts to monitor the status of environmental resources have increased the
volume of environmental information available. However, they have failed to
provide decision makers and the public with specific answers to critical questions
concerning actual conditions, trends, and the causes of environmental damage.
First, environmental monitoring systems are designed to meet specific regulatory
purposes.  They reflect the often fragmented approach of the regulations them-
selves.  Secondly, monitoring data  gathered by different agencies in different
periods using different  methods are not comparable over time. Moreover, raw
data are often too complex to  relate to poor or good conditions. Likewise,
fluctuations in physical, biological, and chemical variables are very difficult to
correlate to environmental trends.
  To enhance their ability to monitor environmental change, national and in-
ternational organizations have recently specified sets of indicators. At the 1989
economic  summit in Paris, the Group of Seven requested that the Organization
for Economic Cooperation and Development (OECD), within the context of its
work on integrating environment and economic decision making, examine how
selected environmental  indicators could  be developed (OECD 1989).
  Several  OECD countries have allocated substantial economic resources to set
up  environmental monitoring systems and to produce national  environmental
statistics. Currently, the Office of Research and Development of the U.S. En-
vironmental  Protection  Agency  (EPA)  is  developing  a monitoring system to
assess  and document the changing condition of national ecological resources
(US EPA  1990a). The Canadian federal government is currently developing a
computerized environmental information system for specifying national and large-
scale regional  environmental indicators. Several European countries, such as
France, the Netherlands, the Federal Republic of Germany, Denmark, and the
United Kingdom, who  already produce  regular reports on  the state of the en-
vironment, have recently tried to upgrade existing environmental statistics.  As
part of Scandinavian environmental cooperation among Denmark, Finland, Ice-
land, Norway, and Sweden the Integrated Monitoring Programme was begun in
Finland in 1985.
  Currently, the OECD is developing environmental indicators in three specific
areas:  1) indicators for reporting on environmental conditions and trends, 2)
indicators  for integrating environmental considerations into sectoral decision-
making, and 3) indicators  for incorporating natural resources into overall eco-
nomic  accounts. These  indicators will be used to  monitor  the state of the en-
vironment and its evolution  over time;  evaluate the performance of projects,
progr-s,  and plans; and  communicate with the  public and among  decision
maf       BCD I991a,  199lb).
                                                                                             INDICES OF ENVIRONMENTAL QUALITY
 Measuring Environmental Quality
 The status of environmental resources can best be described through using phys-
 ical, chemical, or biological variables. These variables in turn are used to con-
 struct  indicators of environmental change of various kinds. Indicators of air
 quality, for example, are measures of the concentrations of air pollutants. In-
 dicators of surface water quality consolidate changes in several variables  such
 as pH, dissolved oxygen, suspended solids, etc. The process of designing indices
 of environmental quality implies simplification and the use of subjective judg-
 ment.
   Detecting variations in these indicators at local,  regional, and national levels
 is relatively simple.  However, the choice of variables, the construction of in-
 dicators, and the selection of measurement methods are critical. While  some
 environmental phenomena are relatively well understood, others are still unclear.
 Incomplete and inadequate choice concerning indicators and measurement meth-
 ods  can lead to wrong interpretations.
   The definition of environmental "indicators" and "indices" was taken up in a
 exchange of views between  Wayne Ott and Herbert Inhaber (Ott and Inhaber
 1979)  in the 1970s. Inhaber states, "Environmental indicators  provide infor-
 mation about the state of the environment, not obtainable in other ways" (Inhaber
 1976). In his view  the development of  an environmental index is aimed at
 reducing a large amount of unrelated data to a single measure. He defines an
 index as "the comparison of a  quantity to a scientific or arbitrary standards"
 (Inhaber 1976). Ott  prefers to define an indicator as a mathematical function
 based on one pollutant variable  (for example, the sulfur dioxide concentration)
 and an index as a mathematical function based on two or more pollutant variables
 (Ott 1978).
  The EPA Environmental Monitoring and Assessment Program (EMAP)  (see
 US EPA I990a) defines an environmental indicator as "a characteristic of the
 environment that, when measured, quantifies the magnitude of  stress, habitat
 characteristics, degree of exposure to the stressor, or degree of ecological re-
 sponse to the exposure" (US EPA  I990b). The EPA defines an  environmental
 index as a mathematical aggregation of indicators  or metrics. One example is
 the Index of Biotic Integrity  (IBI), which combines several metrics describing
 fish  community structure, incidence of pathology,  population sizes,  and other
characteristics" (US EPA I990b), proposed by the EPA to assess the quality of
streams.
Scientific Controversies
Environmental indicators and indices are essential to the development of envi-
ronmental statistics. Yet, the task is  not straightforward. Disagreement persists
among experts concerning appropriate definitions. Controversies exist within and
across different disciplines. Geologists express the conditions of environmental

-------
                            Kh!  , \t   If '(i &
                            WMli   hi  '
    9'S
                                         MARINA ALBERT! AND JONATHAN D, PARKER
    resources in terms of ecological integrity and assess them on the basis of observed
    changes in ecological attributes. Experts disagree on (he definition of ecological
    integrity and on the characterization of critical conditions.
       The basic controversy between advocates  and opponents of environmental
    indices concerns the distortion that can occur in the simplification process implied
    by aggregating environmental variables  into one single value. Advocates of
    environmental indices maintain that, while imperfect, measures of environmental
    quality are useful tools and that some distortion is acceptable. The opponents
     reject these possible distortions and warn about misleading the users of these
     measures.
:uv
The EPA Environmental Monitoring and Assessment Program      ;
The environmental indicators used in the EMAP are being developed for six
ecological resources categories: near-coastal waters, inland surface waters, wet-
lands, forests, arid lands, and agroecosystems. The EMAP strategy identifies i
three main categories of indicators: 1) response indicators, 2) exposure or habitat!
indicators, and 3) stressor indicators (US EPA 1990a).                       :
   Response indicators are characteristics of the environment measured to provide !
evidence of the overall biological conditions of resources. They quantify the *
response of ecosystems to anthropogenic stress by measuring organisms, pop- >
ulations, communities, and ecosystems processes.  For example, one response j
indicator  for arid land is soil erosion; for inland  surface water  an important;
indicator is the Fish Index of Biotic Integrity.                               I
   Exposure or habitat indicators may be used to diagnose and measure ecosystem ;
exposure to pollutants and habitat degradation. Exposure indicators are measures '
of the occurrence or magnitude of ecosystems exposure to physical, chemical, J
 and biological stress (i.e., ambient pollutant concentration). Habitat indicators:
 are physical attributes that characterize conditions necessary to support an or-;
 ganism, population, or community (i.e., abundance and density of key physical
 features).                                                                "
    Stressor indicators measure socioeconomic, demographic,  and natural pro-
 cesses which cause changes in exposure and habitat conditions and are indicative
 of environmental stress. They include hazard indicators  (e.g., emissions of air-
 pollutants), management indicators (e.g., incidence of dredging and filling ac-
 tivities),  and natural process indicators (e.g., natural climatic fluctuations).   ,
    EMAP indicators are designed to answer critical questions such  as: 1) What!
 is the current status, extent,  and geographic distribution of our  ecological  re-
 sources?  2) What proportions of these resources  are degrading or improving,
 where, and at what rate? 3) What are the  likely causes of adverse  effects? and
 4) Are adversely affected ecosystems responding as expected to  control and
  mitigation programs (US EPA I990b)?
                 Wm •!! '!M
                   4 Mi!
                                                                                                 WDK3S OF EHVmONMiENTAL QUALITY
                                                                                                                                                                      99
                                                                                                                                        i  Si
                                    I   =  «                   :
  The EPA strategy of selecting indicators thai will help to answers these specific
questions does not address the problem of subjective judgment, The review
process for selecting indicators includes several steps by which a large number
of experts will evaluate expected and actual performance of proposed indicators
and will specify those that mutch selected desirable criteria. How controversies
will be solved is not clear.
  The EPA's Office of Research and Development claims that EMAP scientists
"will  answer these questions by defining and implementing over the next five
years integrated  monitoring networks ..." (US EPA I990b). The EPA insists
also that "EMAP networks will use a statistically based sampling  design to
provide unbiased estimates with quantifiable confidence limits over regional and
national scales for periods of years and decades" (US EPA I990b).
  Although the  EPA approach is extremely well structured and responds to
accepted statistical principles, it does not address the critical question of how
best to resolve the scientific and political controversies involved in the choice
of indicators. We argue that there is no universal method for determining changes
in environmental quality, likely causes of adverse effects, or satisfactory re-
sponses. Environmental quality is a mixture of both tangibles (such as the con-
centration levels of chemical substances in the atmosphere) and intangibles (such
 as an acceptable level of air quality for the exposed population and the envi-
 ronment).  Conflicts will continue to exist.


 The Search for Credible Measures
 The intended purposes of measuring environmental changes is to inform policy-
 making. Therefore, a measure of its success is the impact of monitoring activities
 on designing and adjusting environmental policies at the national, regional, and
 local levels to meet new environmental emergencies and priorities.
   Compared with economic and social indicators, environmental indicators have
 little direct impact on environmental policy and even less impact on  sectoral or
 economic policies. Economic statistics are well developed worldwide. While the
 development of economic indicators has been characterized by enormous con-
 troversies, several economic indices such as Gross National Product  (GNP) and
 the price  indices are  recognized worldwide as measures of economic wealth.*
 These two economic indices are generally used as the basis for economic policy-
 making.
    Some important insights into the  present debate on environmental indicators
  may be gained by examining the controversial history of social indicators. While
  social indicators now significantly influence social and economic policies, the
  development of these indices was characterized by great controversies concerning'
  cause-and-effect relationships. A similar pattern of controversy can be observed
  in the attempts to define indicators of environmental quality, particularly quality-
  of-life indices  (Carley 1981). Beesley and Russwurm contend that "social in-

-------
     100
MARINA ALBERT! AND JONATHAN D. PARKER
     dicators are embedded within a political and value judgment reality which may
     pose problems in their design and use" (Beesley and Russwurm 1990). Also, it
     is not always possible to establish relationships between the objective social
     indicators and the social  concepts that they are supposed to measure. This has
     provoked considerable interest in searching for subjective social indicators which
     might be particularly useful in highlighting social concerns and problems (Bees-
     ley  and Russwurm  1990). However,  these attempts lack the "official" seal of
     approval that objective indicators carry (Carley 1981).
       Similar concerns emerge regarding the attempts to incorporate subjective judg-
     ment in the development of aggregate environmental indices. Efforts have been
     made to weight individual (expert-selected) environmental indicators into com-
     posite environmental indices  using expert opinions. These include the work of
     Inhaber for Canada (Inhaber 1976) and those applying the Delphi technique.
     Some current work uses public opinion polls to weight environmental indicators
     in forming aggregate indices such as Hope,  Parker, and Peake have done for
     the  United Kingdom (Hope and Parker 1990; Hope, Parker, and Peake 1990).
     These approaches underscore the important role of social considerations in de-
     veloping such measures.
ON
     Conclusions
     Indicators of environmental quality will not influence the policy-making process
     unless there is agreement on the choice and the design of such measures. As
     Judith Innes has suggested for social indicators, "the intended purpose of de-
     veloping measurements to be used in the  policy-making process has to play a
     role in the process of designing them" (Innes 1975). In her analysis of social
     indicators and public policy she maintains that the things we measure and the
     way we measure them  contribute to the formation  of norms and goals.
       We suggest that measurement is an integral part of the process of identifying
     problems as well as of searching for solutions. Our  increased capacity to collect,
     analyze, and manage information will not have an impact on policy-making
     unless we are more careful about the information we select. Scientific disputes
     and incomplete knowledge have serious implications for policy decisions. Fur-
     thermore, the serious social implications of irreversible environmental changes
     underscore the responsibility of the scientific community to take part in the
     policy-making process. Designing appropriate measures  to monitor environ-
     mental problems requires the ability to balance scientific, social, and political
     considerations in  the process of designing and applying these measures.  This
     process  will inevitably reflect tradeoffs between political and social actors. Ef-
     fective and comprehensive policy making requires increased sophistication in
     assessing conflicts between scientific experts.
                                                        INDICES OF ENVIRONMENTAL QUALITY
                                                        References
                                                        Albert!, M.  1990. Environmental indices. Ambitnte Italia. Milan: Mondadori.
                                                        Beesley, K.B., and Russwurm, L.H. 1990. Social indicators and quality of life research'
                                                          Toward synthesis. Environments 20(1): 22-39.
                                                        Carley, M. 1981. Social Measurements and Social Indicators. London: Allen & Unwin.
                                                        Commission of the European Communities (CEC). 1990. Council Directive, 7 June 1990
                                                          on the freedom of access to information on the environment. Official Journal of the
                                                          European Communities No. L 158/56-58. 23-6-1990.
                                                        Innes J. 1975. Social Indicators and Public Policy. New York: Elsevier.
                                                        Hope, C.W., Parker, J.D.E.  1990. Environmental information for all-the need for a
                                                          Monthly Index. Energy Policy 18(4):3I2-3I9 (May 1990).
                                                        Hope, C.W., Parker, J.D.E., and Peake, S. 1990. A pilot index for the United Kingdom.
                                                          Management Studies Research Paper, University of Cambridge, 10/90.
                                                        Inhaber, H.  1976. Environmental Indices. New York: Wiley Interscience.
                                                        Organization for Economic Cooperation and Development (OECD). 1989. Summary
                                                          Conclusions of the OECD Workshop on Environmental Indicators. Dec 4-5  Paris-
                                                          OECD.
                                                        Organization for Economic Cooperation and Development (OECD). I99la. The State of
                                                          the Environment. Paris.
                                                        Organization for Economic Cooperation and Development (OECD).  I99lb. Environ-
                                                          mental Indicators—a preliminary set. Paris.
                                                        Oil, W. 1979. Environmental Indices: Theory and Practice. Ann Arbor. MI:  Ann Arbor
                                                          Science Publishers.
                                                        Ott, W., Inhaber, H. 1979. Discussion on Canadian Air Quality. Atmospheric Environ-
                                                          ment 2:428-429.
                                                        U.S. Environmental Protection Agency (US EPA) I990a. Environmental Monitoring and
                                                         Assessment Program. Office of Modeling, Monitoring Systems and Quality Assurance
                                                         Washington DC: EPA.
                                                        U.S. Environmental Protection Agency (US EPA) 1990. Ecological Indicators for the
                                                         Environmental Monitoring and Assessment Program. Atmospheric Research and Ex-
                                                         posure Assessment Laboratory. Research Triangle Park, NC: EPA.
                                                        U.S. Environmental Protection Agency (US EPA) I990c. International Symposium on
                                                         Ecological Indicators. Conference Proceedings, 15-19 October 1990. Fort Lauderdale
                                                         PL.

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                  (I1 III
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                        SECTION 1.7
                        FOLLOW-UP
                                       ill n
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                         Ill II I  III
                                                                 FOLLOW-UP
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         Post-decision analyses (PDA)  are environmental studies  (i.e.,  data
  collection and evaluation) undertaken during and following the implementation
  phases of an activity after the decision to proceed has been made.  They are also
  known as follow-up studies and sometimes as environmental monitoring or audits.
•,,;;Tnere is no universally accepted set of principles defining an approach to PDA
 ,»«' .iiiih ;ji«,i	"in,111	a	,	(iiii	i	.1	ili	ijjSXi	—.a	,, 	*	  *        .      .             .
  (Davies and Sadler 1990). The analyses may be undertaken prior to construction,
  ^^g construction or	operation, and at the time of abandonment to determine if
  the project was carried out as planned in the EA documentation, to determine the
  adequacy of impact prediction methods, to ensure accordance with regulatory
  requirements and/or with terms imposed by EA documentation for mitigation or
  monitoring, to modify mitigation measures if needed, to learn from the particular
  activity, and to prevent irreversible environmental damage (United Nations 1990).
  || is particularly important for activities that involve new technologies.

         For purposes of this sourcebook, PDA is a generic term for a wide-range
  of activities that can occur after a decision is made.  The  focus can be  on
  scientific, social and technical issues and also those dealing with procedural and
  administrative matters.   Related terms such as monitoring (Canter  1993) and
  auditing (Culfiane 19^3) are harrower in  concept.  For  instance,  compliance
r^i^mtojnng is designed to ensure that regulatory requirements are observed and
  standards are met.   Audits are independent and objective examinations  of
'•«"«	(•»»»!	.       . -	r. i"	,	•	•	.	'	•"•«.	:	 	  ...
  compliance with legal requirements, internal policies and/or accepted practices.
^r^oweverj	the needs and tools discussed in this  section are generally applicable
"Li to' any'""of these'aclivities^Components within a broad definition of PDA include
  35 appropriate:
                                                                            If::	:::,
                             planning the collection of data to meet specific objectives
                             and environmental information needs;
                             designing monitoring systems and studies;
                             selecting sampling sites;
                             collecting and handling samples-
                             laboratory analysis;
                             reporting and storing the data;
                             assuring the quality  of the data; and
                             analyzing, interpreting, and making the data available for
                             subsequent decisionmaking.
                                                  1.7-1
                   iil|ii( i ill mil 11

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                                                    NEEDS

The purpose of PDA must be carefully defined and the planning
for PDA must be an integral part of the EA process.  The focus of
PDA  is usually on:  issues of concern  and valued resources for
which there is  insufficient information; monitoring compliance
with regulatory requirements and  agreed upon conditions; and
evaluating proper and cost-effective management. A decision on
a PDA plan should be  made at the time that a decision is made
regarding the project.

There must be a commitment to the PDA program at all levels of
management, including adequate financial support.   Roles and
responsibilities  must  be  defined  for the  proponent,   other
government agencies, scientific  and technical advisors, and the
public early in the EA planning process. Furthermore, provisions
must be made for:

—     management responses to PDA findings, including how to
       handle  environmental  surprises  (i.e.,  unanticipated
       impacts);
—     revision  of mitigation  or monitoring if it is found to be
       inadequate or unnecessary;
—     ending the program if and when it is no longer needed.

Independent design and implementation of the PDA program is
encouraged, particularly for those areas of the program that are
sensitive and for  which work done by the proponent may  not be
regarded as credible by the public.

Monitoring programs are expensive to plan and implement; thus
every  effort should be  made  to  coordinate  with and  utilize
routinely collected  data from ongoing monitoring  programs as
appropriate.  Various government agencies and the private sector
collect  data which once  identified  can  be  aggregated and
interpreted relative to the particular area of interest  (Attachment
4.A).  There probably never is enough information collected to
thoroughly  test  PDA  hypotheses.   Therefore,  it  is usually
necessary for professionals to extrapolate from monitoring  data to
arrive at an "educated best-guess".

Periodic evaluation of PDA  data  and  preparation of an  annual
report for distribution to interested  and affected publics.
              1.7-2

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                          A review of 11 case studies (United Nations 1990) showed four
                          important needs for PDA.  These include:
                                development during EA planning of verifiable hypotheses
                                for testing during PDA;
                                collection of relevant baseline data for interpretation of
                                subsequent monitoring data and testing of impact prediction
                         	I"	hypotheses;                              '       ' "
                                careful documentation throughout projects to lessen effects
                                of personnel	turnover;	arid
                                use of appropriate statistical methods to test hypotheses so
                                that effects of projects can be satisfactorily isolated from
                                other environmental effects.
••'llsiSW  	! , 'l":iiil>:il
                                                                TOOLS
                                                     .              |.
1     Monitoring (i.e., the systematic collection of data through a series of
     repetitive measures) is usually an essential component of PDA.   The
     detailed means of monitoring and the issues monitored will vary greatly
     depending on the proposed activity (ORNL 1978; U.S. EPA 1989; ASTM
     1992;  ANSI 1982; Canter 1993).  In general,  methods for assessing
     adverse effects in freshwater  systems are well developed while methods
     for assessing adverse gffg^ ^ terrestrial systems are less well developed.
     Most PDA incorporates one or more of the following categories of
     monitoring:
 	;	;	•	              ... •             i
            Compliance Monitoring. Periodic sampling and/or continuous
            measurement  of  levels  of waste  discharge,   emissions  or
            introductions to determine  that  regulatory  conditions and/or
            staiKj^|s ^ gjj^j• pjagg^g"'are* me|;	• •	•"	•	• •	•"	

     -     Effects Monitoring.   Measurement of environmental parameters
 1              .        	If! II!1;!1:	t	En •[ it,	r	j	,	„	£	 .
            during construction and/or operation to  detect changes in the
            parameters which  can be attributed  to  the project or to test
            predictions of  an  EA  and/or  the effectiveness  of mitigation
            measures.	"	

     -     Internal Audits.   A methodological examination  (sometimes
J^ *" ,r	,;,;,,;"" 'i^n^lyjng analyses and tests) and confirmation of local procedures
••»« ii--;«—- ;;=;:.. -.^$iu|	practices	ieadmg	to	verification of compliance with  legal
s? s^iJS&.ii/^a!	reqliirements'^' internal policies, and/or accepted practices.

miy'*J.;-k	"" 11!	ij^pggjQjj	^g Surveillance.   Depending upon the purpose of
Si*;;/'	|^^                              or inadequate, the analysis can be
                                                      1.7-3

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       based  on less quantitative methods  such  as  inspection  and
       surveillance  to determine adherence  to environmental operating
       conditions (e.g., road or pipeline construction).

Negotiation is currently seen  as  a promising  tool in  the  design of
monitoring programs, particularly for resource development activities. It
creates  a  forum  where  affected interests  can  deal  directly  with
disagreements over what should be monitored and how those things should
be assessed and dealt with. Rolf (Attachment 6. A) notes three particularly
important factors with  respect to  negotiating a monitoring program:
symmetry  of power and resources,  a multiple issue  agenda, and  a
mechanism  for resolving  disputes.   She argues  that  a negotiated
monitoring  program leads to better  decisions, fairness,  and  better
implementation.

                                                            ISSUES

•     Space  and time coordination of data collection  is necessary to
       eliminate variation in analytical results associated with differences
       in geographical regions and changes in biota and pollutants over
       time.

•     Although in the U.S., CEQ regulations require federal agencies to
       monitor the effects of proposed mitigation measures in "important
       cases" and to report on the progress of such  mitigation measures
       to other agencies and the  public  on request, in practice,  this
       provision has not been enforced.   Currently,  except  for The
       Netherlands, there is a lack of formal PDA in most countries. As
       a result, there is  little opportunity to learn  from and apply the
       experience to subsequent activity.  Sadler (1988) notes  that the
       lack of PDA stems from jurisdictional fragmentation (in Canada),
       ambiguous mandates, and insufficient resources.
                                                          s,
       In cases where PDAs were done, Bisset and Tomlinson (1988)
       note that only 12 percent of all predictions could be audited; of the
       predictions tested  about half  were  inaccurate.   There was  a
       tendency for the inaccurate predictions  to indicate impacts which
       subsequently did not occur. They found  that the nature of EA
       documents makes it difficult to audit the predicted impacts of a
       development for these reasons:

              predictions are expressed in vague, imprecise language;
                      1,7-4

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             ' iiiiiiir	is	,
              |i|ii,ii|'ii •"!":!'" ,''"i"' in1"'
 i i| ill I"
111 III	
                                 impact predictions are not phased  in a way that allows
                                 auditing (e.g., design changes can eliminate the predicted
                                 impact); and
                                 monitoring programs often do not provide the data needed
                                 to allow  predictions  to  be tested  in  a  scientifically
                                 acceptable way.
                        in i  111 ill     in  i  i I  in MI    in          i i        i •     |B f1	!	**''••
                          Bisset and Tomlinspn (1988) suggest that decisionmakers do  not
                         11nir iiiiiiiiiiiii'isiiiiiiiiiriiii'iiiiiiiiiiiiiiiiirijpnini:'!;.:!!!,!,i™!'iiSfiiiiiiiRiiiiiiiiii #::!iiiiiwsA	'-	 ^»
                          like   to  have  their  decisions  questioned   by   subsequent
                          investigations.  Thus, it is important that PDA is an integral part
                          of EA documentation with the stated goal of not questioning the
                          jatipnalg	of	the	decisionmaker	but	rathej,  of determining  the
                          qualiiy of the information in  the EA document.  Decisionmakers
                          need to be convinced that PDA will result in better information for
                          decisionmaking (i.e., less uncertainty), better EA at less cost, and
                          greater public confidence in the project.

                          The PDA should focus on important issues and impacts for which
                          there are insufficient information.  Identification of these issues
                          and impacts and their priorities occurs during the EA process and
                          a PDA plan, commensurate with their complexity and uncertainty,
                          should be prepared  as an integral  part of the EA process.
                          PDA developed in response to public concerns must be credible,
                          and the proponent must be willing to respond even to unacceptable
                          results.
 Questions to consider in relation to EA and PDA might include:
	;	"""	  	'"	'	I	
       were the important project-related impacts and mitigation
       responses identified accurately in the EA?
 -     did the EA process provide sound, relevant, and focused
       information   concerning  project  effects   and   their
       implications?    i	,	
       were there clear  levels of  confidence  and significance
       placed on the predictions?
       were  the   cumulative  and  secondary   impacts   traced
       properly?
IIIIIIIIIIIII
                                                                           LINKAGES

                   For PDA to provide useful feedback for decisionmaking. it must be based
            on issues identified during initiation and scoping.  The assessment process must
            result in  testable  hypotheses based  on  important issues.   Mitigation  and
                                                      1.7-5

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monitoring programs must be designed to ensure that requisite data are available
for testing the hypothesis.  Collection, evaluation, and publication of the results
of PDAs can  contribute to  reducing uncertainty in  decisionmaking  and
enhancement of agency credibility.

                                                        REFERENCES

American National Standards  Institute (ANSI).   1992.   American National
      Standard for Surveys of Terrestrial Ecology Needed to License Thermal
      Power Plants.   ANSI/ANS-18.5-1982.  Published by  the  American
      Nuclear Society, 555 North Kensington Avenue, LaGrange Park, Illinois
      60525.  26pp.

American Society for Testing and Materials (ASTM).  1992.  Annual Book of
      ASTM  Standards,  Section II, Water and Environmental Technology.
      Available from ASTM,  1916 Race Street, Philadelphia, PA 19103-1187.
      1426 pp.

Bisset, R., and P. Tomlinson.  1988. Monitoring and auditing of impacts. In:
      Environmental Impact Assessment (ed. P. Wathern).  Unwin Hyman,
      Boston.  332 pp.

Bisset, R.  1980.   Problems and issues in the implementation  of EA audits.
      Environmental Impact Assessment Review 1:379-395.

Canter,  L.  W.  1993.  The role of environmental monitoring  in responsible
      project management. The Environmental Professional 15:76-87.

Culhane, F. J.  1993.  Post-EIS environmental auditing: a first step to making
      rational  environmental  assessment  a  reality.    The  Environmental
      Professional 15:66-75.

Davies, M., and B. Sadler.  1990. Post-project Analysis and the Improvement
      of Guidelines for  Environmental Monitoring and Audit. Report  EPS
      6/FA/l. Environment Canada, Ottawa, Ontario K1A OH3.

Graves, B.  M., and P. L. Dittberner.  1986. Variables for Monitoring Aquatic
      and Terrestrial Environments. U.S. Fish and Wildlife Service Biological
      Report 86 (5).  55 pp.

Marcus, L. G.  1979.  A Methodology for Post-EIS (Environmental Impact
       Statement)  Monitoring. U.S. Department of the Interior,  Geological
       Survey Circular 782.
                           1.7-6

-------
      ma	&TR8K	mm	m&
                    » •
                                           w.:' f • . « ...... s »»
-	•	-:,	-.. Oak WdgeN^orS'f^oratory!!	1978.'	Environmental Mbnitonf
           Coal InversionHcifities;ORNL-5319 Special.  Available from the
           iRational Technical Information Service. U.S. Department of Commerce,
           5285 Port Royal Road,  Springfield, Virginia  22161.
    Rolf, C. A.  Negotiating a monitoring program.  1986.  Impact Assessment
          Bulletin 4:99-109.
    Sadler, B. 1988. The evaluation of assessment:  post-EIS research and process
          developrnenC  In: BnvircHriimentel Impact Assessment (ed. P. Wathern).
          Unwin Hyman," Boston. 332 pp.
    Sigal, L. L., arid S'."W. Siiter'nr 1987. Evaluation of methods for determining
          adverse impacts of air pollution on terrestrial ecosystems.  Environmental
          Management 1 1:675-694.

    United Nations Economic Commission for Europe. 1990. Post-Project Analysis
          in  Sivu^mental  jjnp^ct Assessment,  ECE/ENVWA/11.    54 pp.
          Available froin the United Nations, Sales Section, New York.
    U.S. Environmental Protection Agency.   1989.  Ecological Assessment  of
          Hazardous Waste Sites: A Field and Laboratory Reference. EPA/600/3-
          89/013.
                                                                                           mw	a
                                           1.7-7
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Arc' -^logical Resource Impact
[40J Ueko, P.J.,  "Australian Academic Archaeology:  Aboriginal; Tran«-s
  formation of Its Aims and Practices."  Australian Archaeology,  1983,
  10:11-38.                                        :                =
                                                                  •

(41) Wells, Katie, John Tallow, Esther Tnilfeathers and Gerald Conaty,1
  "Archaeological Research on the Blood Reserve. Alberta Archaeological
  Review No.  9:3-16, 1984.

|42| Wildesen, Leslie 1C., "The Study of Impacts on Archaeological Sites."
  In Advances in Method and Archaeological Theory, volume 5. Michael
  B. Schiller (ed), pp. 59-96. Academic Press, New York, 1982.

|43] Winter, Joseph  C., "Indian Heritage Preservation and  Archaeolo-
  gists." Am.  Ant. 45:121-131, 1980.
NEGOTIATING A  MONITORING PROGRAM
                      Carol; Anne Rolf*
                                                                                                            INTRODUCTION
                                                                                       In February 1981, Western Fuels-Utah Inc. filed an application to de-
                                                                                    velop a 1.4 million tons per year coal mine in Rio Blanco County, Colorado,_
                                                                                    in order to supply a 400 megawatt power plant 33 miles away in Bonanza,
                                                                                    Utah.1  Rio Blanco County was primarily  an agriculture-based economy
                                                                                    with oil shale potential and a fairly sparse population of about 3,200 peo-
                                                                                    ple who would experience the most direct impacts of mine construction
                                                                                    and operation.
                                                                                       As is true with many instances of large scale resource  projects, resi-
                                                                                    dents and local government officials recognized  the potential benefits of
                                                                                    development,  but they were concerned that negative impacts would im-
                                                                                    pose unacceptable burdens and disruptions upon both the existing and
                                                                                    project-related population.  There was  particular concern that  locating
                                                                                    the power plant across the state line denied Rio Blanco County access to
                                                                                    tax revenues which would offset the increased costs of providing hard and
                                                                                    soft public services.*                                               _
                                                                                        In June 1981, Western Fuels-Utah  and nine special districts in Rio
                                                                                     Blanco County signed a comprehensive  socioeconomic impact mitigation
                                                                                     agreement worth $15 million in front end payments. Unlike many  other
                                                                                     mitigation  and compensation agreements, it included provisions to de-

                                                                                      •Qrtduate School of Public Policy, UC - Berkeley, Vancouver, B.C. V83  1E9
                                                                                      'Thli CM«  u well M other caiei of American experience Is annlywd In  Rolf, C.A.
                                                                                       Aforubtory Negotiation: A Mearw to Determine Mitigation and Comftruation m Ike Conlerf
                                                                                       «/Enerw D.telopnwn*. Unlv«r.lly of California, Berkeley: unpubllih.d mailer •
                                                                                      'Interview: Mirk  Bubrlikl, County Impact Coordinator, Rio Blanco Cmmt
                                                                                       Colorado.
                                                                                                                                    tounty,

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Negotiating a Monitoring Program
100
velop and implement a monitoring program. The detail* of this program
were subsequently renegotiated over an 11 month period in 1983.3

   This paper is about negotiating monitoring programs, which aspects
of the Colorado experience  might be transferable to places such as the
Beaufort Region in the NWT,  and the kinds of issues which must be
considered if a negotiation policy were adopted.

                   REASONS FOR NEGOTIATION

   The value of impact monitoring is not in dispute.  At the conceptual
level  at  least,  there is considerable consensus as to why monitoring is
generally a good  idea.  Unfortunately, if not  unexpectedly,  monitoring
practices to date appear to  fall rather short of their theoretical promise.
Whatever factors may contribute to this shortfall, it is clear from experi-
ence that no one monitoring model exist* which can be universally applied
to resource development.4 In other words each monitoring program must
be tailor-made to suit its  particular requirements and circumstances. In
this light, the problem of designing and implementing a monitoring model
may be recast as a problem of process: how should we go about the design-
ing and implementing? One answer to this question is to use negotiation.


   Negotiation is a particularly apt tailoring process if the problem ii
represented as a game. More specifically, it is not the kind of game where
winners  are possible only when  others lose: a zero-sum game. It is, in-
stead, a game where there are common interests as well as value conflict.6

  'Interview:   Reid  Haughty, County Impact Coordinator,  Rio Blanco  County,
  Colorado.
  4See for example, Bankei, N. tt Thompson, A It. Monitoring for Impact Antiimcnt ant
  Management: An Analyiii of the Legal and Admniftntive framework, University of British
  Columbia: Westwater Research Centre, I960; Cnrley, M. Cumulative Soeioeeonomit
  Monitoring: Iituet and Indicator! for Canada'n Beaufort Region.  Prepared for Energy,
  Mines and Resources Secretnriat, G.N.W.T. and The Northern Economic Planning
   Branch, .Department of Indian Affairs and  Northern Development, March 1084;
   Velt, S. Presentation to Workshop on Cumulative Socloeconomlc Monitoring for th*
   Beaufort Region. Sponsored by Energy Mines and Resources Secretariat, G.N.W.T.,
   June 11-12,1084.
  'Thomas Schilling calls this co-existence of value conflict with  common Interests a
   "mixed-motive game" and suggested that what would be rational strategic behavior
   on the part of those involved in a tero-stim game would be Irrational In the mixed-
   mo*' •«. See The Strategy of Conflict, Cambridge, Mois: Harvard University Press,
   I'
       101
                                                                                                                                     C. A. Rolf
       In this kind of game, winning means" ...gaining relative to one's own value
       system..."  °  and bargaining or negotiation is one of the ways of doing
       80. The argument here is that a negotiated monitoring program leads to
       higher quality decisions,  is fair, and will get implemented.

          1.  Better Decisions: In a related vein, impact  monitoring may be
       thought of as a decision-making process. Because of the number of deci-
       sions which cannot he or are not made at the time a project is approved,
       monitoring and impact  management  has,  in fact, been referred  to as a
       process of postponed decision-making.7  Whatever the timing, these de-
       cisions must  be made under a considerable degree of uncertainty, when
       information is  often  inadequate,  unavailable or unobtainable and when
       there may be conflict over both values and facts.

           One illustration of the need to resolve ostensibly factual  controversy
        in an environmental  context comes from Wisconsin where there has been
        in effort to implement a new pollution control policy for the  Fox River.8
        Participants (from state and regional governments, industry  and munici-
        palities, and acadeinia)  in the design of the new policy found that a major
        itep was  to agree on the variables and quantitative measures comprising
        a model of Fox River pollution,  and they further recommend the estab-
        lishment  of  institutional  arrangements  to deal with future  advances in
        modelling which might affect the new policy.

           Negotiation is argued to be  suited especially to such decision situa-
        tions because  incentives to make good use of  information, to detect and
        correct error and the ability to resolve conflict are inherent  in this joint
        decision  making or problem solving process.0  It allows the confrontation
         of "value-bound  components of scientific analysis"  and the opportunity
          'Ibid, p. 8.
          'Thompson, A.R., Bnnkes, N. It Soilto-Mnjor, J. Energy Project Afproeal in Brid'ih
           Columlia. University of British Columbia: Westwater Research Centre, 1081, p.ll.
          'David, M.H. & Joeres, E. is n viable Implementation of TDPs transferable? In Joeres
           & David (eds) Buying a Better Environment. Madison, Wis:  University of Wisconsin
           Press, 1083, 233-248.
          'See for example, Boichken, H. land Vie Conflicti: Organitational Dtrign and Retourct
           Maiufcnunl, Urbana: University of Illinois Press, 1082; Prultt, D. Negotiation Be-
           faner, New York: Academic Press, 1081; Schelllng, supra note E; Zaltman,  I.W.
           Negotiation a* a joint decision-making process, Journal of Conflict Jbiofulion, 1977,
           21(4), 610-638.

-------
       H  II
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   Perhaps even more noteworthy, negotiation fosters the cnpjaiqity to,
adapt to changing conditions. In Colorado, for example, the company and
the county initially negotiated  the development of a monitoring program'
and were then able to re-negotiate the terms of that program as changes
became necessary.11

   This advantage may be attributed to the fact that negotiation involves
an agreement between parties not to reach a solution in terms of rules but
to create the rules by which they can organize their relationship to one
another. n  In other words, a monitoring program can be conceived as
a kind of relational contract where the parties create a structure through
which to address problems and make decisions over time.13 Not only does
this adaptability make sense in the real and uncertain world of resource
development, but the actual negotiation structure for making decisions is
considered to be economically efficient.14

    2.  Fairness:  Negotiating the design of a monitoring program may
enhance the equity of resource development.   One reason is  that helps
redress some of the  powerlessness of affected  communities (who do not
usually participate directly in the decision to develop the local resources)
by allowing direct participation in some of the decisions about the project.


    A common form of public participation in resource development policy
is some version of the public hearing, and information gathered through
this essentially adversarial process  may  form the basis for designing a
monitoring program. Though this kind of input may have alleviated some
of the  poverty  of power at the local level, the participation  role is not
        '"Oeawn, C. ft Suuklnd, L. Mediating Sciena-inteniivt Public Policy Ditpvlti. Preiented
          to the Association for Public Policy Analysis nnd Management, New Orleant, Oc-
          tober, 1984.
        "Supra note 3.
        "Gulliver (1073) died In Nadir, L. A Tmld, H F. Jr., 7*e Difputinf Proctn — Into in
          Tin Societiei, New York: Columbia University Press, 1978, p. 10.
        l3Willinmsnn, O.E. Transnction-cost economies:  the governance of contractual rela-
          tions. The Journal of Law and Eeonomiei, 1979, 22, 233-261.
        '«lbld. Among other reasons, Williamson notes that negotiation creates relationships
          that circumvent opportunism and also establish what he refer* to at "communication
          economics."
                                                                              a=
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                                                                                                                                           C. A.R
                                                                                    I                JIM i                      lij     i   II n:  ;§
                                                                          ;fe-l«ion-n«k5n««but om of Information provision.  TfejjpNbiic! hejarimf J
                                                                          ipracess is 'generally 'absent in criteria for weighting different sources of g
                                                                          iinformatioii and the built-in incentives nre to persuade the deciders. As a ^
                                                                          fresult, the information which  is provided may represent those issues most ^
                                                                          Uwily or powerfully argued, or most easily measured. These may not, and («
                                                                          lire unlikely to be synonymous with what is of greatest concern in affected |
                                                                          , communities.                                                         —
                                                                          '   Negotiation creates a forum where affected interests can deal directly «
                                                                          I with disagreements over what should be monitored and how those things g
                                                                          - should be assessed and dealt  with. Although it comes with no guarantees |
                                                                          I of authenticity or integrity, negotiation does provide an alternative avenue g,
                                                                          • of participation which may increase  the level of representation in making^
                                                                          ' of decisions.  In Wyoming, for example, where there is some experience ^
                                                                          I with community negotiated mitigation and compensation agreements, they
                                                                          : first stage in  the negotiation is reported to be reaching  a consensus on-
                                                                          = projected impacts and  their importance to various constituencies  in tlie^
                                                                          : community.15 This is particularly true with respect to impacts based our;
                                                                          ; population and demographic projections.                              i
                                                                              3.  Better Implementation: Monitoring programs, like most poli-s
                                                                           cies, have suffered  from intentional and unintentional  implementation
                                                                           problems.10  Negotiating the program may discourage intentional viola-
                                                                           tion because participating in the design tends to increase the commitment=
                                                                           of those responsible for implementation. That this is equally valuable for
                                                                           energy companies  and  for communities is evidenced by the Western Fu-
                                                                           els case where the company was  initially worried that the county might
                                                                           charge them for "cadillac servicing."IT
                                                                              The flexibility and adaptive capacity created through negotiation con-
                                                                         «  tributes to avoiding as well as detecting and correcting unintentional error.


                                                                               The theory and so far relatively limited practice with negotiation in
                                                                            this context suggest that negotiation promises to be an effective tool in the
                                                                            design of monitoring programs. The degree to which it fulfills this promise
                                                                            depends a great deal on how the negotiation process is structured.  To tin*

                                                                             "Supra note 1. Interview* with company and town neiotlators.                 ;
                                                                             "SeTcor example Banke, ft Thompson and Thompton, Banke. & Souto-MaJor Supra
                                                                              nott 4.
                                                                             "Supra note 3.

                                                                              ~
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Negotiating a Monitoring Program
104    105
end, several  issues and elements should be factored into the design of a
policy to negotiate an impact monitoring program.


                        DESIGN ELEMENTS


    1.  Negotiator Selection and Accountability: It is the interests
which need to be represented  in the  negotiation rather than particular
constituencies.18 Nevertheless, there must be some way to get the right
people to the table and to make sure they are accountable to their con-
stituents. "The right people" means that the negotiators are able to com-
mit their constituencies to supporting and implementing the monitoring
program, and that some mechanism for accountability exists which may
help assuage the problems of imperfect representation.

    Prom the community point of view, the most appropriate way of choos-
ing negotiators and achieving accountability seems to be one that is com-
patible with the local political culture, and  there are  many variations.
In the Western Fuels case, for example, three  country commissioners and
the general manager negotiated on behalf of nine special districts and
the agreement was approved by  those districts.  And in Montana, when
the Northern Cheyenne  successfully negotiated with the Montana Power
Company, the Tribal Council selected two negotiators (one a member of
the Council's Mineral Committee  and one outside expert  on energy re-
sources) and then ratified the final agreement.10

    In Massachusetts  and Connecticut, where  hasardous waste siting leg-
islation provides statutory support for this kind of negotiation, a Local
Assessment Committee  and  a  Local Project  Review Committee respec-
tively are appointed to negotiate with project  proponents.30 Town Coun-
cils do not have ratification  power under these Acts but to ensure wider
accountability, the respective State Siting Councils must approve the ft-
 "Sutukind, L.E., RIchnrdrion.R.R. * HIMrbrnnri, K.J. Resolving Environment))) Oil-
  putei, MIT: Environmental Impact Aiienmcnt Project, 1978, p.26.

 "Sulllvnn, T.J. The difficulties of mandatory negotiation (the Colttrlp Power Plimt
  CMC) In L. Simklnrl, L. Bncow, & M. Wheeler (ed».) Retaining Environmental ffejifr-
  lory Dufutet, Cambridge, Matt: Schenkmnn Publlihing Company, 1083, 59-85. SH
  alio Supra note 1.

 "Conncdievi Huardout Watte RuiHy Siting Act, Public Act 81-360, Ch. 446 (let In
  particular S. 18) and Mnsiachuiett* Haeardout Watte Facility Siting Act, Ch. 509,
     0, Matt.  Acts 673, 111, 21c. (ice In particulars. 6, 8,12).
C. A. uolf
       nal agreement.31  In Wyoming where the negotiation process is less for-
       mally structured,  the final agreements are usually approved by the Town
       Council.32

          It should be noted,  however, that peer pressure and the politics of
       personality often  found in small communities may threaten this kind of
       accountability.  In one case in Wyoming one leader of a group of dis-
       affected cititens received threats to his life and  business,  and no local
       ittorney would agree to represent this  group at public hearings." The
       absence of dissent cannot be unambiguously equated with the legitimacy
       of agreements,  but presumably  the more open the negotiation process,
       the more accountable the results.

          2.  Negotiation Procedures:  Of the multiple factors affecting the
       (access of the actual negotiation process and the chances of reaching a
       settlement,24 three seem particularly important with respect to negotiat-
       ing a monitoring  program: symmetry of power and resources, a multiple
       issue agenda, and a mechanism for resolving disputes.

          (a.)  Power and Resource Symmetry: Symmetry is necessary to ensure
       that negotiation  is the "product of necessity"36 or in other words that
       the alternative to negotiation, whatever that may be,  is not a more  at-
       tractive option to one of the parties than negotiation. Problems of asym-
       metry in this kind of negotiation are likely to lie in information, funding
       and technical expertise, all of which may be in favour of senior govern-
       ments and the energy companies unless deliberately designed otherwise.
       The Northern Cheyenne in Montana have a Research Centre staffed  by
       planners and environmental scientists who conducted a study of coal de-
        "For one dlicutilon of tome of the lituei of wider accountnbillty In the context of
         environmental mediation (a related procei») tee Suitktnd, L. tt Oeawa, C. Mediated
         Negotiation In the Public Sector: Mediator Accountability and the Public Interest
         Problem. Amtriean Btnationi Seitntiit, 1083, 27(2), 255-270.

        "Supra not* 1.
        "interview: Powder River Benin Reiourre Council, Douglat, Wyoming.

        14Se« for example Cormick, G.W. The "theory" nnd practice of environmental medi-
         ation, Hit Enw'itmmtnldl Profenianet, 1980, 2, 24-33; Sullivan, T.J. Rcidting Dtnt-
         Ofmtnt Ditputti Amvgh Negotiation, New York: Plenum Prett, 1083; and Supra note
         1.

        »lbjd. tet Cormick.

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                                                                               811;'

                                                                               ill I
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                                                                                                                                      !  ill !I
                                                                                                                                        Miii
              N      ting a Momitoring Program
                                                                  1061
I   i
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            I
I
 velopment impacts.30  In [Colorado, the county received a $200,000; loan
 from  the  Governor's Office with whkh ilo hire legal assistance and two
 university-based economists who reviewed Western Fuel's Environinen-
! tal Impact Study.37 The Massachusetts and Connecticut legislation pro-
 vides for  Technical Assistance Grants of up to $15,000 but there is not
! yet enough experience under these Acts to assess how well this method
 works.38

     (b.) Multiple Issue Agenda:  A narrow agenda may easily transform
 the process into a sero-sum game because there is little opportunity for
 reciprocal concessions, thus threatening the negotiation. Parties are un-
 able  to trade concessions  in one issue for gains in  another.  A  multiple
 issue agenda makes bargaining more likely to be successful.30

     After  years of acrimony and an aborted attempt at negotiation, the
 final success of the Northern Cheyenne and Montana Power negotiations
 is attributed partially to a broader agenda.30  And one of the strengths of
 the Western Fuels  Agreement is its "package  program" nature instead o!
 a series of individual agreements between the company and various local
 government entitites.  In addition to broadening the agenda, this promote*
 monitoring that is more likely to be comprehensive than fragmented.

     (c.) Dispute Resolution Mechanism:  This mechanism actually serves
 dual purposes.  One is  to cope with the inevitable spectre of stalemate
 and  the  other is to help  to create some sense of urgency, or pressures
 for decisiveness in the negotiations. Without this sense, negotiating the
1  monitoring program may be just another way of avoiding or delaying Us
  implementation. In the Western Fuels case, there were only five monthi
  between  the filing of applications and the expected construction start, and
  the coal market had not softened yet. Rather than relying on idiosyncratic
  circumstances or the world market, action-forcing deadlines may creatr
  the same sense of  urgency.  In Massachusetts, for example, negotiation U
  statutorily required to be completed within 60 days (although up to two
  30 day extensions  may  be granted).

   "Supra note 24 Sullivan.
   "Supra note 2.
   "Note In Connecticut, more money may be available If total project eoiti art OYW
     $500,000.
   lft§upra note 24 Sullivan.
         i note 22 Sullivan.
                                                                                                                                                a AirsM;,
                                                   Another method wmtld be for the parties to actually negotiate thosej
                                                deadlines, an exercise whkh would alto educate the negotiators by pro-j
                                                tiding an opportunity to learn  that agreement is possible.31 To parlies!
                                                who have been locked in long-standing disputes, or where there is a his-j
                                                lory of mistrust, this cart come as a surprising revelation.  If the parties]
                                                were unsuccessful, one default option would be to retort to the dispute]
                                                resolution mechanism. This safeguards against such deadlines subverting-
                                                the process and forcing  an illegitimate settlement.                     !

                                                    The key variable to  an  effective dispute resolution mechanism is that
                                                 it not be more attractive than negotiation.  A common provision is some
                                                 form of arbitration which transfers the decision-making power to a third
                                                 pirly who has more or less authority to bind the parties to some decision.
                                                 Under the Massachusetts legislation, for example, stalemated parties have
                                                 the option of a three person arbitration panel (one person chosen from
                                                 etch side and the third  jointly selected) or one arbitrator jointly selected.
                                                 In the event that this  too is stalemated,  the State Siting Council will
                                                 •elect an arbitration panel. Veterans of this kind of negotiation report a
                                                 reluctance to transfer their authority and power; negotiating decisions, no
                                                 matter how difficult, is  generally preferred to their external imposition.33


                                                    3. Enforcement Mechanism: In case of disputes or  of intentional
                                                 violations during implementation, there must be some way of enforcing
                                                 the agreement. Some enforcement strength stems from the contract na-
                                                 ture of a negotiated agreement.  Standard civil law remedies, or variations
                                                 thereof, might then be  called upon.33

                                                    Substantial enforcement  strength stems,  however, from the ongoing
                                                 nature of monitoring and the  possibility for re-negotiation. This ability
                                                 to deal with both intentional and unintentional problems with implemen-
                                                 tation contributes to the flexibility and legitimacy of the agreement and to
                                                 the continued evolution of the norms and rules governing the relationships
                                                  •mong the parties involved.
                                                                                        *'3upra note t.
                                                                                        "Supra not* 1.
                                                                                        "For a dhcuiiton of powlble remedies and iome of the imuei which mlf ht be Involved
                                                                                         IM Banktf & Thompton Supra not* 4 and Barton, B.J., Franton, R.T., & Thomp-
                                                                                         ion, A.R. A Contract ModOjof Pollution Control.  University of Brltiih Columbia:
                                                                                         Wwtwater Reteareh Centre, 1084.                                  jj^

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00
    Negotiating a Monitoring Program
                                                                lot

   In effect, this advantage requires a monitoring of monitoring and some
way to resolve disputes, and the Western Fuels Agreement again provide!
an example. There, an Advisory Committee comprised of representative
from each of the districts  involved in  the agreement and the coal  'and
power companies reviews the monitoring program and implementation of
the agreement.  In  an amendment to the initial agreement, the partiei
agreed to bargain over disputes arising  during implementation.34 Should
bargaining fail, and if the dispute originates with a local government entity
other than the County, the  County resolves the issue with a final, binding
decision. (An aggrieved party may file a notice invoking arbitration withii
10 days).  If the County is involved in the dispute, the problem gow
directly to arbitration.

   As mentioned earlier, the Advisory  Committee and this dispute reso-
lution mechanism have been tested. After problems arose with applying
fiscal formulae to calculate  mitigation payments, the terms  of the moni-
toring agreement were re-negotiated. Although the re-negotiation went on
for nearly a year, neither side opted for arbitration;  among other things,
a testimony to the alleged superiority of negotiation in making decisioni
about monitoring.

                          CONCLUSION

   Designing a monitoring program which is both meaningful to the peo-
ple affected by resource development and which will work is always going
to be a challenge.  Negotiation, however provides one way to try  and
meet that challenge which suits the nature of the game  that is resource
development.  Although it is a conflict  solving process common to most
cultures, we know less about it works than we do about other procedures
which involve third parties or the transfer of participant power.96.  We
know even less about how it works in the making of policy decisions such
as the design of a monitoring program.

   FVom what we do know  about  negotiation, from what we know about
how it works in other contexts, and particularly from what we know about
how it works in the resource development context, it is possible to identify
some of the issues which needs  be considered if one  were to recommend
the negotiation of a monitoring program. We know enough to fabricate

"Western Fuels Agreement, Article XII.
l5*'   - L. * Todd. H.F. Jr. Supra note 12
                                                                                                                                  C. A. K
                                                                          at least a framework for this rather blunt policy instrument, the dynamic
                                                                          nature of which may preclude precision even in the future.  Neverthe-
                                                                          less, more and more experience will allow more and more refinement and
                                                                          growth.
                                                                             As a maker of monitoring programs, negotiation may be imperfect. It
                                                                          may be more craft than art or science.  But given its superior ability to
                                                                          weave decisions from uncertainty, complexity and conflict, and to weave
                                                                          them with community power, it seems a worthwhile craft.

-------
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-------
           SECTION 2

ENVIRONMENTAL IMPACT ASSESSMENT
      METHODOLOGIES AND
      EVALUATION CHECKLIST

-------
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           SECTION 2.1

ENVIRONMENTAL IMPACT ASSESSMENT
         METHODOLOGIES

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ENVIRONMENTAL IMPACT ASSESSMENT METHODOLOGIES
Name
Application
Description
' Reference
Economic Tools
Cost-Benefit
Analysis
Cost-
Effectiveness
Analysis
Trade-Off
Analysis
Decision-Making
Decision-Making
Decision-Making
Variety of economic tools that assign value to project
components and perceived benefits, and are used to
determine relative cost and benefit of development or
project.
Economic analysis that focuses on cost of providing
services and achieving objectives. The technique
emphasizes achievement of least-cost approach.
This socioeconomic tool involves comparison of a set of
alternatives relative to a series of decision factors arrayed
on a matrix. Approaches used can include qualitative,
quantitative, ranking, rating, scaling, weighing.
Westman, W.E. 1985. Ecology, Impact Assessment
and Environmental Planning. John Wiley & Sons,
New York. 532pp.
Leistritz, F.L., and S.H. Murdock. 1981. The
Socioeconomic Impact of Resource Development:
Methods for Assessment. Westview Press, Boulder,
Colorado. 286pp.
Canter, L. W., S. F. Atkinson, and F. L. Leistritz.
1985. Impact of Growth. Lewis Publishers Inc.,
Chelsea, Michigan.
Canter, L. W. 1979. Water Resources Assessment -
Methodology and Technology Sourcebook. Ann
Arbor Science, Ann Arbor, Michigan.
Checklists
World Bank
Environmental
Impact Checklist
Model EIS
scoping checklist
NY DEC
Checklist of
potential
environmental
impacts of
transportation
project
Scoping,
Development of
Alternatives,
Mitigation
Scoping
Scoping
These checklists are designed to be used in identifying
significant environmental impacts, project alternatives, and
special issues associated with development projects. They
are qualitative and predictive in nature. More man 35 types
of projects are represented, including housing, agriculture,
and industrial development.
This is a checklist of topics intended to initiate
development of a detailed scope for an EIS. The checklist
helps identify topic areas to be addressed in the EIS.
This checklist was designed to help identify environmental
impacts associated with planning, design, construction, and
operation of a transportation project.
World Bank, 1991. Environmental Assessment
Sourcebook. Volumes II and III.
New York State Department of Environmental
Conservation, 1982. State Environmental Quality
Review Handbook.
Arthur D. Little, Inc. 1 97 1 . Transportation and the
Environment: Synthesis for Action: Impact of the
National Environmental Policy Act of 1 969 on the
Department of Transportation, Vol. I-III, prepared for
the Office of the Secretary, Department of
Transportation.

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Name
.". -: Application
• Description
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Matrices
Leopold Matrix
Loran
Methodology
(Matrix)
Impact Assessment
Impact Assessment
This matrix is used to identify potential impacts associated
with a project or alternatives. It assists performing a
comprehensive review of the variety of interactions
between project elements and environmental parameters, to
identify important environmental factors, data needs, and
less damaging alternatives.
This method uses a matrix of 234 project activities and 27
environmental features to identify critical environmental
areas. Each element in the matrix is scaled and results
input to an algorithm that aggregates impact scores. It is
used to identify critical environmental areas.
Leopold, L B., F. E. Clarke, B. B, Hanshaw, and J. R.
Balsley. 1971. A procedure for evaluating
environmental impact Circular 645. U.S. Geological
Survey, Washington, D.C.
Thompson, M. A. 1990. Determining impact
significance in EIA: a review of 24 methodologies.
Journal ob Environmental Management 30:235-250.
Scaling or Weighing Techniques
Crawford
Methodology
PADC
Methodology
Water Resources
Assessment
Methodology
Fischer and
Davis
Methodology
Impact Assessment
Impact Assessment
Impact Assessment
Impact Assessment
Methodology was devised for use in highway route
planning. It makes extensive use of public involvement
and the Delphi Technique. The technique is used as a basis
for analyzing the value trade-offs involved in a decision
between project alternatives. Results show each alternative
as a percentage of maximum possible positive or negative
impact.
This tool evaluates the significance of impacts based on 5
polarities: adverse/beneficial, short/long term,
reversible/irreversible, direct/indirect, local/strategic. No
numerical method of evaluating responses is presented.
This methodology produces scores for evaluating effects of
alternatives on specific environmental components. The
methodology uses scaling and weighing methods for
environmental social and economic components.
This method is used for determination of impact, although
it does not differentiate between impact magnitude and
significance. Impacts are assigned a positive(+) or
negative^), and the degree of impact is assigned
subjectively. Designators are used to indicate short-term or
long-term impacts. Scores achieved are used to compare
alternatives.
Thompson, M. A. 1990. Determining impact
significance in EIA: a review of 24 methodologies.
Journal of Environmental Management 30:235-250.
Thompson, M. A. 1990. Determining impact
significance in EIA: a review of 24 methodologies.
Journal of Environmental Management 30:235-250.
Thompson, M. A. 1990. Determining impact
significance in EIA: a review of 24 methodologies.
Journal of Environmental Management 30:235-250.
Thompson, M. A. 1990. Determining impact
significance in EIA: a review of 24 methodologies.
Journal of Environmental Management 30:235-250.
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ENVIRONMENTAL IMPACT ASSESSMENT METHODOLOGIES
Name
Application
Description
Reference,
Overlay Mapping and GIS
Overlay Mapping
Geographic
Information
Systems (GIS)
Landscape
Mapping (GIS)
Ground
Disturbance
Model
Visual Contrast
Cultural
Resources '
Predictive Model
Sensitive
Habitats
Slope (GIS)
Impact Assessment,
Environmental
Characterization
Impact Assessment,
Environmental
Characterization
Impact Analysis and
Prediction
Impact Assessment
Impact Assessment
Impact Assessment
Impact Assessment
Impact Assessment
This method is useful in displaying and identifying areas of
environmental sensitivity, succession, development, and
landscape impacts due to multiple projects.
GIS consists of digitized maps and overlays that are used to
show spatial dimensions of impacts and areas of concern.
This tool is used to assess the suitability or vulnerability of
an area for various uses.
This GIS-based tool is a model that combines GIS database
layers of land-cover, slope categories, and transportation to
quantify and map the area of potential land disturbance into
5 levels of magnitude.
This GIS-based tool provides a measure of visible change
in the landscape. It combines GIS data for landcover,
terrain, land-sue and the proposed project description to
map a visual contrast representing the level of change in
the characteristic landscape.
This GIS-based tool uses data on landcover, terrain, and
water resources to determine the probability of finding
culturally-sensitive sites.
This GIS-based tool applies GIS buffering capacity to
establish zones of potentially sensitive habitats associated
with known habitat locations.
This GIS-based tool uses USGS data to map 5 slope
categories. The slope categories are important in the
development kf access levels for use in ground-water
disturbance and public accessibility pre-impact assessment
models.
McHarg, I. 1969. Design with Nature. Natural
History, New York.
Westman, W. E., 1985. Ecology, Impact Assessment
and Environmental Planning. John Wiley & Sons,
New York. 532pp.
Hopkins, L. D. 1977. Methods for generating land
suitability maps: a comparative evaluation. Journal of
the American Institute of Planners 43:386-400.
Rasmussen, W. O., R. N. Weisz, P. F. Folliott, and D.
R. Carder. 1980. Planning for forest roads-a
computer assisted procedure for selection of
alternative corridors. Journal of Environmental
Management 11: 94-104.
Jensen, J., and G. Gault. 1992. Electrifying the
impact assessment process. The Environmental
Professional 14:50-59.
Jensen, I, and G. Gault. 1992. Electrifying the
impact assessment process. The Environmental
Professional 14:50-59.
Jensen, J., and G. Gault. 1992. Electrifying the
impact assessment process. The Environmental
Professional 14:50-59.
Jensen, 1, and G. Gault. 1992. Electrifying the
impact assessment process. The Environmental
Professional 14:50-59.
Jensen, J., and G. Gault. 1992. Electrifying the
impact assessment process. The Environmental
Professional 14:50-59.

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   I!  MI

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                                i                             |   !S          i

                            ENVIRONMENTAL IMPACT ASSESSMENT METHOD OLOGIES
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Name
Visibility Model
Public
Accessibility
Model
Ecological Risk
Assessment
Human Health
Risk Assessment
Economic-
Demographic
Assessment
Models
Application
Impact Assessment
Impact Assessment
Impact Analysis and
Prediction
Impact Analysis and
Prediction
Impact Analysis and
Prediction
Description
This CIS model is constructed using digital terrain data and
selected land-uses to map "view/sheds' over digitally
modeled terrain in the project study area. Resulting maps
show visibility as distance thresholds of visual perception,
and can be used by CIS impact models to determine
potential visual impacts of construction and operation of
the project.
This GIS-based tool estimates the degree of remoteness of
areas along transmission line routing alternatives. It uses
GIS data on transportation and ground disturbance to
estimate the increase in area accessible by roads in remote
areas.
Identifies and quantifies risks to ecological receptors from
chemical, physical, and biological agents. Evaluates the
likelihood that an adverse ecological effect will occur as a
result of exposure to contaminant or disturbance. Uses
exposure and effects models.
Provides quantitative estimates of cancer and non-cancer
risk associated with exposure to chemicals or biological
agents. This tool includes a source/release assessment, fate
and transport models, exposure assessment, toxicological
assessment and risk characterization.
Numerous models used to integrate economic,
demographic, public service and fiscal projections to
estimate public costs and revenues, and public service
demands.
Reference - . .\ •
Jensen, J., and G. Gault. 1992. Electrifying the
impact assessment process. The Environmental
Professional 14:50-59.
Jensen, J., and G. Gault. 1992. Electrifying the
impact assessment process. The Environmental
Professional 14:50-59.
Suter, G. W. II 1993. Ecological Risk Assessment.
Lewis Publishers, Inc., Chelsea, Michigan. 538pp.
Cohressen, J. J., and V. T. Covello. 1989. Risk
Analysis: A Guide to Principles and Methods for
Analyzing Health and Environmental Risks. U.S.
Council on Environmental Quality, Executive Office
of the President. 407pp. Available from: The
National Technical Information Service, U.S.
Department of Commerce, 5285 Port Royal Road,
Springfield, VA 22161. # PB89-137772.
Sanderson, W. C. 1978. Economic-Demographic
Models: A Review of Their Usefulness for Policy
Analysis. Technical Paper 4. Rome, Italy: Food and
Agriculture Organization of the United Nations.
Chemical Fate and Transport Models
Fugacity Models
GEOTOX
Impact Analysis and
Prediction
Impact Analysis and
Prediction
Numerous models used to predict fate of chemicals in
multimedia systems. Complexity varies from steady-state
to time-varying models. Outputs from these models are
used in risk assessments.
This compartmental model calculates chemical
partitioning, degrading reactions, and interphase transport.
It is used in conjunction with human exposure models.
Mackay, D., and S. Paterson. 1993. Exposure
Assessment: Mathematical Models of transport and
fate. In: Ecological Risk Assessment (ed. G. W. Suter
II). Lewis Publishers, Inc., Chelsea , Michigan.
Mackay, D., and S. Paterson. 1993. Exposure
Assessment: Mathematical Models of transport and
fate. In: Ecological Risk Assessment (ed. G. W. Suter
II). Lewis Publishers, Inc., Chelsea , Michigan.
                                                                                                    i!

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                               ENVIRONMENTAL IMPACT A^ESSMENT METHODOLOGIES
     Name
   Application
                    Description
                   Reference
BMP ART
Impact Analysis and
Prediction
Environmental PARTitioning is a fugacity-based
screening-level model estimates partitioning of organic
chemicals among environmental compartments, identifies
dominant pathways and data gaps, and provides estimates
of a chemical's persistence and bioconcentration potential.
Mackay, D., and S. Paterson. 1993. Exposure
Assessment: Mathematical Models of transport and
fate. In: Ecological Risk Assessment (ed. G.W. Suter
II). Lewis Publishers, Inc., Chelsea, Michigan.
TOXSCREEN
Impact Analysis and
Prediction
This time-dependent multimedia model is a screening tool
that assesses the potential for environmental transport and
accumulation of chemicals released to the air, surface water
and soil.
Mackay, D., and S. Paterson. 1993. Exposure
Assessment: Mathematical Models of transport and
fate. In: Ecological Risk Assessment (ed. G.W. Suter
II). Lewis Publishers, Inc.. Chelsea, Michigan.
SIMPLESAL
Impact Analysis and
Prediction
This screening level multimedia fugacity compartmental
model is used to estimate steady-state or time dependent
concentrations of chemicals, and determine dominant
environmental pathways and processes.	
Mackay, D., and S. Paterson. 1993. Exposure
Assessment: Mathematical Models of transport and
fate. In: Ecological Risk Assessment (ed. G.W. Suter
II). Lewis Publishers, Inc., Chelsea, Michigan.	
AERIS
Impact Analysis and
Prediction
This multimedia risk assessment model estimates   .
environmental concentrations and human exposures in the
vicinity of contaminated land sites.  It is a menu-driven
model with built-in default values.
Mackay, D., and S. Paterson. 1993. Exposure
Assessment: Mathematical Models of transport and
fate. In: Ecological Risk Assessment (ed. G.W. Suter
II). Lewis Publishers, Inc., Chelsea, Michigan.

Senes Consultants. 1989.  Contaminated Soil Cleanup
in Canada, Volume 5, Development of the AERIS
Model, Final Report prepared for the
Decommissioning Steering Committee.	
Persistence
Impact Analysis and
Prediction
This screening-level model is used to estimate the fate of
organic chemicals, especially pesticides, released into the
aquatic environment. It provides a steady-state, fixed, or
time dependent solution using default environmental
parameters.	
Mackay, D., and S. Paterson. 1993. Exposure
Assessment: Mathematical Models of transport and
fate. In: Ecological Risk Assessment (ed. G.W. Suter
II). Lewis Publishers, Inc., Chelsea, Michigan.
EXAMS
Impact Analysis and
Prediction
Exposure Analysis Modeling System. This is a mass-
balance model that predicts the fate of organic chemicals in
stratified surface waters as a result of continuous or
intermittent releases.
Mackay, D., and S. Paterson. 1993. Exposure
Assessment: Mathematical Models of transport and
fate. In: Ecological Risk Assessment (ed. G.W. Suter
II). Lewis Publishers, Inc., Chelsea, Michigan.

Burns, L. A,, D. M. Cline, and R. R. Lassiter. 1981.
Exposure Analysis Modeling Systems (EXAMS):
User Manual and System Documentation. U.S.
Environmental Protection Agency, Environmental
Research Laboratory. Athens. Georgia.	

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                                                                             -I
                                         ENVIRONMENTAL IMPACT A^JESSMENT teTHOD OLO OES
               Name
                Application
Description
                                                                                                             Reference
EXWAT
                            Impact Analysis and
                            Prediction
                                 This is a steady-state model used to describe chemical fate
                                 in water bodies and assess comparative hazards. It is
                                 applicable to continuous single-point sources.
                                 Maekay,D.,andS.Paterson. 1993. Exposure
                                 Assessment: Mathematical Models of transport and
                                 fate. In: Ecological Risk Assessment (ed, G.W. Suter
                                 II). Lewis Publishers, Inc., Chelsea, Michigan.
Metal Speciation
Models
                            Impact Analysis and
                            Prediction
                                 Models such as MINTEQAI are used to determine
                                 equilibrium speciation of metals in surface and
                                 groundwaters. Outputs include equilibrium aqueous
                                 speciation, adsorption, gas-phase partitioning, solid-phase
                                 saturation states and precipitation-dissolution states.
                                 Brown, D.S., and J.D.Allison. 1987. MINTEQAI
                                 Equilibrium Metal Speciation Model: A User's
                                 Manual.  U.S. Environmental Protection Agency,
                                 Environmental Research Laboratory, Athens, Georgia.
!  ON
Fish Uptake and
Food Chain
Models
                            Impact Analysis and
                            Prediction
                                 Variety of models used to estimate concentrations of
                                 chemicals in aquatic biota.
                                 Mackay, D., and S. Paterson. 1993.  Exposure
                                 Assessment: Mathematical Models of transport and
                                 fate. In: Ecological Risk Assessment (ed. G.W. Suter
                                 II). Lewis Publishers, Inc., Chelsea, Michigan.

                                 Thomann, R. V. 1989. Bioaccumulation model of
                                 organic chemical distribution in aquatic food chains.
                                 Environmental Science and Technology 23:699-707.

                                 Clark, K. E., F.A.P.C. Gobas, and D. Mackay. 1990.
                                 Model of organic chemical uptake and clearance by
                                 fish from food and water.  Environmental Science and
                                 Technology 24:1203-1213.

                                 Cornell, D. W. 1989. Bioaccumulation of
                                 Xenophobic Compounds. CRC Press, Boca Raton,
                                 Flori

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ENVIRONMENTAL IMPACT Ac^ESSMENT METHODOLOGIES
Name
Soil Models
Atmospheric
Models
Application
Impact Analysis and
Prediction
Impact Analysis and
Prediction
Description
Variety of models used to predict fate and transport of
chemicals in soil. Model outputs are used in Risk
Assessment.
Variety of models used to calculate ground-level
concentrations of chemicals from emission sources. Model
outputs are used in Risk Assessment.
Reference
Bonazountas, M., and J. M. Wagner. 1984. SESOIL-
A seasonal soil compartment model. Arthur D. Little
Co., Cambridge, Massachusetts.
Carsel, R. F., C. N. Smith, L. A. Mulkey, J. D. Dean,
and P. Jowise. 1984. User's Manual for the Pesticide
Root Zone Model (PRZM). EPA-600/3-84-109. U.S.
Environmental Protection Agency, Environmental
Research Laboratory, Athens, Georgia.
Enfield, G. C., R. F. Carsel, S. Z. Cohen, T. Phon, and
D. M. Walters. 1982. Approximating pollutant
transport to groundwater. Ground Water 20:7 1 1 -727 .
Jury, W. A., W. F. Spencer, and W. J. Farmer. 1983.
Behavior assessment model for trace organics in soil.
Journal of Environmental Quality 12:558-564.
Mackay, D., and S. Paterson. 1993. Exposure
Assessment: Mathematical Models of transport and
fate. In: Ecological Risk Assessment (ed. G. W. Suter
II). Lewis Publishers, Inc., Chelsea ., Michigan.

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             Name
                 N -  Application
                    Pcjciiptfep
                  Biference
N>
00
        Habilat
        Evaluation
        Models
                 Impact Analysis and
                 Prediction
This refers to a variety of models that are used to develop a
quantitative index value for existing habitats, and determine
change in that index resulting from the project.
U.S. Environmental Protection Agency (EPA). 1993.
Habitat Evaluation: Guidance for the Review of
Environmental Impact Assessment Documents.

Farmer A. 1980.  Habitat Evaluation Procedures
(HEP). ESM 102. Division of Ecological Sciences,
U.S. Fish and Wildlife Service, Washington, D.C.

Farmer, A. 1981. Standards for the Development of
Habitat Suitability Index Models. ESM 103. Division
of Ecological Sciences, U.S. Fish and Wildlife
Service, Washington D.C.

U.S. Department of the Interior.  1987. TypeB
technical information documents PB88-100128-
PB88-100169.

Atkinson, S. F.  1990. A simplified habitat evaluation
for use with remote sensing data.  The Environmental
Professional 12:122-130.
         Sensitivity
         Analysis
                  Decision Making
This technique identifies the parameter or variable of a
model that is most sensitive to change. Use of this
technique helps modelers and decision-makers understand
how changes to input of an analysis affects the predicted
impact of a proposed action.	
Jorgensen, S. E. 1991. Environmental management
modeling.  In: Introduction to Environmental
Management (eds. P. E. Hansen and S. E. Jorgensen).
Elsevier, New York. 403 pp.
         Expert Systems
                  Impact Analysis and
                  Prediction
Expert systems refer to programs developed using IF-
THEN codes. There is no reference to specific expert
systems used for the EA process.
Lein, J. 1989. An expert system approach to
environmental impact assessment. International
Journal of Environmental Studies 33:13-27.

Lein, J. K. 1993. Formalizing expert judgement in the
environmental impact assessment process. The
Environmental Professional 15: 95-102.
         Computer-Aided
         Environmental
         Impact
         Assessment
                  Impact Assessment
This conceptual model provides a general outline for
development of computer-aided environmental impact
assessment. It has not been developed into a useful
program. The tool is intended for use in evaluating different
environmental components and costs of mitigation
Luhar, A. K., and P. Khanna.  1988. Computer-aided
rapid environmental impact assessment.
Environmental Impact Assessment Review 8:9-25.
                                               measures.

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                      ENVIRONMENTAL IMPACT ASSESSMENT METHODOLOGIES
Name
Application
Description
Reference
Field Studies
Field
Reconnaissance
Field Survey
Laboratory
Testing
Impact Identification
Impact
Identification,
Baseline
Characterization
Impact Analysis and
Identification
This tool consists of a qualitative reconnaissance of field
conditions and is used to confirm and complement
information provided in literature and background
documentation.
This tool consists of a variety of techniques designed to
address particular endpoints and objectives. Complexity
can also vary based on study objectives. Environmental
field studies document environmental conditions and
trends.
This tool consists of establishing testing protocols, or
microcosms that model processes in the field. Results are
used to predict impacts of actions on endpoints selected.
Testing protocols vary because of the multitude of potential
endpoints and test parameters.
Krebs.C.J. 1989. Ecological Methodology. Harper &
Row, NY. 654pp.
Smith, R. 1966. Ecology and Field Biology. Harper
& Row, NY. 686pp.
Suter.G. 1993. Ecological Risk Assessment. Lewis
Publishers, Chelsea, MI. 538 pp.
Sourcebook for the EA Process
Additional Assessment Tools/Techniques
Ad Hoc
Procedures
Professional
Judgement
Analog Studies/
Case Studies
Public Opinion
Regulations,
Guidelines and
Thresholds
Impact Analysis and
Prediction
Impact Analysis and
Prediction
Impact Analysis and
Prediction
Scoping, Issue
Identification,
Impact Analysis,
Determination of
Significance
Determination of
Significance
Qualitative tool used to assemble information, compare
alternative sites, and develop strategy
Qualitative tool involving an experienced multidisciplinary
team. Professional Judgement is used to design an EA,
evaluate and select methods/models, determine relevance of
data, develop assumptions to fill data gaps, interpret
predicted/observed effects.
This tool involves the use of information from studies that
are analogous to the project being evaluated by virtue of
geography, action, etc. It assumes that observed impacts at
the analog site will be similar to the study site.
This qualitative tool helps to identify and determine the
relative significance of environmental impacts. It is based
on providing information to the public on the proposed
action, alternatives and potential impacts.
This screening tool consists of identifying applicable
regulations and criteria for a particular project or action
Sourcebook for the EA Process
Lein, J. K. 1993. Formalizing expert judgment in the
environmental impact assessment process. The
Environmental Professional 15:95-102.
National Research Council. 1986. Ecological
Knowledge and Environmental Problem-Solving:
Concepts and Case Studies. National Research
Council, National Academy Press, Washington, D.C.
Thompson, M. A. 1990. Determining impact
significance in EIA: a review of 24 methodologies.
Journal of Environmental Management 30:235-250.
Haug, P. T., R. W. Burwell, A. Stein, and B. L.
Bandwiski. 1984. Determining the significance of
environmental issues under the National
Environmental Policy Act. Journal of Environmental
Management 18:15-24.
to

-------
                                   1 i
                                                     £ssMENT METHODOLOGIES
                                                                                          - =  !  • I

                                                                                                        "
Name
Professional
Standards and
Design
Specifications
Inter-
disciplinary team
development
Application
Determination of
Significance
Scoping
Description
This tool consists of comparing project parameters to
professional standards.
This tool is used to select an interdisciplinary team and
describe the role of team members
1 .Reference
Leistritz,F.L,andS.H,MurdocL 1981. The
Socioeconomic Impact of Resource Development;
Methods for Assessment. Westview Press/ Boulder,
Colorado. 286pp.
Sourcebook for the BA Process
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-------
           SECTION 2.2

ENVIRONMENTAL IMPACT ASSESSMENT
      EVALUATION CHECKLIST

-------
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-------
Environmental Impact Assessment Evaluation Checklist
       (Note page numbers refer to Student Text
 Principles of Environmental Impact Assessment Review)
Issue and Text Reference
PURPOSE AND NEED
1 . Clear description of underlying need for the proposed
project (p. 4-4)
2. Clear description of purpose of proposed project (p.
4-4)
3. Adequate description of the proposed project (p. 4-4)
PROJECT ALTERNATIVES
1 . Consideration of all relevant alternative types, (p. 4-7)
a. No Action
b. Alternative Sites
c. Alternative Designs
d. Alternative Controls
e. Structural Alternatives
f. Non-structural Alternatives
2. All alternatives satisfy the stated purpose and need for
the project, (p. 4-8)
3. Description of all alternative actions or projects that
were, or are, being considered, (p. 4-8)
a. Size and location of facilities
b. Land requirements
c. Operations and management requirements
d. Auxiliary structures
e. Construction schedules
4. Description of initial environmental impact assessment
processes and results (p. 4-7)
DESCRIPTION OF THE ENVIRONMENTAL SETTING
1 . Region of Concern defined, including boundary areas
(p. 4-12)
2 . Physical-Chemical Environment (p. 4- 1 2)
a. Air Resources (p. 4-13)
1) meteorological data (e.g., temperature, wind)
2) ambient air quality (e.g., participates, ozone)
3) stationary sources of emissions (e.g., power
plants)
JSKA.



























Adequately
" Covered







•



'»















JSfot
Adequately
Covered



























Comments



























                       2.2-1

-------
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Issue and Text Reference
4) mobile sources of emissions (e.g., cars and
trucks)
b. Water Resources Op. 4-1 4)
Surface Water:
1) location and type (e.g.,estuaries, streams, lakes,
and their position relative to the site)
2) water quality information (e.g., dissolved
oxygen, temperature, nutrients)
3) existing pollutant sources (location and amount
of discharges)
4) future uses
5) discussion of flooding events
Ground Water:
6) description of key factors (e.g., depth to water
table, overlying soils, geologic features)
7) water quality information (e.g., pH, solids)
c. Soils and Geology (p. 4-16)
1) topography
2) soil structure
3) ground water movement
4) erosion potential
5) subsidence
6) seismic activity (e.g., proximity to faults,
history of earthquakes and volcanic eruptions)
7) mineral resources (e.g., locations of deposits,
types and quantities, ownership of mining
rights)
2. Biological Conditions
a. Wildlife and Vegetation (p. 4-1 8)
1 ) description and listing of aquatic, wetland, and
terrestrial flora and fauna (e.g., species lists,
abundances)
2) description and listing of native species of
wildlife and vegetation present
3) description and listing of particularly invasive
exotic species of wildlife and vegetation
4) description and listing of rare and threatened
species
b. Community and Habitat Characterization
(p. 4-22)
1 ) maps and descriptions of the aquatic, wetland,
and terrestrial communities found in and
around the project site
1*A

























Adequately
Covered

























JNot
Adequately
Covered

























	 	 	 • 	

Comments

























	
                                                                                                                          2.2-2

-------
Issue and Text Reference
c. Ecologically Significant Features (p. 4-24)
1 ) support of broader ecosystems by the project
site (e.g., if located along a flyway or other
biological corridor)
2) important ecological functions of the project
site (e.g., nutrient source through flooding,
stormwater retention)
3) characterization of relevant disturbance
regimes, natural and project-induced (e.g.,
floods, fire, potential impact of logging)
4) description of hydrologic processes (e.g.,
ground and surface water flows and durations)
5) description of important biotic interactions
(e.g., interdependence of plants and animals at
the site and with other sites)
4. Waste Management and Pollution Prevention (p. 4-27)
a. Locations of expected waste disposal or discharge
b. Description of waste management techniques (e.g.,
treatment, storage, transport, recycling)
c. Projected waste characteristics (e.g., types,
quantities, toxicity)
5. Socioeconomic Environment (p. 4-28)
a. Land Use (p. 4-29)
1 ) description of present and historic land use
2) map of present and historic land use
b. Population and Housing (p. 4-29)
1) demographic information (e.g., average
household size, average age, age/sex
distributions, ethnic composition, and
community cohesion)
c. Economic Activity (p. 4-30)
1) description of present economic activity (e.g.,
number and type of businesses, annual
revenues, ownership patterns)
2) description of unique features of business
community (e.g., high seasonality of trade,
high outflow of profit, declining of trade, or
downtown revitalization)
3) consideration of interplay among economic
activity, capacity of public services, and fiscal
ability of community to respond to capacity
needs
d. Community Services and Public Finance (p. 4-3 1 )
N/A





















Adequately
Covered





















,Jfst
Adequately
Covered*




















—
Comments





















2.2-3

-------
lull   lli|
IN.111
Issue ind Text Reference
1) description of existing public facilities and
services within vicinity of project, including
existing level of use and remaining capacity to
accommodate growth
e. Transportation (p. 4-32)
1 ) description of all relevant forms of
transportation for facility
2) current traffic volumes
3) current traffic capacity
4) provision of public transportation
5) assessment of the adequacy of the systems for
meeting peak demands during construction and
operation
f. Health and Safety (p. 4-32)
1) description of present health and safety issues
(e.g,, statistics on industrial accidents,
emissions data from prior and existing
facilities, present levels of noise)
2) identification of special populations or areas
more likely to be exposed to adverse impacts
6. Cultural Resources (p. 4-33)
a. Archaeological sites in relation to the project
b. Paleontological sites in relation to the project
c. Historic sites in relation to the project
d. Educational, religious, scientific, or cultural sites
in relation to the project
ASSESSMENT OF POTENTIAL ENVIRONMENTAL
IMPACTS
The Environmental Impact Assessment discusses primary,
secondary, and cumulative impacts during all stages,
including initial site preparation and construction; facility
operation, and post-facility or site closure for the following
(p, 4-36):
1 . Pollutant Generation, Transport, and Receptors (p. 4-
40)
a. Air Resources (p. 4-40)
1 ) identification of emission sources and project
emission rates and comparison to national,
state, and local standards and limitations
2) comparison of predicted atmospheric levels
with national, state, or local ambient levels
3) description of stack emissions during operation
and maintenance activities and comparison
with existing national, state, and local
standards
'K/A






















Adequately
Covered.






















- Jfnt
Adequately
Covered

















	



,:'!'' j ' h „ .in '"'. ,:, i, :

Comments


i




















                                                                                                                                                                                                                                  s  2.2-4
                                                                                                                                                                                                                                                                                                                                                           i


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-------
Issue and Text: Reference
4) identification of best mitigation measures to
avoid or minimize adverse impacts
b. Water Resources (p. 4-42)
1) address potential for water quality to be
degraded by various factors
2) prediction of pollutant concentrations in water
bodies and comparison with existing national,
state, and local water quality standards and
criteria
3 ) identification of best mitigation measures to
avoid or minimize adverse impacts
c. Geological Resources (p. 4-45)
1) determination of potential soil loss and
mitigation activities
2) identification of potential contamination
sources and mitigation measures
d. Biological Resources (p. 4-46)
1 ) consideration of potential losses of biological
resources within site boundaries
2) description of effluent and emission
concentrations and their potential effects to
vegetation and wildlife
3) discussion of bioaccumulative effects from
facility emissions and discharges
4) identification of best mitigation measures to
avoid or minimize adverse impacts
2. Habitat Alteration (p. 4-46)
a. Biological Resources (p. 4-47)
1) address potential for construction and site
preparation activities to alter critical habitats
for wildlife
2) consideration of potential for secondary
changes in habitats following construction and
site preparation activities
3) assessment of possible permanent loss or
displacement of vegetation habitat due to
operation
4) identification of changes in local species
composition, diversity, and abundances
resulting from loss of specific habitats
5) identification of best mitigation measures to
avoid or minimize adverse impacts
3. Waste Management and Pollution Prevention (p. 4-52)
a. description of facility waste management plan with
procedures for treatment, handling, and disposal
J*/A






















Adequately
Covered








-













Jfot
Adequately
Covered




















—

Comments






















2.2-5

-------
Issue and Text Reference
b. discussion of projected facility waste
characteristics
c. identification of best mitigation measures to avoid
or minimize adverse impacts
4. Socioeconomic Impacts (p. 4-53)
a. Land Use (p. 4-54)
I ) identification of the existing or planned land
use areas lost due to site preparation and
construction activities
2) determination of conflicting zoning
requirements and land uses with site
preparation and construction activities
3) description of anticipated changes in near by
land use as a result of the facility and
evaluation of conflicts that could arise during
operations
4) identification of best mitigation measures to
avoid or minimize adverse impacts
b. Economic Activity (p. 4-57)
1) address changes in employment patterns
2) address ability of available labor pool to meet
project-related employment needs
3) identification of economic multipliers used in
analysis and their source
4) discussion of potential change in overall
economic activity in region
5) identification of best mitigation measures to
avoid or minimize adverse impacts
c. Population and Housing (p. 4-58)
1 ) address the relationship between employment
increases and population in-migration
2) identification of deficiencies in available
housing for the potential increased workforce
and their families
3) identification of best mitigation measures to
avoid or minimize adverse impacts
d. Community Services and Public Finance (p. 4-59)
1 ) identification of deficiencies in community
services and infrastructure during project
construction and operation
2) identification of shortfalls in transportation
capacity due to either primary or secondary
impacts of the project
3) identification of best mitigation measures to
avoid or minimize adverse impacts
3N7A






















Adequately
Covered






















%**P*
Adequately
Cohered

















i


•r- .''

Comments











•
i

>



\ . • • ';
!
I
i
2.2-6

-------
Issue and Text Reference
e. Transportation (p. 4-61)
1 ) assessment of proposed project's consistency
with local and/or regional transportation plans
2) evaluation of changes in LOS resulting from
the proposed project and alternatives
3) evaluation of the effect of heavy vehicle traffic
on affected pavement and bridges
4) description of mitigation measures to offset
adverse impacts to structural integrity and
public safety
f. Health and Safety (p. 4-62)
1) evaluation of whether construction, operation,
and maintenance activities present health and
safety hazards to humans working or living at
or near the project site
2) discussion of potential effects of facility noise
levels on workers, local communities, and local
flora and fauna
3) analysis of potential long-term contaminant .
bioaccumulation within the food chain
4) identification of best mitigation measures to
avoid or minimize adverse impacts
g. Environmental Equity (p. 4-63)
1 ) determination of the equity of changes in
employment patterns attributable to site
preparation and construction activities
2) determination of the equity of community
structure changes caused by project
construction and operation
3) identification of best mitigation measures to
avoid or minimize adverse impacts
5. Cultural Resources (p. 4-63)
a. identification of any historical or cultural resources
in close proximity to the site following
correspondence with appropriate authorities
b. discussion of mitigation measures necessary to
preserve items of archaeological, historical, or
cultural interest
c. determination of the extent to which construction,
operation, and maintenance activities disrupt the
aesthetic or sensory attributes of the site
d. determination of whether the facility components
are designed with consideration given to human
factors
MITIGATION MEASURES
1 . Mitigation Measures (p. 4-68)
N/A





















Adequately
Covered





















J?Qt
Adequately
Covered


















-


Comment*





















2.2-7

-------
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Issue and Text Reference
a. description of mitigation activities for all
significant impacts to both the natural and human
(socioeconomic) environments
b. description of mitigation measures with adequate
information to evaluate environmental
consequences and residual impacts
c. identification of best mitigation measures to avoid
or minimise potential impacts during all stages of
the project, including siting and design, facility
operation, and post facility closure.
d. support of the following types of mitigation
measures, in the following decreasing order of
preference:
- Avoidance or prevention
- Minimization
- Reduction or elimination over time
- Correction
- Compensation.
e. implementation plan (schedule) and criteria for
performance for all mitigation measures.
f. responsible entity assigned to carrying out each
mitigation measure.
g. measures are socially and culturally acceptable.
h. adequate financial and non-financial resources to
implement the measures.
,' ,',, ,








Adequately
Covered








Not
Adequately
Covered ,








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-------
             SECTION 3

WORLD BANK PROJECT-SPECIFIC IMPACTS
      AND MITIGATION MEASURES

-------
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                                                                                                                                                                                 '.;' ..... '.I ...... Ii

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    SECTION 3.1




INDUSTRIAL IMPACTS

-------
                     III!                  Ill III
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                                                                                                                                                                                                     ..... tji^iniiiiiLiijijfiiii.aiiinninhi^^                                                   ....... igininhiaiinniiiBiiJbiiJ                   ..... ^iiLiiiiiiiiiiiiii1:;,!,:',! ...... riijiiii

-------
                              INDUSTRIAL DISCHARGES
  Industries
Producing Wastes
       Origins of Major Wastes
JMajor Characteristics
Food and Drugs

Canned goods
Trimming, culling, juicing, and
blanching of fruits and vegetables
High in suspended solids,
colloidal and dissolved
organic matter
Dairy products
Brewed and
distilled
beverages
Meat and poultry
products
Beet sugar
Pharmaceutical
products
Yeast
Pickles
Coffee
Dilutions of whole milk, separated
milk, buttermilk, and whey
Steeping and pressing of grain, residue
from distillation of alcohol condensate
from stillage evaporation
Stockyards, slaughtering of animals
rendering of bones and fats, residues
in condensate&,_grease_and_wash. water,
picking of chickens

Transfer,  screening and juicing waters,
drainings  from lime sludge, condensates
after evaporator, juice, extracted
sugar

Mycelium, spent filtrate and wash
waters
Residue from yeast filtration
Lime water, brine, alum and turmeric,
syrup, seeds and pieces of cucumber
Pulping and fermenting of coffee bean
High in dissolved organic
matter, mainly protein fat,
and lactose

High in dissolved organic
solids,  containing  nitrogen
and fermented starches or
their products

High in dissolved and sus-
pended organic matter,
bloodr-other proteins, and
fats

High in dissolved and sus-
pended organic matter,
containing sugar and
protein

High  in   suspended   and
dissolved organic matter
including vitamins

High in solids (mainly
organic)  and BOD

Variable pH, high suspended
solids, color, and organic
matter
            *
High BOD and suspended
solids
                                           3.1-1

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                  Fish
                  Rice
                  Soft drinks
                        Rejects from centrifuge, pressed fish,       Very high BOD, total
                        evaporator and other wash water wastes    organic solids, and odor
                                           ii   T"!11' ' * 'I ..... * '"
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                                                                                     ; ....... u , " ' :„;•: KCii!'1 ' i :;  i. ' •' : • : p ii- 1 w ' si ..... ill ..... i ,i
                                                                                     i' '' ' ! ..... ,,"* ,1,;,:: -vit. ..... i ..... 'liLi iVi "Ai1 '!'
                        Soaking, cooking, and washing of rice
                        Bottle washing,  floor and equipment
                        cleaning, syrup-storage-tank drains
                                               High in BOD, total and sus-
                                               pended solids, (mainly
                                               starch)
                                                        il
                                               High pH,  suspended solids
                                               and BOD
                                                                                                                                » IMIIIII ........ iiiifiiiih ..... ,« i ......... ' 1 1
                                                                                                                               ^tSV . IBiiiiC' -" -iliil'ii
 •!.' WllliJi!'!1'! j:i""i I, :!>' in1
     '     '
                 Apparel


                 Textiles
                        Cooking of fibers, desizing of fabric
                                              	!	Jj	

                                              Highly alkaline, colored,
                        	? high BOD and temperature,
IlliillH i,  	•' il  i .,„!	I ; 'lilililiin11  'NiUlllli	 ii'iiii, ji'lnSII'l „!!!!',  ,,,i|	Iflli IliU'lliili f'l ,,,..F lilm ', !i. |T, 11"""; .ni ,L I,'1" '111", i1!!,,,.'L.TI' M1, ' ': f." • •' "l!< .1 i!1'!»fl J" M"" "y,!11!'"',1, Jl'lf™ t'liilh ilSulhO                   A
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                             INDUSTRIAL DISCHARGES
  Industries
Producing Wastes
       Origins of Maior Wastes
Maior Characteristics
Leather goods
Laundry trades
 Unhairing, soaking, deliming and bating   High total solids, hardness,
 hides                                   salt, sulfides, chromium,
                                        ph, precipitated lime
                                        and BOD
Washing of fabrics
High turbidity, alkalinity,
and organic solids
Chemicals

Acids


Detergents


Cornstarch
Dilute wash waters; many varied dilute   Low pH, low organic content
acids
Washing and purifying soaps and
detergents
High in BOD and saponified
soaps
Evaporator condensate, syrup from final  High BOD and dissolved
from final washes, wastes from          organic matter; mainly
-"bottling up"~process                    starch and related material
Explosives
Insecticides
Phosphate and
phosphorous
Formaldehyde
Washing TNT and guncotton for purifica- TNT, colored, acid, odorous,
tion, washing and pickling of            and contians organic acids
cartridges                              and alcohol from powder and
                                       cotton, metals, acid, oils&
                                       and soaps
Washing and purification products such
as 2,4D and DDT
Washing, screening, floating rock,
condenser bleed-off from phosphate
reduction plant
Residues from manufacturing synthetic
resins, and from dyeing synthetic

                       3.1-3
High organic matter,
benzene ring structure,
toxic to bacteria and fish,
acid

Clays, slimes and tall oils,
low pH, high suspended
solids, phosphorous, silica,
and fluoride.-

Normally has high BOD and
HCHO, toxic to bacteria in

-------
                                        fibers
                                                                           high concentrations
  i in i in in I Hi
                 Materials

                 Pulp and
                 paper
                 IIIIIIUiil li  mil	,11 Jillilllllli'llli,  h, ipipllPlligilP
                Photographic
                products
                Steel
                Metal-plated
                products
                                    Cooking, refining, washing of fibers
                                    screening of paper pulp
                                    Spent solutions of developer and fixer
                                    Coking of coal, washing of blast-
                                    furnace flue gases, and pickling of
                                    steel
                                    Stripping of oxides, cleaning and
                                    plating of metals
 Sigh or low pH; colored,
 high suspended, colloidal,
 and dissolved solids, in-
 organic fillers
 Alkaline, contains organic
 and inorganic reducing
 agents
          |,             ;,,,;,,::,	,„,:;,	.,	
 Low pH, acids, cyanogen,
 phenol, ore, coke, limestone,
 alkali, oils, mill scale,
 and fine suspended solids
	1	     	;
 Acid, metals, toxic,  low
 volume, mainly mineral matter
"|;:i!' iJlillIlHi,,;:1!*11, ."Ill:jj>	' "M	hill!" V	Jli  illliiiri 1, \ •	' V-	J' a. ..
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-------
                             INDUSTRIAL DISCHARGES
  Industries
Producing Wastes
       Origins of Major Wastes
Major Characteristics
Iron-foundry
products
Oil
Rubber
Glass
Naval stores
Wasting of used sand by hydraulic
discharge
Drilling muds, salt, oil, and some
natural gas, acid sludges and
and miscellaneous oils from refining
Washing of latex, coagulated rubber
exuded impurities from cured rubber
Polishing and cleaning of glass
Washing of stumps, drop solution,
solvent recovery, and oil recovery water
High suspended solids,
mainly sand; some clay and
coal

High dissolved salts from
field, high BOD, odor,
phenol, and sulfur compounds
from refinery

High BOD and odor, high
suspended solids, variable
pH, high chlorides

Red color, alkaline non-
settleable suspended solids

Acid, high BOD
Energy

Steam power
Coal
processing
Nuclear powec
and radio-
active
materials
Cooling water, boiler blowdown
coal drainage
Cleaning and classification of coal
leaching of sulfur strata with water
Processing ores, laundering of con-
taminated clothes, research-lab wastes
processing of fuel, power-plant cooling
waters
Hot,high volume, high
inorganic and dissolved
solids

High suspended solids, mainly
coal; low pH, high H2SO4
and FeSO4

Radioactive elements, can be
very acid and "hot"
"hot"
                                         3.1-5

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I Hill  i   ill
iP    Hi
III  	I
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-------
             SECTION 3.2


PROJECT SPECIFIC MITIGATION MEASURES
            WORLD BANK TABLES

-------
                                                                                                                                                                                                                                "I' llPil!  'llll	''"'MiWjL'iill"1
                                                                                                                                                                                                                                                                              ii n      n 11 in       in
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                                                                                                                                                                                                                                    1' „   4 itti,,;";P!"; Hjiirfiv,, jippi;,],, .v;    ijE'iii,'!
                                                                                                                                                                                                                                    'i,'1   ,1, fti  ',:"pif!  iiH'j1,  ^^l;i:\>p|>rr^ii>tiiiii;,il>
  'I,   lh,;FI|    , If  ,,,1,   illlhiil'''!.:;  '   ; ^iyiit
' „ il I11/  
-------
                                                                     Table 8.1. Agroindustry
                             Potential Negative Impacts
                                                                                                       Mitigating Measures
OJ
ho
        Direct:  Site Selection

        1.    Siting of plant or facility complex on/near sensitive habitats.
2.   Siting of agroindustry along water courses leading to their eventual
     degradation.
       3.    Siting of agroindustry so that air pollution problems are aggravated.
       Direct:  Agricultural Practices

       4.    Environmental deterioration (erosion, contamination of water and soil,
             loss  of  soil fertility, disruption of  wildlife habitat,  etc.) from
             intensification of agricultural land use.
1.  •  Location of plant in rural area away from estuaries, wetlands, or
       other sensitive or ecologically important habitats, or in industrial
       estate to minimize or concentrate the stress on local environment and
       services.

    •  Involvement of  natural resource  agencies  in  review of  siting
       alternatives.

2.  •  Site selection examining alternatives which minimize environmental
       effects and not preclude beneficial use of the water body using the
       following siting guidelines:

    •  on a watercourse having a maximum dilution and waste absorbing
       capacity
    •  in an area where  wastewater can be reused with minimal treatment
       for agricultural or industrial purposes
    •  within a municipality which is able to accept the plant wastes in
       their sewage treatment system

3.  Location of plant at a high elevation above local topography, in an area
    not subject to air inversions, and where prevailing winds are away from
    populated areas.
                                                                              4.   Control of agricultural  inputs and cropping/grazing  practices  to
                                                                                  minimize environmental problems.

-------
f     pa
t     *•
I     -?
i     ^
i     -
•
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i S'  is i";:*
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isi^iC  ;?
           i
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                                                    !

                                    !i
                       i:3»: .,s;l. ';

                                    M
                       ! »?S ! 'i^ T = -s : ! i
                                                                                 l
                                                                          Table 8.1.  Agroindustry (continued)
                                                                                                                                    I Si
                                                                                                                                    Ml
                                                                                                                                    i 53

                                                                                                                                    I K

                                        Potential Negative Impacts
                   Direct: Plant Operation

                   5.  Aggravation of solid waste problems in the area.
•:"  6.   •   Water pollution from discharge of liquid effluents.

:       •   Plant: TSS; temperature; pH
       •   Materials storage piles runoff: TSS; pH
                                                                                                                          Mitigating Measures
                :=  7.  Particulate emissions to the atmosphere from all plant operations.
                                                                                                  5.   •   For facilities producing large volumes of waste, incorporation of the
                                                                                                         following guidelines in site selection:

                                                                                                         •   plot size sufficient to provide a landfill or on-site disposal    '"
                                                                                                         •   proximity to a suitable disposal site
                                                                                                         •   convenient for public/private contractors to collect and haul;«
                                                                                                             solid wastes for final disposal                              , ^i

                                                                                                  6.   Laboratory analysis of liquid effluent (including cooling water runoff!'
                                                                                                      from  waste piles)  in O/G,  TDS, TSS,  BOD,  COD  and  in-situ j:
                                                                                                      temperature monitoring.                                           ;
                                                                                                                                                                       ii
                                                                                                      All plants, or as indicated by agroindustrv type
                                                                                                                                                                       &
                                                                                                      •   No cooling  water  discharge;  if recycling not feasible, discharge
                                                                                                         cooling water  only if receiving water temperature does  not  rise :
                                                                                                         >3°C.                                                        «
                                                                                                      •   Maintain pH level  of effluent discharge between 6.0 and 9.0.      j;
                                                                                                      •   Control effluent to EPA specified limitation (40 CFR 405-409;432) I
                                                                                                         for specific process.                                           "
                                                                                                      •   Land application  of  waste  effluents where appropriate;  the,:^
                                                                                                         "Industrial Hazard Management"  section should be consulted for I
                                                                                                         guidelines regarding industrial hazardous materials.               ;!
                                                                                                                                                                       r
                                                                                                  7.   Control of participates by  fabric filter  collectors  or electrostatic l|
                                                                                                      precipitators.                                                      f

      s     ^j
           I

-------
                                                                Table 8.1.  Agroindustry (continued)
                               Potential Negative Impacts
                                                                                                     Mitigating Measures
          Direct:  Plant Operation (continued)

          8.   Gaseous  and odor emissions to  the atmosphere  from  processing         8.
              operations.
                                                                                 Control by natural scrubbing action of alkaline materials; an analysis
                                                                                 of raw materials during feasibility stage of project can determine levels
                                                                                 of sulfur to properly design emission control equipment.
          9.   Accidental release of potentially hazardous solvents, acidic and alkaline
              materials.

          Indirect
                                                                             9.   Maintenance of storage and disposal areas to prevent accidental release;
                                                                                 provide spill mitigation equipment.
OJ
to
10. •   Occupational health effects  on  workers  due to  fugitive dust,         10.
       materials handling, noise, or other process operations.

    •   Accidents occur at higher than normal frequency because of level of
       knowledge and skill.
 Development of a  Safety  and  Health Program  in  the  facility
 designed to identify, evaluate, and control safety and health hazards
 at a specific level of detail to address the hazards to worker health
 and safety and procedures for employee protection, including any
 or all of the following:

•  site characterization and analysis
•  site control
•  training
•  medical surveillance
•  engineering controls, work practices and
   personal protective equipment
•  monitoring
•  information programs
•  handling raw and process  materials
•  decontamination procedures
•  emergency response
•  illumination
•  regular safety meetings
•  sanitation at permanent and temporary facilities

-------
                         M
                         11
                                                1   !  1
                                                            i     ('    i ii
                                                 II!      =           !!    I  I  1  I         =     !
                                                      Table 8.1. Agroindustry (continued)    J
                                                                                                                              =  ; ^^jf;
                                                                                                                           ,: ,  «
                                                                                                                           i- i  j
                                                                                                                                 i ™!


                                                                                                                           ^Hi«" i HE;
                                                                                                                           3E:,,n   jjsl
                                                                                                                           ; *( bnii M i S*i
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                                                                                                                         iMiM  Hi1    i
                                                                                                                         ., ,si  !  'M  ;    ,  ,   , =!i i;,:!! i MI
                                                                                                                         !i ii:  ;  »«i  ;
                                         Potential Negative Impacts
                                                                                                    Mitigating Measures
                     Indirect (continued)
  II  V
                     11.  Regional  solid waste problem exacerbated by  inadequate on-site
                         storage.
                                                                            11.  Plan for adequate  on-site disposal areas assuming  screening  for
                                                                                 hazardous characteristics of the leachate is known.
     r.
     BI
     *
          » to
12.  Transit  patterns  disrupted,  noise and congestion  created,  and
     pedestrian hazards aggravated by  heavy trucks transporting  raw
     materials and products to/from facility.
12.   Site selection can mitigate  some of these problems,  but special
     transportation sector  studies should be  prepared during  project
     feasibility  to select  best routes  to reduce  impacts;  transporter
     regulation  and  development  of  emergency  contingency  plans to
     minimize risk of accidents.
                  -   13.  Disease transmission from inadequate waste disposal.
                                                                            13.  Develop specifications for product preparation and/or processing, and
                                                                                 waste disposal processes; monitor fecal coliform or other bacteria; and
                                                                                 require documentation of waste disposal site monitoring.
 KB   -==    1-

14:4-   -
 =t*   &
 Si   r
 !ii
 n

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                                                              Table 8.1. Agroindustry (continued)
                              Potential Negative Impacts
                                                                                                 Mitigating Measures
          The following guidelines are World Bank guidelines. If they cannot be achieved, the appraisal and/or supervisory mission should fully document the
          reasons for deviations.  Where local regulations differ from those below, the stricter regulations should prevail.
U)
NJ
Ul
Leather Tanning and Finishing

Waste constituents:

       Washing and soaking
       Degreasing
       Dehairing
       Bating
       Pickling
       Tanning
       Retanning, coloring
       Finishing
BOD5, TSS
BOD$, TSS, 0/G
BODS, TSS, pH, sulfides, nitrogen
Ammonia nitrogen
Acids, salt
Chromium, vegetable tannins
Color, oil
none
                                                                                        Leather Tanning and Finishing

                                                                                    EPA Effluent Guidelines and Standards or use  the  following general
                                                                                    guidelines.
Constituent
B
D
BOD,
TSS
0/G
Sulfides
Tot. Cr.
TKN
PH
Fecal Col.
2.8
3.0
1.1
0.010
0.10
0.54


3.2
3.6
1.3
0.012
0.12
0.64
6.0
Not
2.6
2.8
1.0
0.010
0.10
0.50
to 9.0
over 400
1
1
0
0
0
0

per
.0
.2
.48
.004
.04
.20

100ml
3.2
3.6
1.3
0.012
0.12
0.62


1.4
1.6
0.68
0.006
0.06
0.28


                                                                                    Plant Categories by Primary Process
                                                                                                   pulp hair; tanning-chrome; finishing
                                                                                                   save hair; tanning-chrome; finishing
                                                                                                   save hair; tanning-vegetable; finishing
                                                                                                   hair previously removed;  tanned previously; finishing
                                                                                                   hair previously removed or retained; tanning-chrome;
                                                                         A:  Beamhouse
                                                                         B:  Beamhouse
                                                                         C:  Beamhouse
                                                                         D:  Beamhouse
                                                                         E:  Beamhouse
                                                                             finishing
                                                                         F:  Beamhouse - pulp or save; tanning-chrome or no tanning; no
                                                                             finishing

-------

                          !l!l I                 |  j|  j
                       .......   miHHum.
           i  m as, ilM!! IB ii! I ;:.                 «;  E
           !  if-        ,« '! :• M!                 -.!  I
           I  IB 3; lt!:i:        ;j                 •  :
i 'I m

                                   ;;  i
            i5i!:?|  ii.llh  1
                                                                      !i
                                                                                        «! I
       N
. :r"!;s :-L
       13
       11
                                                                   I   I             ll  I   I         •!
                                                                       I          «« M  I   '

                                                                    Table 8.1.  Agroindustry (continued)
                                                                II I
                             iil!
                          Potential Negative Impacts
                                                                                                              Mitigating Measures
PMi
      iJPalm Oil Mills
 m
                111
       Waste streams are acidic and have high TSS, O/G, and BOD5.
    rT;fl*

    trf
    »«
    tos
 SiS Ni
     ''Slaughterhouses

       Most important liquid effluent parameters are:  BODj, TSS, O/G, pH, and
       fecal coliform organisms.
              Palm Oil Mill Effluent Control

              Limitations for liquid effluent include:

               pH  6 to 9
               BOD  <100mg/l
               COD  <1000mg/l
               TSS  <500mg/l

              It is feasible to achieve 100 percent reduction of pollutant and waste effluent
              discharged to surface waters by one of the following:

                  •  spray irrigation
                  •  land application
                  •  evaporation ponds
                  •  discharge to municipal sewage treatment systems


              Slaughterhouse Maximum Daily Effluent Limitations

              Plant Tvoe    BOD (&) TSS (b)   O/G      oH
                                                                                        simple
                                                                                        complex
                            0.12
                            0.21
0.20
0.25
0.06
0.08
6-9
6-9
                                                                                           Live wt killed

                                                                             MPN fecal coliform count < 400 per 100 ml
                                                                                                                        a) per kg
                                                                                                                        b) per megagram



-------
                                                           Table 8.1.  Agroindustry (continued)
                           Potential Negative Impacts
                       Mitigating Measures
       Wool Scouring

       Raw waste contains significant quantities of O/G whose biodegradability
       constituents a special problem.

       Sulfur is brought in with wool,  as  well as phenolic and  other organic
       compounds; this could be discharged to receiving waters.
Grease recovery step is necessary to decrease potential pollution from O/G.
Liquid Effluent Guidelines: Mg = megagram; mg = milligram
to
•Ij
BOD,
TSS
COD
O/G
Total Chromium
Phenol
Sulfide
Pesticides
5 Kg/Mg product
4 Kg/Mg product
20 Kg/Mg product
7.2 mg/1
0.1 mg/1
0.1 mg/1
0.2 mg/1
0.01 mg/1
                                                                                                                                                         J

-------
                                             =    !
                                                                   Table 8.2.  Dams and Reservoirs
                                                                                                                                                             i  i
                                Potential Negative Impacts
                        Mitigating Measures
          Direct

          1.  •  Negative environmental effects of construction:

                 •  air and water pollution from construction and waste disposal
                 •  soil erosion
                 •  destruction of  vegetation, sanitary and health  problems from
                    construction camps

     * ;";  2.  Dislocation of people living in inundation zone.




mi  Z        Loss of land  (agricultural, forest, range, wetlands) by inundation to
  :    ;;*!!)    form reservoir.
fi _ i   a? i:S .it
„;>;
,;;,,       4.  Loss of historic, cultural or aesthetic features by inundation.
       tj iij


     »:«>  5.  Ldss of wildlands and wildlife habitat.
     •=-  i== |i;
•          6.  Proliferation of aquatic weeds in reservoir and downstream impairing
si;j;           dam  discharge,  irrigation systems,  navigation  and  fisheries and
 - -   '?- ai'"    increasing water loss through transpiration.
1.  •  Measures to minimize impacts:

       •  air and water pollution control                            '  -
       •  careful location of camps, buildings, borrow pits,
          quarries, spoil and disposal sites
       •  precautions to minimize erosion
       •  land reclamation

2.  Relocation of people to suitable area, provision of compensation in kind
    for resources lost, provision of adequate health services, infrastructure,
    and employment opportunities.

3.  Siting of dam to decrease losses; decrease size of dam and reservoir;:
    protect equal areas in region to offset losses.                        :

4.  Siting of dam or decrease of reservoir size to  avoid loss; salvage or
    protection of cultural properties.

5.  Siting of dam or decrease of reservoir size  to avoid/minimize loss;
    establishment of compensatory parks or reserved areas; animal rescue
    and relocation.                                                    ~

6.  Clearance of woody vegetation from inundation zone prior to flooding:
    (nutrient removal); provide weed control  measures; harvest of weeds |
    for compost, fodder  or biogas;  regulation of water discharge and
    manipulation of water levels to discourage weed growth.
in-:  EM!
~s i P :  ^-
     IIH

-------
                                                          Table 8.2.  Dams and Reservoirs (continued)
                             Potential Negative Impacts
                         Mitigating Measures
       Direct (continued)

       7.  Deterioration of water quality in reservoir.
7. •  Clearance  of woody  vegetation from inundation zone  prior  to
      flooding.

   •  Control  of land  uses,  wastewater discharges, and agricultural
      chemical use in watershed.

   •  Limit retention time of water in reservoir.

   •  Provision for multi-level releases to avoid discharge of anoxic water.
k>
        8.  Sedimentation of reservoir and loss of storage capacity.
       9.  Formation of sediment deposits at reservoir entrance creating backwater
           effect and flooding and waterlogging upstream.

        10. Scouring of riverbed below dam.
        11. Decrease in floodplain (recession) agriculture.
8. »  Control of land use in watershed (especially prevention of conversion
      of forests to agriculture).

   •  Reforestation and/or soil conservation activities in watersheds (limited
      affect).

   •  Hydraulic removal of sediments (flushing, sluicing, release of density
      currents).

9. Sediment flushing, sluicing.
10. Design of trap efficiency and sediment release (e.g., sediment flushing,
    sluicing) to increase salt content of released water.

11. Regulation of dam releases to partially replicate natural flooding regime.

-------

                                        !    I
                                                    f   I
                                                                    I! I                I 3 1 ' !MI !    !!» : :!l  !  ! I
                                                                               :i!                 i«:i  H!
                                                                   :jj; ;jpJ  igs                         |  : j
                                                                   : M I if1*; r>*  i vf    t ;, ig si BIS i    i    : ,,i  i  i i
                                                                   :H;         : ai             :    HSM ,is  i  !:

                                                                                                                                                       H  ii
                                                                                                                                                       a|  I
                                                                                                                                                         3  :; i
                                                                                                                                                         •  ijl

                                                                                                                                                         I  If
                                                             '":     ;is:         ,  oi    ':  _  ,....
                                                     Table 8.2. Dams and Reservoirs (continued)
                                                                                                                                                     ;;" i
                                                                                                  '
                                                                                                                                                        »  -  y
  j:^         J

;  ;'=;  -, =jpjw
Ml;  r ^ftS^i
i  iir  i-i^>!wj>—*i
"  ":s  -"=- 'tfyfOn
  i:«         s
i  .!'         M
            ?
i  • *  * .*=^--  v1


.  ;;         ^
!  11*  2       «
     ;11!  !
    --.- =^r:ri>  r^
    ;*-f¥s  v
! US ii    i  l*f

i            ^
i ^  ;; ;>  s
i ;.'   • ---"  -'-
i fit   - :    ;
 UN  * =ff= a  1=*
 !l: i-.   :1«  '
I   Direct (continued)
i  i
,   12. Salinization of floodplain lands.


:   13. Salt water intrusion in estuary and upstream.
'   " 14. Disruption of riverine fisheries due to changes in flow, blocking of fish
:   ;    migration, and changes in water quality and limnology.
;   1 IS. Snagging of fishing nets in submerged vegetation in reservoir.
-p
I   j
j    16. Increase of water-related diseases.
   {17. Conflicting demands for water use.
    18. Social disruption and decrease hi standard of living of resettled people
                                                                                                                                                   !   MJ
                                                                               12. Regulation of flow to minimize effect.
                                                                               13.  Maintenance of at least minimum flow to prevent intrusion.
                                                                               14.  Maintenance of at least minimum flow for fisheries; provision of fish  *
                                                                                   ladders and other means of passage; provide protection of spawning  •
                                                                                   grounds;  aquaculture  and  development  of reservoir  fisheries  hi  i
                                                                                   compensation.                                                    :
                                                                               IS.  Selective clearance of vegetation before flooding.
                                                                               16.  •  Design and operation of dam to decrease habitat for vector.
                                                                                   •  Vector control.
                                                                                   •  Disease prophylaxis and treatment.
                                                                               17.  Planning and management of dam in context of regional development  ;
                                                                                   plans; equitable allocations of water between large and small holders
                                                                                   and between geographic regions of valley.                          :
                                                                               18.  Maintenance of standard of living by ensuring access to resources at  ;
                                                                                                                                                        !  i  i
                                                                                                                                                           iti
ii!
•ill
lil
)'»
=

=1
i: "4=^^ * ! s
:r. ™ ~ »
J ! i
«S i ^^k
!s fl," . y j ^B

= » = ^>::sv "- --"?:-'
i .°===^i= ^ =
• i
least equalling those lost; provision of health and social services.






I ; ii is II
. r : i: i M 5

I i Ii 1 ti =
'-- \'-f. y>
~s = = 1 III
i : 11 t 111
i i: i iii

-------
                                                  Table 8.2.  Dams and Reservoirs (continued)
                     Potential Negative Impacts
                        Mitigating Measures
Direct (continued)
19.  Environmental degradation from increased pressure on land.
19. •  Choice of resettlement site to avoid surpassing carrying capacity of
       the land.

    •  Increase of productivity or improve management  of land (agri-
       cultural, range, forestry  improvements) to  accommodate higher
       population.
20.  Disruption/destruction of tribal/indigenous groups.
20. Avoid  dislocation  of unacculturated people; where not possible,
    relocate in area allowing them to retain lifestyle and customs.
21.  Increase in humidity and fog locally, creating favorable habitat for
     insect disease vectors (mosquitos, tsetse).
21. Vector control.
Indirect

22.  Uncontrolled migration of people into the area, made possible by
     access roads and transmission lines.
22. Limitation of access, provision of rural  development and health
    services to try to minimize impact.

-------
mi!            :    a i
   Nil          I     "" '
   II    IP r!    i
!!!'!
liiii  r^J^S:
  Mi
  M:
  Mi     J    f i
  tii            ,
  tsi
     -- == = _. i^i^-^ -= =
 ! = is  mi,  J=L    vf
 I -: f,  P;J ; -  =  s;

   S!  B?       •:
  !p  Bi!
                    •
                    «j
                    SB!
                         • = p
                         I B
                     I  ij !



                     (;
  • I I! M i !

      
-------
                                                                     Table 8.3.  Fisheries
                            Potential Negative Impacts
                        Mitigating Measures
NJ
       Direct Impacts:  Capture Fisheries

       1.   Overexploitation of fisheries stock and long-term degradation of the
            resource base.
       2.   Capture  of non-target species and habitat damage through use of
            certain equipment and fishing practices.
       Fisheries management for optimum sustained yield:

       •  restricted harvests (minimum size limits, catch quotas,
          seasonal closures)
       •  gear restrictions (trawl bans, specified net mesh sizes)
       •  closure of areas (permanent reserves, periodic closures)
       •  limited entry systems (licensing, exclusive access)
       •  prohibited practices (use of explosives, drift nets)
       •  consideration of sustainable traditional fishery practices
          and  incorporation to  extent  possible  in  modem  fisheries
          management systems

       Limitation or prohibition of use  of such equipment and fishing
       practices.

       Testing and pilot scale use prior to large scale introduction of new
       technologies.

       Expanded use of fish by development of new products and markets.
       3.   Pollution from  oil and fuel spills and leakage, and from bilge
            flushing.
3.  •  Public education programs on proper fuel and oil handling and bilge
       waste disposal.

    •  Provision of storage and handling facilities, bilge evacuation and
               services.
                                                                                           See "Inland Navigation" arid "Port and Harbor Facilities" sections
                                                                                           in Chapter 9.

-------
III!
In1
  11!
  Ih
 • •= =
  HI
  *!
  IH
II

II
                                                         if-                                        p
                                                                             .. - -^    "-'-.=- -"-=== i= s- ,  = =-  ; =MH= - ii  - =   ^ i .i:i Ljifc L
                                                         !(<  ; ,j ,! «"-i

                                                         m i iiii
                                                                                _:..:"::*!!
                                                                                                                      P S:
                                                                                                                      i iri
Potential Negative Impacts
                       Direct Impacts:  Capture Fisheries (continued)
Mitigating Measures

                       4.   Diver and anchor damage.
  fl
   !i
   in
  GU
   fi!
               to
        5.    "Ghost-fishing'' and navigational hazards  from abandoned or lost
              fishing nets and traps.

        6.    Use of explosives and poison.

        7.    Introduction of exotics leading to degradation of native stocks.

              i
        Direct:  Culture Fisheries

        8.    Clearing/conversion of coastal wetlands for construction of ponds.
                                                       4.  •  Public education programs for fishermen on effects of damage and
                                                              ways to avoid it.

                                                           •  Installation of mooring buoys.

                                                           •  Designation of anchoring locations.


                                                       5.  Public education programs for fishermen on hazards of abandoning
                                                           gear.

                                                       6.  Prohibition of practices and enforcement of regulations.

                                                       7.  Prohibition of exotics introduction.
                                                                                                   8.  •  Prohibition of ponds in area of particular ecological significance.

                                                                                                       •  Limitation of area converted to ponds.

                                                                                                       •  Intensified management in existing and new ponds to discourage
                                                                                                          "shifting aquaculture" and low-input, extensive aquaculture which
                                                                                                          converts large areas.
                                                                                                                                  il
                                                                                                                                                          i     |I!1

-------
                                                        Table 8.3.  Fisheries (continued)
                     Potential Negative Impacts
                        Mitigating Measures
Direct:  Culture Fisheries (continued)

9.   Erosion and siltation problems arising in construction phase.
9.  •  Restriction of clearance to area needed for ponds.

    •  Pond construction during dry seasons.

    •  Stabilization of exposed soil with grasses or other ground covering.
10.  Competition of ponds for water and land resources demanded by other
     users.
11.  Loss of productivity or formation of toxic conditions in ponds from
     high temperatures, low oxygen and waste accumulation.

12.  Acidification of pond water due to hydrogen sulfide formation.
10. •  Assessment of  existing  traditional  land  and  water use  and
       agricultural, industrial and municipal demands.

    •  Planning,  management  and  continuing  negotiations  to  reach
       acceptable distribution of resources.

    •  Siting of pond to avoid disruption of traditional uses of water for
       washing and drinking.

    •  Coordination of aquaculture ponds with other activities to double-up
       on water use (e.g., pond water reused for irrigation).

11. Adequate pond water exchange and frequent pond flushing.
12. •  Siting in areas not susceptible to acidification (avoid waterlogged
       soils high in pyrite and organic matter).

    •  Adequate pond water exchange and flushing.

-------
                                  a          1   !j  I                           I


                                                m
                                   I         l  PI                          !
                                   — ==r - i?=- -V53  •--=  F '=s  -i^irr ^i p^ -_ =  -"-""- =   _
                                   =         j-  i!i                lmj;T; i
                                   -, --: ;» *-"  i  ^
                                   .         4  i=s           ;a^
                       i      i   •
  :  Table 8.3.  Fisheries (continued)
;S1
                                          Potential Negative Impacts
                                                Mitigating Measures
                                                                                                                                                                       ii
ll
              U)
              to
              1—"
              0\
                    Direct:  Culture Fisheries (continued)
                     13.   Local depletion of larval and juvenile organisms for pond stocking.
                     14.   Water pollution from pond effluent (nutrient-rich and with varying
                          chemical content depending on intensity of pond management).
                     IS.  Introduction of exotics with subsequent damage to native stocks by
                          competition, predation, spread of disease and parasites.
                        13. Production of larvae and juveniles in nursery.                      '_


                        14. •  Release into water  body  with adequate dilution  and dispersal
                               capability.

                            •  Dilution prior to release.                                      ''

                            •  Timing of release with period of high water.                    f

                            •  Shorter retention time of water in pond: more frequent pond water
                               exchange  and flushing.

                            •  Treatment of water prior to release.
                        15. •  Avoidance of exotic introductions except where adequate knowledge
                               of biology and life history of species indicates low risk of negative
                               impacts and where adequate safeguards against escape are taken.

                            •  Regular monitoring for disease  and parasites;  if  present  and
                               spreading, elimination of infected populations.
                                                                                                        Consideration of using sterile hybrids.

-------
                                                              Table 8.3.  Fisheries (continued)
                           Potential Negative Impacts
                        Mitigating Measures
      Direct:  Culture Fisheries (continued)
      16.  Spread of disease in aquaculture stocks and into natural stocks when
           stocking becomes too dense.
16. •  Monitoring of disease incidence.

    •  Limitation of numbers when disease is positively correlated with fish
       densities.

    •  If disease spreads, elimination of diseased individuals.
UJ    17.  Concentration of pens, pilings, and rafts in natural (non-pond) water
io         bodies to extent that navigation is hampered,  water circulation is
•->         restricted, water quality is decreased, and capture fisheries precluded.
17. Regulation of aquaculture activity to limit it to acceptable intensity.
      External Impacts:  Capture Fisheries and Culture Fisheries

      18.  Dams which alter water quality and stream flows and disrupt riverine
           and floodplain fisheries.

      19.  Irrigation schemes which alter water quality and quantity.
18. •  Establishment of reservoir fishery.  Water release management to
       minimize damage to fisheries (see "Dams and Reservoirs" section).

19. •  Development of fishery activities in conjunction with irrigation
       systems (e.g., use of pond water for irrigation, traps and nets in
       irrigation canals).

    •  Management of irrigation schemes to minimize damage to fisheries
       (see "Irrigation and Drainage" section).

-------
                                   ij!  !
   il   iiiiii!  I
                   i!
HP! ir», Sl| ;  I I I I 1 1 i  11
                   II
                                               in i
                                               -,. . ~  Hr-

                                               f                able £3. Fisheries (cootii»ed)
                                               :i*•!  "^'
                                                                                                               •SI            :!
                                                                                                 li'ii          ^P    i  =
                                                                                                 iii£          iiiiii    !  =
                                                                                                                     ~    i
                                                                                                   s  - ,    i     i :*  E"       -
                                                                                                  T  ; »          - - =
                                                                                                 ii:;1!                   MI   M[
                                                      IH;;          ,ii!!i.
                                                  ;di!;l          ^ Mi
                                                  ;:::B:::J
                            Potential N^ative Impacts
                                                    Mitigating Measures
        External Impacts: Capture Fisheries and Culture Fisheries (continued)
        20.  Land use and agricultural practices in watersheds affecting sediment
             content and water quality.
                             20.  •  Integrated watershed planning and management.

                                  •  Close coordination between fisheries and government agencies-
                                     responsible for resource management in watersheds to alert them
                                     to impacts on fisheries.
H  oo-
21.  Flood control measures damaging to water quantity and quality and
     aquatic habitats.

22.  Pollution from industrial effluent, sewage and agrochemicals affecting
     fish survival and tainting fish.
        23.  Air pollution and acid rain affecting fish survival.

        24.  Coastal development  involving dredging,  filling,  destruction of
             mangrove swamps, construction and infrastructure development.

        25.  Oil pollution from coastal and inland navigation, and spills from
             drilling, transport operations, and oil tankers (cleaning of tanks).
        26.  Water-based  tourism  development  which conflicts  with fishing
             activities.
                                                                                  21.  See "Flood Protection" section.
                             22.  See" Wastewater Collection, Treatment, Reuse, and Disposal Systems"
                                  section in Chapter 9; see also the sections on "Plant Siting and
                                  Industrial Estate Management" and "Industrial Hazard Management"
                                  in Chapter 10.

                             23.  See "Atmospheric Pollution" section in Chapter 2.

                             24.  See "Coastal Zone Management" section; "Port and Harbor Facilities"
                                  projects are discussed in Chapter 9.

                             25.  See the following sections in Chapter 9: "Inland Navigation" and "Port
                                  and Harbor Facilities"; "Oil  and Gas Development-Offshore"  and
                                  "Oil and Gas Development-Onshore" are examined in Chapter 10.

                             26.  See "Tourism Development" section hi Chaptw 9.
                                                                                                                                                       -r

-------
                                                               Table 8.3.  Fisheries (continued)
                           Potential Negative Impacts
                        Mitigating Measures
      Indirect Impacts:  Capture Fisheries and Culture Fisheries


      27.   Creation or expansion of port areas, shore facilities and infrastructure        27.  See "Plant Siting and Industrial Estate Management"; "Coastal Zone
            (roads, water, power) for processing and transport of fish products.              Management"; and "Port and Harbor Facilities."
      28.   Pollution from  effluent discharged from industrial fish processing
            plants.
to
28.  •  Discharge  into  waters  with adequate  dilution  and  dispersal
        capabilities.

     •  Water  quality monitoring for suspended solids, oil and grease,
        dissolved oxygen, nitrogen and coliform.

     a  Reduction of wastes by recycling into usable products, reduction of
        water use.

     •  Treatment of waste prior to release.

-------



                                              ..   .
                                             = -=sr- ^ :=• s

                                                                    Table 8.4.  Rood Protection
                                                                                                                    i



                                                                                                                                                          i  r
                                                                                                                                                          -  s
                              Potential Negative Impacts
                                                                                                     Mitigating Measures
-  to
Direct

1.   Flooding of lesser magnitude, but greater duration of flood-
     plain downstream due to dam releases.

2.   Potential for structural failure and floodwaters higher than
     capacity of control structures/measures, leading to increased risk
     to life and property because local pre-project adaptations are
     relaxed  or  abandoned or increased  development  on  the
     floodplain has occurred post-project.
         3.    Cycle of enrichment and groundwater recharge in floodplain
               soils broken.

         4.    Resettlement of populations and other negative socioeconomic
               effects on populations and communities affected by the project.
         5.    Adverse effects  on fisheries and other aquatic resources by
               disruption of  migratory  routes, deterioration of habitat and
               changes in water quality  (e.g., sediment  load), leading to
               reduced productivity of riverine, coastal and marine fisheries.
                                                                                       1 .  Adaptation by changes in agricultural practices.
                                                                                      2.  Implementation  of non-structural measures to prevent  increased
                                                                                          flood risk, and of a flood warning system.
                                                                             3.  Where dams are present, partial mitigation of effect by regulation
                                                                                 of discharge to imitate natural flooding in a controlled way.

                                                                             4.  •   Identification of at-risk population groups or groups who
                                                                                     may be adversely affected by flood control measures.

                                                                                 •   Incorporation of their interests and protection into project planning
                                                                                     and cost analysis to minimize  losses or provide in-kind compen-
                                                                                     sation for losses.

                                                                             5.  •   Installation of fish passageways. Protection of reproductive sites
                                                                                     for fish.

                                                                                 •   Incorporation of fishery management, including hatchery and re-
                                                                                     stocking programs.

-------

                                                     Table 8.4. Flood Protection (continued)
                     Potential Negative Impacts
                        Mitigating Measures
Direct (continued)

6. • Negative impacts of channelization measures:

     •   disruption of fish habitat by elimination of pools, riffles and
         channel irregularities
     •   increased water temperature by removal of vegetation on
         banks and in stream
     •   increased erosion and sedimentation problems
     «   bed and bank erosion
     •   downstream flooding and sedimentation
6. •   Careful selection of engineering options at planning stage.

   •   Limitation of degree of channel modification or maintenance.

   •   Mitigating measures after construction phase.

   •   Minimize reduction of channel length and preserve some meanders.

   •   Limit excavation and fill.

   •   Limit destruction of bank and streamside vegetation.

   •   Replant/reseed banks.

   •   Excavate only one and not both banks, etc. (See Brookes 1988.)
7.  Adverse effects of construction.
7. •   Minimization of effects by  avoiding  impediments to natural
       drainage, uncontrolled  run-off and  soil  erosion,  and  air
       pollution.

   •   Provision for adequate filling of borrow areas, control of land
       clearing, and disposal of spoil.

   •   Limitation of access of vehicles to stream bank.

-------
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                           Potential Negative Impacts
                        Mitigating Measures
                     Direct (continued)
   ihi1
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                      8.    Reduction  of floodplain  grazing,  both through  ecological
                           changes on the floodplain and intensified development (e.g.,
                           irrigated agriculture).
                                                                                   8.   •  Production of fodder crops and usage of byproducts of irrigated
                                                                                          food crops and development of alternative water sources.

                                                                                       •  Integration of existing rangeland use (e.g., semi-nomadic herding)
                                                                                          with planned developments,  to  ensure substantial grazing and
                                                                                          watering possibilities in valley during dry season.
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                    :  9.    Reduction of recession agriculture.
                   '_   10.   Obstacles (levees, dikes, etc.) to wildlife passage.
9.   Maintenance of natural flooding regime to extent possible in most
     productive lands (and intensification of product ion) by maintaining
     water courses free of flood control structures or installing struc-
     tures to enable semi-controlled flooding.

10.  Construction of bridges or special crossing places.
                      11.   Loss of wildlands and wildlife habitat.
                                                                                   11. Identification of critical habitats and planning of flood control
                                                                                       measures to minimize effects;  where  habitats or species are
                                                                                       dependent on natural flooding regime, minimize disruption of flow
                                                                                       in that area to extent possible.
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                   \   12.   Flooding problems created downstream.
                                                                                   12. •  Protection of natural overflow areas downstream.

                                                                                       •  Creation of overflow basins.
  JIM

-------
                                                          Table 8.4. Flood Protection (continued)
                           Potential Negative Impacts
                                                                                                    Mitigating Measures
      Indirect
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13.  Improved accessibility, development opportunities in floodplain,
     and sense of security after flood control measures taken, leading
     to influx of people with associated agricultural development,
     deforestation, wildlifepoaching, infrastructure development, etc.
13. •  Limitation of access, if possible.

    •  Planning for anticipated influx and implementation
       of companion rural development activities.

    •  Introduction of non-structural control measures.
      14.   Increased fertilizer use on agricultural fields to compensate for
           loss of fertility, leading to water pollution and dependence on
           imported supplies.
                                                                            14.  •  Optimal timing and rate of application.

                                                                                •  Use of nitrogen fixing cover crops.

                                                                                •  Use of organic instead of chemical fertilizers.

-------
                                                   IB" ;!     :
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                                                      Tablets.  Natural Forest Management
                                                                                                                                        I  i 1
                       Potential Negative Impacts
   Direct:  Logging
   1.  •  Soils
          .  Erosion: disturbance of the forest understand soil, increasing
                          to water erosion.
OJ
to
              aeration and root penetration; latenzation.
harvested.
Supervise  logging  to  reduce  damage  and  encourage  rapid
regeneration.
Use low impact harvesting equipment and methods and  minimize
skid trail distances.
 ^e  log  landing  in well  drained   easily accessible  areas
 downslope so a straight skid road can be followed.
 Restore land by grading and reseeding disturbed areas, including
 gS[me"locaytin8g them away from slopes and water and keepmg
 them well maintained.
 No whole-tree harvest in areas of low nutrient levels, leaving all but
 boles on the site.
     2.  •  Vegetation
                                                                                >••
                                                                                    .   Consider(andperhapSresearch)variousregenerationandharvesting
                                                                                        methods.
                                                                                                                                                   B
                                                                                                                                                   • a.

-------
                                                     Table 8.5. Natural Forest Management (continued)
                           Potential Negative Impacts
                         Mitigating Measures
      Direct:  Logging

      2.  •  Vegetation (continued)

            •  Weeds:  opening of the forest canopy resulting invasion of weeds,
               impeding natural regeneration and reforestation efforts.
            •  Slash:   logging debris  as a fire  hazard  and impediment  to
               regeneration.
            •  Blow downs:  increased danger  due to opening up patches by
               logging.
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      3.  •  Wildlife
               Fisheries: sedimentation, nutrient loading, changes in streamflow
               and  water temperature  caused  by logging  causing dramatic
               changes to fish populations.
               Wildlife habitat:  disruption of habitat, loss of tree species on
               which wildlife species depend, and disturbing migratory routes of
               wildlife leading to depletion of wildlife.
               Presence of machines and people:  disturbance of wildlife through
               logging and transport activities.
               Poaching: increased poaching of wildlife due to influx of people
               resulting directly and indirectly from forestry activities.
   •  Collect information  or  sponsor  research  on  plant community
      dynamics, regeneration biology and silviculture of forest type.

   •  Consider (and perhaps research) various regeneration and harvesting
      methods.

   •  Choose silviculture! system that will ensure regeneration and sustain-
      able production and minimize  damage (leave adequate number and
      quality of seed trees, selective harvest,  small cuts to avoid large
      gaps).

   •  Establish preserves/parks of ecologically significant  forest areas,
      ensuring that area is large enough  to maintain biological diversity,
      ecological processes and cultural assets.

3. •  Maintain inventory of and collection of research results on species
      present in the area.

   •  Plan  harvesting intensity,  methods  and  timing  based  on  this
      information.

   •  In particular, ascertain presence of or migratory use by endangered
      species through contact with wildlife professionals in government,
      NGOs and universities.

-------
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                                             !  iy{ Table8.5.  Natural Forest Management (continued)
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                                                                                                                        631,:
                     Potential Negative Impacts
                                                                                                        Mitigating Measures
                                                                                                                                    i  i
                                                                                                                                                        1     !
Direct: Logging (continued)

4.  •  Air

      •  Dust: logging activities and timber transportation on dirt roads
         generating large amounts of dust in dry season or semi-arid zones.
                                                                                4.  •  Reduce burning.

                                                                                    •  Avoid creating large tracts of open land.

                                                                                    •  Limit operations when dust and fire are  a problem and plan trans-
                                                                                      portation routes to avoid population centers.
o
-------
                                                     Table 8.5.  Natural Forest Management (continued)
                           Potential Negative Impacts
                                                                                                     Mitigating Measures
K)
Direct:  Logging (continued)

6.  •  Social and Cultural

      •  Local economic and social customs: impacts on labor market and
         labor availability for food production, a shift to more cash-based
         economy, alteration of daily living patterns and political power
         structure changes are common.
      •  Land tenure and traditional forest uses: hunting, gathering and
         traditional exploitation of forest resources disrupted; limitation of
         access of resources by local populations.
      •  Overloading of infrastructure and social services (e.g., housing,
         education and health services) by in-migration of forest workers
         and spontaneous settlers and social problems such as an increase
         in crime, alcoholism, disease and violence.
      Indirect:  General

      7. •  Increased access: roads opening forest areas causing uncontrolled
            population in-migration with subsequent problems.
6. • Incorporate local communities in planning and execution of project.

   • Develop local infrastructure to  handle increase hi population (i.e.,
     waste disposal, school, health care and law enforcement).

   • Protect significant cultural landmarks and traditional land and resource
     use patterns.

   • Establish clear, long-terra jurisdiction over  the forest emphasizing
     local involvement in decision making.

   • Involve  local leaders  in protection to avoid  illegal harvesting or
     settlement.

   • Monitor and control disease.
                                                                             7. See "Rural Roads" section.
      Indirect:  Road Construction and Transport

      8. •  Direct impacts (e.g., increased soil erosion and sedimentation of
            surface water) and indirect impacts of road construction (see "Rural
            Roads" section).
                                                                             8.  Align route, drainage works, etc. (See No. 7.)

-------
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     Indirect: Road Construction and Transport (continued)
     9.   • Degradation of existing public roads by heavy timber loads.
                                                                           9.   •  Restrict load size.

                                                                               •  Use road taxes to upgrade road.
N)
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     External
10. Cattle-ranching operations that clear forests for pasture.
      11.  Conversion to commercial agriculture (rubber, oil palm, coffee,
          rice, etc.).
                                                                                 10.  See "Livestock and Rangeland Management" section.

-------
                                                     Table 8.6. Plantation Development/Reforestation
                          Potential Negative Impacts
                        Mitigating Measures
     Direct: Site Preparation

     1.  Soil erosion from clearing site.
OJ
to
     2.  Soil compaction and puddling by machinery.
     3.  •  Loss of organic matter and nutrients by removal of vegetation
           and leaching.

         •  Development of hardpans and laterization.
     4.  Where burning is involved, air pollution from smoke.
1.  •  Reestablishment of forest cover as soon as possible after clearing.

    •  Use of fast growing, intermediate tree crops or mulching of exposed
       soils.

    •  No clearing on steep, unstable slopes or highly erosive soils.

    •  Limitation of plantation size or stand sizes.

    •  Limitation of site preparation to dry season.


2.  «  Limitation of use of machinery.

    •  Manual site preparation.


3.  •  Rapid replanting.

    •  Cover crops.

    •  Mulching.


4.  •  Limitation of use of fire and size of burn where possible.

    •  Burning in wet season.

-------
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                                                           Table 8.6. Plantation Development/Reforestation (continued)
                                                                                                                            i-;^  Slt-ii
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                                      Potential Negative Impacts
                                                                                                                  Mitigating Measures
 III V

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                  Direct: Plantation Management and Harvesting

                  5.  Soil erosion from harvesting.
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                                                                                           5.  •  Replanting as soon as possible after cut.

                                                                                              •  Avoidance of clear cutting;  practice  of "small  coupe  logging"
                                                                                                 (characterized by checkerboard pattern of alternating small cuts with
                                                                                                 unlogged areas).

                                                                                              •  Limitation of harvesting to dry season or season of low rainfall.

                                                                                              •  Planning of felling to minimize log skidding and avoidance of
                                                                                                 skidding logs parallel  to slope.

                                                                                              •  Stabilize skid trails as soon as possible after use.

                                                                                              •  Use of animals instead of skidders for extraction.
                                                                                                                                                             I
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                  6. Loss of nutrients from the system by thinning and clear cutting and by
                     whole-tree harvest.
                  7. Use of fertilizer, pesticides and herbicides having negative impacts on-
                     site and on quality of local water bodies.
                                                                                   6.  •  Logging debris left on ground after harvesting and removal of boles
                                                                                          only (no whole-tree harvesting).

                                                                                       •  Planting of cover crops between rotations; addition of fertilizer to -
                                                                                          compensate for nutrients loss.

                                                                                   7.  •  Limitation of potential of pest and disease infestations by choice of
                                                                                          resistant species.                                             t
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                                                                                                 Choice of chemicals with least potential negative impacts.          |
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                                                                                                 Controlled use of chemicals.

-------
                                              Table 8.6.  Plantation Development/Reforestation (continued)
                         Potential Negative Impacts
                        Mitigating Measures
    Direct:  Plantation Management and Harvesting (continued)


    8.   Chemical and biological changes in the soil as litter becomes dominated        8.  Limitation of size  of stands and  interspersal with stands of native
        by one or a few species and decomposition dynamics are altered.                vegetation.
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    9.   •  Direct damage in harvesting operations by dragging and skidding
           logs causing compaction.

        •  Localized soil erosion and unequal distribution of debris and organic
           matter over the site.
    10. In semi-arid zones depletion of soil moisture and lowering of water
        table in plantation area.
9.  •  Use of manual methods or animal power for clearing forest instead
      . of mechanical means.

    •  In.short rotation plantations plan use of same tracks and loading
       areas in harvesting operations to protect as much of site as possible.
10. •  Choice of low water demanding species.

    •  Water catchment and conservation techniques to minimize runoff and
       evaporation losses and maximize infiltration.
    11. Build up of organic matter under plantations posing a fire hazard.
11. Periodic clearing or burning to keep volume low.
    12.  Increased sedimentation of streams.
12. •  Buffer zones of undisturbed forest 20-40 m wide along streams.

    •  Avoidance of earthfill dams across streams as crossings.

    •  Sediment traps in streams.

    •  Avoidance of skidding trees in stream.

-------
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                                                     Table 8.6.  Plantation De?elopmentyReforestation (continued)   :   H  i
                                              :«! Ml             !!           J                                         I   H  I
                                        Potential Negative Impacts
                                                                                                               Mitigating Measures
                   Direct:  Plantation Management and Harvesting (continued)
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                Increased organic matter entering surface waters in form of leaf litter
                and  logging debris  or from logs transported  on river  leading to
                decrease in water quality and perhaps eutrophication, and navigational
                hazards.

                Soil erosion from logging roads.
      ;     Displacement of Other Ecosystems

      E ?^ IS.  Loss of habitat and decreased biological diversity by replacement of
                natural forest by plantations with limited number of species and
      ; "€ ~s     increased uniformity of forest structure.
              !  HfSH
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              i
                                                              13. •  Buffer zones along streams.

                                                                  •  Spaced transport of logs in river over time.                       ^


                                                              14. •  Siting of roads on ridge tops or valley bottoms and avoidance of :
                                                                     steep grades on hillsides.                                       ;;

                                                                  •  Engineering to ensure proper drainage  or  provision of drainage i;
                                                                     measures.                                                     ;,

                                                                  •  Stabilization of road cuts with mulch, wood chips, etc.
                                                                                                                                   !j
                                                                  •  Minimized use of borrow pits or stabilization after use.            I;
                                                                                                                                   !l
                                                                  •  Proper road maintenance.                                      Jj^

                                                                  •  Use of rivers for log transport (see also "Rural Roads" section).
                                                                                                IS. •  Protection of natural forest area with particularly high or unique
                                                                                                      biological diversity.

                                                                                                   •  Limitation of plantation establishment to degraded sites or sites of
                                                                                                      low diversity.

-------
                                                  Table 8.6.  Plantation Development/Reforestation (continued)
                             Potential Negative Impacts
                        Mitigating Measures
        Displacement of Other Ecosystems (continued)
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        16.   Increased potential for massive loss by pests or pathogens (through
             simplification of natural ecosystem, provision of abundant food for
             pest, increased pest habitat, absence of natural controls (e.g., in the
             case of introduced exotic tree species).
        17.   Loss of forest products from native species.
    •   Increase in number of species planted and avoidance of mono-
        cultures over large area.

    •   Restriction of size of individual stands and mixing of stands of
        various age classes.

    •   Conservation   of  islands  of  untouched  forest   or   natural
        vegetation.

    •   Separation of stands by belts of native vegetation and use of native
        species as plantation species.

16. •   Use of native species.

    •   Choice of species and provenances with pest or disease resistance.

    •   Rotation length to minimize susceptibility (e.g., cutting before trees
        are overmature).

    •   Thinning and other stand improvement measures to  remove dead
        and diseased material, and wood residues which act as centers
        for infection.

    •   Direct pest or disease control.

17. Careful evaluation  of local use of forest products  to accommodate
    continued use and determine feasibility of developing local industries
    based on these goods.

-------
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                                              Table 8.6.  Plantation Development/Reforestation (continued)
                          Potential Negative Impacts
                                                                  Mitigating Measures
OJ
     Displacement of Other Ecosystems (continued)
     18. Spread of plantation species outside of plantation becoming a nuisance,
         competing  with' native species and  becoming  weeds in agricultural
         fields.
     Socioeconomic Impacts

     19. Social impacts from influx of people from outside, both wage earners
         and spontaneous setters, induced by road building into remote areas
         (direct and indirect impacts).

     20. Problems related to land tenure  and land and resource use rights
         leading to unequitable sharing of costs and benefits of the project.
                                           18.  Species choice to avoid ones that will grow out of control from
                                               desired site.
                                           19. See  the  following sections: "New Land  Settlement";  "Indigenous;
                                               Peoples"; and "Induced Development."                            i
                                           20. •  Genuine integration of local communities and peoples in project:
                                                  planning and implementation.

                                               •  Pre-project socioeconomic surveys and assessments and land and
                                                  resource use studies.

                                               •  Provision of alternatives which fairly compensate local people who
                                                  incur losses.

-------
                                                        Table 8.7. Irrigation and Drainage
                      Potential Negative Impacts
                                                                                                             Mitigating Measures
Direct

1.  Soil erosion (furrow, surface).
                                                                                     1.  •  Proper design and layout of furrows or field avoiding too steep a
                                                                                          gradient.

                                                                                        •  Land leveling.

                                                                                        •  Design of terraces on hillside minimizing surface erosion hazard.
OJ     2.  Soil erosion (with sprinkler irrigation on hilly area).
i-o
                                                                             2.  Design of sprinkler system minimizing erosion hazard assuring infil-
                                                                                 tration rate exceeds application rate of the sprinklers.
3.  Waterlogging of soils.
                                                                                    3.  •  Regulation of water application to avoid overwatering (including
                                                                                          controlled turn-out to allow  cutting off water supply to irrigation
                                                                                          ditches).

                                                                                        •  Installation and maintenance of adequate drainage system.

                                                                                        •  Use of lined canals or pipes to prevent seepage.

                                                                                        •  Use of sprinkler or drip irrigation.
4.  Salinization of soils.
                                                                                    4.  •  Measures to avoid waterlogging:

                                                                                          • leaching of salts by flushing soils periodically
                                                                                          • cultivation of crops with salinity tolerance

-------

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                                        Potential Negative Impacts
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         !  Direct (continued)

         j  S.    Scouring of canals.

         ;  6.    Clogging of canals by sediments.
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                                                                                                                                                                       a^l i;-2 == Sit

                                                                                                                                                                            ,

                                                                                                                                                                       IBI i'l
                                                                                                               Mitigating Measures
           7.   Leaching of nutrients from soils.
                   8.   Algal blooms and weed proliferation.
                   9.   Clogging of canals by weeds.
                   10.   Deterioration of river water  quality below irrigation  project and
                         contamination  of local  ground water (higher salinity,  nutrients,
                         agrochemicals) affecting fisheries and downstream users.
                                                                                                                                                                       llllll
                                                                                               S.       Design of canal system to minimize risk and use of lined canals.


                                                                                               6.    •  Measures to minimize erosion on fields.                      '^


                                                                                                    •  Design and management of canals to minimize sedimentation.    ;


                                                                                                    •  Provision of access to canals for removal of weeds and sediments.



                                                                                               7.    •  Avoidance of overwatering.                                  ^
                                                                                                                                                                  .: P

                                                                                                    •  Replacement of nutrients by fertilizers or crop rotations.



                                                                                               8.    Reduction  of input to  and  release  of nutrients  (nitrogen and!
                                                                                                    phosphorous) from fields.                                        !


                                                                                               9.    •  Design and management of canals to minimize weed growth.    |

                                                                                                                                                                   i
                                                                                                    •  Provision of access to canals for treatment or removal of weeds, j
                                                                                       10.  •  Improved water management; improved agricultural practices and!
                                                                                               control of inputs (particularly biocides and chemical fertilizers).  *
                                                                                                                                                           r
                                                                                            •  Imposition of water quality criteria.                           <
                                         ¥*; in
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-------
                                                Table 8.7. Irrigation and Drainage (continued)
                     Potential Negative Impacts
                        Mitigating Measures
Direct (continued)

11.  Sea water intrusion into downstream freshwater systems.
12.  Reduction of downstream flows affecting flood plain use, flood plain
     ecology, riverine and estuarine fisheries, users of water, dilution of
     pollutants.
13.  Encroachment on swamps and other ecologically sensitive areas.
14.  Alteration  or destruction of  wildlife habitat  or impediment to
     movement of wildlife.
11. •  Reduction of takeoff to maintain adequate downstream flow.

    •  Recharge of coastal aquifers through injection wells.


12. •  Relocation or redesign of project.

    •  Regulation of takeoff to mitigate effects.

    •  Compensatory measures where possible.


13. Siting of projects to avoid or minimize encroachment on critical areas.


14. •  Siting of project to minimize loss or avoid encroachment on most
       sensitive or critical areas.

    •  Establishment of compensatory parks or reserved areas.

    •  Animal rescue and relocation.

    •  Provision of corridors for movement.
IS.  Impediment to movement of livestock and humans.
15. Provision of passageways.

-------
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                                                                     Table 8.7.  Irrigation and Drainage (continued)
                                                                                                                          a „
                                                                                                             ,  i m  ft      ,,
                                                                                                                          i  si
                                         Potential Negative Impacts
                                                                                                             Mitigating Measures
       Direct (continued)

     t 3 16.   Threat to historic, cultural or aesthetic features.
                                                                                                 16.  •  Siting of project to prevent loss.

                                                                                                      •  Salvage or protection of cultural sites.
  ; t
  B »
  t _
             w     17.  Alteration or loss of flood plain vegetation and disturbance of coastal
            ;to 11  \ i      ecosystems (e.g., mangroves).
'00
17.  •  Siting of project to less vulnerable area.

     •  Limitation and regulation of water take-off to minimize problems
        to extent possible.
 • » a
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         i)
         (I
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                    18.  Dislocation of populations and communities.
               , i  it
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               I   l'£
                     ).  Introduction or increase in incidence of water-borne or water-related
                         disease (schistosomiasis, malaria, onchocerciasis, etc.).
               !   1«
   fill
                                                                                     18.  •  Siting of project to minimize effect.

                                                                                          •  Resettlement scheme ensuring at least equal standard of living.


                                                                                     19.  •  Prevention measures:

                                                                                             •  use of lined canals or pipes to discourage vectors
                                                                                             •  avoidance of stagnant or slowly moving water
                                                                                             •  use of straight or slightly curving canals
                                                                                             •  installation of gates at canal  ends to allow complete flushing
                                                                                             •  filling  or draining of borrow  pits along canals and roads
                                                                                             •  disease prophylaxis
                                                                                             •  disease treatment

-------
                                                     Table 8.7.  Irrigation and Drainage (continued)
                          Potential Negative Impacts
                                                                                                   Mitigating Measures
     Direct (continued)

     20.  Disease and health problems from use of wastewater in irrigation.
                                                                           20. •  Wastewater treatment (e.g., settling ponds) prior to use.

                                                                               •  Establishment and enforcement standards for wastewater use.
OJ
i-o
     21.  Conflicts over water supply and inequalities in water distribution
          throughout service area.

     22.  Overpumping of groundwater.
Indirect

23.  Increased pollution and health hazards from downstream industrial and
     municipal pollutants caused by decreased flow (decreased dilution) of
     river water.
                                                                           21. Means to ensure equitable distribution among users and monitor to
                                                                               assure adherence.

                                                                           22. Limitation of withdrawal so that it  does not exceed  "safe yield"
                                                                               (recharge rate).
                                                                                23.  •  Control of waste sources downstream.

                                                                                     •  Reduction of water take-off.
     External

     24.  Water quality deteriorated or made unusable by upstream land use and
          pollutants discharge.
                                                                           24. •  Control of land use in watershed areas.

                                                                               •  Control of pollution sources.

                                                                               •  Water treatment prior to use.

-------
                                       "I


                                                                                                           i i
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                                                    Table 8,8.  Liyeslock and Rangdand Management -
                          Potential Negative Impacts
                        Mitigating Measures
                                                                                                                                                     i  i
  -Direct
    1.  Degradation of vegetation resources due to overgrazing.
OJ
to
-k
1.  •  Limitation of animal numbers.

   •  Control of length of grazing time on particular areas.

   •  Mixing of livestock species to maximize use of vegetation resource.

   •  Reseeding and fodder production.

   •  Cut-and-carry.

   •  Strategic placement of water points and salt.
                                                                    il
                                                                    I't
    2.  •  Increased soil erosion due to clearing of vegetation and trampling.

  m     •  Increased saltation of surface waters.

           i
  • 3.  •  Deterioration of soil fertility and physical characteristics through:

  -       •   removal of vegetation
  =       •   increased erosion
  -       •   soil compaction

    4.  Increased rapid runoff due to vegetation clearing and soil compaction
        (decreased infiltration capacity).
                                                                   ; »
2. •  Restriction of livestock access to unstable areas (e.g., stoop slopes).* «»

   •  Soil erosion control  measures (e.g.,  reforestation, reseeding of j
      grasses, land preparation, terracing).                              |

3. Same as 1 and 2.                                                  ;
4. •   Water conservation measures and water spreading.

   •   Same as 1 and 2.

-------
                                             Table 8.8.  Livestock and Rangeland Management (continued)
                         Potential Negative Impacts
                        Mitigating Measures
    Direct (continued)

    5.  •  Degradation of vegetation and soil around water poults.

        •  Overlapping of groundwater.

        •  Lowering of watertable and degradation of vegetation locally by
           drilling and use of boreholes.
OJ

4^-
5.  •  Development of many small-capacity water sources.

    •  Strategic placement of water points.

    •  Control of use of water points (animal numbers and time of year).

    •  Closure of permanent water sources when  temporary pools and
       streams are available.

    •  Limitation of  well capacity  by choice  of technologies  (e.g.,
       handpumps or buckets instead of motor pumps).
    6.  •  Displacement or reduction of wildlife populations by reduction of
           habitat.

        •  Disruption of migratory routes.

        • ' Competition for food and water resources.

        •  Introduction of diseases.

        •  Impacts of burning.

        •  Increased poaching and killing of wildlife considered as pests or
           predators to livestock.
6.  •  Planning  and implementation  of range  management strategies
       (choice of species, livestock numbers, grazing areas) that minimize
       negative impacts on wildlife.

    •  Establishment of compensatory wildlife refugees.

    •  Investigation of management of wildlife ranching which will help
       protect wildlife resources.

-------
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                                                          ::i                                                  i!
                                                             Table 8.8.  Lirestock and Rangeland Manflgcmmt (continued)
                                                           f^  --    =-       -       -- ?   i           i
                                                                                                                                                       j!

 I     iffl
                                        Potential Negative Impacts
                                                              Mitigating Measures
                  Direct (continued)

                  7.   Pollution environmental disruption and health hazards from disease and
                       pest control measures.
              u>
              «h
                                     7.   •   Choice of chemical that is species-specific, short residence time
                                             (active period), and has low impact on other biologic resources.

                                          •   Protective measures for field workers.

                                          •   Spraying  methods  and timing  to minimize  potential of water1
                                             pollution.                                                     ;

                                          •   Selection of disease-resistant livestock breed.
                 =  8.   Reduction of genetic variability due to selective breeding.
                  9.   Negative effects of uncontrolled burning for brush control on soil and
                       vegetation (deterioration of soil  fertility  and soil  structure, altered
                       wildlife habitat, destruction of vegetation).
                          i
                   10.  Conversion of moist tropical lowland forests  for livestock production
                       resulting in long-term environmental degradation and unsustainable
                       production.
                                      8.   Conservation of genetic diversity in-site (protection of wild relatives in;
                                          natural habitat, maintaining variability within populations by breeding);
                                          and ex-situ (e.g., preservation of genetic material in "banks").       ;

                                      9.   Implementation of well-planned and controlled burning programs.
                                      10. Avoidance of clearing such forests for livestock production.
I    li

-------
                                                                 Table 8.9. Rural Roads
                          Potential Negative Impacts
                                                                                                         Mitigating Measures
     Direct:  During Construction

     1.   Erosion from fresh road cuts and fills and temporary sedimentation of
         natural drainage ways.
                                                                                 1.   •  Limitation of earth moving to dry periods.

                                                                                     •  Protection of most susceptible soil surfaces with mulch.

                                                                                     •  Protection of drainage channels with berms, straw or fabric barriers.

                                                                                     •  Installation of sedimentation basins, seeding or planting of erodible
                                                                                        surfaces as soon as possible.
OJ
to   2.   Ground and water contamination by oil, grease, and fuel in equipment
Js,       yards.
                                                                                 2.  •  Collection and recycling of lubricants.

                                                                                     •  Precautions to avoid accidental spills.
     3.   Creation of stagnant water bodies in borrow pits, quarries, etc. suited
         to mosquito breeding and other disease vectors.
     4.   Environmental and social disruption by construction camps.
                                                                                 3.  Assessment  of vector ecology in work areas and employment of
                                                                                     measures (e.g., improved landscaping,  filling or drainage) to avoid
                                                                                     creating habitats.

                                                                                 4.  Careful siting, construction and management of construction camps.
     Direct:  Permanent

     5.   Destruction  of buildings, vegetation  and soil  in  the right of-way,
         borrow pit sites, waste dumps, and equipment yards.
                                                                                 5.  •  Alternative alignments.

                                                                                     •  Harvest and utilization of public domain forest resources prior to
                                                                                        construction.

-------
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                                                                           Table 8.9. Rural Roads (continued)
                                                                                                              :  i
                                         Potential Negative Impacts
                                                                                                                       Mitigating Measures
               :*S   Direct:  Permanent (continued)
                                                                                                        Compensation given to private landowners.
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             •,'   6.  Interruption of subsoil and overland drainage patterns (in areas of cuts
             ^  *s    and fills).

               ^  7.  Landslides, slumps, slips and other mass movements in road cuts.
             : to r
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                 J 8.  Erosion of lands below the roadbed receiving concentrated outflow
                 I    carried by covered or open drains.
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                  9.   Increased suspended sediment in streams affected by road cut erosion,
                 *     decline in water quality and increased sedimentation downstream.
               I   i
                                                                                              •   Restoration of sites to original condition to extent possible through
                                                                                                  reclamation measures.                                         ^
                                                                                                                                                                £
                                                                                           6.  Installation of adequate drainage works.                            ^


                                                                                           7.  •   Route alignment to avoid inherently unstable areas.               ?

                                                                                              •   Design of drainage works to minimize changes in surface flows and
                                                                                                  adequate to local conditions, according to prior surveys.         ^

                                                                                              •   Stabilization of road cuts with structures (concrete walls, dry wall
                                                                                                  masonry, gabions, etc.).                                       ^.
                                                                                                                                                               It
                                                                                           8.  •   Increase in number of dram outlets.                            j|

                                                                                              •   Drain outlets placed so as to avoid cascade effect.               a
                                                                                                                                                               ¥
                                                                                                                                                               SB
                                                                                              •   Lining of receiving surface with stones, concrete.               S
                                                                                                 9.  •   Establishment of vegetative cover on credible surfaces as soon as
                                                                                                        possible.                                                     #
                                                                                                                                                                     "v
                                                                                                                                                                     S-
                                                                                                    •   Establishment of retention ponds to reduce sediment load before
                                                                                                        water enters stream.                                           ^
                                                                                                                                                                     t>

                                                                                                                                                                     B

-------
                                                       Table 8.9. Rural Roads (continued)
                     Potential Negative Impacts
                                                                                                          Mitigating Measures
Direct: Permanent (continued)

10.  Marred landscape (scars from  road cuts,  induced landslides  and
     slumps, etc.).
                                                                                  10. •  Tourist site access roads planned with regard for visual aesthetics.

                                                                                      •  Grade limitations to avoid cutting and filling where scenery would
                                                                                         be spoiled.

                                                                                      •  Maintenance and/or restoration of roadside vegetation.
k>    11.  Health hazards and interference of plant growth adjacent to road by
^        dust raised and blown by vehicles.

      12.  Contamination of ground and surface waters  by herbicides  for
          vegetation control and chemicals  (e.g., calcium chloride)  for dust
          control.
                                                                             11. Dust control by application of water or chemicals.


                                                                             12. •  Reduction of use.

                                                                                 •  Alternative (non-chemical) methods of control.
13.  Accident risks associated with vehicular traffic and transport, that may
     result  in  spills  of  toxic  materials  (see  "Hazardous  Materials
     Management" section), injuries or loss of life (see "Public Health and
     Safety" section).

14.  Creation of a new pathway for disease vectors affecting humans and
     animals.

15.  Disruption/destruction of wildlife through interruption of migratory
     routes, disturbance of wildlife habitats, and noise related problems.
                                                                                  13. •  Regulation of transport of toxic materials to minimize danger/

                                                                                      •  Prohibition of toxic waste transport through ecologically
                                                                                         sensitive area.

                                                                                  14. Establishment of plant and animal sanitation service and
                                                                                      related checkpoints.

                                                                                  15. Siting to minimize impacts.

-------
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                           Potential Negative Impacts
                                                                                                     Mitigating Measures
 Indirect


: 16.  Unplanned or illegal timber cutting.

= 17.  Unplanned or illegal land clearing.

 18.  Long-term or semi-permanent destruction of soils in cleared areas not
      suited for agriculture.
                                                                                  16.  See "Natural Forest Management" section.

                                                                                  17.  See "New Land Settlement" section.

                                                                                  18.  See 17 above.
O\
119.  Planned development and illegal invasion of homelands of indigenous        19.  See "Indigenous Peoples" section.
      peoples by squatters and poachers causing serious social and economic
      disruption.

 20.  Destruction or  damage  of terrestrial wildlife  habitats, biological
      resources or  ecosystems  that should be preserved  by  induced
:     development.

 21.  Damaging alteration of wetland ecosystems traversed by causeways.

* 22.  Excessive and/or destructive development of coastal areas or other use
     j of coral  for cement and landfill, destroying parts of reef uniquely
      endowed recreational environments made accessible by roads.
                                                                                  20.  See "Biological Diversity" and "Wildlands" sections.



                                                                                  21.  See "Wetlands" section.

                                                                                  22.  See "Tourism Development" section.
                                                                                                                                                     Ill  Hi
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-------
                                           Table 9.1.  Analytical Framework for Urban Environmental Problems
             Manifestations
    Impacts
        Causes
        Cures
    Deteriorated living environment
       and services
OJ
to
    Ambient air pollution
Health impacts
- infectious and parasitic
    diseases
- malnutrition
- accidents
- stress, drugs, violence
- acute and chronic toxicity
- genetic effects
- cancer
Lost urban productivity
Degradation of the natural
  environment
- resource loss
- amenity loss
Localized primarily in large cities     Urbanization/industrialization
Substandard housing
Lack of water and sanitation
Disease-carrying insects and rodents

Indoor air pollution
Excreta laden water/soils
Trash dumping
Noise/stress
Traffic congestion
Natural disasters
    Indoor air pollution
- health problems
- lost aesthetic, cultural,
    recreational values
- property damage (including
    historical monuments
At present more of metropolitan
  area problem than regional/
  global problem

Chronic obstructive lung disease
                                                                                      Fuel/energy pricing and urban
                                                                                        energy demand
                                                                                      Vehicle ownership
                                                                                      Space heating
                                                                                      Use of highly polluting fuels:
                                                                                      - leaded gases
                                                                                      - high-sulphur lignite
Bioiuel use for domestic cooking
  and heating
Appropriate housing and land
  development regulations
Housing finance
Provision of affordable infra-
  structure and plots
Provision of affordable water
  sanitation, solid waste
  services at cost
Targeted subsidies
Improved efficiency and
  effectiveness  of infra-
  structure and service
  provision
Pollution control
Community  participation

Pricing of industrial and
  energy inputs
Regulations  and standards
Emission charges
Monitoring and enforcement
Energy conservation
Technological interventions
- scrubbers,  baghouse filters
- vehicleemissionscontrol
- fuel substitution

Pricing of commercial fuel
  and energy

-------
                                                                          1   I
                                                                                              1    !•
                                                                                              I    II
                                                                     !     i
                                    Table 9.1. Analytical Framework for Urban Environmental Problems (continued)
            Manifestations
              Impacts
    Causes
       Cures
   Indoor air pollution (continued)
  4
                                      Acute respiratory infections
                                      Low birth weight and associated problems
                                      Cancer
                                              Passive smoking
                                              Cottage industry exposure
                                Targeted fuel subsidies
                                Improved housing and ventilation
                                Public awareness
  ~ Solid waste pollution
OOg
  S Fecal contamination
  I
  J Hazardous waste pollution
Health hazards
Amenity impacts
Blocked drainage and flooding
Water pollution (leachates)
Air pollution (heavy metals/toxic
  organic compounds from incinerators
  and uncontrolled burning)
Diarrhea! diseases
Parasitosis
Malnutrition
High infant mortality
Acutely affects groundwater, but
  often multimedia impacts
Damage at low concentrations
- Health damages (e.g., acute and
      chronic toxicity)
Inefficient management
  (collection and disposal)
Impacts not recognized or
  external to community
Lack of basic sanitation
  services
Excreta laden water/soils
Proliferation of garbage/
  insects

Insufficient regulations/
  management
Pricing of inputs into
  into industries pro-
     ducing waste
Improved collection
-  expanded coverage (e.g., to low-
     income area via  community
     based approaches)
-  efficient operations (e.g., create
     contestable markets to encourage
     private sector entry)
-  financial strengthening (budgeting,
     accounting, cost recovery)
Disposal technology and management
Resource recovery/recycling

Provision of affordable sanitation
   options at cost
Community-based approaches
Hygiene education               _j
Regulations, standards and changes
Monitoring and enforcement capacity
Licensing
Waste minization
-  process modification

-------
                                   Table 9.1. Analytical Framework for Urban Environmental Problems (continued)
            Manifestations
             Impacts
   Causes
      Cures
    Hazardous waste pollution (continued)
    Fresh water resource depletion
       (surface and ground water)

to
    Fresh water resource quality
       degradation (surface and
       ground water)
-  Foodchain accumulation
"Timebombs" (hidden dumps that
   build up over time)

Sources running out
Increasing marginal costs
Land subsidence
Poor quality surface and
   ground water
Health impacts
Increasing marginal cost of:
-  potable supply
-  industrial supply
-  individual treatment
Waterlogging and salinization
Saline intrusion
                                                                                   Impacts removed in space
                                                                                    and time
Pricing policies
Cultural (perception of
  free good)
Overpumping of groundwater
Irrigation policies and
  practices (inefficiency)
Leakages from water

Municipal and industrial
  waste disposal practices
- Sewerage (water pricing,
    poor O & M)
- Industrial wastes (input
    pricing, poor regula-
    lations enforcement)
Urban runoff
Irrigation policies and
  practices
Overpumping of groundwater
Impacts not recognized or
  external to the community
-  resource recovery/recycling
Treatment and disposal technology
   and management

Improved pricing
Integrated watershed management
Improved technologies (e.g.,
   wastewater reuse)
Regulation of groundwater
   extraction
Improved O & M

Pricing Policies
Regulations, standards, charges
Monitoring and enforcement
Solid and hazardous waste management
Treatment technology and operations
Integrated watershed management
Regulation of groundwater extraction
Public education

-------
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                        Manifestations
           nil I
             3 ! Lake, coastal and marine
            !       water pollution (including
            !t ':    fisheries depletion)
                            for Urban Ennrornnmtal Problems (continued)
          Impacts
   Causes
      Cures
   Mainly occurs locally:
   -  closed beaches and lost
       toursim revenues
   -  lost aesthetics
   -  health consequences
   -  eutrophication
   -  flsh and shellfish contamination
   Reduced employment opportunities
Municipal and industrial waste
   disposal practices
   (see above)
Agricultural runoff (plus re-
   lated policies)
Detergents
Shipping/oil
Litter/plastics
Water pollution regulations
  (municipal and industrial)
Solid waste management
Improved technologies (e.g.,
  outfall design)
Shipping facilities and regulations
Special areas designation (e.g.,
  marine sanctuary)
Coastal zone management
                                                                                                                                                                        -  i
                                                                                                                                                                        s  «
                                                                                                                                                                        I  I
                                                                                                                  -  •
                                                                                                                  ii
                                                                                                                                                                       i  :
           (    * Degradation of tend and ecosystems
a
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« ; fl^
B i if • i i   \t'   (
         Ml;
              ~  Occupation of high-risk land
              :     (generally squatter and
              i     low-income groups)
                   -  low-lying land
              i     -  flood plains
              j     -  steep zones
Loss of wetlands/wildlands (rich
   (genetic diversity, migratory birds,
   hydrological aspects)
Coastal zone degradation
Loss of recreational areas (e.g.,
   beach fronts)
Deforestation (urban firewood/
   charcoal demand)
Increased erosion
Flooding
Landslides, mudslides
Erosion
Health risks, accidents
Property damage and building collapse
Shadow value of land much
  higher than prices
Absence of land taxation
  and enforcement
Uncontrolled urban growth
- absence of planning control
- lack of legal alternative
    to squatter developments
Water pollution
Solid waste disposal practices
Occupation of steep zones

Land tenure systems
Failed land markets
Lack of developed lands
Land regulations/enforcement
Appropriate incentives (prices
  and taxes)
Affordable planning regulations;
  enforcement
Pollution control regulation
Special areas designation (e.g.,
  nature preserves, parks, seashores)
NGO-type activity in support of
  environmental initiative
Appropriate incentives (prices,
  taxes, tenure, access to housing
  finance)
Less regulation of land markets
Provision of affordable infrastructure
Targeted subsidies
Community participation programs
                                                                                                                                                                  o\
                                                                                                                                                                  o\


-------
                                   Table 9.1.  Analytical Framework for Urban Environmental Problems (continued)
            Manifestations
        Impacts
    Causes
   Cures
    Degradation of cultural property
    - historical monuments
    - living monuments
Loss of cultural heritage
Loss of tourism revenue
Local value less than
  international value
Air pollution
Solid waste management •
  practices
Lack of enforcement
Dead monuments:
- pollution control
- preservation/enforcement

Living monuments:
- historical districts
- tax incentives
- public education
u>

-------
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-------
                                                        Table 9.2.  Roads and Highways (continued)
                          Potential Negative Impacts
                                                                                                      Mitigating Measures
     Direct (continued)

     7.  Landslides, slumps, slips and other mass movements in road cuts.
OJ
k>
OJ
8. Erosion of lands below the road bed receiving  concentrated outflow
   from covered or open drains.
7.  •  Provide drainage works as needed to reduce risk, according to prior
       surveys.

    •  Align route to avoid inherently unstable areas.

    •  Stabilize  road  cuts with  structures  (concrete  walls,  dry wall
       masonry, gabions, etc.).

8.  •  Increase number of drain outlets.

    •  Place drain outlets so as to avoid cascade effect.

    •  Line receiving surface with stones, concrete.
     9.  Roadside litter.
                                                                             9.   •  Provide for disposal facilities.

                                                                                  •  Encourage anti-littering laws and regulations.
     10. Hazardous driving conditions where construction interferes with pre-
         existing roads.

     11. Alteration of overland drainage and subsoil drainage (where road cuts
         intercept perched water tables, springs, etc.).

     12. Destruction of vegetation and wildlife in the right-of-way occupied by
         the highway.
                                                                             10.  Provide in design for proper markers on roads, including lights.


                                                                             11.  Installation of adequate drainage works.


                                                                             12.  Realignment where possible to detour exceptional areas, identified by
                                                                                  prior surveys.

-------
                                  1   ri i
                                                                                                  1
                                                -_  Table 9.2.  Roads and Highways (continued) ~
                                                                                                                    HI
                        Potential Negative Impacts
                                                                                                     Mitigating Measures
 I Direct (continued)
 j
   13.  Destruction or damage of  terrestrial  wildlife habitats,  biological
 '     resources or ecosystems that should be preserved.
                                                                             13.  Plan national transportation route alignment according to location of
                                                                                 fragile, unique, etc., areas.
   14.  Alteration of hydrological regimes of wetlands by causeways,  with
       harmful effects on these ecosystems.
o
                                                                             14.  •  Realignment to avoid wetlands.

                                                                                 •  Installation of culverts, bridges, etc., as needed and according to  ;
                                                                                    criteria from prior hydrobiological surveys.

                                                                                 •  See "Wetlands" section.
15. •  Interruption of migratory routes for wildlife and livestock.

    •  Increased collisions with animals.
                                                                                15.  •  Realign to avoid imnportant migratory routes.

                                                                                    •  Provide undergrade crossings.
   16.  Poor sanitation and solid waste disposal in construction camps and
       work sites.

   17.  Possible transmission of communicable diseases from workers to local
       populations and vice versa.

   18.  Creation of temporary breeding  habitats  for mosquito vectors  of
       disease, e.g., sunny, stagnant pools of water.

   19.  Creation of a transmission corridor for diseases, pests, weeds and other
       undesirable organisms.
                                                                             16.  Provide adequately located and maintained latrines.
                                                                             17.  Periodic health examinations of workers with treatment when needed.
                                                                             18.  Assess vector ecology in work areas and take steps where possible to ;
                                                                                 avoid creating habitats.                                           j

                                                                             19.  Set up plant and animal sanitation service and related checkpoints.

-------
                                                  Table 9.2.  Roads and Highways (continued)
                     Potential Negative Impacts
                                                                                                       Mitigating Measures
    Direct (continued)

    20.  Poaching by construction workers.

    21.  •  Dislocation and compulsory resettlement of people living on the
           right-of-way.

         •  Near cities and  in rich farming  regions, many people can  be
           affected.

u>  22.  Obstruction of routes from homes to farms, etc.,  increasing  travel
^       time.

    23.  Impairment of non-motored transportation in the highway corridor due
         to reduced or impeded rights-of-way.

    24.  Accident risks associated with vehicular traffic and transport, that may
         result in spills of toxic materials injuries or loss of life.
Indirect

25. Induced development: roadside commercial, industrial, residential, and
    "urban sprawl."
                                                                           20. Prohibit poaching under terms of employment.

                                                                           21. •  See "Involuntary Resettlement" section.

                                                                               •  Locally unprecedented mechanisms and procedures may be required
                                                                                  to arrive at equitable and adequate compensation, and a companion
                                                                                  effort to develop the capacity may be required.

                                                                           22. Provide appropriately designed and located crossings.


                                                                           23. Include slow traffic lanes and/or paved shoulders and safe crossings.
                                                                           24.  •  Design and implement safety measures and an emergency plan to
                                                                                  contain damages from accidental spills.

                                                                                •  Designate special routes for hazardous materials transport.

                                                                                •  See  "Industrial  Hazard  Management" and "Public Health and
                                                                                  Safety" sections.
                                                                                25.  •  Involve land use planning agencies at all levels in project design
                                                                                       and EA, and plan for controlled development.

-------


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                                                 !  ! ~r1: Br   f.   i   TV.Lf_iA*<»l  Tt~-J-
                                                   !
                                                                  Table 9.2. Roads and Highways
                                                                                             !!!«
                                                                                             i H i*
                                                                                              "IB
                                                                                        (continued)  -
               - _-
           ;
                                      Potential Negative Impacts
                                                                                                        Mitigating Measures
            '! »            (continued)

      f ^
            ' •<    26. Increased motorized transportation (with possible increased dependency
            •.'• l*i    on imported fuels).
 Ii  M!
                  27. Impairment of non-motorized transportation economy due to changes
             ^ iH!    in land use and/or increased availability of motorized alternatives.
             "!«
                 -
            ;  ^|  28. Unplanned or illegal timber cutting.
       129. Unplanned or illegal land clearing.
 • '<";  « as
  1   Hi
          ;  i iii  p 30. Illegal invasion by squatters and poachers of homelands of indigenous
          1  [ill  K    peoples.
                                                                                 26. Include project  components  to  encourage use of non-motorized
                                                                                     transportation.
                                                                                 27. Include project components to stimulate local production and use of
                                                                                     non-motorized modes of transportation.
                                                                                 28. See "Rural Roads" section.
                                                                                           29. See "Rural Roads" section.
                                                                                 30. See "Indigenous Peoples" and "Induced Development"  sections  in
                                                                                     Chapter 3.
                w
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-------
                                                           Table 9.3. Inland Navigation
                      Potential Negative Impacts
                         Mitigating Measures
Direct: Dredging Process and Disposal

1.  Project location (e.g., enhancement or development of a waterway) may
    affect sensitive habitats and/or valuable fisheries resources.
2.  Removal and disturbance of flora and fauna at the dredging site.
3.  Interference of stationary dredging equipment with other maritime
    traffic.

4.  Possible  disturbance or  damage to stationary installations such as
    underwater cables, pipelines, and outfalls.
5.  Objectionable noise to nearby residents, especially at night.
6.  Increased short-term turbidity at dredging site.
7.  Alterations of bottom surface which may be unfavorable to the success
    of indigenous benthic flora and fauna.
1.  Perform screening analysis of site environs and ecology, and select an
    area  that is not adjacent to sensitive habitat and would not displace
    valuable   fisheries  resources   or  otherwise  significantly degrade
    environmental quality.

2.  •  Plan for minimizing impacts on local flora and fauna.

    •  Screen  for the presence of rare, threatened, or endangered species
      which are indigenous to the project location, and modify design to
      avoid or protect.

3.  Prepare a  program in advance to coordinate and reduce interference to
    other waterway users.

4.  •  Identify and document locations of stationary installations.

    •  Modify dredging process/disposal plans to accommodate presence of
      such structures.

5.  Reduce noise  level by decreasing operating level during quiescent
    periods in the local community.

6.  Reduce turbidity by efficient use of less intrusive dredging equipment,
    silt curtains, dredging during low flow periods.

7.  Plan for minimizing impact on important or sensitive benthic fauna and
    flora through ecological investigation during project planning.

-------
                                                                               n
                                                                                                                      1  =51
                                                                         Table 9.3.  Inland Navigation (continued)
           18
          U!
         ..
        Sii  »
        «BM*
        C» I f
        m; i
                     Potential Negative Impacts
                        Mitigating Measures
Direct: Dredging Process and Disposal (continued)

8.  Partitioning  of natural and/or  anthropogenic  contaminants from
    sediments to the water column.
                    9.   Modified  bathymetry  causing  changes  in  tidal  currents,  river
                         circulation, species diversity, and salinity.

                    10.  Generation of turbidity plumes.
                 oo
         i
       ri! ! a
                     11.  Loss of shoreline integrity.
                     12.  Upland disposal of dredged material could modify terrestrial habitat.
                     13.  Short-term air  quality degradation resulting from dredging-related
                         operations.

                     14.  Projects may result in stress on local cultures.
 14
 I II   rf'M  i! !l
8.  •  Perform physical  and chemical  analysis of  sediments  prior  to
       disturbance.,

    •  Locate potential "hot spots" and prepare plan to minimize sediment
       resuspension in these areas.

9.  Perform  project   area   investigation,  sampling,  and  modelling
    characterization and design project accordingly to minimize impacts.

10. Use technologies such as temporary dams and/or barriers to lessen the
    transport of suspended material away from the project area.

11. Evaluate shoreline geology and hydrology prior to project design  to
    ensure deepening will not cause modifications such as slumping and
    increased erosion.

12. •  Evaluate disposal options and select one with least impingement on
       important habitat.

    •  Require reclamation plans for terrestrial sites.

13. Monitor local air quality and reduce operations if unacceptable quality
    arises.

14. •  Evaluate local  sociocultural environment prior to project imple-
       mentation.

    •  Develop specific mitigation measures with community involvement.
•it           il

-------
                                                        Table 9.3. Inland Navigation (continued)
                         Potential Negative Impacts
                        Mitigating Measures
    Direct: Dredging Process and Disposal (continued)

    15.  Covering of potential archaeological sites with dredge spoil.


    16.  Spills associated with increased maritime commerce.


    Indirect:  Dredging Processes/Disposal

yj  17.  Uptake and accumulation of resuspended and  partitioned sediment
K)
vo
         contaminants by biota.
     18.  Occupational  health effects  on workers from sediment handling
         operations.
IS.  Evaluate disposal area for presence of important artifacts, and modify
     design to salvage or protect artifacts.

16.  Develop spill prevention and clean-up plans. Train a team to handle
     spills.
17.  Physical  and chemical analyses permits proper planning prior to
     project  implementation,  thus  minimizing  sediment resuspension
     through proper  selection of  dredging equipment  and  implement
     long-term biota tissue monitoring program.

18.  •  Train employees to be aware of potential occupational hazards and
        establish a program on safety and health which includes all of the
        following:

        •  site characterization and analysis
        •  site control
        •  training
        •  medical surveillance
        •  engineering controls, work practices and personal
           protective equipment
        •  monitoring and informational programs
        •  handling raw and process materials
        •  decontamination procedures
        •  emergency response
        •  illumination
        •  sanitation at permanent and temporary facilities

-------
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                                                                    Table 9.3. Inland Navigation (continued)
                                                                                                                   5 I!1!      ! I
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       Potential Negative Impacts
 ;!; syi^aj £  ,|	

 1       SO  ('Indirect: Dredging Processes/Disposal (continued)
   ; ^ifti':*!' II
 M
 ;   't'iljisl!;!
 "i; Zif t' *: ^I19.   Impacts of possible land disposal on groundwater,  surface  runoff
 :   "rj^,  Ss      and/or land use.
 ':: ,<,1K "'-si;
                                                                                                                      Mitigating Measures
 ''         i '. Cl
 5;,        •-1II
           «' f(


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  ; c^;^;-;r   : 20.   Transit  patterns  disrupted,  noise  and  congestion  created,  and
 iiiigivKJ,  - i  =-
              i
 i';         I  ;»

              '
                     to/from the construction sites.
                                                                19.  •  If land disposal is the selected option, contaminated wastes should
                                                                       be contained in a structure that minimizes leachate generation and
                                                                       release to local aquifers.

                                                                    •  Uncontaminated sediments have  some  practical  uses;  however,
                                                                       wetlands reclamation is no longer considered an environmentally
                                                                       sound option.

                                                               20.  •  Proper site selection can mitigate many of these problems, but
                                                                       special transportation  sector studies should be prepared during
                                                                       project feasibility to select best routes to reduce new shorezone
                                                                       facilities/industries.

                                                                    •  Develop emergency contingency plans to minimize risk of accidents
                                                                       during transport.

                                                                    •  Initiate discussions on transport regulations, where none exist.
!;
             ii
             ii
             ii

iii       ; L

-------
                                                            Table 9.4.  Port and Harbor Facilities
                           Potential Negative Impacts
                        Mitigating Measures
OJ
O\
      Direct

      1.   Project location (e. g., enhancement or development of a waterway) may
          affect sensitive habitats and/or valuable fisheries resources or otherwise
          significantly degrade environmental quality.

      2.   Repositioning of "null  zone"  in port vicinity.
      3.  Removal and disturbance of flora and fauna at the dredging site.
      4.  Interference of stationary  dredging equipment with other maritime
          traffic.

      5.  Possible disturbance  or damage to stationary installations such  as
          underwater cables, pipelines, and outfalls.
      6.  Objectionable noise to nearby residents, especially at night.
      7.  Increased short-term turbidity at dredging site causing decreased light
          penetration and associated photosynthetic activity.
1. Perform screening analysis of site environs and ecology and select an
   area that is not adjacent to  sensitive habitat and would not displace
   valuable fisheries resources.

2. Perform  analyses  to establish  "controlling  channel  depth"  which
   represents an equilibrium between flow-associated transport energy and
   sediment supply.

3. Plan for minimizing impacts on local flora and fauna, and screen for the
   presence of rare, threatened or endangered species which are indigenous
   to the project location.

4. Prepare  a program in advance to coordinate and reduce interference to
   other waterway users.

5. •  Identify and document locations of stationary installations.

   •  Modify dredging process/disposal plans to accommodate presence of
      such structures.

6. Reduce  noise  level  by decreasing  operating level during  quiescent
   periods in the local community.

7. Reduce turbidity by efficient use of less intrusive dredging equipment,
   silt curtains, timing to coincide with low flow.

-------
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                                                                             Portand«Htrfaor|Fadtitiesi(conlinuedM
                                                                                                                -
                                                                                                              *~
              i  , '§
                                        Potential Negative Impacts
                                                                                                         Mitigating Measures
              5  i : J Direct (continued)

              1  : IS 8.   Alterations of bottom surface,  which  may  be unfavorable  to  the
              !  . '"*.     success of indigenous benthic flora and fauna.

              I   ;b 9.   Partitioning of  natural and/or  anthropogenic  contaminants from
              ;  ;  ;:     sediments to the water column.
                                                                                 	         I
                                                                                                                                                    M Us  !
                                                                                                                                                    S  1 a !!
                                                                                                                                                    1  I 5 ii

                                                                                  8.   Plan for minimizing impact on important or sensitive benthic fauna and!  ' ' '!  <
                                                                                      flora through ecological investigation during project planning.         , «    ,-
                                                                                                                                                    J  r £ ::  :
                                                                                  9.   •  Perform  physical and chemical  analysis of sediments prior to  '      <
                                                                                         disturbance.                                                i  ', i 1!  ! ,
                                                                                                                                                            M
                                                                                      •  Locate potential "hot spots" and prepare plan to minimize sedimenh ; ;  ,i  M
                                                                                         resuspension in these areas.                                   Hi:   : :
                                                                                              10.  Perform project area investigation, sampling, and characterization so   i ;;
                                                                                                   project planning can yield a design which minimizes impacts.        J  „  ;

                                                                                              11.  Use technologies such as temporary dams and/or barriers to lessen the ;  ? ;,  ;  ^
                                                                                                   transport of suspended material away from the project area.
 !   !|  10.  Modified bathymetry causing changes in tidal bore, river circulation,
 i   :K;      species diversity, and salinity.

 •   !|l  11.  Generation of turbidity plumes.


[   ii  12.  Loss of shoreline integrity.                                              12. Evaluate shoreline geology and hydrology prior to project design toij J ,j  |
   ]^                                                                                ensure deepening will not cause modifications such as slumping and] J i«  • ,
;   |J'                                                                                increased erosion.                                             H^t^~h

i   |  13.  Upland disposal of dredged material would modify terrestrial habitat.        13. •  Evaluate disposal options and select one with least impingement on, i u  | [
!   ie!                                                                                    important habitat.

                                                                                      •  Require reclamation plans for terrestrial sites.
        14.  Short-term air  quality  degradation resulting from  dredging-related
            operations.
14.  Monitor local air quality and reduce operations if unacceptable quality:  ;  ;!
                                                                  •  i  I'
                                                                  I  1  !
                                                 anses.

-------
                                                     Table 9.4. Port and Harbor Facilities (continued)
                          Potential Negative Impacts
                        Mitigating Measures
     Direct (continued)

     15.  Projects may result in stress on local cultures.
15.  •  Evaluate local sociocultural environment prior to project imple-
       mentation.

     •  Develop specific mitigation measures with community involvement.
     16.  Covering of potential archaeological sites with dredge spoil.
16.  •   Evaluate disposal area for presence of important artifacts.

     •   Modify design or salvage or protect artifacts.
ON
OJ
     17.   Spills associated with increased maritime commerce.
17.  «   Develop spill prevention and clean-up plans.

     •   Train a team to handle spills.
     18.   Covering of valuable  benthic species (e.g.,  mussels,  clams) by        18.   •  Monitor turbidity and maintain concentration below 2 grams/liter.
          sediment.
           i                                                                            •  Limit dredging activity during critical  spawn-and-set periods for
                                                                                         shellfish.
     19.   Increasing saltwater intrusion to groundwater and surface water.
19.  •   Major modification to channel depth and cross section should
        consider the effect on saltwater encroachment.

     •   Analysis of effects on tidal bore and river flow will be helpful.

-------
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i                 i            ;•;!;:?:=ii        !  |p  i!|            i     :    :  ;
I                                            i  ^st*  :IL            :     .    ;  '
                                                                                                       continued)
                                      Potential Negative Impacts
                                                                                                         Mitigating Measures
                = Indirect:  Dredging Processes/Disposal

                - 20.  Uptake and accumulation of resuspended and partitioned sediment
                      contaminants by biota.
          :  tO
                 21.  •  Occupational health effects on workers from sediment handling
                         operations.
         I  4MJ       •  Accidents occur at higher than normal frequency because of lower
                         level of skill or labor.
I   22.

I
                         Impacts of possible land disposal on groundwater, surface runoff
                         and/or land use.
                                                                                  20.
                   21 .
                          Physical and chemical analyses permits proper planning prior to
                          project implementation, thus minimizing sediment resuspension
                          through proper selection of dredging equipment.

                          Implement long-term biota tissue monitoring program.
                                                                                         Train employees to be aware of potential occupational hazards and
                                                                                         establish a facility program on safety and health which includes all
                                                                                         of the following:

                                                                                         •  site characterization and analysis
                                                                                         •  site control
                                                                                         •  training
                                                                                         •  medical surveillance
                                                                                         •  engineering  controls, work practices and personal protective
                                                                                            equipment
                                                                                         •  monitoring and informational programs
                                                                                         •  handling raw and process materials
                                                                                         •  decontamination procedures
                                                                                         •  emergency response
                                                                                         •  illumination
                                                                                         •  sanitation at permanent and temporary facilities
                                                                                            i  i'll11
                                                                                                                                                                       li'lil!

                                                                                                                                                                     !  iiliill
                                                                                                                                                                	
                  22.
                                                                                         If land disposal is the selected option, contaminated wastes should
                                                                                         be contained in an engineered structure which minimizes leachale
                                                                                         generation and release to local aquifers.


-------
I
                                                                     Table 9.4.  Port and Harbor Facilities (continued)
                                           Potential Negative Impacts
                        Mitigating Measures
                      Indirect:  Dredging Processes/Disposal (continued)
                 NJ
                 V)
                      23.  Transit patterns disrupted, noise and congestion created, and pedestrian
                          hazards aggravated by heavy trucks transporting materials to/from port
                          and harbor facilities.
     •   Uncontaminated  sediments have some practical uses; however,
        wetlands reclamation is no longer considered an environmentally
        sound option.

23.  •   Proper site selection can  mitigate many of these  problems,  but
        special transportation sector  studies should be  prepared  during
        project feasibility to select best routes to reduce new shorezone
        facilities/industries.

     •   Develop emergency contingency plans to minimize risk of accidents
        during transport.

     •   Initiate discussions on transport regulations where none exist.

-------
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                                Potential Negative Impacts

      m
  !W  *)iKl!Direct
  »tf  ^Ml
 a ^  i <' ;i" 1.  Displacement of existing land uses.
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                                                                                                            Mitigating Measures
                                                                                     1.  •  Ensure that due consideration is given to the proper trade-offs
                                                                                           between land values for housing and those of other uses, such as
                                                                                           prime farmland, forests, or other land uses or natural habitats of
                                                                                           value to society as a whole.

                                                                                        •  Investigate existing planning and design standards to ensure that
                                                                                           they are suited to local conditions and not unnecessarily wasteful of
                                                                                           land.

                                                                                        •  Assist in drafting new regulations that are more appropriate.

                                                                                     2.  Ensure  that regionally  critical  environmental sites such  as  major
                                                                                        forested areas, major  water bodies and wetlands,  habitats containing
                                                                                        rare and endangered species, etc., are identified and not threatened by
                                                                                        project location.

                                                                                     3.  •  Ensure that project site is not located in the following areas:

                                                                                           •  major floodplain
                                                                                           •  coastal zone inundation areas
                                                                                           •  areas of unstable soil or subsurface conditions
                                                                                           •  areas of highly saline soils
                                                                                           •  areas subject to landslides
                                                                                           •  seismically or volcanically active areas
                                                                                           •  excessively steep or wet areas
                                                                                           •  areas where significant risk from disease vectors exist, or any
                                                                                              other areas of significant natural hazard
                                                                                             Design accordingly if site cannot be moved.

-------
                                                    Table 9.5. Large-Scale Housing Projects (continued)
                          Potential Negative Impacts
                  Mitigating Measures
    Direct (continued)

    4.  Danger to residents from hazardous man-made conditions.
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    5.  Hazard to residents  from air, water, or noise pollution from other
        adjacent or nearby land uses.
5. •
Identify areas that have significant man-made hazards such as filled
land, areas subject to subsidence from mining activity, groundwater,
oil or other extractive processes.

Identify areas where solid or liquid, or toxic wastes may be or have
been dumped.

Investigate  site conditions  with proper geotechnical or chemical
testing procedures.

Ensure that adequate funding and technical expertise are available to
deal with the special conditions.

Investigate alternate sites.

Ensure that the site is located away from such pollution sources.

Do not locate down-wind of significant point sources of air pollution
such as smoke stacks, for example.

Identify noise sheds around airports, major roads, etc.

Provide buffers of other compatible uses of adequate width between
residential areas and sources of pollution.

Take measures to abate pollution at the source, if feasible, such as
noise barriers along expressways.

Investigate alternate sites.

-------
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                                                                        Table 9.5.  Large-Scale Housing iProjecfe :(conttrwed)

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                                             Potential Negative Impacts
                                                                                                                                Mitigating Measures
                                                                      1 r ^I  i '
                                                                      I
                                                                        mi i
                   :j I  Direct (continued)
                   "J F.

                   !» I  6.   Hazard to residents from air pollution due to site location being in an
                   ,* !       area subject to frequent temperature inversions.
                   -» 7
                   i!  7.    Dislocation of existing resident populations.
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                  :( i  9.    Overloading of existing infrastructure and services.
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                            of traditional industries, such as brickmaking.
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6.   •  Seek alternate site location if pollution is from existing sources that 1=  I 1
        are difficult to abate.
                                                                       ifli | I
     •  Otherwise, design  project with low densities and non-polluting    i j
        technologies for heating, cooking, etc.                           ^p!  ;
                                                                       iJpii ; ]
7.   Ensure  that any involuntary resettlement is done in accordance with    \ j
     proper standards or consider alternate sites.                        'Q< I j
                                                                       • *-•  i I
                                                                            I
8.   •  Consider alternate sites or make provision for historic culturally-^ \ :
        significant areas to be set aside in specially zoned areas.          ^:   :

     •  Adapt  project  design  to include  existing  historic or  cultural     «
        resources.                                                      S!: "
                                                                       IW' •- ':
                                                                        * :
9.   •  Coordinate with other planning goals and objectives for region.
                                                                       itf i i
     •  Upgrade existing infrastructure and services,  if feasible.          ;ij; i

     •  Consider alternate sites.
                                                                                                                                                                                      ^

                                                                                                                                                                                ,  f
10.  •  Review capacity of local resources and industries to provide for
        large-scale construction and upgrade, if feasible.                 *;: ,
                                                                                                              Select materials and design criteria according to local conditions and |;,
                                                                                                              availability of resources.
                                                                                                                                                                                      !•»
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-------
                                                   Table 9.5.  Large-Scale Housing Projects (continued)
                          Potential Negative Impacts
                                                                                                     Mitigating Measures
     Direct (continued)
UJ
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Local and Site Scale Impacts

11. Damage to sites and their immediate surroundings resulting from the
    disruption of the basic natural framework of  the  environment, in
    particular the soils, vegetation, and drainage network. (See below for
    more detailed comments.)
     12.  Degradation of habitats caused by fragmentation.
     13. M'ore extreme flood/drought cycles, increased erosion and siltation and
        degradation of stream biota and riparian vegetation, etc., caused by
        increased runoff from developed sites.
                                                                                         Design for maximum efficiency in materials and energy use.

                                                                                         Encourage the study of indigenous customs  and techniques for
                                                                                         building and incorporate in project design.
It. •  Identify  the  basic natural systems  of a site and its immediate
       surroundings and protect with set-asides for open space, easements,
       buffer areas,  etc.

    •  Adapt layouts to fit natural patterns  rather than imposing rigid
       geometries.

12. Maintain and/or design open space networks  to follow natural site
    features, such as stream corridors, and connect them throughout the
    site and local and regional open space systems.

13. •  Preserve existing stable drainage patterns on site.

    •  Preserve existing vegetation, particularly intact natural habitats.

    •  Institute  a stormwater  management  plan, which should consider
       such strategies as:

       •  minimizing impervious area
       •  increasing infiltration to soil by use of recharge areas
       •  the use of natural vegetated swales instead of pipes, or
       •  by using detention or retention facilities with graduated outlet
          control structures

-------
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                          Potential Negative Impacts
                        Mitigating Measures
     Local and Site Scale Impacts (continued)
     14. Depletion and/or pollution of local groundwater resources.
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     IS. Degradation of soil  cover from  erosion, removal,  or loss  of soil
         structure due to compaction.
    •  Use "soft" engineering techniques for soil and bank stabilization,
       such as vegetative stabilization (soil bio-engineering) in preference
       to built structures.

14. •  Ensure that projected use of groundwater  is within capacity of
       natural system to replenish itself.

    •  Avoid "mining" groundwater particularly in drier climates.

    •  Avoid using open channel, sprinklers, or other wasteful irrigation
       techniques for landscaping in drier climates.

    •  Use indigenous vegetation that requires  less water, drip irrigation
       or shaded plantings.
                                                                     i
    •  Ensure  that soils are suitable  for septic tank or  other on-site'
       treatment.

    »  Design centralized systems to avoid leakage, etc.                 -

    •  Design stormwater management systems  as suggested above, in
       particular, use vegetation to retain, recharge and purify stormwater. =

IS. •  Have both temporary (during construction) and permanent erosion
       control plans.

-------
                                              Table 9.5.  Large-Scale Housing Projects (continued)
                     Potential Negative Impacts
                        Mitigating Measures
Local and Site Scale Impacts (continued)
                                                                                   Temporary control plans should include:

                                                                                   •  silt fencing
                                                                                   •  temporary silt trap basins
                                                                                   •  short term seeding or mulching of exposed
                                                                                      soil areas, (particularly on slopes)
                                                                                   •  limitations on access for heavy machinery and the
                                                                                      storage of materials to avoid soil compaction

                                                                                   Permanent erosion control plans should focus on the establishment
                                                                                   of stable native vegetation communities.

                                                                                   Ensure that topsoil in construction areas is stripped and stored for
                                                                                   future use and not illegally removed  from site.
16.  Loss or degradation of  vegetation from unnecessary removal or
     mechanical damage.
16. •  Identify important stands of vegetation, large contiguous stands of
       forest or other natural habitat, vegetation on steep slopes, vegetated
       stream corridors or swales.

    •  Incorporate these areas into design layout or open space system.

    •  Protect such areas  during construction by temporary fencing and
       limitations on access  for heavy machinery and materials storage.

-------
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      ;'h ;:;          Local and Site Scale Impacts (continued)
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                                                                                                17. • Protect natural habitat from destructive management or maintenance
                                                                                                      practices,  such as  the removal of understory  vegetation from
                                                                                                    ' woodlands, or excessive clearance of vegetation from stream banks.

                                                                                                    • Do not use invasive exotic species for landscaping or reforestation.
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-------
                                                   Table 9.6.  Solid Waste Collection and Disposal Systems
                           Potential Negative Impacts
                                                                                                    Mitigating Measures
to
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Direct

1.  Uncollected refuse clogs open drains and sewers.

2.  Aesthetic degradation  and  property  value  loss  from  litter  and
    clandestine dumping.

3.  Smoke from open burning of uncollected refuse.

4.  Populations of disease vectors (e.g., flies, rats, cockroaches) increase
    where refuse is either uncollected or open dumped.

5.  Poorly located communal containers create wasted time and effort for
    residents.

6.  Lack of resident cooperation with collection systems which do not fit
    social and cultural behavior of residents.
      7.  Dust during loading of refuse from stationary communal containers.
      8.   Refuse scattered  from stationary communal containers, plastic bags,
           baskets, etc., and by animals.
                                                                                  1.  Provide complete refuse collection service to the urban environment.

                                                                                  2.  Same as above.


                                                                                  3.  Same as above.

                                                                                  4.  Same as above.
5.  Examine  movement patterns  of residents and  survey them for the
    distance they would be willing to walk.

6.  •  Survey residents for social and cultural behavior:

      •  who performs the chore of waste discharge
      •  at what hours are they at home
      •  how much time could they spent on this chore
      •  how much self-reliance will they accept
      •  what can they afford

7.  Minimize extra handling and maximize containment to the extent
    affordable.

8.  Educate residents to discharge refuse just before the scheduled time of
    collection service.

-------
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                           Potential Negative Impacts
                                                                                        Mitigating Measures
      Direct (continued)

      9.   Worker accidents  (e.g.,  back  injuries) when  refuse  bins are
           overweight.
                                                                9.   •  Appropriate size refuse containers (e.g., 80 to 100 liter capacity).

                                                                    •  Provide covers for containers so that rain does not add weight to the
                                                                       refuse.
   _   10.  Dust and litter along roadways used by refuse collection vehicles.
                                                                10. Provide enclosed refuse collection vehicles or cloth tarps to cover open
                                                                    vehicles.
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to     11-  Worker hazard when medical wastes are not specially handled.
    n:
                                                                11. •  Separate collection of medical wastes using dedicated vehicles.

                                                                    •  Provide a separate disposal area at the refuse landfill.
  i|| 1112.  Worker hazard when potentially hazardous wastes are not specially
  ii!!l     handled.
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                                                                12. •  Survey industries to assess nature and quantity of hazardous wastes.

                                                                    •  Provide  separate collection  and disposal in specially designed
                                                                       systems.

                                                                    •  Test for waste compatibility before disposal.
       13.  Dust from unloading and loading operations at transfer stations.
                                                                13. Provide  enclosure to the loading and unloading areas, as well as
                                                                    ventilation and air filtration.
   j!' 14.  Loss of income to pickers and loss of low-cost feedstock to industry
   ^!s;     when recovery of secondary materials is hindered.
                                                                14. •  Design collection, transfer and/or disposal systems to accommodate
                                                                       continuation of recycling.

-------
                                            Table 9.6. Solid Waste Collection and Disposal Systems (continued)
                          Potential Negative Impacts
                        Mitigating Measures
     Direct (continued)
OJ
Ul
      IS.  Dust from unloading and spreading/grading operations at land disposal
          sites.
      16.  Smoke from open burning or refuse at land disposal sites.


      17.  Odors from land disposal sites.

      18.  Odors from composting systems.
    •  Increase source  separation and recovery of secondary materials
       before waste discharge for collection.

    •  Provide job training and employment assistance to pickers losing
       occupation.

15. •  Provide buffer zone around land disposal site.

    •  Pave access roads.

    •  Design location of working face to minimize truck traffic.

    •  Water spray the working areas to suppress dust.


16. Spread and compact incoming refuse, cover daily with soil, install gas
    control systems.

17. Same as above.

18. Maintain aerobic conditions during composting.
      19.  Contamination of ground and/or surface water by leachate from land
          disposal systems.
19. •  Locate land disposal systems where soils underlying landfill are
       relatively impermeable and have attenuative properties.

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-------
                                            Table 9.6.  Solid Waste Collection and Disposal Systems (continued)
                           Potential Negative Impacts
                        Mitigating Measures
      Direct (continued)

      25. Contamination of soil and potential biological uptake of toxic chemicals
          (e.g., heavy metals) from application of compost.
-j    Indirect
      26. Decline in civic pride and public morale when refuse visibly degrades
          the urban environment.
      27. Loss of tourism when refuse visibly degrades urban environment.
      28. Waste of municipal revenues when collection equipment is inappro-
          priate and collection service in inefficient.
25. •  Based on crops planned to receive land application of compost and
       chemical concentrations they can tolerate.

    •  Determine which constituent is land-limiting.

    •  Then,  based on concentrations of this constituent  in  compost,
       determine the  total  concentration which  can be applied before
       phytotoxic levels are reached.

    •  From this, determine amount of compost which can be applied.
26. •  Provide public education to obtain  public cooperation with en-
       vironmental regulations about littering and clandestine dumping.

    •  Provide adequate collection and disposal service.

27. •  Same as above.

    •  Also, provide regular street cleaning of roadways and urban en-
       vironments commonly traveled by tourists.

28. •  Pilot test collection systems before implementation.

    •  Regularly evaluate costs of collection in various neighborhoods by
       various techniques.

    •  Undertake measures to lower costs and improve service.

-------
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-------
                                            Table 9.6.  Solid Waste Collection and Disposal Systems (continued)
                          Potential Negative Impacts
                         Mitigating Measures
OJ
k>
     Indirect (continued)

     31. Deterrent to  industrial development by  environmentally conscious
         industries when competent disposal facilities do not exist for hazardous
         wastes.
     32. Loss in public's faith in the political system when inappropriate solid
         waste facilities (e.g., incinerators) are constructed and not used.
     33. Increase in country trade imbalance and energy consumption when
         there is a decrease in recycling of secondary materials from wastes into
         industrial feedstock.
31. •  Provide special facilities for receipt of potentially hazardous wastes.

    •  Provide equitable environmental regulation and enforcement at the
       national level so that all industries are operating under the same
       environmental standards.

32. •  Set up  institutional arrangements,  such as  an interministerial task
       force whose mandate is to review technical and economic viability
       of large projects and prioritize them for financial assistance (as in
       Indonesia).

    •  Set up institutional mechanisms whereby all large projects have an
       environmental and economic impact assessment presented for review
       at the national level prior to receiving approval for implementation
       (as in Thailand).

33. •  Provide incentives to private sector entrepreneurial initiatives in
       recovering secondary materials or recycling.

    •  Improve government procurement  specifications so that producing
       products from recycled materials in encouraged.

    •  Provide public education which encourages recycling.

    •  Facilitate source segregation of recyclables and separate collection.

    •  Design transfer  systems and/or disposal systems to accommodate
       recycling from mixed refuse.

-------
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                                                                                                                         Mitigating Measures
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         Direct

         1.   •   Beach mining of sand for construction.

              •   Destruction of reef for aggregate materials used in construction.
                     2.   Destruction of wetlands, forests, other unique/sensitive habitats or
                         cultural, historical and archaeologically important sites.
               U)
               oo    3 .   Erosion resulting from uncontrolled clearing, infrastructure construction
               °        such as roads and marinas.

                     4.   Loss  of  "free"  environmental services  from  natural  systems  and
                         degradation of air, water, land resources.
                     5.  •  Water pollution from inappropriate sewage or solid waste disposal.

                            •   marine effluent disposal
                            •   residential sewage disposal
                            •   marinas
                            •   infiltration to groundwater
                                                                                                 1. •   Control of construction contractor.                            :m:
                                                                                                                                                                    ii'M
                                                                                                                                                                    :iii!|
                                                                                                    •   Submission of plans in accordance with local ordinances on beach; |i ii
                                                                                                        sand mining.                                                  j ;j (|
                                                                                                                                                                     = ii - =
                                                                                                                                                                     L=- ir
                                                                                                 2. •   Areas considered for development should have zoning plans to!!!]
                                                                                                        account for natural geographic and socioeconomic condition.     ::;!:
                                                                                                    •   Base development phase on an inventory of resources.

                                                                                                    Develop erosion and sediment control plans.
                                                                                                        Carrying capacity should be defined so that target tourist population Ij ji
                                                                                                        can be sustained without overburdening existing infrastructure and
                                                                                                        resources.                                                    !!!!
                                                                                                        Include improvements in project design.
                                                                                             Allowance made for use of existing municipal or regional collection]!;:
                                                                                             and disposal system or construction of on-site  sewage treatmentp_
                                                                                             plant.                                                       j ji
                                                                                                                                                         ili;
                                                                                             Liquid waste should not be discharged onto beaches, coral reefs, or  !
                                                                                             other sensitive areas.                                          ;• H
                                                                                                                                                         rt M
                                                                                             Verify local capacity to monitor and enforce pollution regulations.  "
                                                                                                                                                                     iil
                                                                                                                                                                     In

-------
                                                       Table 9.7.  Tourism Development (continued)
                          Potential Negative Impacts
                                                                                              Mitigating Measures
00
    Direct (continued)

    6.   Solid and liquid waste disposal creates nuisance conditions adjacent to
         amenities.
Access problems created:

• traffic congestion
• noise
• minor and localized air pollution
• people density greater than services available
6. •   Appropriate waste disposal options required to manage potential
       problem.

   •   Landfill  versus  incineration  alternatives,  as  well  as  waste
    '   minimization will be considered.

7. Access problems minimized by integrated planning to reduce traffic and
   pedestrian congestion, noise.
     8.   Sea turtle nesting affected (special case).
                                                                             Beach monitoring for turtle protection coupled with beach zoning
                                                                             and  development   guideline  to  preserve  the  natural  beach
                                                                             environment from the primary dune seaward.

                                                                             Restricting night activities on nesting beaches during egg-laying and
                                                                             incubation periods.
     9.   Displacement of human population.
                                                                             Plan and implement program of compensation and resettlement.

                                                                             See Chapter 3 for discussion of involuntary resettlement concerns.

-------
                !  I!

                                                                                li   it
                                                                                if   n
                                                                                             a  i
                                                                    ^Table 9.7.j;Tburtsin Development (continued)
                                                                                                                                                               I!
                                                                                                                                                                        I [N
                                                                        j !
                                                                        I ,;


                                        Potential Negative Impacts
                        Mitigating Measures
                  I Indirect

     * ~j=i-  Ij fni
     N i!'  H ll-' !•  Conflicts with other resource use such as fisheries, agriculture.
     *      jc It rv=:3 i
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1. •   Conceive tourism development in framework of national, regional,
       local socioeconomic development plans to integrate new objectives
       into development strategies.

   •   Identify zones most suitable for tourism.
 ,.
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             •  Stress to capacity to manage the "tourist or related environment."

                •  legislation and polling constraints
                •  agency support lacking
                •  staffing   and   financial  resources  to   mitigate  impacts
                   absent/reduced
                •  inadequate training in environmental management

             Multiplier effect on other industries causes increased stress on natural
             resources or services  (craft  market,  vendor, taxi  driver, suppliers,
             farmers/fishermen).
                 |  4.  Congestion, overcrowding.
!P n   •  S.  Natural hazards peculiar to developed site such  as  coastal storms,
K  (   !      flooding,  landslides,  earthquakes, hurricanes,  volcanos, may  stress
r,-I          infrastructure and reduce long-term benefits.
2. •   Comprehensive legislative action  frequently required  to address
       direct and indirect impacts and their monitoring and evaluation.

   •   Staffing  and  equipment  support  must  be  budgeted, including
       whatever training necessary to mitigate impacts and monitor the
       "environmental protection plan" or other mitigation plan.
3. •   Provide adequate  infrastructure  and  services support  to  meet
       physical, social and economic needs of the region.

   •   Recognize that "overbuilding" may be a persistent problem.

4. Design (urban areas and transport networks, etc.) according to carrying
   capacity of natural setting.

S. Design facilities to: (a)  meet best  possible specifications for natural
   hazard amelioration; (b) take advantage of natural resources such as
   wetlands ability to buffer  storms or  absorb  treated wastewater (see
   "Natural Hazards" section).
                L
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         Jll!

-------
                                        Table 9.8. Wastewater Collection, Treatment, Reuse, and Disposal Systems
                          Potential Negative Impacts
                        Mitigating Measures
     Direct

     1.  Disturbance of stream channels, aquatic plant and animal habitat,
        and spawning and nursery areas during construction.
1. •  Do not route sewer lines in stream channels.

   •  Require erosion/sedimentation controls during construction.
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     2. Alterations  in  watershed  hydrologic balance when  Wastewater  is
        exported  by  collection  in large  upstream  areas   and  discharge
        downstream.
2. •  Consider sub-regional and small community systems in water-short
      areas.

   •  Take full advantage of opportunities for wastewater reclamation/reuse,
      especially in water-short areas.
     3. Degradation of neighborhoods or receiving water quality from sewer
        overflows, treatment works bypasses, or treatment process failure.
3. •  Phase construction of collector systems and treatment works to avoid
      raw wastewater discharges.

   •  Select appropriate technology.

   •  Design for reliability, ease of maintenance.

   •  Implement management and training recommendations, monitoring
      program, and  industrial waste pretreatment program (see  text for
      guidelines).
     4. Degradation of receiving water quality despite normal system operation.
4. •  Site and design treatment works and disposal or reuse systems on the
      basis of adequate data on the characteristics of the wastewater and the
      assimilative capacity of the receiving water body.

-------
                                         ii
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                                                     Table 9.8.  Wastewater Collection, Treatment, Reuse, and Disposal Systems (continued)      =  •    |
     :«: i-'.1jj_ ~,|S 't, i- ,-:l
                  "I!,,!
                                             Potential Negative Impacts
                       Direct (continued)
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                       S.  Public health hazards in vicinity of discharges or reuse sites
                           during normal operation of system.
                 ;
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                       6.  •  Contamination at land application sites:
                                soil and crops by toxic substances and pathogens
                                groundwater by toxic substances and nitrogen
                                                                                                                                                                           ii «ii
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                                                                                                                                                                           is eii
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                                                                    Mitigating Measures
                                                                                                                                                                         Hi
                                               •   Use mathematical models for siting surface water discharges and
                                                   determining required level of treatment, and for siting and designing
                                                   ocean outfalls.

                                               •   Take full advantage  of appropriate land application alternatives,
                                                   especially in water-short areas.

                                               •   Implement monitoring program and industrial waste pre-treatment
                                                   program (see text for guidelines).

                                            S. *   Select appropriate technology.

                                               •   Ensure  preapplication treatment and operating guidelines for land
                                                   application and other water reuse systems are adequate to safeguard
                                                   health of humans and livestock.

                                               •   Restrict access to wastewater or sludge disposal sites where health
                                                   hazards are unavoidable.

                                            6. •   Site and design treatment works and disposal or reuse systems on
                                                   the basis of adequate data on the characteristics of the wastewater
                                                   and land application site.

                                               •   Implement  monitoring program and effective  industrial  waste
                                                   pretreatment program (see text for guidelines).

                                               •   Ensure  preapplication treatment and operating guidelines for land
                                                   application and other  wastewater reuse systems are adequate.

-------
                                 Table 9.8.  Wastewater Collection, Treatment, Reuse, and Disposal Systems (continued)
                         Potential Negative Impacts
                        Mitigating Measures
    Direct (continued)

    7.  Failure to achieve desired beneficial uses of receiving waters despite
        normal system operation.
    8.   Odors and noise from treatment process or sludge disposal
         operations.
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    9.   Emissions of volatile organic compounds from treatment process.
    10.  Soil, crop or groundwater contamination and disease vector breeding
         pr feeding at sludge storage, reuse or disposal sites.
7.  •  Establish realistic use objective and select water quality criteria
       consistent with desired uses.

    •  Establish system performance standards by modeling or other means
       which will result in meeting criteria.

8.  •  Site treatment works only near compatible land uses.

    •  Select appropriate technology.

    •  Include odor control and low-noise equipment in design.

    •  Implement management and training recommendations (see text).

9.  Establish effective industrial waste pretreatment program (see text for
    guidelines).

10. •  Incorporate  sludge  management  in system feasibility  studies,
       technology selection, design, staffing, training, budgeting and start-
       up plan.

    •  Implement effective industrial waste pretreatment program (see text
       for guidelines).

    •  Ensure  preapplication treatment and operating guidelines for land
       application and  other reuse or disposal  systems are adequate to
       safeguard health of humans and livestock.

    •  Inspect  for compliance with operating guidelines.

-------
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 Table 9.8.  Wastewater Collection, Treatment, Reuse, and Disposal Systems (continued)
                                                                i         i      ..   i
                                                                                                                           \ it
                ill
                                         Potential Negative Impacts
                                                                      Mitigating Measures
                I   Direct (continued)
                il
                ;    It. Worker accidents during construction and operation, especially in deep
                E liil    trenching operations.
                il
                   *' 12. Worker accidents caused by gas accumulation in sewers and other
                a i-
                  ,     confined spaces or by hazardous materials discharged into sewers.
                1 ;!![
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                                               11. Enforce adherence to safety procedures.
                                               12. •  Emphasize safety education and training for system staff.       !»
                                                                                                               :ft
                                                  •  Implement effective industrial waste pretreatment program (see text
                                                     for guidelines).                                             *
                                                                                                                s
                                                  •  Provide appropriate safety equipment and monitoring instruments..
                                                                                                      Enforce adherence to safety procedures.
       I! ill
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                  fit( 13. Serious public and worker health hazard from chlorine accidents.
                  Ji| 14.  Nuisances and public health hazard from sewer overflows and
                  ||     backups.
                  is
                  ti
                                                                              13.
                                               14.
                                                     Incorporate safety provisions in design, operating procedures, and
                                                     training.                                                   i
                                                                                                                i
                                                     Prepare contingency plan for accident response.                b
                                                                                     Routinely inspect sewers for illegal connections and obstructions, j

                                                                                     Clean sewers as necessary.                                  ;
                                                                                                                                               f
                                                                                     Provide monitoring system with alarms for pump station failure. J

                                                                                     Provide alternate power supply at critical pump stations.        ;
                                                                                                                                               F
                                                                                     Educate public to prevent disposal of solid waste in sewers.      jj
      t i i

-------
                                  Table 9.8.  Wastewater Collection, Treatment, Reuse, and Disposal Systems (continued)
                          Potential Negative Impacts
                        Mitigating Measures
     Direct (continued)
     15.  Failure to achieve public health improvement in serviced area.

     16.  Dislocation of residents by plant siting.

     17.  Perceived or actual  nuisances and  adverse aesthetic  impacts in
          neighborhood of treatment works.
 )
oo   18.  Accidental destruction of archaeological sites during excavation.
IS.  Conduct sanitation and hygiene education program.

16.  Assist with resettlement (see "Involuntary Resettlement" section).

17.  Incorporate neighborhood improvements and useful public facilities in
     project.

18.  Include notification and protection procedures for cultural properties
     in construction contract documents (see "Cultural Property" section).
     Indirect

     19.  Unplanned development induced or facilitated by infrastructure.
19.  •  Coordinate installation of sewerage with land use planning.

     •  Strengthen land use control regulations and institutions.

     •  Integrate planning for infrastructure in urban development projects.
     20.  Regional solid waste management problems exacerbated by sludge.
20.  •  Incorporate sludge, excreta  and septage in regional solid waste
        management planning and in Wastewater system feasibility studies
        and technology selection.

     •  Implement industrial waste pretreatment program.

-------


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                                                                                                          -            i
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                                                                                          II
                                                             II  iffl 11
                         Potential Negative Impacts
 =   Indirect (continued)
                                                             Mitigating Measures
     21.   Loss of fisheries productivity.
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00
00
     22.  Reduction of tourist or recreational activity.
                                      21.  •  Evaluate importance of receiving water  in local  and  regional
                                              fisheries.

                                           •  Implement mitigating measures for direct impacts 3, 4 and 7.
                                      22.  •   Give special attention to real or perceived nuisances and aesthetic
                                              impacts in selecting site and technology.

                                           •   Implement mitigating measures for direct impacts 3, 4,  5, 7, 8
                                              and 14.

-------
                                                          Table 10.1. Industrial Hazard Management
                            Potential Negative Impacts
                                                                                                    Mitigating Measures
       Direct

       1. Fires, explosions, emission of toxic gases,  vapors, dust, emission of
          toxic liquids, radiation and various combination of these effects.
                                                                            1.
      Provision of bunkers or blast walls.
      Firewalls/fireproofing of structures.
      Provision of escape routes for employees.
      Provision of safety and emergency training for employees.
      Implementation of emergency procedure on- and off-site.
      Provision of public  alert systems and education of public.
      Planning and training for evacuation.
      Provision of safety buffer zones around the plant boundary.
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2. Explosives: explosion
2. •  Storage and  handling  should be according to the manufacturers
      recommendation.
                                                                                          Special precautions should be taken against theft and fires and during
                                                                                          destruction.
                                                                                          The following general rules should be applied:

                                                                                          •  Lighting in the storage area should be natural or by permissible
                                                                                             lights.

                                                                                          •  Lamps should be vapor proof and switch should be outside the
                                                                                             building.

                                                                                          •  Only tools of wood or other non-metallic material should be used.

                                                                                          •  Cases of explosive should not be piled in stacks more than 6 feet
                                                                                             high.

-------
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                                                      C ; |L  , [   Table       Industrial Hazard Management (continued)
                                                     ! S   =:    ="          " "  l    '   " "
                                                                              i i    i
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                                          Potoitial Negative Impacts
                     Direct (continued)
                    13. Flammable Materials;  fire hazard
   IS:1^? f

                   I 4.  Oxidizing Agents:  fire hazard
                   j
                   J
                                                                                                                        Mitigating Measures
                                                     • Cases of explosives should be stored topside up, so that cartridges   ; i
                                                      are lying flat.                                                   \ ;

                                                     • They should be turned at regular intervals, as this will help to      : !
                                                       prevent their deterioration.                                       |

                                               3. •  Store in places that are cool enough to prevent accidental ignition in   ;
                                                     the event that vapors of the flammable materials mix with the air.     !

                                                  •  Provide adequate ventilation in storage space, so that leakage of such   ! >
                                                     vapors from containers will be diluted enough to prevent a spark from
                                                     igniting them.                                                    : ;

                                                  •  Locate storage area well away from areas of fire hazard (for example,   ; i
                                                     where torch-cutting of metals is to be performed).                   :

                                                  •  Keep apart from powerful oxidizing agents materials that are suscep-   < '
                                                     tible to spontaneous heating (explosive or materials that react with air
                                                     or moisture to evolve heat).

                                                  •  Provide fire-fighting equipment.

                                                  •  Prevent smoking or use  of bare filament heaters.

                                                  •  Storage area must be  electrically grounded and equipped with auto-
                                                     matic smoke or fire detection equipment.

                                               4. •  Store away from liquids of low flash point (flammable).              ;

                                                  •  Keep area cool and ventilated.

-------
                                                    Table 10.1.  Industrial Hazard Management (continued)
                            Potential Negative Impacts
                                                                                                   Mitigating Measures
       Direct (continued)
u>
to
5. Water Sensitive Materials: evolve heat,  flammable gases or explosive
   gases in contact with water, steam or water solution.
   • Keep fuel away.

   • The area should be fireproof.

   • Note:  Normal firefighting  equipment  is  of little use  since  the
     blanketing or smothering effect of fire extinguishers is less effective
     because the oxidizers supply their own oxygen.

5. • Store in dry and cool areas.

   • Because  many of these materials are also flammable, it is essential
     that no automatic sprinkler system be used in the storage area.

   • Such an area should have no water coming to it at all.

   • Heating may be electrical or with hot, dry air.

   • Storage building must be waterproof, located on high ground and
     separated from other storage.

   • Particular attention should be paid to the following:

     • pocketing of light gases under the roof
     • introduction of sources  of ignition
     • periodic inspection
     • automatic detection systems
     • alarms in case of dangerous concentrations of flammable gases

-------
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                                                       Table 10.1.  Industrial Hazard Management (continued) \
                                                                                                            ii!>
                                                                                                                        » rf 1   B:»: II
                                                                                                                      |r -t « .  I |=si|=ii
                                Potential Negative Impacts
                                                                                   Mitigating Measures
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           Direct (continued)

           6. Acid and Acid Fume-Sensitive Materials;  evolve heat, hydrogen and
              flammable and/or explosive gases.
                                                           6.  •  Do not store acids in proximity to such materials (e.g., storing acids >
                                                                 on structural alloys sheds).                                     ! i

                                                               •  If metal is used in construction, it should be painted or otherwise :
                                                                 rendered immune to attack by acid.                              \ "\
                                                                                                                              ; !
                                                               •  Area must be kept cool, ventilated and periodically inspected.      ; ;

                                                               •  Source of ignition must be kept away.                           '
           7. Pressurized Storage of Flammable Fluids:  when subjected to fire can
              cause "Boiling Liquid Expanding Vapor Explosion" (BLEVE).
                                                           7.  •  Tanks should be stored upright and chained or othenvise securely; !
                                                                 attached to some substantial support to minimize the chance of falling ;
                                                                 over and breaking or straining the valve or other part of the tank.    ;

                                                               •  Tank storage area should be kept cool, out of direct rays of sun, and ;
                                                                 away from hot pipes.                                           >

                                                               •  Provide means (sprinkler) of keeping the tanks cool in case of external
                                                                 or internal fire.                                                 ^

                                                               •  Take care to keep from damaging tanks in handling.               ;
                                                                                                                               i
                                                               •  Valves must be operated carefully and kept in good condition.       ;

                                                               •  Do not hammer valve cocks.                                     ;

                                                               •  Discourage tampering with tanks in any way.                     '

-------
                                                 Table 10.1.  Industrial Hazard Management (continued)
                          Potential Negative Impacts
                        Mitigating Measures
    Direct (continued)

    8. Toxic Materials; cause serious danger (death or serious injury to people
       or environment).
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     9. Corrosive Materials: destroy containers, and react to evolve toxic gases
       in contact with substances such as cyanides and arsenides.
8. • Reduction of inventories in storage and in process.

   • Modify process or storage conditions (e.g., store and process toxic
     gases in a large volume of nontoxic carrier  material).

   • Store  hazardous  gas  as a  refrigerated liquid  rather  than  under
     pressure.

   • Improve shutdown and secondary containment which will reduce the
     amount escaping from containment or from site.

   • Automatic shutdown will reduce the amount of material escaping from
     containment:

     • water curtains will restrict gas release.
     • dikes (or bunds) will restrict liquid release.

9. • Keep  storage  or  process  area  cool and ventilated  to  prevent
     accumulation of fumes.

   • Keep containers closed and labeled.

   • Pamt all exposed metal in the vicinity of such storage and check it
     periodically for weakening by corrosion.

   • Keep isolated from materials that would produce highly toxic fumes
     if contacted.

   • Provide instructions for and supply of specific neutralizing agent to be
     used in case of spill, leak or major accident.

-------
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                                                                             Hazard Management (continued)
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                                Potential Negatire Impacts
                                                                                                     Mitigating Measures
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            Occupational health effects on workers due  to  fugitive  dust,
            materials handling, noise, or other process operations.

            Accidents occur at higher than normal frequency because of level
            of skill or labor.
                Regional solid waste problem exacerbated  by inadequate on-site
                storage or lack of ultimate disposal facilities.
         f 12.  Transit  patterns  disrupted, noise  and  congestion  created,  and
         =      pedestrian hazards  aggravated by heavy  trucks transporting  raw
         '» I     materials to/from facility.

         i;
         ,s '
         c ;
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10.   • Facility should implement a Safety and Health Program designed
       .                                                           :«'!
       to:                                                         :*-

       •   identify, evaluate, monitor, and control health hazards       j f:-,
       •   provide safety training                                    ' -^'

                                                                   *
11.   • Plan for adequate on-site disposal areas assuming screening fbr;ij ,
       hazardous characteristics of the leachate is known.
           •'.                                                       i SI!
     • Provide, in design phase, for adequate ultimate disposal facilities.  s| j

12.   • Site selection can mitigate some of these problems.              :  :
                                                                   i lft=: ;
     • Special transportation sector  studies should be prepared during
       project feasibility to select best routes  to reduce impacts.         ; gjj j

     • Transporter regulation and development of emergency contingency Jh
       plans to minimize risk of accidents.
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-------
                                                        Table 10.2. Electric Power Transmission Systems
                             Potential Negative Impacts
                         Mitigating Measures
        Direct
        1.  Vegetation damage, habitat loss, and invasion by exotic species along
           the ROW and access roads and around substation sites.
1. •   Utilize appropriate clearing techniques, (e.g., hand clearing versus
       mechanized clearing).
   •   Maintain native ground cover beneath lines.
   •   Replant disturbed sites.
   •   Manage ROWs to maximize wildlife benefits.
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        2.  Habitat fragmentation or disturbance.
2. •   Select ROW to avoid important natural areas such as wildlands and
       sensitive habitats.
   •   Maintain habitat (i.e., native vegetation) beneath lines.
   •   Make provisions to avoid interfering with natural fire regimes.
        3.   Increased access to wildlands.
3. •   Select ROW to avoid sensitive wildlands.
   •   Develop protection and management plans for these areas.
   •   Use discontinuous maintenance roads.
        4.   Runoff and sedimentation from grading for access roads, tower pads,
            and substation facilities, and alteration of hydrological patterns due to
            maintenance roads.
4. •   Select ROW to avoid impacts to water bodies, floodplains, and
       wetlands.
   •   Install  sediment  traps  or  screens   to  control  runoff  and
       sedimentation.
   •   Minimize use of fill dirt.
   •   Use ample culverts.
   •   Design drainage ditches to avoid affecting nearby lands.

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                                              ial Negative Impacts
                                                                                                                 Measures
                   Direct (continued)
II
            OJ
ON
                   S.  Loss of land use and population relocation due to placement of towers
                       and substations.
       6.  Chemical contamination from chemical maintenance techniques.
                                                                                       Select ROW to avoid important social, agricultural, and cultural
                                                                                       resources.
                                                                                       Utilize alternative tower designs to reduce ROW width requirements
                                                                                       and minimize land use impacts.
                                                                                       Adjust the length of the  span  to  avoid  site-specific  tower pad
                                                                                       impacts.
                                                                                       Manage resettlement in accordance with Bank procedures.
                                                           Utilize mechanical clearing techniques, grazing and/or selective
                                                           chemical applications.
                                                           Select herbicides with minimal undesired effects.
                                                           Do not apply herbicides with broadcast aerial spraying.
                                                           Maintain naturally low-growing vegetation along ROW.
                   7.  Avian hazards from transmission lines and towers.
                                                                                       Select ROW to avoid important bird habitats and flight routes.
                                                                                       Install towers and lines to minimize risk for avian hazards.
                                                                                       Install deflectors on lines in areas with potential for bird collisions.
                    8.  Aircraft hazards from transmission lines and towers.
                                                                                       Select ROW to avoid airport flight paths.
                                                                                       Install markers to minimize risk of low-flying aircraft.
                    9.  Induced effects from electromagnetic fields.
                                                                                9. •   Select ROW to avoid areas of human activity.
il

-------
                                         Table 10.2. Electric Power Transmission Systems (continued)
                     Potential Negative Impacts
                                                                                                   Mitigating Measures
Direct (continued)
10.  Impaired cultural or aesthetic resources because of visual impacts.
Indirect

1.   Induced secondary development during construction in the surrounding
     area.
2.   Increased access to wildlands.
                                                                            10.  •  Select ROW to avoid sensitive areas, including tourist sites and
                                                                                   vistas.
                                                                                •  Construct visual buffers.
                                                                                •  Select appropriate support structure design, materials, and finishes.
                                                                                •  Use lower voltage, DC system, or underground cable to reduce or
                                                                                   eliminate visual impacts of lines, structures, and ROWs.
                                                                           1.   •  Provide comprehensive plans for handling induced development.
                                                                                •  Construct facilities to reduce demand.
                                                                                •  Provide technical  assistance in land use planning and control to
                                                                                   local governments.

                                                                           2.   •  Route ROW away from wildlands.
                                                                                •  Provide access control.

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                                                                              Table 10.3.  Oil and Gas Pipelines
                                           Potential Negative Impacts
                                                                                                     Mitigating Measures
                                                                                                                                                                  ii.
                      Direct
1.    Resuspeosion  of toxic sediments  from  construction of offshore
     pipelines.
                      2.    Interference  with fishing  activities from offshore and nearshore
                            pipelines.
                      3.    Habitat and organism loss along offshore and upland pipeline ROWs
                            and pumping and compressor station sites, and increased access to
                            wildlands.
                      4.    Erosion, runoff, and sedimentation from construction of pipeline,
                            grading for access roads and substation facilities.
                      5.    Alteration of hydrological patterns.
                                                                                                   1. •
                                                                            2.  •
                                                                                •
                                                                            3.  •
                                                                            4.  •
                                                                            5.  •
                                                                                •
                                                                                •
                                                                                                        Select alternate location for laying pipeline.
                                                                                                        Use  alternative  pipeline  construction  techniques to  minimize
                                                                                                        resuspension  of  sediments (e.g., laying pipeline versus burying
                                                                                                        pipeline).
                                                                                                        Lay pipeline at a period of minimal circulation.

                                                                                                        Select pipeline route away from known fishing areas.
                                                                                                        Mark and map location of offshore pipelines.
                                                                                                        Bury pipeline that must be located in critical fishing areas.

                                                                                                        Select ROW to avoid important natural resource areas.
                                                                                                        Utilize appropriate clearing techniques (e.g., hand clearing versus
                                                                                                        mechanized  clearing) along  upland  ROWs to maintain native
                                                                                                        vegetation near pipeline.
                                                                                                        Replant disturbed sites.
                                                                                                        Use alternative construction techniques (see No. 1).

                                                                                                        Select ROW to avoid impacts to water bodies and hilly areas.
                                                                                                        Install   sediment  traps  or   screens  to  control  runoff  and
                                                                                                        sedimentation.
                                                                                                        Use alternative pipeline laying techniques that minimizes impacts.
                                                                                                        Stabilize soils  mechanically   or  chemically  to reduce erosion
                                                                                                        potential.

                                                                                                        Select ROW to avoid wetlands and flood plains.
                                                                                                        Minimize use of fill.
                                                                                                        Design drainage to avoid affecting nearby lands.
                                                                                                                                                                         In
                                                                                                                                                                                 i

-------
                                                          Table 10.3. Oil and Gas Pipelines (continued)
                             Potential Negative Impacts
                                                                                                     Mitigating Measures
        Direct (continued)
u>
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        6.   Evasion of exotic species and habitat fragmentation.
        7.   Loss of land use due to placement of upland pipeline and substations.
                                                                             6.
8.   Creation of barriers for human and wildlife movement.


9.   Increased traffic due to construction.
    i

10.  Chemical contamination from wastes and accidental oil spills.



11.  Hazards from gas pipeline leakage or rupture.
                                                                             7.    •
                                                                                    8.
                                                                                    9.   •
                                                                                    10.
                                                                                    11.
Select corridor and  ROW  to  avoid important wildlands and
sensitive habitats.
Maintain native ground cover (vegetation) above pipeline.
Make provisions to avoid interfering with natural fire regimes.

Select ROW to avoid important social (including agricultural) and
cultural land uses.
Design construction to reduce ROW requirements.
Minimize offsite land use impacts during construction.
For buried pipelines,  restore disturbed land along ROW.

Select ROW to avoid travel routes and wildlife corridors.
Elevate or bury pipeline to allow for movement.

Phase construction activities to control traffic.
Construct alternative traffic routes.

Develop waste and spill prevention and cleanup plans.
Utilize spill containment techniques.
Clean up and restore affected areas.

Clearly mark locations of buried pipelines in high-use areas.
Develop emergency evacuation plans and procedures.
Monitor for leaks.
Install alarms to notify the public of accidents.

-------
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                           Potential Negative Impacts
                                                                                                        Mitigating Measures
          Induced secondary development during construction in the surrounding

          area.
          Increased access to wildlands.
                                                                                 1.  •   Develop comprehensive plan for location of secondary developments;:

                                                                                    •   Construct  facilities and  provide  financial  support to  existing!;

                                                                                       infrastructure.                                                 ;:


                                                                                 2.  •   Develop protection and management plans for these areas.         .1

                                                                                    •   Construction barriers (e.g., fences) to prohibit access to sensitive!

                                                                                       wildlands.                                                     *
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-------
                                  Table 10.4.  Checklist-Offshore Oil and Gas Development


1.   Production

     •    Field:  Size, depth, area, itructure, oil/gas/water ratios, oil type, ga« type($), pressures.

     •    Operations:  Site preparation, welt spacing, itart-up period (production rate, field life, sanitary wastes), pollution control, monitoring, oil spill
          and hydrogen sulfide contingency plans.

     •    Air Emissions:  Emission quantity and, where applicable, composition: venting, flaring, equipment emissions, evaporation from oil spills and
          leakage.

     •    Waste Discharge: Projected quantity and composition; treatment/disposal method (productionwater, sanitary wastes, drilling muds and cuttings,
          oil spill and  leakage).

     •    Landuse: Area of field, port facilities, pipelines.

     •    Equipment:  Type and number of drilling and production platforms and ancillary units, transport of supplies and workers.

     •    Supplies: Drilling muds, pipe, chemicals, water, fuel.

     *    Starling:  Number and skills, source, housing plans.

2.   Environmental  Resources

     •    Geology:  Stratigraphy, structure, fracture patterns, aquifers (depth, thickness and quality, esp. if near shore), bottom character, geologic
          hazards, seismic history.

     •    Oceanography:  Water depths, temperature, mixing, tides and currents, bottom sediments, organic material, particulates, nutrients, salinity,
          contaminants.

     *    Biological:   Coastal habitats (coastal barriers, wetlands, bays, lagoora, estuaries, marshes, mangrove swamps, seagrasses); offshore habitats
          (shelf,  banks, slope, deep sea, reefs); substrate, biota, communities, resident and casual populations, rare or significant species, significant
          habitat.

     •    Climate:  Precipitation patterns  (amount, frequency, type),  air quality, wind and storm patterns (direction, speed, frequency), temperature,
          climatic zone.

3.   Socio-Economic Factors

     •    Nearby communities:  Location, access, population (number, demographic and social characteristics); economy (employment rate, income
          distribution,  tax base); services (types, capacity, adequacy) and housing; concern is the ability to (a) provide workforce, (b) service new
          development and (c) absorb and  adjust to growth (worker/family in-migration).

     •    Land Use:   Intensive  and casual, full time and seasonal, actual and projected, specially designated areas (marine sanctuaries, coral reefs,
          recreational beaches or seashores, parks, refuges, reservations, wilderness), man-made features.

     •    Cultural: Historic sites, archaeologic sites, native religious or harvest sites, ship wrecks.

4.   Regulatory Framework

     •    Applicable environmental laws, regulations, policies,  standards,  and requirements; monitoring and enforcement: air, water, waste, noise,
          reclamation, land use controls and approvals, cultural and historic resource protection.

     •    Designation  and protection of special areas and resources: parks, refuges, wilderness, sensitive ecological communities, threatened species of
          flora and fauna, native communities (including religious sites and harvesting/hunting or subsistence areas).

     •    Authority/willingness to require  special mitigation: community assistance, staged or phased development, isolate development workforce, pre-
          and post-development studies and monitoring (with corrective action in needed), worker training, mass transit of workforce.
                                                             3.2-101

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                                                                 Table 10.5. Oil and Gas Development-Onshore
                                                                                                                                                              Hi I 111 Ji
                                                                  si;;;;: •'  '
                                     Potential Negative Impacts
                        Mitigating Measures
               •Direct

                1,   Disturbance of cultural resources, benthic communities, coral reefs,
               i    coastal barriers, wetlands, pipelines and cables (e.g., anchor dragging,
               ;    bottom sampling, pipeline trenching, drill ship positioning, platform
               !    siting, and so forth).
               2.   Degradation of coastal and offshore waters by discharges during routine
                    operations (e.g., drilling muds, sanitary waters, production waters, and
                    spills).

                                                                                                                                                                    il  I
1. •   Require appropriate resource surveys of the offshore and coastal Si; jj
       areas that may be affected by the project prior to any disturbance, jh u
       Typically this will include:                                     i!;1"

       •  an inventory of cultural and historic resources                in ;
       •  an inventory of the flora and fauna of the region              Si;;
       •  identification of significant topographic features               ; i;;
       •  an inventory of existing offshore pipelines and cables         ,!!;

   •   Mitigation measures  based on  identified resource conflicts may   ,;
       include:                                                       :::!
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                                                                      nil;
       •  avoidance                                                   ; :
       •  timing of operations                                          ;j,
       •  recovering and archiving cultural and historic resources         ;!j
                                                                     ii
2. •   Require separation of cuttings from drilling mud and washing before  ;""'
       discharge.                                                      sji i
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   •   Disposal of drilling muds onshore.                               : ;^
                                                                      Si;
   *   Treatment of formation waters,  sanitary and domestic wastes, and  ! >
       cleaning waters/solvents to meet water quality standards before  j,,
       discharge.                                                       'T

   •   Gutters and  drip  pans,  especially  at transfer points,  to  control
       platform spills.

-------
                                                Table 10.5.  Oil and Gas Development-Offshore (continued)
                           Potential Negative Impacts
                                                                                                    Mitigating Measures
      Direct (continued)
u>
3.  Degradation of air quality from routine operational emissions (e.g.,
    combustion, venting, spills).
      4.  Mortality and/or reduced reproduction of benthic organisms,  coral
          communities, and other marine life through smothering (e.g., disturbed
          bottom sediments, drill muds, cuttings).
      5.  Mortality and/or reduced reproduction of marine  flora and  fauna,
          waterfowl, sea birds and waterfowl through oil coating resulting from
          oil spills.
Water quality standards should be established for all waste water
discharges.

Drill cuttings checked for residual oil before discharge.

Waters in vicinity of platform or drill ship monitored for oil sheen.

Require appropriate pollution control devices installed and operative
on all diesel generators and pumps.

Require hydrocarbon vapor control at all oil or gas transfer points,
and prompt cleanup of any oil spills.

Minimize venting during production.

Prohibit  or  restrict bottom-disturbing activities in vicinity of
significant coral reefs and benthic communities.

Discharged drill cuttings should be shunted to avoid these features.

Spent drilling muds should be barge to shore or discharged well
away  from any significant live bottom communities.

Minimize routine oil spillage through adherence to water quality,
discharge standards, and good housekeeping practices on drill ships,
platforms, shuttle boats, barges and tankers, and at transfer points.

-------
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                                                                                1     I
                                                 Table 10.5. 01 and Gas Development-Offshore (continued)
                                                                                                                                           I!
                                                                                                                                               nBj^=€«
                            Potential Negative Impacts
                                                                                                     Mitigating Measures
      Direct (continued)
u>
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6.  Disturbance of marine mammals by seismic surveys, drilling and ship
    noises.

7.  Degradation of beach areas, coastal facilities, and boats by oil spills and
    littering  (e.g., coating, tar balls, trash and  debris from  offshore
    facilities and transport).
       8.   Obstruction of boat traffic by offshore facilities.

       9.   Loss or reduction of fishing areas and recreation sites.
       10.  Degradation of sea-ward  vista  (by siting of  drilling  ships and
           platforms).
     •  Prompt detection and effective response to any operational orj
        catastrophic spills.                                            j

     •  Provision for treatment facilities for any oiled birds or aquatic;
        mammals.
                                                                     i
                                                                     i
6.   Prohibit  use of explosives  during presence  of sensitive marine'
     mammals.                                                       *
                                                                                    7.   •  Solid waste disposal requirements, including sanitary and domestic
                                                                                           wastes.
                                                                                  •  Require labeling of all loose materials and equipment on vessels and S
                                                                                     platforms (especially barrels, boxes, etc.).                      5
                                                                                                                                                  i
                                                                             8.   Do not site platforms in established shipping lanes.                 S
                                                                                                                                                  B
                                                                             9.   Do not site platforms in significant fishing or water-oriented recreation 4
                                                                                  areas.                                                           i
                                                                                                                                                   %
                                                                                                                                                  i
                                                                             10.  •  Paint structures to blend with background (water and sky).       :
                                                                                           Camouflage structures (however,  reducing the visibility of drill
                                                                                           ships or platforms may increase navigation hazards).

                                                                                           Use subsurface or bottom production units where feasible.

-------
                                            Table 10.5. Oil and Gas Development-Offshore (continued)
                      Potential Negative Impacts
                         Mitigating Measures
Direct (continued)
11.  Congestion  and increased boating  accidents in  the  coastal (from
     increased ship traffic).
      12.  Disturbance to humans and wildlife by increased noise levels in coastal
           area from aircraft overflights, ship traffic, and facility operations.

OJ    13.  Loss of beach areas to pipeline landfalls and support facilities (e.g.,
to         land use, impact of spill cleanup activities, use of dispersants, traffic,
>-•         disturbance from cleaning activities, and soil contamination).

      14.  Injury/loss of  life from  accidents  in transportation and  facility
           operations.
11.  •  Establish and publicize sea-lanes for shuttle traffic.

     •  When possible, avoid areas of heavy recreational or fishing boat
        use.

12.  Minimize overflights of populated areas.
                                                                              13.  Avoid heavily-used recreational beaches.
                                                                              14.  •  Periodic training and continual safety reminders to all operating
                                                                                      staff.

                                                                                   •  Require periodic drills in emergency procedures.

                                                                                   •  Ensure  that  all visitors are  briefed  on  potential  hazards  and
                                                                                      necessary safety precautions.

                                                                                   •  Ensure that appropriate safety and rescue equipment is available
                                                                                      and employees trained in its use.

                                                                                   •  Install safety valves and alarms in subsurgace well-completion
                                                                                      systems, with monitoring  at  production platforms  and onshore
                                                                                      location.

-------
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                           Potential Negative Impacts
                                                                                              Mitigating Measures
             (continued)
15. Contamination of groundwater aquifers (e.g., wells).
                                                                              15.  • Require proper drilling practices, casing, and  sealing off all
                                                                                     aquifers during drilling.
u>     16.  Increased demands on community facilities and services in the coastal
           area.
   °
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                                                                            • Ensure  that all aquifers are properly sealed off prior to well
                                                                              completion or abandonment.

                                                                       16.  • Require pre-development, socio-economic studies of potentially
                                                                              affected communities to identify possible impacts on services,
                                                                              infrastructure, dislocations, and conflicts.

                                                                            • These impacts can be addressed by:

                                                                              •   community assistance grants
                                                                              •   loans
                                                                              •   pre-payment of taxes
                                                                              •   phasing the oil and gas development
                                                                              •   constructing needed community facilities

                                                                            • Cooperative and open working relations should be established early
                                                                              with local communities and maintained throughout the life of the
                                                                              project.

                                                                            • Project workers should be encouraged to participate in community
                                                                              affairs.
   lip

-------
                                               Table 10.5. Oil and Gas Development-Offshore (continued)
                          Potential Negative Impacts
                        Mitigating Measures
     Direct (continued)
     17.  Conflicts with native cultures, traditions, and life-styles.
t—*
o
17.  •  Brief all employees to ensure awareness of and sensitivity to the
        local cultures, traditions, and lifestyles.

     •  Ensure that native leaders are aware of the projected activities, are
        assisted in identifying impacts that may be of particular concern to
        them, and have a voice in appropriate mitigation measures.

     •  Mitigation may include isolating the development work force from
        the native community.

-------
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                                                Table 10.6.  Checklist-Onshore Oil and Gas Development
                       Production Zone(s):  Reserves, depth, area, structure, oil/gas/water ratios, oil type, gas type(s), pressures.

                       Operations: Site preparation, well spacing, start-up period (production rate, product transportation, field life, waste sanitary wastes), pollution
                       control, monitoring,  spill response and reclamation plans.

                       Air Emissions:  Emission quantity and, where applicable, composition: dust, venting, flaring, waste pit burning, combustion, equipment
                       emiuions, oil spills and leakage.

                       Waste Water Discharge: Projected quantity and composition; treatment/disposal method (production water, sanitary wastes).

                       Services:  Utilities (type, source, load), roads, airfields, rail, fire protection, security.

                       Landuse:  Area of field, transportation and utility routes, pipelines, buildings and structures (at field and stations along pipeline).

                       Equipment: Type and number for site preparation, drilling, production, transportation, waste water separations and disposal, waste haulage
                       pumping, reclamation, transport of supplies and workers.

                       Supplies!  Drilling muds, pipe, chemicals, water, fuel.

                       Staffing:  Construction, production, reclamation phases, number and skills, source, housing plans.

                                   Resources
                       Geology: Stratigraphy, structure, fracture patterns, seismic history.

                       Crouadwater: Depth to and thickness of aquifers, quality and quantity, hydraulics, recharge, uses.
                       Surface Water: Quality, quantity, seasonal variations, uses.
                      mini  HI in  in limn iiiiiiiii   in ill i liii  liii   in in  i iiiiii i  i in     i     i  n
                       Soil:  Soil profile (depth, type, characteristics).
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-------
                                                  Table 10.7.  Oil and Gas Development-Onshore (continued)
                             Potential Negative Impacts
                                                                                                   Mitigating Measures
OJ
to
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VO
        Direct (continued)
3. Degradation of air quality from routine operational emissions.
        4.  Mortality and Sliced reproduction of wildlife from habitat disturbance
            or loss, road lolls, and hunting.
         5.  Modification of vegetation and introduction of non-native species.
   • Treatment of sanitary/domestic wastes and cleaning waters/solvents.
     to meet water quality standards before discharge.

   • Prompt cleanup of any spills (oil, drilling mud, formation water).

   • Water quality standards should be established for all  waste  water
     discharges.

3. • Require appropriate pollution control devices on diesel generators and
     pumps, and hydrocarbon vapor control at all oil or  gas  transfer
     points.

   • Require prompt cleanup of any oil spills.

   • Minimize venting during production.

4. • Prohibit or restrict disturbance of significant habitat and wetlands.

   • Mark wildlife road crossings.

   • Prohibit firearms possession in the area.

5. Require prompt reclamation of disturbed areas and revegetation with
   native species.

-------
                                                   ill!    I
                                                       "it     l

                                                    I
                                                                     Table 10.7. Oil and Gas Development-Onshore
           rj-^sf -- -  -
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        =7__' ^-__-= -H»E- I :


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-------
                                                 Table 10.7.  Oil and Gas Development-Onshore (continued)
                           Potential Negative Impacts
                        Mitigating Measures
OJ
k>
      Direct (continued)

      6.  Degradation/loss of vegetation (and soil productivity) from discharge or
          spills of produced waters, oil, and drilling muds.
      7.  Land-use conflicts.
       9.  Road damage, accidents, and traffic delays from increased truck traffic
          on local roads.
6. •  Require blow-out preventers and control and prompt cleanup of oil
      and formation water spillage.

   •  Keep soil disturbance and vegetation clearing to minimum required for
      operation and safety.

7. •  Consult with local land users in siting access, air fields, utility lines,
      and, to extent possible, production facilities.

   •  Allow other land uses to continue on the site where compatible with
      the operations.

8. «  Access remote areas by air during early exploration stage.

   •  Restrict use of access roads.

   •  Remove and reclaim any access roads at end of production.

   •  Minimize need for community development by rotating work crews
      and precluding permanent residence.

9. •  Observe road load limits.

   •  Design roads for adequate capacity and visibility.

   •  Ensure that roads are properly signed, vehicles are well-maintained,
      and drivers are trained and safety-conscious.

   •  Require that commuting workers car-pool or provide buses.

-------
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                                ; ^; i                    Tite 10.7.  Oil and Gas Deveiopment-Onshore (continued)
                                                                i              ii            ;
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-111
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                II
                                          Potential Negative Impacts
                                                                                                                    Mitigating Measures
 Ill
 it
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           : K   Direct (continued)
           - -ijt ==p=

       «   ii£:   10. • Visual intrusions from wells, tanks, and production facilities.
       c !     i*'
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       L   |i*i iS:    • Cleared linear rights-of-way for pipelines, utilities, and roads, and

w,h  -,,f   .^M-      processing facilities.
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         ;]7 ^      11. Disturbance of humans and wildlife by noise from seismic surveys,
         '!«!: i»ia SB Jy    drilling, pumping, and processing facilities.
         it if a—*    —j
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                i jjj  13. Injury/loss of life from accidents.
                                                                                                 10. •  Paint structures to blend with background (vegetation and sky).

                                                                                                     •  Avoid contrasting colors.

                                                                                                     •  Utilize utility corridors.

                                                                                                     •  Minimize clearing and blend vegetation where feasible.

                                                                                                 11. •  Avoid seismic shots, low overflights, and other sudden loud noises
                                                                                                       in critical wildlife areas, especially during mating or nesting season.

                                                                                                     •  Require proper mufflers on diesel equipment.

                                                                                                 12. •  Minimize surface area and number of sludge pits,  and  require that
                                                                                                       they be promptly drained, closed, or covered (with netting) when not
                                                                                                       in use.

                                                                                                 13. •  Periodic training and continual safety reminders to all operating staff.

                                                                                                     •  Require periodic drills in emergency procedures.

                                                                                                     •  Ensure that all visitors are briefed on potential hazards and necessary
                                                                                                       safety precautions.

                                                                                                     •  Ensure that appropriate safety and rescue equipment is available and
                                                                                                       employees trained in its use.

                                                                                                     •  Install subsurface safety valves on gas producing wells.
 •iii

-------

                                                Table 10.7.  Oil and Gas Development-Onshore (continued)
                           Potential Negative Impacts
                        Mitigating Measures
      Direct (continued)

      14. Contamination of groundwater aquifers.
OJ
to    15. Increased demands on services and facilities in local communities,
>—        social and cultural conflicts, concern with community stability (boom
u>        and bust scenario).
14. •  Require proper drilling practices, casing and sealing off all aquifers
      during drilling.

    •  Ensure  that all  aquifers  are  properly  sealed  off prior  to  well
      completion or abandonment.

    •  Line all mud storage and waste fluid pits.

IS. •  Require  pre-development, socio-economic study  of potentially
      affected  communities  to  identify possible impacts on  services,
      infrastructure, dislocations, and conflicts.

    •  These impacts can be addressed by:

      • community assistance grants
      • loans
      • pre-payment of taxes
      • phasing the oil and gas development
      • constructing needed community facilities

    •  Cooperative and  open working relations should be established early
      with local communities and maintained throughout the life of the
      project.

    •  Project workers should be encouraged to participate in community
      affairs.

-------
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                                                            Table 10.7. Oil and Gas Development-Onshore (continued)       !I!B I
                                                                       1                                    I     :
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                                      Potential Negative Impacts
              i"
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                 Direct (continued)
                !

                i 16. Conflicts with native cultures, traditions, and life-styles.
                 17. Subsidence of land surface.


                 18. Use of local surface water or groundwater.
                                                                                                                                     liiiiili  iiii!
                                                                                                                    Mitigating Measures
                                                                                             16. •  Brief all employees to ensure awareness of and sensitivity to the local
                                                                                                   cultures, traditions, and lifestyles.                               :

                                                                                                •  Ensure that native leaders are aware of the projected activities, are
                                                                                                   assisted in identifying impacts that may be of particular concern to
                                                                                                   them,  and have a voice in appropriate mitigation measures.

                                                                                                •  Mitigation may include isolating the development work force from
                                                                                                   the native community.

                                                                                             17. Re-injection of produced formation water and injection of additional
                                                                                                water to  replace volume of oil removed.

                                                                                             18. •  Obtain water from unutilized aquifers.

                                                                                                •  Non-potable water can be used for drilling, sprinkling roads, and
                                                                                                   irrigating.
        jl

-------
                                                             Table 10.8.  Hydroelectric Projects
                           Potential Negative Impacts
                                                                                                      Mitigating Measures
u>
to
Direct

1. •  Negative environmental effects of construction:

      •  air and water pollution from construction and waste disposal
      •  soil erosion
      •  destruction of vegetation
      •  sanitary and health problems from construction camps


2. Dislocation of people living in inundation zone.
      3.  Loss of land (agricultural, forest, range, wetlands) by inundation to form
         reservoir.
      4.  Loss of historic, cultural or aesthetic features by inundation.
1. •  Measures to minimize impacts:

      •  air and water pollution control
      •  careful location of camps,  buildings, borrow pits, quarries, spoil
        and disposal sites
      •  precautions to minimize erosion
      •  land reclamation

2. •  Relocation of people to suitable area.

   •  Provision of compensation in kind for resources lost.

   •  Provision of adequate health services, infrastructure, and employment
      opportunities.

3. •  Siting of dam to decrease losses.

   •  Decrease of dam and reservoir size.

   •  Protection of equal areas in region to offset losses.

   •  Creation of useable  land  in previously unsuitable areas to offset
                                                                             4. •  Siting of dam or decrease of reservoir size to avoid loss.

                                                                                •  Salvage or protection of cultural properties.

-------


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                                                                 Table 10.8. Hydroelectric Projects;               j j;
                                                                                                                 jl!   !
               :i;I
                                                             Ii
                                     Potential Negative Impacts
                                                                                                                    Mitigating Measures

                 Direct (continued)

                 5.  Loss of wildlands and wildlife habitat.
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                6.   Proliferation of aquatic weeds in reservoir and downstream impairing
             I;1!     dam discharge, irrigation systems, navigation and fisheries  and
             ;;^     increasing water loss through transpiration.
            liiki
             ill 7.   Deterioration of water quality in reservoir.
                                                                                            5. •
                                                                                                  Siting of dam or decrease of reservoir size to avoid/minimize loss.!

                                                                                                  Establishment of compensatory parks or reserved areas.          j

                                                                                                  Animal rescue and relocation.                                  :
                                                                                            6.
                                                                                            7.  •
                                                                                                    Clearance of woody vegetation  from  inundation zone  prior to
                                                                                                    flooding (nutrient removal).

                                                                                                    Weed control measures.

                                                                                                    Harvest of weeds for compost, fodder or biogas.

                                                                                                    Regulation of water discharge and manipulation of water  levels to
                                                                                                    discourage weed growth.

                                                                                                    Clearance of woody vegetation  from inundation zone  prior to
                                                                                                    flooding.

                                                                                                    Control of  land uses,  wastewater  discharges,  and  agricultural
                                                                                                    chemical  use in watershed.

                                                                                                    Limit retention time of water in reservoir.

                                                                                                    Provision for multi-level releases to avoid discharge of anoxic water.

-------
                                                          Table 10.8. Hydroelectric Projects (continued)
                              Potential Negative Impacts
                         Mitigating Measures
to
t—*
>—*
o
         Direct (continued)

         8.  Sedimentation of reservoir and loss of storage capacity.
         9.  Formation of sediment deposits at reservoir entrance creating backwater
             effect and flooding and waterlogging upstream.

          10. Scouring of riverbed below dam.
8.  •  Control  of  land use  in watershed (especially  prevention  of
       conversion of forests to agriculture).

    •  Reforestation and/or soil conservation activities  in  watersheds
       (limited affect).

    •  Hydraulic removal  of sediments (flushing, sluicing, release  of
       density currents).

    •  Operation of reservoir to minimize sedimentation (entails loss of
       power benefits).

9.  Sediment flushing, sluicing.
10. Design of trap efficiency and sediment release (e.g., sediment flushing,
    sluicing) to increase salt content of released water.
          11. pecrease in floodplain (recession) agriculture.


          12. Salinization of floodplain lands.

          13. Salt water intrusion in estuary and upstream.
11. Regulation of dam releases to partially replicate  natural flooding
    regime.

12. Regulation of flow to minimize effect.

13. Maintenance of at least minimum flow to prevent intrusion.

-------
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                                         Potential Negative Impacts
                                                                  Mitigating Measures
                 11   Direct (continued)

             ^ !  • i




                 I i   14.  Disruption of riverine fisheries due to changes in flow, blocking of fish

  | i^; | j       i _', \       migration, and changes in water quality and limnology.

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    •i:  I i         •:  15.  Snagging of fishing nets in submerged vegetation in reservoir.

   W  i;         i|
  Iti:  J^    *fe  n-  16.  Increase of water-related diseases.
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    |i  Ij          i •
    ||i j|  jniji    |I  17. Conflicting demands for water use.
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           j! SIj    ;!  18. Social disruption and decrease in standard of living of resettled people.
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                                           14. • Maintenance of at least minimum flow for fisheries.



                                               • Provision of fish ladders and other means of passage.



                                               • Protection of spawning grounds.



                                               • Aquaculture and development of reservoir fisheries in compensation.



                                           IS. Selective clearance of vegetation before flooding.



                                           16. • Design and operation of dam to decrease habitat for vector.



                                               • Vector control.



                                               • Disease prophylaxis and treatment.



                                           17. • Planning  and  management  of  dam  in  context  of  regional

                                                 development plans.



                                               • Equitable allocations of water between large and  small holders and

                                                 between geographic regions of valley.



                                           18.* Maintenance of standard of living by ensuring access to resources at

                                                 least equalling those lost.



                                               • Provision of health and social services.

-------
                                                  Table 10.8. Hydroelectric Projects (continued)
                     Potential Negative Impacts
                         Mitigating Measures
Direct (continued)

19. Environmental degradation from increased pressure on land.
20. Disruption/destruction of tribal/indigenous groups.
21. Increase in humidity and fog locally, creating favorable habitat for
    insect disease vectors (mosquitos, tsetse).
19. •  Choice of resettlement site to avoid surpassing carrying capacity of
       the land.

    •  Increase of  productivity or improve management of land  (agri-
       cultural, range,  forestry improvements) to  accommodate  higher
       population.

20. Avoid dislocation of unacculturated people and where not possible,
    relocate in area allowing them to retain lifestyle and customs.

21. Vector control.
Indirect

22. Uncontrolled migration of people into the area made possible by access
    roads and transmission lines.

23.'Environmental problems  arising from development made possible by
    dam (irrigated agriculture, industries, municipal growth).
22. Limitation of access, provision of rural development, and health
    services to try to minimize impact.

23. Basin-wide integrated planning to avoid overuse, misuse,  and con-
    flicting uses of water and land resources.
External

24. Poor land use practices in catchment areas above reservoir resulting in
    increased siltation and changes in water quality.
24. Land use planning efforts which include watershed areas above dam.

-------
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                                                                    Table 10.9. Themodectric Projects
                                                                                                                    II
I   IS
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                                    Potential Negatirc Impacts
                                                                                                               Mitigating Measures
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               I!-
               II1. Air emission effects to human health, agriculture,
     ;: "'^'v  :;   and vegetation.
                                                                and native wildlife
||
     I:is3£?!fi; ! 2. Increased noise and vibration.
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 s|l .;» agLio i : 3. Change in surface water and groundwater quality.
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                 4.  Toxic effects of chemical discharges and spills.
                 S.  Thermal shock to aquatic organisms.
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                                                                                                                                                       is;
                                                                                        2. •
                                                                                        3. •
                                                                                             Locate facility away from sensitive air quality receptors.
                                                                                             Design higher stacks to reduce ground level concentrations.
                                                                                             Use cleaner fuels (e.g., low sulfur coal).
                                                                                             Install air pollution control equipment.
                                                                                             Use lower rated equipment.                                  ]|;
                                                                                             Control the timing of noise and vibration to least disruptive periods.
                                                                                             Install noise barriers.                                        !>
                                                                                             Treat discharges chemically or mechanically on-site.
                                                                                             Prevent groundwater contamination through use of liners.
                                                                                             Use deep well injection below potable zones.
                                                                                             Construct liners for ponds and solid waste disposal areas.
                                                                                             Dilute effluent at point of discharge.
                                                                                                                                                       it,
                                                                                       4. •
                                                                                        5. •
                                                                                           •
                                                                                  Develop spill prevention plans.
                                                                                  Develop  traps  and containment
                                                                                  discharges on-site.
                                                                                                                            systems  and chemically
                                                                                                                                                   treat
                                                                                                                                                       |L
                                                                                             Use alternative heat dissipation design (e.g., closed cycle cooling), if;
                                                                                             Dilute thermal condition by discharging water into larger receiving
                                                                                             water body.                                                ^ \  \
                                                                                             Install mechanical diffusers.                                  :>:  ;
                                                                                             Cool water on-site in holding pond prior to discharge.            ;;  :
                                                                                             Explore opportunities to use waste heat.                        :j|;  ;
                                                                                                                                                       Mliiiii!
                                                                                                                                                       11 ! !!,,,!,

-------
                                                       Table 10.9.  Thermoelectric Projects (continued)
                           Potential Negative Impacts
                                                                                                      Mitigating Measures
      Direct (continued)
U)
N)
i—'
N)
6.   Entrainment and impingement of aquatic organisms.


7.   Change in surface water and groundwater quantity.

8.   Change in surface water flow and discharge.

9.   Vegetation removal and habitat loss.



10.  Dredging and filling of wetlands.


11.  Avian hazards from stacks, towers, and transmission lines.


12.  Human population displacement.




13.  Disruption of traffic.
6.  •  Select water intake in area that avoids significant impact.
    •  Install screens to eliminate entrainment and impingement.

7.  •  Develop water recycling plan.

8.  •  Construct drainage ways and holding ponds on-site.

9.  •  Select alternative site or site layout to  avoid  loss of ecological
       resources.
    •  Restore or create similar vegetation or habitats.

10. •  Select alternative site or site layout to avoid loss of wetlands.
    •  Restore or create similar wetlands.

11. •  Site stacks and tower away  from flyways.
    •  Install deflectors, lights, and other visible features.

12. •  Select alternative site or site layout to avoid displacement.
    •  Involve affected parties in the resettlement planning and program.
    •  Construct  socially  and  culturally acceptable  settlements/infra-
       structure development (see "Involuntary Resettlement" section).

13. •  Develop traffic plan that includes phasing road use by workers.
    •  Upgrade roads and intersections.

-------
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                                                                  Table 10.9.; Thermoelectric Projects (continued);
                                                                                                                             f!
                                                                                                                             II
                                                                                                                                             i f
                                                          r
                                         Potential Negative Impacts
                                                                                                                    Mitigating Measures
                     Direct (continued)
                     14.   Modification of historically or archaeologically significant structures
                          or lands (e.g., churches, temples, mosques, cemeteries).
              oj     IS.   Visual impact on historical, archaeological, and cultural resources and
              ^          on landscapes.
  H(    I  K
                     16.   Worker exposure to dust from ash and coal.
ail
                     17.   Worker exposure to toxic gases leaking from broilers.
                     18.  Worker exposure to excessive noise.
  ;=1    _
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  H>    •
                                                                                             14.  •   Select alternative site or site layout.
                                                                                                 •   Develop and  implement  "chance find" procedures  to recover,
                                                                                                    relocate or restore structures (see "Cultural Property" section for
                                                                                                    detailed discussion).
                                                                                                 •   Fence or construct other barriers to protect structures  or lands.
                                                                                             IS.  •   Select alternative site or site layout.
                                                                                                 •   Construct visual buffers (e.g., plant trees).
                                                                                             16.  •   Provide dust collector equipment.
                                                                                                 •   Maintain dust levels :£ 10 mg/m3.
                                                                                                 •   Monitor for free silica content.
                                                                                                 •   Provide dust masks when levels are exceeded.
                                                                                                                                                                     I j
                                                                                            17. •  Maintain boilers properly.
                                                                                                •  Monitor concentrations with levels not to exceed:

                                                                                                      SO2 S ppm
                                                                                                      CO  50 ppm
                                                                                                      NO2 5 ppm

                                                                                            18. •  Maintain noise levels below 90 dBA, or provide ear protection.
                                                                                                                                                               _
                                                                                                                                                                       •
                                                                                                                                                                       i

-------
                                                      Table 10.9. Thermoelectric Projects (continued)
                           Potential Negative Impacts
                                                                                                   Mitigating Measures
      Indirect
U)
K)
1.   Induced secondary  development  including  increased demands  on
    infrastructure.
      2.  Changes in demographic patterns and disruption of social and cultural
          values and patterns.
1. •  Provide infrastructure plan and  financial support for increased
      demands.
   •  Construct facilities to reduce demands.

2. •  Develop plan to educate workers on sensitive values and patterns.
   •  Provide behavioral and/or psychological readjustment programs and
      services.

-------

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                                          Potential Negative Impacts
                                                                                                                    Mitigating Measures
           s „,

                   Direct: Site Selection

                   1.  Siting of plant on/near sensitive habitats such as mangroves, estuaries,
                       wetlands, coral reefs.
                   i
      «;«
         ss;«Mfe  ;
                  :

     ^i  ^ W    i»
  !!li
                     2.   Siting along water courses causing their eventual degradation.
  N^SHjiiil!^
i

                 i
                     3.  Siting can cause serious air pollution problems for local area.
                     4.  Siting can aggravate solid waste problems in an area.
               ,
               i
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               i  i
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                     Direct: Plant Operation

                     5.  • Water pollution  from discharge  of liquid effluents  and process
                           cooling water or runoff from waste piles.
                I
                                                                                            1.  •  Locate plant in industrially zoned area, if possible, to minimize or
                                                                                                  concentrate the stress on local environmental services and to facilitate
                                                                                                  the monitoring of discharges.

                                                                                               •  Integrate site  selection process with natural resource agencies to
                                                                                                  review alternatives.

                                                                                            2.  •  Site  selection  process should examine alternatives  that minimize
                                                                                                  environmental effects and not preclude beneficial use of the water
                                                                                                  body.

                                                                                               •  Plants with liquid discharges should only be located on a watercourse
                                                                                                  having adequate waste-absorbing capacity.

                                                                                            3.  Locate in an area  not subject to air inversions or trapping of pollutants,
                                                                                               and where prevailing winds are towards relatively unpopulated areas.

                                                                                            4.  •  Site selection should evaluate the location according to the following
                                                                                                  guidelines:

                                                                                                  •  plot size sufficient to landfill or dispose on-site
                                                                                                  •  proximity to suitable disposal site
                                                                                                  •  convenient for public/private contractors to collect and haul      i
                                                                                                     solid wastes for final disposal                                 \
                                                                                            5.  •  Laboratory analyst of liquid effluent should include TDS, TSS,
                                                                                                  salts, alkalinity, patassium, sulfates, mid in-situ pH temperature
                                                                                                  monitoring.
                                                                                                                                                                               Ii



-------
                                                            Table 10.10. Cement (continued)
                          Potential Negative Impacts
                    Mitigating Measures
      Direct:  Plant Operation (continued)
               Plant: Total Suspended Solids (TSS), Total Dissolved  Solids
               (TDS), temperature, pH

               Materials storage piles runoff: TSS, pH
 )
>—>
N)
All Plants
•  No cooling water discharge.  If recycling not feasible, discharge
   cooling water provided receiving water temperature does not rise
   >3°C.
•  No discharge of slurry tank wash or spills.
•  Maintain pH level of effluent discharge between 6.0 and 9.0.

Non-Leaching Plants
•  TSS <5 g/ton product
•  TDS no greater than levels of water incoming to plant

Leaching Plants
•  TSS < 150 g/ton product
•  TDS < 1.5 kg/ton product

Material Storage  Piles
•  Minimize rainfall allowed to percolate  through piles and runoff in
   uncontrolled fashion.

•  Line storage areas.

Equipment Washing. Road Washing. Other Washing
•  < ISO g/ton product during equipment cleaning operations or during
   periods of rainfall.
•  Plant  housekeeping procedures must  reflect  desired  level  of
   mitigation.

-------
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                                                              TaWc 10.10.;  Cement (continued)
                                                                                                                                                                   g.     ^
                                                                                                                                                                   *! 5   Id:
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                                                                                                                                                                   "
                                   Potential Negative Impacts
                                                                                                           Milignd'ug Measures
   = Direct:  Plant Operation (continued)

   f 6.  Parlictilale emissions to the atmosphere from nil plant operations,
   =     crushing, material handling, kilns, clinker coolers.
to
H~>
to  -
              7.   Pniticulate emission from ground sources (fugitive dust particulates),
                  roads, piles.
             i 8.  Kiln gaseous emission of SOX to me atmosphere from fuel burning.
                                                                      Mill
6. •  Control particulates by fabric filter collectors.               '      .
   •  Control kiln particulale emissions by electrostatic prccipitalor dust |
      collectors, with moisture conditioning required for dry  process I
      operations.                                                     ,
   •  Control particulars on dry basis as follows:                      !

    '  •  from kiln, 150 g/ton feed
      •  from clinker cooler, 50 g/lon feed
      •  ground level outside plant fence, 80 /tg/in1
      •  slack discharge, 100 /(g/ni3

7. •  Control measures include:

      •  road treatment
      •  water spray on piles
      •  use of industrial vacuum cleaner
      •  limit speed to 20 kni/lir

 8. •  Control  by  natural  scrubbing action  of  alkaline materials  and
      enhanced by utilization of preheater kilns, and use of exhaust gases
      to dry raw materials in grinding.

   •  An analysis  of raw materials during feasibility stage of project can
      determine levels of sulfur  to properly  design emission  control
      equipment.

      Inside plant fence
      •  Annual arithmetic mean: 100 /ig/nr1
      •  Maximum 24 hour peak: 1000 /«g/m'
                                                                                                                                                                          I) I
                                                                                                                                                                          ill
                                                                                                                                                                    • iti

-------
                                                            Table 10.10.  Cement (continued)
                          Potential Negative Impacts
                                          Mitigating Measures
     Direct: Plant Operation (continued)
     9.  Kiln gaseous emissions of NO, to the atmosphere from fuel burning.
U)
to   10. Air  pollution  during  start-up of  the kiln (and  the  electrostatic
         precipitator is not available).

     11. Air pollution as a result of electrostatic malfunction.
                                                                                       Outside plant fence

                                                                                       •  Annual arithmetic mean: 100 /tg/m3
                                                                                       •  Maximum 24 hour peak:
                  9.  •  Reduce NOX by use of coal fuel and preheater/precalciner kilns.

                      •  Use of vegetative material or chemical wastes from other local
                         industries should be  carefully reviewed  since these fuels  may
                         increase NOX releases  to the atmosphere.

                  10.  Where possible, conduct start-up when wind direction is not directed
                       to ecologically sensitive or populated areas.

                  11.  •  Design precipitator with parallel chambers to enable the use of one
                         part of the precipitator when the other is under repair.

                       •  Enforce kirn shut-down when precipitator is completely out-of-order.
     12.  •  Burning hazardous wastes or waste oils as supplemental fuels could
            emit toxic air pollutants as products of incomplete combustion and
            metals such as lead to the atmosphere.
            Handling and storage of hazardous
            and environment.
community
12.  •  Although studies have shown that most  organic  materials are
       destroyed at an efficiency of 99.99 percent and metals are adsorbed
       to cement dust that is collected by the air pollution control system.

    •  Care must be exercised to ensure that (a) hazardous waste and waste
       oils are analyzed before approval for burning, and (b) kirn operating
       efficiency is maintained.

-------

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                                                                                                                                          I       1
                           Potential Negative Impacts
                                                                                             Mitigating Measures
      Direct: Plant Operation (continued)
U)
00
      13.  Surface runoff of constituents leached from kiln dust, raw materials,
           clinker, coal and other substances frequently stored in piles on the
           facility grounds can pollute surface waters or percolate to ground
           waters.
      Indirect

      14.  •  Occupational health  effects on workers  due to  fugitive dust,
              materials handling or other process operations.

           •  Accidents occur at higher than normal frequency because of level
              of skill or labor.
  ;t j  IS.  Regional  solid waste  problem  exacerbated  by inadequate on-site
  -  •      storage.
  :J *
                                                                        •  Add the waste at the "hot" end of the kirn.

                                                                        •  Develop hazardous waste handling procedures and contingency plans
                                                                           (see "Hazardous Materials Management" section).

                                                                     13. • Rainwater percolation and runoff from solid materials, fuel and waste
                                                                           piles can be controlled by covering and/or containment to prevent
                                                                           percolation and runoff to ground and surface waters.

                                                                         • Diked areas should be of sufficient size to contain an average 24 hour
                                                                           rainfall.
                                                                     14. • Facility should implement a Safety and Health Program designed to:

                                                                           •  identify, evaluate, monitor, and control safety and health hazards
                                                                              at a specific level of detail
                                                                           •  address the hazards to worker health and safety
                                                                           •  propose procedures for employee protection
                                                                           •  provide safety training

                                                                     IS. • Plan for adequate on-site disposal areas or use of kiln dust or other
                                                                           by-products as local fill material, assuming screening for hazardous
                                                                           characteristics of the leachate is known.

                                                                         • Use kiln dust for soil  liming,  neutralizing  acid  or stabilizing
                                                                           hazardous waste.

-------
                                                               Table 10.10.  Cement (continued)
                             Potential Negative Impacts
                        Mitigating Measures
OJ
K)
i—i
K)
       Indirect (continued)

       16. Transit patterns disrupted, noise and congestion created, and pedestrian
           hazards aggravated by heavy trucks transporting raw materials, fuel or
           cement to/from facility.
        17. Mining of limestone locally to provision cement  facility can create
           conflicts with other industries,  such as housing and construction, that
           rely on some similar resources and can aggravate erosion/sedimentation
           of water courses by uncontrolled or unrestricted operations.
16. •  Site selection can mitigate some of these problems.

    •  Special transportation sector studies  should  be prepared during
       project feasibility to select best routes to reduce impacts.

    •  Transporter regulation and development of emergency contingency
       plans to minimize risk of accidents during transport of waste fuels.

17. •  Plan for limestone resource usage  to  fit availability and impose
       restrictions on manner of quarrying.

    •  Coordination with responsible agency-in-charge to examine  site
       reclamation options once facility is de-commissioned.
                                                                                           Provide plan for limestone mine restoration.

-------
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                                         Potential Negative Impacts
                                                                                                                 Mitigating Measures
                                                                                                                                                  i
                                                                                                                                              iill
                                                                                                                                              ill!  1
            :-'Si li: Direct:  Site Selection
            Wfii i
                                                                                                                                                          i».
                  1.  Siting of plant on/near sensitive habitats such as mangroves, estuaries,        1.  •  Locate plants in industrially zoned area, if possible, to minimize orj^J,   j
                      wetlands, coral reefs.                                                        concentrate the  stress on local environmental  services  and to       1
    !'!    wetlands, coral reefs.
SN:
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                  2.  Siting along water courses causing their eventual degradation.
         «tf
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                     3.  Siting can cause serious air pollution problems for local area.
                     4.  Siting can aggravate solid waste problems in an area.
  !i!»  m
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         m

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concentrate the stress on local environmental  services and to ]' > [
facilitate the monitoring of discharges.                          1 ==

Involve natural resource agencies in site selection process to review ~  ^
alternatives.                                                 J  I
                                                                              2. •  Site selection process should examine alternatives that minimize
                                                                                    environmental effects and do not preclude beneficial use of the water > : (
                                                                                    body.                                                      : :'

                                                                                 •  Plants with liquid discharges should be located only on a watercourse ~ =
                                                                                    having adequate capacity to assimilate wastes in treated effluent.    ' : •
                                                                                          3.  Locate plants in an area not subject to air inversions or trapping of
                                                                                             pollutants,  and where prevailing  winds  are  towards  relatively ^ = g
                                                                                             unpopulated areas.                                              i  ^
                                                                                          4.  •  Site selection should evaluate the location according to the following ; .
                                                                                                guidelines:

                                                                                                • plot size sufficient for landfill or disposal on-site                ! *
                                                                                                • proximity to suitable disposal site
                                                                                                • convenient for public/private contractors to collect and haul solid i
                                                                                                  wastes for filial disposal                                   I::
                                                                                                                                                          =- • =
                                                                                                                                                          Mi

-------
                                                      Table 10.11.  Chemical and Petrochemical (continued)
                             Potential Negative Impacts
                        Mitigating Measures
OJ
k>
>»i
U)
        Direct: Plant Operation

        5.  •  Water pollution from  discharge of  liquid effluents and process
               cooling water or runoff from waste piles.

            •  Depending on the process, runs at too high TOS, BOD, COD, and
               pH.
        6.  Participate emissions to the atmosphere from all plant operations.
        7. Gaseous emission of SO,, NO,, and CO and other applicable chemicals
           to the atmosphere from chemical processes.

        8. Accidental release of potentially hazardous solvents, acidic and alkaline
           materials.
5. •  Laboratory analysis of  liquid effluent  should  include  applicable
      chemicals  (depending on the process), TOS, BOD, COD, pH and
      in-situ temperature monitoring.

      All Plants
      •  No cooling water discharge.  If recycling not feasible, discharge
         cooling water provided receiving water temperature does not rise
         >3°C.
      •  Maintain pH level of effluent discharge between 6.0 and 9.0.
      •  Control effluent to specified limitations in Bank or other guide-
         lines for specific process.

      Processing. Storage and Dispatch Area
      •  Minimize rainfall allowed to percolate  through piles and runoff in
         uncontrolled fashion.

      •  Line open storage areas to collect all stormwater.

6. Control particulates by scrubbers, fabric filter collectors or electrostatic
   precipitators.

7. Control by scrubbing with water or alkaline solutions, incineration, or
   absorption by other catalytic processes.

8. •  Maintain storage and disposal areas to prevent accidental release.

   •  Provide spill mitigation equipment.

   •  Provide area diking or double wall tanks.

-------
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                                                     Table 10.11. Chmiod and Petrochemical (continued)
                                                              •*"' ,1
                                                               11 a
                                                               i I H
                                                                                                              M  1
                                                                                                                                         Ti  i
                            Potential Negative Impacts
                                                                              Mitigating Measures
  oo
  k)
  H->
i to
       Direct: Plant Operation (continued)

       9.  Accidental radiation/biological hazard release (phannaceuticals).


       10. Noise.
       11.  Surface  runoff of  chemicals,  raw  materials,  intermediates,  end
            products, and solid wastes frequently stored in piles on the facility site
            can pollute surface waters or percolate to groundwaters.
       Indirect

       12.  •  j Occupational health effects  on  workers due to  fugitive dust,
              materials handling, noise, or other process operations.

            •  Accidents occur at higher than normal frequency because of level
              of skill or labor.

       13.  Regional solid waste problem exacerbated by inadequate on-site storage
            or lack of ultimate disposal facilities.
                                                      9. Maintain certified storage and disposal facilities to minimize potential
                                                         for release.

                                                      10. •  Reduce noise impact by enclosing and insulating noise emitting pro-
                                                             cesses or equipment in buildings or by use of other noise abatement
                                                             procedures.

                                                      11. •  Rainwater percolation and  runoff from solid materials,  fuel and
                                                             waste piles can be controlled by covering and/or  containment to
                                                             prevent percolation and runoff to ground and surface waters.

                                                          •  Diked  areas should be of sufficient size to contain an average 24
                                                             hour rainfall.

                                                          •  Collect and monitor stormwater before discharge.
                                                       12. •  Facility should implement a Safety and Health Program designed to:

                                                             • identify, evaluate, monitor, and control health hazards
                                                             • provide safety training
                                                       13. •  Plan for adequate on-site disposal areas assuming screening for
                                                             hazardous characteristics of the leachate is known.
                                                                                         Provide, in design phase, for adequate ultimate disposal facilities.

-------

                                                   Table 10.11. Chemical and Petrochemical (continued)
                           Potential Negative Impacts
                        Mitigating Measures
      Indirect (continued)
K)
      14.  Transit  patterns  disrupted, noise  and  congestion  created,  and
           pedestrian hazards  aggravated  by heavy trucks  transporting  raw
           materials to/from facility.
14. •  Site selection can mitigate some of these problems.

    •  Special transportation sector  studies should be prepared during
       project feasibility to select best routes to reduce impacts.

    •  Transporter regulation and development of emergency contingency
       plans to minimize risk of accidents.

-------
                                 iiliili

                               1
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                                                                                         :   Mill
                                                                                   Hi
                                                                                  TabMlO.12.  Fertilizer
                                                                                                       I
                                                                                                                                   til
                                                                                                               ill   irt
                                                                                                                I I (   !
                                                                                                                                         !«! ll
                                                                                                                                          an is
                                                                                                                                           . !!
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                                          Potential Negative Impacts
                                                                                                      Mitigating Measures
 Direct: Site Selection
1
j 1.  Siting of plant on/near sensitive habitats such as mangroves, estuaries,
'     wetlands, coral reefs.
                                                                                                  1.  •  Locate plant in industrially zoned area, if possible, to minimize or
                                                                                                        concentrate the stress on local environmental services and to facilitate
                                                                                                        the monitoring of discharges.

                                                                                                     •  Integrate site selection process with natural resource  agencies to
                                                                                                        review alternatives.
                   ,
                  !| 2.   Siting along water courses causing their eventual degradation.
                  Ii
                  •T
                  i!
                  !j
                  !|  3.   Siting can cause serious air pollution problems for local area.
   *              I
                  :k  4.   Siting can aggravate solid waste problems in an area.
                                                                              2. •  Site selection process should examine alternatives  that minimize
                                                                                    environmental effects and not preclude beneficial use of the water
                                                                                    body.

                                                                                 •  Plants with liquid discharges should only be located on a watercourse
                                                                                    having adequate waste-absorbing capacity.
                                                                              3.  Locate at a high elevation in an area not subject to air inversions, and
                                                                                 where prevailing winds are towards relatively unpopulated areas.
                                                                              4.  •  Site selection should evaluate the location according to the following
                                                                                    guidelines:

                                                                                    •  plot size sufficient to landfill or dispose on-site
                                                                                    •  proximity to suitable disposal site
                                                                                    •  convenient for public/private contractors to collect and haul solid
                                                                                       wastes for final disposal
                                                                                    •  availability of options for gypsum disposal or reuse
I' I
M-

-------
                                                          Table 10.12. Fertilizer (continued)
                         Potential Negative Impacts
                        Mitigating Measures
U)
Ko
     Direct:  Plant Operation

     5.  •  Water  pollution  from discharge  of liquid effluents and process
           cooling water or runoff from waste piles.

        •  Phosphate plants: phosphate, fluoride, BOD5, Total Dissolved Solids
           (TDS), pH
        •  Nitrogen plants: ammonia, urea, ammonium nitrate, COD, pH
        •  Materials storage piles runoff: TSS, pH, metals
     6.  Pa'rticulate emissions to the atmosphere from all plant operations.
     7.  Gaseous emission of SO, and NOX, ammonia, acid mist and fluorine
        compounds to the atmosphere.
S. •  Laboratory analysis of liquid effluent should include fluoride, BOD5,
      TSS, and in-situ pH temperature monitoring.

      All Plants
      •  No cooling water discharge. If recycling not feasible, discharge
         cooling water provided receiving water temperature does not rise
         >3°C.
      •  Maintain pH level of effluent discharge between 6.0 and 9.0.
      •  Control effluent to EPA limitations (40 CFR 418) for specific
         process.

      Material Storage Piles/Solid Waste Disposal Areas
      •  Minimize rainfall allowed to percolate through piles and runoff in
         uncontrolled fashion.

      •  Line storage areas.

6. Control particulates  by fabric filter collectors  or electrostatic  pre-
   cipitators.

7. •  Control by scrubbing.

   •  Analyze raw materials during feasibility stage  of project.

   •  Proper design of sulfuric acid plants and nitric acid plants with N0t
      abatement equipment.

-------
                                             •=•
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                                                tirc Impacts
                                                                                                             Mitigating Measures
I1
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              I
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                                     of
              9.    Surface  runoff of constituents, raw  materials, and solid wastes

                           ^r^
                         or percolate to ground waters.

                                  process operations, and accids occur
            |H.  Repond soUd  w«te problem exacerbated by inadequate on-site
                 rtoiage or lack of ultimate disposal facilities.

  i  ffii
                                                                                      8.   •  Maintain storage and disposal areas to prevent accidental release.


                                                                                          •  Provide spill mitigation equipment.



                                                                                          •  Provide dikes around storage tanks.
                                                                                        9.   •  Plan
                                                                                                   proper storage in design phase.
                                                                                                                               to
                                                                                       10.
                                                                                           •  address the hazards to worker health and safety

                                                                                           •  propose procedures for employee protection

                                                                                           •  provide safety training




                                                                                    11.  Plan  for adequate on-site disposal, assuming screening for hazardous

                                                                                        charactensticsoftheleachateisknown.                 oszaraous
                                                                                                                                                              i(
                                                                                                                                                             -li-

-------
                                                              Table 10.12.  Fertilizer (continued)
                            Potential Negative Impacts
                        Mitigating Measures
       Direct: Plant Operation (continued)
U)
UJ
-J
       12. Transit patterns disrupted, noise and congestion created, and pedestrian
           hazards aggravated by heavy trucks transporting raw materials to/from
           facility.
       13. Increasing nitrate pollution of ground water from  use of nitrogen
           fertilizers.

       14. Eutropbication of natural water systems.
12. •  Site selection can mitigate some of these problems.

    •  Special transportation sector studies should be prepared during
       project feasibility to select best routes to reduce impacts.

    •  Transporter regulation and development of emergency contingency
       plans to minimize risk of accidents.

13. Directions for use should be provided  to minimize nitrate pollution
    potential.

14. Directions for use  should be provided  to  minimize nitrate  and
    phosphate pollution potential.

-------
             1
!   i
                                                                                                                   •i
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! I
                                                                              Tahk 10.13. Food Processing
                                                                                   ilirn
                                                                                   iigt|s
                                                                                   'JiiiL
                                                                                   Hiiiii
                                          Potential Negative Impacts
                                    Mitigating Measures

i;
               U)
               U)
               00
                     Direct:  Site Selection

                     1.   Siting of plant on/near sensitive habitats such as mangroves, estuaries,
                         wetlands, coral reefs or use of prime agricultural lands.
                     2.  Siting along water courses causing their eventual degradation.
          j.	       3.  Siting can cause serious odor pollution problems for local area.
                     4.  Siting can aggravate solid waste problems in an area.
            1.  •   Locate plant to minimize or concentrate the stress on local environ-
                   mental services and to facilitate the monitoring of discharges.

               •   Integrate site selection process with natural resource agencies to
                   review alternatives.

            2.  •   Site selection process should examine alternatives that minimize
                   environmental effects and not preclude beneficial use of the water
                   body using the following guidelines:

                   •  on a watercourse having maximum water dilution
                      and absorbing capacity
                   •  in an area where wastewater can be reused with
                      minimal treatment for agricultural or industrial purposes
                   •  within a municipality that is able to accept the plant wastes
                      in their sewage treatment system

            3.  Locate plant  in an area not subject  to air inversions or to  trapping
               pollution, and where prevailing winds are towards relatively unpopulated
  S::;!;ii ill
  •";: .>";;  !!;
  SSli!
               areas.

            4.  •   For facilities producing large volume of waste, site selection should
                   evaluate the location according to the following guidelines:

                   •  plot size sufficient to landfill or on-site disposal
                   •  proximity to a suitable disposal site
                   •  convenient for public/private contractors to collect and haul solid
                      wastes for final disposal
                                                                                                                                                                     P:iP  ap
                                                                                                                                                                      :;M'1M«H
                                                                                                                                                                          !

                                                                                                                                                                     =-

                                                                                                                                                                          j li

-------
                                                        Table 10.13. Food Processing (continued)
                          Potential Negative Impacts
                        Mitigating Measures
     Direct: Plant Operation
to
     5.  •  Water pollution from discharge of liquid effluents and process
            cooling water or runoff from waste piles.

            •  Plant: Oil and Grease, IDS, TSS, BOD, COD
     6.  Participate emissions to the atmosphere from all plant operations.


     7.  Gaseous  and odorous emissions  to the atmosphere from processing
         operations.
     8.  Accidental release of potentially hazardous solvents, acidic alkaline
         materials.
5. •  Laboratory analysis of liquid effluent should include oil and grease,
      TDS, TSS, BOD, COD and in-situ temperature monitoring.

      All Plants
      •  No cooling water discharge.  If recycling not feasible, discharge
         cooling water provided receiving water temperature does not rise
          >3°C.
      •  Maintain pH level of effluent discharge between 6.0 and 9.0.
      •  Control effluent to EPA specified limitations (40 CFR 405-409;
         432) for specific process.
      •  Land application of waste effluents where appropriate.

6. Control  particulates  by fabric  filter collectors or electrostatic pre-
   cipitators.

7. •  Control by natural scrubbing action of alkaline materials.

   •  Analysis of raw materials during feasibility stage of project can
      determine levels  of  sulfur to  properly  design emission control
      equipment.

8. •  Maintain storage and disposal areas to prevent accidental release.

   •  Provide spill control equipment.

-------
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                                                                 :  Table 10.13.  Food Pro«ssing (conlinued)
                                                                 ! i       I   I   ,i|               II
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                                     Potential Negative Impacts
                                                                                                                   Mitigating Measures
       JK,
       *<:
       rj4 I  § P ft= H
     Indirect
i|ij:j
     9.  •  Occupational health effects on workers due to materials handling,
            noise or other process operations.
       Bl!
       ";•:!
       -M-
                       Accidents occur at higher than normal frequency because of level of
                       knowledge and skill.
          i  (MJ
          H-* =*- I*
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       3!
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   s  H  i =- =
            | •?;  10. Regional solid waste problem exacerbated by inadequate on-site storage.
                                                                                           9. •  Facility should implement a Safety and Health Program designed to
                                                                                                 identify, evaluate, monitor, and control safety and health hazards at
                                                                                                 a specific level of detail, and to address the hazards to worker health
                                                                                                 and safety and procedures for employee protection, including any or
                                                                                                 all of the following:

                                                                                                 •  site characterization and analysis
                                                                                                 •  site control
                                                                                                 •  training
                                                                                                 •  medical surveillance
                                                                                                 •  engineering controls, work practices and
                                                                                                    personal protective equipment
                                                                                                 •  monitoring
                                                                                                 •  informational programs
                                                                                                 •  handling raw and process materials
                                                                                                 •  decontamination procedures
                                                                                                 •  emergency response
                                                                                                 •  illumination
                                                                                                 •  sanitation at permanent and temporary facilities
                                                                                                 •  regular safety meetings
                                                                                            10.   Plan  for adequate  on-site  disposal  areas  assuming  that  the
                                                                                                 characteristics of the leachate is known.
   ill  SS;
   iiiiii

-------
                                                          Table 10.13. Food Processing (continued)
                            Potential Negative Impacts
                        Mitigating Measures
      Indirect (continued)
oo
i
H-*
*-
       11. Transit patterns disrupted, noise and congestion created, and pedestrian
          hazards aggravated by heavy trucks transporting raw materials to/from
          facility.
       12. Potential for disease transmission from inadequate waste disposal.
11. • Site selection can mitigate some of these problems,  such as
      pedestrian hazards.

    • Special  transportation sector studies  should be  prepared  during
      project feasibility to select best routes to reduce impacts.

    • Transport regulation and development of emergency contingency
      plans to minimize risk of accidents.

12. • Develop specifications for:

      •  food preparation and or processing
      •  waste disposal processes
      •  monitor fecal coliform or other bacteria

-------
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                                                              • " j'3 Table 10.14.  Iron and Stee! Manufacturing
                                                                                           I     3
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           i
                                         Potential Negative Impacts
                                                                                                                     Mitigating Measures
                  si
               ;J  J;Direct:  SiteSdedion
               ii  j;l.  Siting of plant on/near sensitive habitats such as mangroves, estuaries,

               «  fl,
               !»  «i
               ••••  3
                       wetlands, coral reefs.

             USs:
           ffl!:3 i!
               II a i
P   ^rt^T*! v=
           I    2.  Siting along water courses causing their eventual degradation.
**v~v?».; ivs1:", -  i:
iii^Kti^^ iJ41.= ^  ^
       ^(vji ,   i:
                 • I  3.   S,iting can cause serious air pollution problems for local area.
     -;--:   ^"i:
           JU 81
           ! S 1;
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- ^ t —t ta^
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               :   :
               ri ji  4.   Siting can aggravate solid waste problems hi an area.

               ' ji
   = ;r-=^-^*-^   I .c - .
   »          i ™ i i

              -Hi

                 ji
                                                                                             1.  •  Locate plant in industrially zoned area, if possible, to minimize or  !'
                                                                                                    concentrate the stress  on  local environmental services  and to  > i
                                                                                                    facilitate the monitoring of discharges.                            i:

                                                                                                 •  Involve natural resource agencies in site selection process to review    ;
                                                                                                    alternatives.
                                                                                                 2.  •  Site selection process  should examine alternatives (hat minimize
                                                                                                        environmental effects and do not preclude beneficial use of water
                                                                                                        bodies.

                                                                                                     •  Plants with liquid discharges should only be located on a water-
                                                                                                        course having  adequate capacity  to assimilate waste in  treated
                                                                                                        effluent.
                                                                                             3.  Locate plant at elevation above local topography, in an area not subject   ;
                                                                                                 to air inversions, and where prevailing winds are towards relatively  ;
                                                                                                 unpopulated areas.                                                 _u_
                                                                                             4.  •  Site selection should evaluate the location according to the following  I
                                                                                                    guidelines:                                                      i

                                                                                                    •  proximity to suitable disposal site                              :
                                                                                                    •  plot size sufficient for landfill or disposal on-site                i
                                                                                                    •  convenient for public/private contractors to collect and haul solid   ! |
                                                                                                       wastes for final disposal                                       j j
                                                                                                    •  reuse or recycle materials to reduce waste volumes              j j

-------
                                                  Table 10.14.  Iron and Sted Manufacturing (continued)
                           Potential Negative Impacts
                                                                                                    Mitigating Measures
u>
to
H-»
-t>.
UJ
Direct: Plant Operation

5.  •  Water pollution from discharge  of liquid effluents and process
       cooling water or runoff from waste piles.

       •  Plant: Total Suspended Solids (TSS), oil and grease, ammonia
          nitrogen,  cyanide, phenols, benzene,  naphthalene, benzo-a-
          pyrene, pH, lead, zinc

       •  Materials storage piles runoff: TSS, pH, metals
      6.   Particulate emissions to the atmosphere from all plant operations.
      7.   Gaseous emission  of SO, and CO to the atmosphere  from coke
          production and fuel burning.
5.  •  Laboratory analysis of liquid effluent should include: TSS, oil and
       grease, ammonia nitrogen, cyanide, phenols, benzene, naphthalene,
       benzo-a-pyrene, pH, lead, zinc, and in-situ temperature monitoring.

       All Plants
       •  No cooling water discharge.  If recycling not feasible, discharge
          cooling water provided receiving water temperature does not rise
          >3°C.
       •  Maintain pH level of effluent discharge between 6.0 and 9.0.
       •  Control effluent  to  specified limitations  in  Bank  or other
          guidelines (e.g., EPA 40 CFR 420) for specific process.

       Material Storage Piles/Solid Waste Disposal  Areas
       •  Minimize stormwater allowed to percolate through materials and
          runoff in uncontrolled fashion.

       •  Line open storage areas.

6.  Control  particulates  by  fabric   filler  collectors  or  electrostatic
    precipitators.

7.  •  Control by scrubbing with alkaline resolutions.

    •  Analysis of raw materials during feasibility stage of project planning
       can determine existing levels of sulfur to properly design emission
       control equipment.
                                                                                        Strip, recycle and reuse carbon monoxide.

-------
       :;:
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Table 10.14.  Iron and Sted Manufacturing (continued)
                                                                                                                           i
                                                                                                                           A
                                                                                                                          jj
                                                                                                                                                            !!l
                                                                                     \m  m
                                                                                     ifiii  ili,
                                                                                            Mr
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                                                                                                                                           :>:-
                                         Pbtesitial Negative Impacts
                                                                                                       Mitigating Measures
                                                                                                                                                     urn m
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 E =**= -i -, -,
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                   Direct:  Plant Operation (continued)

                   8.  Accidental release of potentially hazardous solvents, acidic and alkaline
                       materials.
_  9.   Surface runoff of constituents, raw materials, coal, coal breeze and
       other substances frequently stored in piles on the facility grounds can
       pollute surface waters or percolate to ground waters.
   Indirect

   10.
                          Occupational  health  effects on workers  due  to fugitive  dust,
                          materials handling, noise or other process operations.

                         , Accidents occur at higher than normal frequency because of level of
                          skill or labor.
   11. Regional solid waste problem exacerbated by inadequate on-site storage
       or lack of ultimate disposal facilities.
                               8.  •  Maintain storage and disposal areas to prevent accidental release.

                                   •  Provide spill mitigation equipment, double wall tanks and/or diking
                                      of storage tanks.

                               9.  •  Rainwater percolation and runoff from solid materials, fuel  and
                                      waste piles can be controlled by covering and/or containment to
                                      prevent percolation and runoff to ground and surface waters.

                                   •  Diked areas should be of sufficient size to contain an average 24
                                      hour rainfall.
                               10.  • Facility should implement a Safety and Health Program designed to:

                                      •  identify, evaluate, monitor, and control safety and
                                         health hazards
                                      •  provide safety training
                                11.  Plan for adequate on-site disposal areas, assuming screening  for
                                    hazardous characteristics of the leachate is known.
      -
   I s
ill >

-------
                                                 Table 10.14.  Iron and Steel Manufacturing (continued)
                         Potential Negative Impacts
                        Mitigating Measures
    Indirect (continued)
U)
to
>—>
-1^
Ul
    12. Transit patterns disrupted, noise congestions created, and pedestrian
        hazards aggravated by heavy trucks transporting raw materials and fuel
        to/from facility.
12.   •  Site selection can mitigate some of these problems.

     •  Special transportation sector studies should be  prepared during
        project feasibility to select best routes to reduce impacts.

     •  Transport regulation and development of emergency contingency
        plans to minimize risk of accidents.

-------

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Potential Negative Impacts
• if i i — s mm
1 ! I!
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1? i 1 H
5 • ! 1
• » i ,
« i i
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=
Mitigating Measures
                                                                                                                                                                                   il
                                                                                                                                                                                   ll
                       Direct:  SiteSdection
-1 =
               U)
               k)
                        1.  Siting of plant on/near sensitive habitats such as mangroves, estuaries,
                           wetlands, coral reefs.
2.  Siting along water courses causing their eventual degradation.
                                                                               1. •   Locate plant in industrially zoned area, if possible, to minimize or |
                                                                                      concentrate the stress  on  local  environmental  services and to
                                                                                      facilitate the monitoring of discharges.

                                                                                 . *   Involve natural resource agencies in site selection process to review
                                                                                      alternatives.
                                                                                                       2.  •  Site selection process should examine alternatives which minimize
                                                                                                             environmental effects and do not preclude beneficial use of water
                                                                                                             bodies.

                                                                                                          •  Plants with liquid discharges should only be located on a watercourse
                                                                                                             having adequate capacity to assimilate waste in treated effluent.
                        3.. Siting can cause serious air pollution problems for local area.
                                                                               3. Locate plant at elevation above local topography in an area not subject
                                                                                  to air inversions, and where prevailing winds are towards  relatively
                                                                                  unpopulated areas.

                 IT
                        4.  Siting can aggravate solid waste problems hi an area.
                                                                               4. •   Site selection should evaluate the location according to the following
                                                                                      guidelines:

                                                                                      •  proximity to suitable disposal site
                                                                                      •  plot size sufficient for landfill or disposal on-site
                                                                                      •  convenient for public/private contractors to collect and haul solid
                                                                                        wastes for final disposal
                                                                                      •  reuse or recycle materials to reduce waste volumes


-------
                                                         Table 10.15. Nonferrous Metals (continued)
                           Potential Negative Impacts
                        Mitigating Measures
      Direct: Plant Operation
U)
k)
      5.  •  Water pollution from discharge of liquid effluents and  process
            cooling water or runoff from waste piles.

            •  Plant: metals, oil and grease, ammonia nitrogen
            •  Materials storage piles runoff: TSS, pH, metals
      6.  Participate emissions to the atmosphere from all plant operations.
5. •  Laboratory analysis of liquid effluent should include: metals, TSS,
      oil and  grease, ammonia nitrogen, pH, and  in-situ temperature
      monitoring.

      AH Plants
      •  No cooling water discharge.  If recycling not feasible, discharge
         cooling water provided receiving water temperature does not rise
         >3°C.
      •  Maintain pH level of effluent discharge between 6.0 and 9.0.
      •  Control  effluent  to  specified limitations  in  Bank  or  other
         guidelines (e.g., EPA 40 CFR 421) for specific process.

      Material Storage Piles/Solid Waste Disposal Areas
      •  Minimize stonnwater allowed to percolate through materials and
         runoff in uncontrolled fashion.

      •  Line open storage areas.

6. Control  particulates   by  fabric  filter  collectors  or  electrostatic
   precipitators.
      7.  Gaseous emission to the atmosphere from metals processing and fuel
          burning.
7. •  Control by scrubbing with alkaline solutions.

   •  Analysis of raw materials during feasibility stage of project planning
      can determine existing levels of sulfur to properly design emission
      control equipment.

-------
                                        II
           I   -   ~
11     :
I!     I
                                                             Table 10.15. Nooferrous Metals (continued)
                                                                                                                II
                                                                                                                                              I
                                                          -  T!
                                                              i  •  •  PI(i
                               Potential Nefative Impacts
                                Mitigating Measures
    U)

-   I

-   oo
          Direct:  Plant Operation (continued)

          8.  Accidental release of potentially hazardous solvents, acidic and alkaline
              materials.
          9.  Surface runoff of constituents, raw materials, and other substances
              frequently stored in piles on the facility grounds can pollute surface
              waters or percolate to ground waters.
          Indirect

          10.  •  Occupational health effects  on  workers  due to  fugitive dust,
                 materials handling, noise or other process operations.

               •  Accidents occur at higher than normal frequency because of level of
                 skill or labor.
             i
          11.  Regional solid waste problem exacerbated by inadequate on-site storage
               or lack of ultimate disposal facilities.

          12.  Transit patterns disrupted, noise congestions created, and pedestrian
               hazards aggravated by heavy trucks transporting raw materials and fuel
               to/from facility.
        8.   •  Maintain storage and disposal areas to prevent accidental release.  I
                                                                            i
            •  Provide spill mitigation equipment, double wall tanks and/or diking'
               of storage tanks.                                              '•_

        9.   •  Rainwater percolation and runoff from solid materials, fuel and;
               waste piles can be controlled by  covering and/or containment to
               prevent percolation and ninoff to ground and surface waters.      !

            •  Diked areas should be of sufficient size to contain an average  24
               hour rainfall.                                                r
        10. •  Facility should implement a Safety and Health Program designed to: [
                                                                           i- •
               • identify, evaluate, monitor, and control safety and            }
                 health hazards                                             |
               • provide safety training                                     i
                                                                           L
        11. Plan for  adequate on-site disposal areas, assuming screening  for;
            hazardous characteristics of the leachate is known.                I

        12. •  Site selection can mitigate some of these problems.              ;
            •  Special transportation sector  studies should be prepared during
               project feasibility to select best routes to reduce impacts.

            •  Transport regulation and development of emergency contingency
               plans to mi"it*""» risk of accidents.

-------
                                                         Table 10.15. Nonfcrrous Metals (continued)
                           Potential Negative Impacts                                                     Mitigating Measures


      Indirect (continued)


      13.  Muling of ore and coal locally for metals manufacturing can create        13.  •  Plan  for  coal resource  usage to  fit availability and impose
           conflicts  with other industries  (coal for utilities), and  aggravate               restrictions on manner of mining.
•^         erosion/sedimentation of water courses by uncontrolled or unrestricted
,1.         operations.                                                                  •  Coordination with responsible agency-in-charge to examine site
^                                                                                       reclamation options once facility decommissioned.


      14.  Metals processing may require significant amounts of electricity which        14.  •  Operate metals processing operations at hours when other power
           may result in conflicts with other industrial users.                                 consuming industries are not operating.

                                                                                       •  Increase electrical power generation capabilities.

-------
                                               I!
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                                                                                 rokum Refining
                                                                                        i         i
                    i!1 IS «
                    is fs ^---
                                                                                                              IT
                                                                                                               j    i
                                                                                                                  I  I
                           Poteitial Nefttive Impacts
                                                                                                         Mitigating Measures
U)
N)
     Direct:  SiteSdedion

     1.  Siting of refinery  on/near sensitive  habitats  such as  mangroves,
         estuaries, wetlands, coral reefs.
 2.  Siting along water courses causing their eventual degradation.
      3.  Siting can cause serious air pollution problems for local area.
     4.  Siting can aggravate solid waste problems in an area.
1.  •  Locate refinery in industrially zoned area,  if possible, to minimize j
       or concentrate the stress  on local environmental services  and to i
       facilitate the monitoring of discharges.

    •  Integrate site selection process with natural resource agencies to
       review alternatives.

2.  •  Site selection process  should examine alternatives that minimize,
       environmental effects and not preclude beneficial use of the water
       body using the following guidelines:                              -

       •   on a watercourse having adequate waste assimilative capacity    =
       •   in an area  where  wastewater  can  be reused  with minimal:
          treatment for agricultural or industrial purposes                 •
       •   within a municipality that is able to accept the plant wastes in I
          their sewage treatment system                                  \

3.  Locate refinery in an area not subject to air inversions or trapping of
    air pollution,  and where prevailing winds are  towards relatively!
    unpopulated areas.                                                 =

4.  •  For facilities producing large volume of waste, site selection should
       evaluate the location according to the following guidelines:        :

       •   plot size sufficient to landfill or dispose on-site
       •   proximity to suitable disposal site
       •   convenient for public/private contractors to collect and haul solid j
          wastes for final disposal                                      i
                                                                                                                                                         I

-------
                                                        Table 10.16.  Petroleum Refining (continued)
                           Potential Negative Impacts
                        Mitigating Measures
U)
to
I
      Direct: Plant Operation

      5. •  Water pollution from discharge of liquid effluents and process cooling
            water or runoff from waste piles may contain:

            BOD, COD, TOC, oil and grease, ammonia, phenolic compounds,
            sulfldes, and chromium.
5. •  Control by wastewater reuse, at-source pretreatment and end-of-pipe
      control technology.

      (a)  Major at-source pretreatment measures include:
           • stripping of sour waters
           • neutralization and oxidation of spent caustics

      (b)  End-of-pipe control technology relies on a combination of flow
           equalization,  physical-chemical methods (such as dissolved air
           flotation and  sludge thickeners),  and biological methods (such
           as activated sludge, aerated lagoons or trickling filters).
      6.  •  Air pollution from refinery operations:

            (a) Storage vessels — hydrocarbons (HC)

              i
            (b) Refinery process gas - hydrogen sulfide

            (c) Catalyst regenerators - particulates, carbon monoxide (CO)



            (d) Accumulator vents - HC

            (e) Pumps and compressors — HC
6. •   Source control measures to reduce air contaminants and odors:

       (a) vapor recovery systems, floating-roof tanks, pressure tanks,
           vapor balance, painting tanks white

       (b) ethanolamine absorption, sulfur recovery

       (c) cyclones-precipitator  in-situ CO combustion,  CO  boiler,
           cyclones-water   scrubber,  multiple  cyclones,  electrostatic
           precipitator, bag filter

       (d) vapor recovery and vapor incineration

       (e) mechanical  seals, vapor recovery, sealing glands by  oil
           pressure, maintenance

-------
 !• • III I i II

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                      a-
                      i:    :
                                                                                            i  i    i
                                                                   Table 10.16. Petroleum Refining (continued)

                                      Potential Negative Impacts
               I	

  ! i :;• P'i!: H  t> Direct: Plant Operation (continued)
               I
                 V.
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                1
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                I
                1L
                    (0  Vacuum jets-HC

                    (g)  Equipment valves - HC

                    (h)  Pressure relief valves — HC


                    (i)  Effluent waste disposal - HC


                    ())  Bulk-loading facilities - HC


                    (k)  Acid treating - HC, sulfides, mercaptans

                         i

                    (1)  Acid sludge storage and shipping - HC

                    (m) Spent-caustic handling — sulfides, mercaptans

                    (n)  Sweetening processes - HC •



                    (o)  Sour-water  treating - ammonia (NH3)
                                                                                                                 Mitigating Measures
                                                                                             (f)  vapor incineration

                                                                                             (g)  inspection and maintenance

                                                                                             (h)  vapor recovery, vapor incineration, rupture discs, inspection and
                                                                                                 maintenance

                                                                                             (i)  enclosure of separators, covering of sewer boxes, use of liquid seal,
                                                                                                 liquid seals on drains

                                                                                             (j)  vapor collection with recovery or incineration, submerged or
                                                                                                 bottom loading

                                                                                             (k)  continuous-type agitators with mechanical mixing, replacement with
                                                                                                 catalytic  hydrogenation units, incineration of all vented gases,
                                                                                                 cessation of sludge burning

                                                                                             (1)  same as (k)

                                                                                             (m) Steam scrubbing, neutralization incineration, return system

                                                                                             (n)  steam stripping of  spent doctor solution to hydrocarbon recovery
                                                                                                 before air regeneration, replacement of treating unit with other less
                                                                                                 objectionable units
                                                                                                                                                              i
                                                                                             (o)  use of sour-water  oxidizers and gas incineration, conversion to ;
                                                                                                 ammonium sulfate                                             i
• a «« Jl;s s  fi

-------
                                                         Table 10.16.  Petroleum Refining (continued)
                            Potential Negative Impacts
                                                                                                 Mitigating Measures
       Direct:  Plant Operation (continued)
oo
to
U)
(p)  Mercaptan disposal


(q)  Asphalt blowing - HC

(r)  Shutdowns, turnarounds — HC

(s)  Boilers and heaters ~ SOX, NO,, particulates

(t)   Sulfiir recovery unit (Claus) - SO2


(u)  Solvents (hydrocarbons, amines)
(p)  conversion to disulfldes, adding to catalytic cracking charge stock;
     incineration, use of material in organic synthesis

(q)  incineration, water scrubbing (non-recirculating type)

(r)  depressurizing  and purging to vapor recovery

(s)  fuel hydro-desulfurization, flue gas desuifurization

(t)   provide tail gas treatment; spare unit put into operation during main
     unit downtime

(u)  provide closed circuit recovery units
       7.  Noise Emissions
       8.  Accidental release (spills)  of raw materials,  products,  potentially
          hazardous solvents, chemicals, acidic and alkaline materials.
                                                                         7.   •   Enclose noise emitting equipment/processes in structures to reduce
                                                                                 potential for fugitive emissions.

                                                                             •   Employ other noise abatement procedures.

                                                                         8.   •   Inspect and  maintain  storage  and  disposal  areas  to prevent
                                                                                 accidental release.

                                                                             •   Provide alarms, automatic shut-off valves, containment (bunding,
                                                                                 enclosing) of accidental  spills,  spill  mitigation equipment and
                                                                                 emergency response plans.

-------
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                                                          Table 10.16. Petroleum Refining (continued) =
                                                                                                                                                              Ill  !     1
I III-
                             Potential Negative Impacts
                                                                  Mitigating Measures
               : jiJ           Plant Operation (continued)
             =i; i ii x L*
             I
             » Hi R  9.  Surface runoff of constituents, raw materials, processing facilities and
             I          transfer areas can pollute surface waters or percolate to ground waters.


             JJ;;N|
                  p Indirect
                  |
               MA Q 10.  • Occupational health effects on workers due to fugitive dust, materials
               ,            handling, noise or other process operations.

               !h! i     • Accidents occur at higher than normal frequency because of level of
               I ^ m       skill or labor.
               M i tH
               1 :, 
-------
                                                           Table 10.16.  Petroleum Refining (continued)
                              Potential Negative Impacts
                                                                                                     Mitigating Measures
        Indirect (continued)
U)
io
11. Regional solid waste problem exacerbated  by  inadequate  on-site
    storage.

12. Transit patterns disrupted, noise and congestion created, and pedestrian
    hazards aggravated by heavy trucks transporting raw materials to/from
    facility.
        13.  Potential for increased land/surface water degradation by pipeline
             transport of products or new materials.
11.  Plan for adequate on-site disposal areas assuming screening for
    • hazardous characteristics of the leachate is known.

12.  •  Site selection can mitigate some of these problems.

     •  Special transportation sector studies should be  prepared during
        project feasibility to select best routes to reduce impacts.

     •  Transporter regulation and development of emergency contingency
        plans to minimize risk of accidents.

13.  •  Siting of pipeline should be such as to minimize environmental
        hazards.

     •  Develop program for periodic pipeline surveillance.

-------
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                                                                          10.17.
                                                                                       r, and Timber Processing
                                                            iii
                                                                                                                                                      U
                                                                                                                                                      M   ':-.
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                     2.  Siting along water courses causing their eventual degradation.
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                     3.  Siting can cause serious air pollution problems for local area.
                     Direct:  Plant Operation

                     4. •  Inadequate  or non-existent forest management  resulting in soil
                           erosion, diminishing biotopes.

                        •  Unchecked  pesticide  application  causing toxicologic  effects on
                           beneficial organisms and undesirable changes in forest ecosystems.
                                                                                        1. •  Locate plant in industrially zoned area, if possible, to minimize or
                                                                                              concentrate the stress on local environmental services and to facilitate
                                                                                              the monitoring of discharges.

                                                                                           •  Integrate site  selection process with natural resource agencies to
                                                                                              review alternatives.                                            !
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                                                                                        2. •  Site  selection process  should examine alternatives  that minimize
                                                                                              environmental effects and not preclude beneficial use of the water
                                                                                              body.                                                        11
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                                                                                                      having adequate waste-absorbing capacity.
                                                                                           •  Plants with liquid discharges should only be located on a watercourse    : t
                                                                                                                                                                  -u
                                                                                                                                                           W  !!
                                                                                        3. Locate in an area not subject to air inversions or trapping of pollution,    i M  ; j
                                                                                           and where prevailing winds are towards relatively unpopulated areas.        j |
                                                                                                                                                           iiS'S  :*
                                                                                                                                                                  il
                                                                                                                                                           ||!|!l

                                                                                        4. •  In project design phase, develop a forest management plan based on    ; s  ' j
                                                                                              an environmental impact study.                                        ; j
                                                                                                                                                           ~Kj-£   'I
                                                                                                                                                           S:'*:!<   i|
                                                                                           •  Do not select wood supply from primary forest reserves (for furthergjl j |   |j :
                                                                                              discussion,  see  sections on "Natural Forest Management"  andPj?;*   i|
                                                                                                                                                           3 ™ "'-   !!l ft
                                                                                                                                                               , a   I « 11
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                                                                                                      "Tropical Forests").
                                                                                                                                                                      i
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-------
                                               Table 10.17.  Pulp, Paper, and Timber Processing (continued)
                           Potential Negative Impacts
                        Mitigating Measures
      Direct:  Plant Operation (continued)

      5.  •  Release of gaseous wastes.

            •  Sulfur dioxide
            •  Total reduced sulfur compounds (TRS)
            •  Participates
            •  Toxic organic compounds (e.g., chlorine, hydrogen sulfide)
LO
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      6.  •  Release of liquid wastes to water bodies.

            •  Conventional pollutants causing the following impacts:
               •  changes in pH and toxicity
               •  dissolved and suspended solids
               •  eutrophication
               •  foam and scum
               •  slime growth
               •  thermal effects
               •  changes in taste, color and odor
               •  fish-flesh tainting
5.  •  Sulfur Dioxide
       •   Control by proper operations such as liquor recovery furnace.
       •   Select appropriate auxiliary fuels.
       •   Fuel desulfurization, flue gas scrubbing, and process  modifi-
          cation.
       •  Collection by headers, scrubbed with alkali solution, then burned.

       Participate
       •  Removal by evaporator-scrubbers, cyclones or electrostatic pre-
          cipitators.

       Air toxins
       •  Prevent/control releases through process design.

6.  •  In-plant operating and housekeeping measures:

       •  Pulp washing, chemical and fiber recovery, treatment and reuse
          of selected waste streams, collection of spills, and prevention of
          and collection tanks for accidental discharges.
       •  Monitoring of sewers, drainage channels, and discharges to warn
          of spills.
       •  Load leveling of treatment facilities by use of storage basins and
          other measures.
       •  Recycling of barking  water.

-------
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                                                     f;=| j ,--^  s  --=•»= -^=i»---=^= 5=
                                                                      47^ JPuJp, Paper, and Timber Processing (continued)
                                                                      i i       • •   *                         •*
                                         Potential Negative Impacts
                                                                                                        Mitigating Measures
                lip	
                ! !p Direct: Plant Operation (continued)
                !i
                IT'S
                           Toxins such as trichlorophenol, pentachlorophebol and zinc.
             io
             i—i
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             00
                 fK> 7.  •  Disposal of solid wastes on the land.

                 Ill       •  Subsurface leaching with subsequent contamination of ground and
                 'Si          surface water.
                          •  Destruction of ecologically sensitive areas such as  marshes and
                             other wetlands.
                          •  Proliferation of rodents, scavengers and insects harmful to human
                             health.
                         i •  Fires, health hazards, and unsightly conditions.
                  K 8.  Sludge incineration.

                                                                                    •   External effluent treatment:

                                                                                       •  Primary-sedimentation basins, gravity clarifiers, and dissolved
                                                                                         air flotation.
                                                                                       •  Secondary-oxidation ponds,  trickling  filter,  aerated  lagoon,
                                                                                         activated  sludge,  irrigation,  sedimentation basin (to  remove
                                                                                         biological solids) and secondary clarifier.
                                                                                       •  Toxins control by substitution of less/non-toxic chemicals.

                                                                                7.  Source reduction, source segregation, by-product utilization, appropriate
                                                                                    planning and management of disposal sites such as lining of disposal
                                                                                    sites with collection system for run-off water and leachate (see "Solid
                                                                                    Waste Collection and Disposal Systems" section).
                                                                                                                                                                    —1—^—Tr-
                                                                                8.  •  Dewatering by vacuum filtration and chemical conditioning  to
                                                                                       prepare sludges for burning.

                                                                                    •  Incinerators:
                                                                                       •  waste only
                                                                                       •  bunting in the bark boiler
                                                                                       •  burning in power boiler
1 1

-------
                                                 Table 10.17. Pulp, Paper, and Timber Processing (continued)
                            Potential Negative Impacts
                                                                                                    Mitigating Measures
OJ
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Indirect

9.  •  Occupational health effects on workers due to:

       • Special pulp mill operations such as preparing logs (chipping
         and grinding).

       • Handling and storing of pulpwood and  paper chips, and raw
         materials other than pulpwood.

       « Chemical processes used in making pulp, bleaching, and stock
         preparation.

       • Handling of spent liquors and machine room operations involves
         dust, fumes and gases, as well as special  equipment such as
         shredders, clippers, cutters, heavy mobile equipment, etc.

10. Transit patterns disrupted, noise and congestion created, and pedestrian
    hazards aggravated by heavy trucks transporting raw materials, fuel and
    final products to/from the facility.
                                                                                   9. •   Facility should implement a Safety and Health Program designed to:

                                                                                          •  identify, evaluate, monitor, and control hazards to employees
                                                                                          •  design safe operating procedures
                                                                                          •  provide training  in safety  practices and the  handling of
                                                                                             emergencies
                                                                                   10.  •  Site selection can mitigate some of these problems.

                                                                                        •  Special transportation sector studies should be prepared during
                                                                                          project feasibility stage to select best routes to reduce impacts.

                                                                                        •  Follow transportation regulations and develop emergency contin-
                                                                                          gency plans to minimize risk of accidents.

-------
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   TaHc 10.18.  Minint axid Mineral Processes
          ill  i


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                                        Ftotential NctaUve Impacts
                                                                                                     Mitigating Measures
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                                                                                                                    .. ii - =  -     !    _ ™l  =
                      Modificatioo/losfl of soil profile, vegetation, and surface drainages
           J^          during exploration, mining, and construction.
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    2. •  Damage/destruction of cultural resources and historic sites.
----*;

v?     •  Survey monuments during exploration, mining and construction.

    3. •  Degradation of surface waters by soil erosion from disturbed
^        areas, waste piles, and stockpiles.
3S
jfj     •  Decreased capacity of local reservoirs/ponds from sUtation.
                                                                                             1. •  Require appropriate resource surveys, before disturbance, of
                                                                                                   areas that may be affected by the project to identify:

                                                                                                   • cultural and historic resources
                                                                                                   • flora and fauna
                                                                                                   • soils
                                                                                                   • surface and groundwater quality and quantity
                                                                                                   • land uses
                                                                                                   • significant topographic features

                                                                                                •  Mitigation measures based on identified resource conflicts  may
                                                                                                   include:

                                                                                                   • avoidance
                                                                                                   • timing of operations
                                                                                                   • recovering and archiving cultural and historic resources
                                                                                                   • segregation and stockpiling for use in reclamation (soils)

                                                                                             2. See No. 1.
                                                                                             3.  •  Require control of stormwater runoff and prompt revegetation
                                                                                                  on disturbed areas.

                                                                                                •  Avoid disturbance of streams, drainages, ponds and wetlands.
         -1    I!
                                                                                                                                                              Ii !
                                                                                                                                                              U

-------
                                             Table 10.18.  Mining and Mineral Processes (continued)
                     Potential Negative Impacts
                        Mitigating Measures
Direct (continued)
                                                                                •    Where disturbance cannot be avoided,  require use of sediment
                                                                                    control structures/practices.

                                                                                •    Water quality standards should include suspended solids.
4. Contamination of surface waters and shallow groundwater wastes,
   (aquifers) by waste water from mine drainage, equipment servicing,
   and sanitary and domestic wastes.
4. •   Require treatment of:
5. Disruption/contamination of local aquifers by exploration drill holes
   and mining excavations.
6.  Reduction in local water supplies.
          mine drainage
          sanitary/domestic and stormwater runoff to meet water
          quality standards before discharge
   •   Prompt cleanup of any spills (oils, lubricants and cleaning solvents).

   •   Water quality standards should be established for all waste water
       discharges.

S. •   Avoid or minimize penetration of aquifers below the strata
       being mined.

   •   Drill holes outside or below the mine area should be properly cased
       or sealed.

6. Require replacement from alternate sources.

-------

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             11
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                      9.   Degradation/loss of vegetation (and soil productivity) from discharge
                          of contaminated waters (see No. 4).

                      10.  Modification of vegetation and introduction of non-native species.
                     11.  Contamination of surface  areas  with  mineralized/toxic  rock
                          material.

                     12.  Degradation of air quality and visibility from airborne particulates
                          (blasting, road traffic, wind erosion).
                                                                                                 7.   •   Prohibit or restrict disturbance of significant habitat wetlands.

                                                                                                      •   Require prompt reclamation to forage and habitat favorable to local
                                                                                                         wildlife.

                                                                                                 8.   •   Mark wildlife road crossings.

                                                                                                      •   Emphasize driver awareness.

                                                                                                      •   Install road underpasses.

                                                                                                 9.   See No. 4.
   10.  Require prompt reclamation of disturbed areas and revegetation with
       native species.

   11.  Require identification and segregation of toxic rock materials.
   12.  •   Require the following:

          • proper  blasting practices  to minimize  airborne  particulates
          • watering haulage roads
          • prompt  revegetation or  application  of sealants  and  dust
            suppressants to disturbed areas (including waste and topsoil piles)
II
     I   51
                                                                                                                                                                          1:11

-------
                                                   Table 10.18. Mining and Mineral Processes (continued)
                            Potential Negative Impacts
                                                                                                   Mitigating Measures
       Direct (continued)
       13.  Degradation of  air quality  from routine operational (diesel)
            emissions.
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14.  Air quality degradation from processing emissions.
       IS.  Land-use conflicts.
       16.  Road damage, accidents, and traffic delays from increased truck
            traffic on local roads.
13. •  Appropriate pollution control devices should be installed
       and operative on all diesel/gasoline powered equipment.

    •  Hydrocarbon vapor control at all fuel transfer points.

    •  Prompt cleanup of any oil spills.

14. Require use of adequate technology to ensure emissions are kept
    at acceptable levels.

IS. •  Consult with local land users in siting access roads, air
       fields, utility lines, and to extent possible, mining and pro-
       cessing facilities.

    •  Allow other land uses to continue on the site where compatible with
       the operations.

16. •  Observe road load limits.

    •  Design roads for adequate capacity and visibility.

    •  Ensure that roads are properly signed, vehicles are well-maintained,
       and drivers are trained and safety-conscious.

    •  Provide buses or  require that  commuting workers  car-pool  or
       provide buses.

-------
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                                                                  0.18. Milling and Minei^ Processes (continued)
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                                    Potential Negative Impacts
                                                                                  Mitigating Measures
          f   Direct (continued)
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-------
                                                  Table 10.18.  Mining and Mineral Processes (continued)
                           Potential Negative Impacts
                        Mitigating Measures
      Direct (continued)
      21. Increased demands on services and facilities in local communities,
          social and cultural conflicts, concern with community stability
          (boom and bust scenario).
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      22. Conflicts with native cultures, traditions, and life-styles.
21. •  Require pre-development, socioeconomic study of potentially
       affected communities to identify possible impacts on services,
       infrastructure, dislocations, and conflicts.

    •  These impacts can be addressed by:
         community assistance grants
         loans
         prepayment of taxes
         phasing mineral development
         constructing needed community facilities
    *  Cooperative and open working relations should be established early
       with local communities and maintained  throughout the life of the
       project.

    •  Project workers should be encouraged to participate in community
       affairs.

22. •  Brief all employees to ensure awareness of and sensitivity to
       the local cultures, traditions, and lifestyles.

    •  Ensure that native leaders are aware of the projected activities, are
       assisted in identifying impacts that may be of particular concern to
       them,  and have a voice in appropriate mitigation measures.

    •  Mitigation may include isolating  the work force from the native
       community.

-------
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                                         t=                  •               !   i
                                            TaWe 10.18.  Mining and Mineral Processes (continued)
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                             Potential Nef ttit e Impacts
                                                                                                   Mitigating Measures
        Direct (continued)
Ni
        23.  Subsidence of land surface (underground mining).
24. Loss of birds and animals in tailings and leach ponds.
        25.  Modification/disruption of surface waters (dredging).
23.  * Require adequate support be provided in the underground workings
       through pillars, cribbing or backfill.

     • Monitor controlled subsidence and identify possible subsidence areas
       for land-use restrictions.

24.  • Minimize surface area of tailings and leach ponds,  and
       require that they be promptly drained or closed when not in
       use.

     • Net covering, fencing, or scaring may be required at active ponds.

25.  • Require use of sediment control structures/practices.

     • Water quality standards should include suspended solids.
                                                                                                                                                            IS
         Indirect

         1.  Degradation of remote areas through improved access and increased
            use.
                                                                           1.  •  Access remote areas by air rather than roads during early
                                                                                  exploration stage.

                                                                               •  Restrict use of access  roads, and remove and reclaim any access
                                                                                  roads at end of production.

                                                                               •  Minimize need for community development by rotating work crews
                                                                                  and precluding permanent residences.
                                                                                                                                                          B

-------
                                                     Table 10.18. Mining and Mineral Processes (continued)
                             Potential Negative Impacts
                        Mitigating Measures
         Indirect (continued)
         2.  Vandalizau'on of cultural resources and historic sites.
to
         3.  Wildlife loss through poaching.
         4.  Secondary population growth and related effects.
2. •  Do not publicize cultural resource sites in remote or unpro-
      tected locations.

   •  Restrict unnecessary access and patrol sites.

3. Prohibit carrying of firearms in area, restrict unnecessary access,
   and patrol areas.

4. See No. 20.

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    SECTION 4

COUNTRY SPECIFIC
LAWS/BACKGROUND

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SELECTED ENVIRONMENTAL LAWS AND
                    REGULATIONS
              4-1

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   SELECTED U.S. ENVIRONMENTAL LAWS AND REGULATIONS
•     Facts About the National Environmental Policy Act. U.S. Environmental
      Protection Agency. September 1989.

•     Council on Environmental Quality Regulations for Implementing the
      Procedural Provisions of the National Environmental Policy Act. (Source: 40
      Code of Federal Regulations Parts 1500 - 1508)

•     Council on Environmental Quality Forty Most Asked Questions Concerning
      CEQ's National Environmental Policy Regulations. (Source: 46 Federal
      Register 18026 - 18038, March 23, 1981)

•     EPA's Section 309 Review: The Clean Air Act and NEPA. U.S.
      Environmental Protection Agency. March 1995

•     Summaries of Related U.S. Environmental Laws.  (Source: EPA, Cross-
      Cutting Environmental Laws: A Guide for Federal/State Project Officers, 21E
      4001, January 1991)

•     States with Environmental Policy Acts.  (Source: Council on Environmental
      Quality.  1992. Environmental Quality.  22nd Annual Report)

•     States with Limited Environmental Review Requirements Established by
      Stature, Executive Order, or Other Administrative Directives.  (Source:
      Council on Environmental Quality.  1992. Environmental Quality. 22nd Annual
      Report)
      OTHER LAWS AND REGULATIONS

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               United States           September
               Environmental Protection   1989
               Agency

               Enforcement & Compliance Monitoring (LE-133)
SEPA    Facts About
               The  National
               Environmental
               Policy Act
The National Environmental Policy Act (NEPA),
[42 U.S.C. 4321 et seq.J, was signed into law on
January 1,1970. The Act establishes national
environmental policy and goals for the
protection, maintenance, and enhancement of
the environment and it provides a process for
implementing these goals within the federal
agencies. The Act also establishes the Council
on Environmental Quality (CEQ).

NEPA Requirements

Title I of NEPA contains a Declaration of
National Environmental Policy which requires
the federal government to use all practicable
tngflng to create and maintain conditions under
which man and nature can exist in productive
harmony. Section 102 requires federal agencies
to incorporate environmental considerations in
their planning and decision-making through a
systematic interdisciplinary approach.
Specifically, all federal agencies are to prepare
detailed statements assessing the environmental
impact of and alternatives to major federal
actions significantly affecting the environment.
These statements are commonly referred to as
environmental impact statements (EISs). Section
102 also requires federal agencies to lend
appropriate support to initiatives and programs
designed to anticipate and prevent a decline in
the quality of mankind's world environment
  Title n of NEPA establishes the Council on
Environmental Quality (CEQ) and requires the
President to transmit to Congress, with the
assistance of CEQ, an annual Environmental
Quality Report on the state of the environment

Oversight Of NEPA
The Council on Environmental Quality, which is
headed by a fulltime Chairperson, oversees
NEPA. A staff assists the Council. The duties
and functions of the Council are listed in Title
n, Section 204 of NEPA and include: gathering
information on the conditions and trends in
environmental quality; evaluating federal
programs in light of the goals established in
Title I of the Act; developing and promoting
national policies to improve environmental
quality; and conducting studies, surveys,
research, and analyses relating to ecosystems
and environmental quality.
                             Printodcn fttcyttto Ptptf


                                            4-5

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                Illllllllllll II I 111 11 III I 111 III lllllll
                   Implementation

           ;,;:;==,;.,,; ^£	In!178	CEQ promulgated regulations [40 CFR
           ^:,;;nSir.lMts	ISflfclgOS] implementing NEPA which are
                   binding on all federal agencies. The regulations
           ';"|:;;": ^Diddx£$is the procedural provisions of NEPA and
           sSii1 S"£&S	administration of the NEPA process,
                   including preparation of EISs. To date, the only
                   change in the NEPA regulations occurred on
                   May 27,1986, when CEQ amended Section
                    502.22	of its	regulations	to	clarify how agencies
                   ire to carry out their environmental evaluations
                     situations where information is incomplete or
   ^^=::	;;	-" • unavalabe,,
                    CEQ has also issued guidance on various
                          of the regulations including: an
~~, -r:=zrr r ::.::::„:: ^r.~ ...... nformation document on "Forty Most Asked
                  ; Questions ...... Coaserning CEQ's Notional
                                Policy Act", Scoping Guidance,
           iriirtB'J
                               ..... fiegarding NEPA Regulations.
|=^^^^^^^^^        |
" ......... '• ................ ' ........  .......... ......... .................... '""" ....... ' ...........
      ionally, most federal agencies have
      ilgated their own NEPA regulations and
   idance which generally follow the CEQ
   ocedures but are tailored for the specific
... mission ami activities of the	agency.
                  The	NEPA	Process
      	i:.	:="	'.-:'1.'*"-"!	'The NEPA process consists of an evaluation of •
      ".;'	';	™iri1',;:''	;;;"""'~"",,,tilie environmental effects of a federal
                  undertaking including its alternatives. There are
                  three levels of analysis depending on whether or
                  not an undertaking could significantly affect the
     	  	._	,	,	i	,,	environment	Tjigse	thrgg	levels,	include:
                  categorical exclusion determination; preparation
                  of an environmental assessment/finding of no
                  significant impact (EA/FONSr); and preparation
              ,	];,;;,,	of an	environmental	impact statement (EIS).
              :::*—'2	At	the first	level, an undertaking may be
              :;:'::ji	'	"categorically excluded from a detailed
                  environmental	analysis if it meets certain
              ^j^^^S^^^SEjl	federal agency has previously
              	 determined	as	having no significant
           ,      environmental	impact. A number of agencies
                  have	developed lists of actions which are
                        ~ly categorically excluded from
                                      "as,	under, .their NEPA	
                     t the second level of analysis, a federal
                         prepares a written environmental
                            "(2SJ	to	determine whether or not a
 T^fz^r:::—,:::	:::::::	i-ied.eisi,,undertaking would significantly affect
          SSiSiSis	Hnvmmmant.	ffthg	answer	|§	ng,	fee	agency
                  issues a finding of no significant impact
    i.,^                                               	iii^ii^
 (FONSI). The FONSI may address measures
 which an agency will take to reduce (mitigate)
 potentially significant impacts.
  If the EA determines that the environmental
 consequences of a proposed federal undertaking
 may be significant, an EIS is prepared. An EIS is
 a more detailed evaluation of the proposed
 action and alternatives. The public, other federal
 agencies and outside parties may provide input
 into the preparation of an EIS and then
 comment on the draft EIS when it is completed.
  If a federal agency anticipates that an
 undertaking may significantly impact the
 environment, or if a project is environmentally
 controversial, a federal agency may choose to
 prepare an EIS without having to first prepare
 anEA.
  After a final EIS is prepared and at the time of
 its decision, a federal agency will prepare a
 public record of its decision addressing how the
 findings of the EIS, including consideration of
 alternatives, were incorporated into the agency's
 decision-making process.
  During the latter half of the 1980s,
 approximately 450 draft and final EISs were
 prepared annually on federal actions. During
 that same period between 10,000 and 20,000
 EAs were prepared annually.

EA And EIS Components

 An EA is described in Section 1508.9 of the
 Council's NEPA regulations. Generally, an EA
 includes brief discussions of the following: the
 need for the proposal; alternatives (when there
 is an unresolved conflict concerning alternative
 uses of available resources); the environmental
 impacts of the proposed action and alternatives;
and a listing of agencies and persons consulted.
  An EIS, which is described in Part 1502 of the
regulations, should include discussions of the
 purpose of and need for the action, alternatives,
the affected environment, the environmental
consequences of the proposed action, lists of
preparers, agencies, organizations and persons
to whom the statement is sent, an index, and an
appendix (if any).
  .'
Federal Agency Roles

The role of a federal agency in the NEPA
process depends on the agency's expertise and
relationship to the proposed undertaking. The
agency carrying out the federal action is
                       with the requirement


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 of NEPA. In some cases, there may be more
 one federal agency involved in an undertaking.
 In this situation, a lead agency is designated to
 supervise preparation of the environmental
 analysis. Federal agencies, together with state or
 local agencies, may act as joint lead agencies.
   A federal agency having special expertise with
 respect to an environmental issue or jurisdiction
 by law may be a cooperating agency in the
 NEPA process. A cooperating agency has the
 responsibility to assist the lead agency by
 participating in the NEPA process at the earliest
 possible time; by participating in the scoping
 process; in developing information and
 preparing environmental analyses including
 portions of the environmental impact statement
 concerning which the cooperating agency has
 special expertise; and in making available staff
 support at the lead agency's request to enhance
 the lead agency's interdisciplinary capabilities.
  Under Section 1504 of CEQ's NEPA
 regulations, federal agencies may refer to CEQ
 interagency disagreements concerning proposed
 federal actions that might cause unsatisfactory
 environmental effects. CEQ's role, when it
 accepts a referral, is generally to develop
 findings and recommendations, consistent with
 the policy goals of Section 101 of NEPA. The
 referral process consists of certain steps and is
 carried out within a specified time frame.
  In deciding whether or not to refer an action,
 an agency must consider the extent of potential
 adverse environmental impacts including:
 possible violation of national environmental
 standards or policies, severity, geographical
 scope, duration, importance as precedents, and
 availability of environmentally preferable
alternatives. A referring agency must advise the
 lead agency of its intention to refer the matter to
CEQ and notify CEQ. In advising the lead
agency, the referring agency will address the
reasons for the referral and recommendations for
remedying the situation. If the lead agency does
not satisfactorily respond to the referral agency,
then the matter is forwarded to CEQ. CEQ may
take several actions to resolve the situation
including:
• Discussing the matter with both agencies.

• Holding public meetings to  obtain additional
 information.
• Determining that the issue is not of national
importance and that the agencies should
proceed with their decision-making.
• Publishing its findings and recommendations.
• Submitting (when appropriate) the referral
and its recommendations to the President for
action. Although not binding, CEQ's
recommendations cany weight and influence.
Agencies generally follow CEQ's guidance.

EPA's Role

The Environmental Protection Agency, like
other federal agencies, prepares and reviews
NEPA documents. However, EPA has a unique
responsibility in the NEPA review process.
Under Section 309 of the Clean Air Act, EPA is
required to review and publicly comment on the
environmental impacts of major federal actions
including actions which are the subject of EISs.
If EPA determines that the action is
environmentally unsatisfactory, it is required by
Section 309 to refer the matter to CEQ. In the
period between 1974 to 1989, there were 24
referrals to CEQ, of which 14  were submitted by
EPA. EPA's 309 review process is described at
the end of this pamphlet
  Also, in accordance with a Memorandum of
Agreement between EPA and  CEQ, EPA carries
out the operational duties associated with, the
administrative aspects of the EIS filing process.
The Office of Federal Activities in EPA has been
designated the official recipient in EPA of all
EISs prepared by federal agencies.

The Public's Role

The public has an important role in the NEPA
process, particularly during scoping, in
providing input on what issues should be
addressed in an EIS and in commenting on the
findings in an agency's NEPA documents. The
public can participate in the NEPA process by
attending NEPA-related hearings or public
meetings and by submitting comments directly
to the lead agency. The lead agency must take
into consideration all comments received from
the public and other parties on NEPA
documents during the comment period.

NEPA And Other Environmental Laws

The NEPA review takes into consideration the
effect that an action may have on various
aspects of the environment. Some of these areas,
such as impacts on endangered species and
cultural resources, are also covered by other
environmental laws including the Endangered
                                              4-7

-------
 Species Act, the National Historic Preservation
 Act, etc. To reduce paperwork and avoid delays
 in the decision-making process, federal agencies
 must, to the fullest extent possible, integrate the
 NEPA review with the analytic and consultation
 requirements of these other environmental laws.
   The NEPA review also takes into
 consideration whether a federal undertaking is
 in compliance with statutes such as the Clean
 Water Act and the Clean Air Act In these cases,
 the lead agency would consult with the agencies
 overseeing these statutes to ensure compliance
 i«3th any criteria and standards promulgated
 under these laws.
alterations in project design, location or
operation; agency consideration of a greater
range of alternatives; implementation of
mitigation measures; and enhanced opportunity
for public involvement in the decision-making
process. An additional benefit has been a
reduction of some project costs because of
changes made in projects. The NEPA review
process has also enabled agencies to address
compliance with other environmental laws as
part of a single review process rather than
separate reviews under each law, thereby
reducing the amount of paperwork, staff time,
and effort
               ;' Integration Into Federal Decision-Making
]:::::;:;;::	;;--• -:::;.;fTJhe CEQ NEPA regulations require federal
                agencies to make the environmental review
	"'	'	"	'	'"	''documents and any comments and responses a
         	 part	of the record in formal rulemaking and
                adjudicatory proceedings. These documents
                must also accompany the proposal through the
                federal agency's review process. In malting its
       S^jEH,	ii'jik decision on	a proposal, an agency must consider
                a full range of alternatives including ones
                     ated in Jhe NEPA review,
             Jf"!	Most federal agencies have promulgated
            :!21 "NEPA regulations which address how the NEPA
                         ~~	be	incorporated into their various
                         Agencies are encouraged to prepare
               Jjrgajl	EJSs	ggvering policy or programmatic
             •;';;••	actions	and	to	tier subsequent NEPA reviews to
               individual actions included within the program
                	"	y"	For	legislative proposals, the NEPA
                       is integrated with the legislative process
                  Congress. Federal agencies are required to
i^v",™,^™ -	™in^grate the NEPA review early in program or
•"	|IL|	li	jji!	!"	"m" '"project planning. In Ae preparation of EISs, the
!!!=           scoping process provides for early identification
               and consideration of environmental issues and
               alternatives.

               The Benefits Of NEPA
                                                       State NEPAs
NEPA has caused federal agencies to incorporate
environmental values in their decision-making.
For most agencies, the NEPA review is now an
Integral part of program planning. To oversee
compliance with NEPA, many agencies have
organized multi-disciplinary staffs. The primary
benefit has been more protection for the
environment in federal undertakings. This has
come about because of the NEPA review process
and resultant changes in projects, such as
Following the passage of NEPA, which only
applies to federal actions, a number of states
passed laws which incorporate consideration of
environmental effects into state actions. Many of
the state NEPAs, or "little NEPAs" as they are
commonly called, are modelled after the federal
NEPA. Presently, 11 states have passed laws
with comprehensive environmental review
requirements. Fourteen states have limited
environmental review requirements established
by executive order or other administrative
directives.

EPA's "309" Review Process

Section 309 of the Clean Air Act states:
 (a) "The Administrator shall review and
comment in writing on the environmental
impact of any matter relating to duties and
responsibilities granted pursuant to this chapter
or other provisions of the authority of the
Administrator, contained in any (1) legislation
proposed by any federal department or agency.
(2) newly authorized federal projects for
construction and any major federal agency
action (other than a project for construction) to
which Section 4332 (2) (C) of this title applies.
and (3) proposed regulations published by any
department or agency of the federal government
Such written comment shall be made public at
the conclusion of any such review.
 (b) In the event the Administrator determines
that any such legislation, action, or regulation is
unsatisfactory from the stand-point of public
health or welfare or environmental quality, he
shall publish his determination and the matter
shall be referred to the Council on
Environmental Quality."
                                              4-8

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   This Section was added to the Clean Air Act
 in 1970, at the time the NEPA was passed and
 EPA was formed. The rationale was that the
 EISs that federal agencies would be developing
 under NEPA should have an independent.
 review and that the newly formed EPA should
 perform it
   EPA developed implementing procedures in
1971 to carry out this responsibility and, in
 conjunction with the CEQ, has since refined
 these procedures. Operating procedures are
 contained in the manual, Policies and
 Procedures for the Review of Federal Actions
 Impacting the Environment (revised in 1984).
   In accordance with these operating
 procedures, EPA reviews, comments, and makes
 the comments available to the public, on all
 federal draft and final EISs, proposed
 environmental regulations, and other proposed
 major actions EPA considers to have significant
 environmental effects. EPA has reviewed all of
 the draft and final EISs prepared by federal
 agencies since the passage of NEPA.
   The  major elements of the 309 review process
 include the following:
•  EPA reviews and comments on both the
adequacy of the analysis and the environmental
impacts of the proposed action itself.
•  EPA comments on issues related to its "duties
and  responsibilities", which include all
environmental media (i.e., air, water, etc.),
methodologies related to media-impact
assessment, and areas related to its regulatory
responsibilities.

•  EPA comments on potential violation of or
inconsistency with national environmental
standards and determines whether adequate
information has been provided to
assess potential environmental impacts of the
proposed action.
•  In general,  the degree to which the Agency
gets involved in attempting to modify a
proposed project depends on the level of
environmental impacts, the ability and
willingness of the proposng federal agency to
mitigate those impacts, and the level of
responsibility EPA has over the type of impact
at  issue.
 • If the action is a federal project to be located
 in or on a specific site, the appropriate EPA
 regional office has die jurisdiction and delegated
 responsibility for carrying out the Section 309
 CAA review and working with the proposing
 federal agency to resolve any problems. If the
 action by the proposing federal
. department/agency is legislative or regulatory,
 generally the Section 309 CAA review will be
 conducted directly in EPA headquarters.

 • For federal-project cases, EPA headquarters
 becomes involved if the region finds that the
 proposed action in the draft EIS is
 "environmentally unsatisfactory", or that the
 draft EIS is "inadequate" to assess the
 potentially significant environmental impacts of
 proposed actions. In these cases, headquarters
 must approve the regional comment letter before
 it is sent In addition, EPA headquarters works
 with regional  personnel in informing interested
 parties about the EPA action and will assist the
 region, as needed, in meeting with the
 proposing  federal agency to resolve the issues.
 The CEQ is always notified of a draft EIS which
 has been rated "unsatisfactory" or "inadequate"
 by EPA.

 • If the region finds that the subsequent final
 EIS is still "environmentally unsatisfactory", the
 region recommends to the Administrator that
 the matter be referred to the CEQ for resolution.
 At this time, EPA headquarters becomes
 significantly involved in the factual
 determination and judgment on the EIS.
 • The process is carried out so as to ensure the
 independence of the EPA review responsibilities
 and to coordinate in a manner which
 emphasizes consultation with the lead agency
 and informing interested parties of EPA actions
 and concerns.
                                           4-9

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Council on Environmental Quality Regulations for Implementing the
Procedural Provisions of the National Environmental  Policy  Act
(Source:  40 Code of Federal Regulations Parts 1500 - 1508)
                          4-11

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FORTY MOST ASKED QUESTIONS CONCERNING
       CEQ*S NATIONAL ENVIRONMENTAL
           POLICY ACT REGULATIONS

The Council on Environmental Quality published answers
to the  "forty most  asked questions concerning CEQ's
National Environmental Policy Act Regulations* in toe
March 23, 1981 Federal Register (46 PR 18026-18038).
The answers to the questions were prepared by the General
Counsel of CEQ in consultation with the Office of Federal
Activities of EPA.   The answers do not impose any
additional requirements  beyond  those of the NEPA
regulations but are meant to provide aid in the practical
application of the regulations.  The subjects covered by the
40 questions are as follows:

 1.   Range of alternatives
 2.   Alternatives outside the capability of applicant or
      jurisdiction of agency
 3.   No action alternative
 4.   Preferred alternative of the agency
 S.   Proposed action vs. piefciied alternative
 6.   Environmentally preferable alternative
 7.   Difference Lelwcui sections of EIS on alternatives
      ^fflfl CHVTH >flm^H'tsM COlUCOOCflCCV
 8.   Early application of NEPA
 9.   Applicant who needs other permits
10.   Limitations on  action during 30-day review period
      for final EIS
11.   Limitations on  actions by an applicant during FT5
      process
12.   Effective date and enforceabflity of the regulations
13.   Use of scoping before notice of intent to prepare EIS
14.   Rights and responsibilities of lead and cooperating
      agencies
IS.   Commenting responsibilities of EPA
16.   Third party contracts
17.   Disclosure statement to avoid conflict of interest
18.   Uncertainties about indirect effects of a proposal
19.   Mitigation measures
20.   Worst case analysis
21.   Combining environmental afy^ planning dflctiin***^**
22.   State and federal agencies as joint lead agencies
23.   Conflicts of federal proposal win land use plans, on
      policies and controls
24.   Environmental impact statements on policies, plans

25.   Appendices and incorporation by reference
26.   lintel •«< keyword hvitec in PTS«
27.   List of preparen
28.   Advance or photocopies of EIS
29.   Responses to comments
30.   Adoption of EISs
31.   Application of regulations to independent regulatory
      agencies
32.   Supplements to old EISs
33.
34.*
35.
36.
37.
38.
39.
40.
      Referrals
      Records of decision
      Time required for the NEPA process
      Environmental assessments (EA)
      Findings of no r'finiP"*1"' impact (FONSI)
      Public availability of EAs vs. FONSIs
      Mitigation measures imposed in EAs and FONSIs
      Propriety of issuing EA when mitigation reduces
      impacts

            QUESTIONS AND ANSWERS
to. Q. What is meant by "range of alternatives' as referred
to in Section 1505.1(e)?

A.  The  phrase "range of  alternatives" refers  to  the
alternatives discussed in  environmental  documents. It
includes  ill  reasonable alternatives  which must  be
rigorously explored and objectively evaluated, as well as
those other alternatives which are eliminated from detailed
study with a brief discussion of the reasons for eliminating
them  (Section  1502.14).  A  decision maker must  not
consider  alternatives beyond the  range of  alternatives
discussed in the relevant environmental ,

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                  II":
                  i	
partic
          lar
                                                            include those
                   that  are practical or  feasible  from  the  t'"'hnktl and
                  ''Economic ^"iKMH^iii'T,  ft«tflg eonunon  imff*i rather thyn
                   those simply desirable from the standpointof the applicant.
                   2b. Q.  Must the  E1S analyze alternatives outside the
                  Jurisdiction or capability of the agency or beyond what
                   Congress h«« authorized?
                  iiiin^^                                ...... mims, ....... amat ....... i
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agencies can identity this official in this implementing
procedures, pursuant to Section 1507.3.
      Even though the preferied alternative of the agency
is yfrn+rfi*** by the EIS preparer in the EIS, the •titfmfnt
must be objectively prepared and not slanted to support the
choice of the preferred alternative of the agency over the
other reasonable and feasible alternatives.

5a. Q.  Is  the "proposed  action"  the same thing as the
"ptefeiieU  alternative"?

A. The "proposed action"  may be, but is not necessarily,
the "preferred alternative of the  agency.  The proposed
action may be  a proposal  in its  initial  form  before
undergoing analysis in the EIS process. If the proposed
action is internally  generated, such as preparing a land
management plan, the proposed action might end up as the
preferred alternative of the agency. On the other hand, the
proposed action may be  granting an  application to  a
nonfederal entity for a permit. The agency may or may not
have a "preferred alternative" at the  draft EIS  stage (see
Question 4 above). In that  case, the agency may decide at
the final EIS stage, on tfae basis of the  draft EIS  and the
public and agency comments, that an alternative other than
the proposed action is the "preferred alternative" of the
agency.

5b. Q. Is tfae analysis of the "proposed action" in an EIS
to' be treated differently from the analysis of alternatives?

A. The degree of analysis devoted to each alternative in the
EIS is to be substantially  similar to  **"> devoted to the
"proposed action*. Section 1501.3 is  tided, "Alternatives
included in  the  proposed  action,"  to  reflect  such
comparable treatment,  Section 1502.14(9b) specifically
requires  "substantial treatment"  in the  EIS of each
alternative, including the proposed action. This  regulation
does not dictate an amount of information to be provided,
but rather prescribes a level of treatment which may,  in
turn, require varying amounts of information to enable a
reviewer to evaluate and compare alternatives.

6s. Q. What is the meaning of the term **n"if'nrj«*Ttfiifly
preferable  alternative", as used in the regulations with
reference to records of decision? How is the term "envi-
ronment" used in the phrase?

A. Section  1505.2(b) requires that, m eases where an EIS
has been prepared, the  record of decision (ROD) must
identify all alternatives that  were considered, "...
specifying  the  alternative or alternatives which  were
considered  to  be  environmentally preferable."  The
environmentally preferable alternative is tfae alternative that
wffl promote tfae national environmental policy as expressed
in  NEPA, Section  101.  Ordinarily,  this  means the
alternative  that causes the least damage to the  biological
         and physical environment; it also means tfae alternative
         which best protects, preserves, and  •*•*****•* historic,
         cultural, and natural resources.
              The Council recognizes that the identification of the
         environmentally preferable alternative may involve dtftv^ifc
        judgments, particularly when one environmental value must
         be balanced against another. The public and other agencies
         reviewing a draft EIS can assist the lead agency to develop
         and determine environmentally preferable alternatives by
         providing their  views in comments on the draft EIS.
         Through the identification of the environmentally preferable
         alternative, the decision maker is clearly faced with a
         choice between that alternative and  others, and  must
         consider  whether  the  decision  accords  with  the
         Congressionally declared policies of the act

         6fo.  Q. Who  recommends or determines  that which  is
         environmentally preferable?

         A.  The  agency  EIS  staff is  encouraged  to   make
         recommendations  of  the  environmentally preferable
         alternatives) during EIS preparation. In any event, the lead
         agency official responsible for the EIS is encouraged to
         identify the environmentally preferable alternative^) in the
         EIS. In all casei, comments from other agencies and the
        public are also encouraged to address mis  question. The
        agency must identify  the environmentally preferable
         alternative in the ROD.

        7. Q. What is the difference between the sections in the
         ESS on "alternatives" and  "environmental consequences"?
        How do you avoid duplicating the discussion of alternatives
         in preparing these two sections?

        A. The "alternatives" section is the heart of the EIS. This
        section rigorously  explores and objectively evaluates an
         reasonable alternatives, including the proposed action
         (Section 1502.14). It should include relevant comparisons
        on environmental and other grounds. The "environmental
        consequences" section of the EIS discusses  the specific
         environmental impacts or effects of each of the alternatives,
         including the proposed action (Section 1502.16). In order
        to avoid  duplication between these two sections, most of
        the "alternatives" section should be devoted to describing
         and comparing the alternatives.  Discussion of the
        environmental impacts  of these alternatives should  be
         limited to a concise, descriptive summary of such impacts
        in a comparative form, including  charts or  tables, thus
        sharply defining the iinift and providing a clear basis for
        choice   among   options  (Section   1502.14).   The
         "environmental consequences* section  should be devoted
         largely to a scientific analysis of the direct and indirect
         environmental effects of the proposed action and of each of
        the alternatives. ft  forms the analytic basis for the concise
         comparison in the "alternatives" section.
4-15  t

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             «. Q. Section ...... 1501 ^«KTier mni u»»l5'i«ig «pplv-«ttf«' rmnmprft~ftt*l fftKJjff
              l||i|il||liiM^^^	
                	or "eir|y corporate environmental assfiiiirnU" to fulfill
         ,1^'	I	  some	of the	NEPA obligations of die  federal'agency.
         	'	'	;	~:	However, in  such cases,	the	agency must still evaluate
                  independently  die  environmental  : issues  and  take
                             •  for the environmental ssscstment.
                                                                                           I
                                                                  9. Q. To what extent must an agency inquire into whether
                                                                  an  applicant for a  federal  permit,  funding,  or other
                                                                  approval of a  proposal will also  need approval from
                                                                  another agency for the same proposal or some other related
                                                                  aspect of it?

                                                                  A. Agencies must integrate tbe NEPA process into other
                                                                  planning at die earliest possible time to insure that planning
                                                                  and decisions reflect environmental values, to avoid delays
                                                                  later in the process, and to head off potential conflicts.
                                                                  Specifically, the agency must "provide  for cases where
                                                                  actions are planned by.. .applications,* so that designated
                                                                  staff are available to advise potential applicants of studies
                                                                  or other information that will foreseeably be required for
                                                                  the later federal action; the agency shall consult with the
                                                                  applicant if lie agency foresees its own involvement in the
                                                                  proposal;  and ft shall insure  that the  NEPA process
                                                                  commences at the earliest possible time (Section 1501.2(d);
                                                                  see Question 8).
                                                                       The regulations emphasize agency cooperation early
                                                                  in die NEPA process (Section 1501.5). Section 1501.7 on
                                                                  "scoping* also provides that all affected federal agencies
                                                                  are to be invited to participate in scoping the environmental
                                                                  issues and to identify the various environmental review and
                                                                  consultation requirements that may apply to the proposed
           acse	provisions are intended to  encourage and
12       private and _ other nonfederal entities to  build	
                        rations into their own planning proc-
                                                                      	action.	Further,	Section 1502.25(b) requires that the draft
                                                                          EIS list aD the  federal permits,  licenses,  and other
                                                                      	entitlements that	are needed to	.implement the proposal.
                                                                                These provisions create an affirmative obligation on
                                                                          federal agencies to inquire early and, to the maximum
                                                                          degree possible, to ascertain whether an applicant is or will
                                                                          oe seeking other federal assistance or approval, or whether
                                                                          tbe  applicant is  waiting  until  a proposal has  been
                                                                          substantially developed before requesting federal aid  or
                                                                          approval.
                                                                                Thus, a federal  agency receiving a request for
                                                                          approval or assistance,  should  determine whether the
                                                                          applicant has filed separate requests for federal approval or
                                                                          assistance with  other  federal  agencies. Other  fr4t r*^
                                                                          agencies that are likely to become involved should then be
                                                                          ffflngfVd, and the NEPA process coordinated to insure an
                                                                          early and comprehensive analysis of the direct and indirect
                                                                          effects of the proposal and any related actions. The agency
                                                                          should inform the applicant the  action on its application
                                                                          may  be delayed  unless k  submits all other  federal
                                                                          applications (where feasible  to  do so)  so that  all the
                                                                          relevant agencies can work together on me scoping process
                                                                          and preparation of tbe EIS.

                                                                          lOa. Q. What actions  by agencies and/or applicants are
                                                                          allowed during EIS preparation and  during the 30-day
                                                                          review period after publication of a final EIS?
    e»»es ma way thst facilitates the application of NEPA and
                                                                          A. No federal decision on the proposed action shall be

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 EPA (Section*  1505.2 and 1506.10).  Section  1505-2
 requites this decision to be stated in a public record of
 decision. Until the agency issues its record of decision, no
 action by an agency or applicant concerning the proposal
 shall be taken which would have an advene environmental
 impif*  or K™*  ri*T  '"tvKT of reasonable •*t*Tnftivcs
 (Section 1506.1(a)). But this does not preclude preliminary
 planning or design  work which is needed to support an
 application for perms* or assistance (Section 1506.1(d).
      When the impact statement in question is a program
 BIS, no major action coucmiing the program may be taken
 which may significantly affect the quality of the human
 environment,  unless  the  particular  action is justified
 independently of the program, is  accompanied by its own
 adequate environmental impact statement, and win not
 prejudice the ultimate decision on the program (Section
 1506. l(c)).

 106.  Q. Do these limitations on action (described in
 Question lOa) apply to state or local agencies that have
 statutoruy  delegated  responsibility for  preparation of
 ^twirff'wiKHHM documents required by NEPA, for example,
 under the HUD Block Grant program?

 A. Yes,  these limitations do apply, without any variation
 from their application to federal aj
11. Q. What actions must a lead agency taken during the
NEPA process when it becomes aware mat a non&deral
applicant is about to take an action within the jurisdiction
of  the agency mat would  either have an  adverse

alternatives (e.g., prematurely commit money or other re-
sources towards the completion of the proposal)?

A. The federal agency must notify the applicant mat the
agency wffl take strong affirmative steps to insure mat the
objectives and procedures of NEPA are fulfilled  (Section
1506.1(b). These steps could include seeking injunctive
measurements under NEPA, or  the  use of sanctions
available  "rvtrr either the permitting  authority of the
agency or fTiti*rr setting forth the statutory nMTtK*n of the
agency. For example, the agency might advise an applicant
that if such action is taken, the agency wifl not process the
application.

12a. Q. What actions are subject to the new regulations of
CEQ, and what actions are grandfittbered under the old
guidelines?

A. The effective date of the CEQ regulations was July 30.
1979 (except for certain HUD programs under the Housing
and Community Development Act, 42 U.S.C. 5304(h), and
certain state highway programs that qualify  under Section
102(2XD) of NEPA for which the regulations became
effective on November 30,1979). AH the provisions of the
regulations are binding as of that date, including those
covering decision making, public participation, referrals,
limitations on actions, EIS supplements, etc. For example,
a record of decision would be prepared even far decisions
where the draft EIS was filed before Jury 30, 1979.
      But in  determining  whether or  not the  new
regulations apply to the preparation of a  r«*r"hr
environmental document, the relevant factor is the date of
filing of the draft of that  document.  Thus, the  new
regulations do not require the  «a*«o«n of an EIS  or
supplement if the draft EIS or supplement was filed before
July 30, 1979. However, a supplement prepared after the
effective date of the regulations for an EIS issued in  final
before the effective date  of the regulations  would be
controlled by the regulations.
      Even though agencies are not required to apply the
regulation* to an EIS or other document for which the draft
was filed prior to July 30,1979, the regulations encourage
agencies to follow the regulations 'to the fullest extent
practicable,' Le., if it is feasible to do so, in preparing the
final document (Section 1506.12(a)).

12b. Q. Are projects authorized by Congress before the
effective date of the CEQ regulations grandfathered?

A.  No. The  date of Congressional authorization for a
project is not determinative of whether the CEQ regulations
or former guidelines apply to  the particular proposal. No
incomplete projects or  proposals of  any  kind  are
grandfathered  in  whole  or in  part  Only  certain
environmental documents, for which the draft was issued
before  the  effective  date   of  the  regulations,  are
grandfathered >|v^ subject to the former guidelines of the
CEQ.

12c. Q. Can a violation of the regulations give rise  to a
cause of action?

A. While a trivial violation of the regulations would not
give rise to an independent cause of action, such a cause of
action would arise  from a substantial violation of me
regulations (Section 1500.3).

13. Q. Can the scoping process be used in connection with
preparation of an environmental tssnimenl, Le,, before
bom the decision to proceed with an EIS and publication of
a notice of intent?

A.  Yes. Scoping can be a  useful tool for discovering
alternatives to a proposal or significant impacts mat  may
have been overlooked. In cases where an environmental
assessment is being prepared to help an agency decide
whether to preparean EIS, useful information might result
from early participttion by other agencies and the public in
a scoping process.
                                                     4-17

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                       The regulations state that the scoping process is to be
                  preceded by a notice of intent (NOI) to prepare an EIS. But
                  that is only the minimum requirement. Scoping may be
                  initiated earlier,  as long as there is appropriate public
                  notice and enough information available on the proposal so
                  that  the  public  and relevant agencies can  participate
                  effectively.
                       However, scoping that is done before the assessment,
                  and in  aid  of its preparation, cannot substitute for the
                  normal scoping process after p
                                                     i of the NOI, unless
                  the earlier public notice stated eleariy that mis' possibility
                  was under consideration, and	the	NOI expressly provides
                  that written comments on the  scope of alternatives and
                  impacts wiH still be considered.
                  I                         '!,'''

	,	14«- Q. What aze the respective rights aad responsibilities
                  of  lead aad cooperating agencies? What letters  and
                  nxaDorsudt,must be prepared?

                  A.  After a lead agency has  been designated  (Section
                  1501.5),  that agency  has  the responsibility to  solicit
                  cooperation from other federal agencies mat have jurisdic-
                  tion by law or special expertise on any environmental issue
                  that should be addressed in the EIS being prepared. Where
                  appropriate^ the lead agency should seek the cooperation of
II ll	II Illl Iililll 1111 il state or local agencies of similar qualifications. When the
                  proposal may affect  an Indian reservation, the agency
                  should consult with die Indian tribe (Section 1508.5).  The
                  request for cooperation should come at the earliest possible
                  time in the NEPA process.
                       After discussions with the  candidate cooperating
                  agencies, the lead agency and the coorgraHng agencies are
                  to determine by  letter or by memorandum which agencies
                      undertake cooperating responiMiHrs. To the  extent
      i iiiiiii (i iiiiiii
      iiiiii  il i il
ill iiiiiii
ill iiiiiii iiii
llllllll1, 'I
                  possibk at this stage, responsftiKties for specific issues
                  should be assigned. The allocation of responsibilities will
                  be completed during scoping (Section 1501.7(aX4)).
                       Cooperating agencies must assume responsibility for
                  the development of information and the preparation of
                  environmental analyses at the request of the lead agency
                  (Section 1501.6(bX3)). Cooperating agencies  are not
          1''llin	required by Section 1501.6 to devote staff resources that
                  were normally used to critique or comment on the  draft
                  EIS after  its preparation, much  earlier  in  the NEPA
                  process-primarily at the scoping and draft EIS preparation
                  stages. If a cooperating agency determines that its resource
                  limitations  preclude any involvement, or the degree of
                  involvement  (amount of  work) requested by the  lead
                  agency, it must so inform the lead agency in writing and
                  submit  a	copy of mis correspondence to  the Council
                  (Section	1501.6(c)).
                       In other words, the potential cooperating agency must
          fill I1'     dccidectriy if k i* able to devote any of its resources to a
         	  particular proposal. For mis reason, the regulation states
                  mat an agency may reply to a request for cooperation that
                  "other; program commitments preclude any involvement or
:iit£iiii<;M                          ' «B*fKii;rti	'din	tttaw

 the degree of involvement requested in the action that is the
 subject of the environmental impact •^Timf (Emphasis
 added.) The regulations refers to the 'action', rather than
 to the EIS, to clarify that the agency is taking itself out of
 afl phases of  the  federal action,  not just draft  EIS
 preparation. This means mat the agency has determined
 that it cannot be involved in the later stages of EIS review
 and comment, as well as decision making on the proposed
 action.  For  mis  reason,  cooperating  agencies   with
 jurisdiction by law (those which have remitting or other
 approval authority) cannot opt  out entirely of the duty to
 cooperate on the EIS (see also  Question 15,  relating
 specifically to the responsibility of EPA).

 14b.  Q. How  are disputes  resolved  between lead  and
 cooperating agencies concerning the scope and level of
 detail of  analysis and the  quality of data in impact
 statements?
 in «"I'MII«III«"II"«W       i mil nniiiiiininniii ininnnn	mi nnnginin in n iniiiii   n HIM in in  n i inn in  mini i iniinnnn n inn
      	
 A. Such disputes are resolved by the agencies themselves.
 A lead agency, of course, has  the ultimate responsibility
 for the content of an EIS. But it is supposed to  use the
 environmental  analysis  and  recommendations   of
 cooperating agencies with jurisdiction  by law or special
 expertise to the maximum extent possible, consistent with
 its   own   responsibilities  aa  lead  agency   (Section
 1501.6(aX2)).
       If the lead agency leaves out a «gtii!•"!?! KJ
                           !^	•	•	"	'.	ra?:;*3	i::*.	"'	I'	!•':	5'5i	i^^*ir.i:;;3:Fi^.^'^w^ffiiK\1K«	K^™K$,:
                                                                                                                           'i ••• Y'T&'i,	!:. iSi t :i;f;'" *	w*!*1}! i '• i'"	- aa i v w ' 'i* s™'	i'1--	a	'»' "•!;l l! ••  >• "* • v' w* '•'im	"*	!""'!"
 '	'	"	'	*'	"" £1^^^^                            	iii                    	SI,!5;*:!1	:^^^^^^^                                                     	'&
                  	iii-r:	
                               	:	S-	

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 14c. Q. What aie the specific responsibilities of federal and
 state cooperating agencies to review draft EISs?
A. Cooperatingage
i (Le., agencies with jurisdiction by
law or special expertise) and agencies that are authorized
to  develop or  enforce environmental standards must
comment on environmental impact irtttmvrntf within their
jurisdiction, expertise,  or authority  (Sections  1503.2,
1508.5). If a cooperating agency is satisfied that its viewr
are adequately  reflected  in  the environmental  impact
statement,  it   should  simply  comment  accordingly.
Conversely, if the cooperating agency determines that a
draft Pfs ]g incomplete, jnf/**"i'n?'*. or Jntcfffn.tr, or it **"
other comments, k should promptly make such comments,
conforming to the requirements of specificity in Section
15033.

14d. Q. How is the lead agency to treat the comments of
another agency with jurisdiction by law or special expertise
which has failed or refused to  cooperate or participate in
scoping or ELS preparation?

A. A lead agency has the  responsibility to respond to all
substantive cftrniiifT*** raising significant itmr*- regarding a
draft EIS (Section 1500.4). However, cooperating agencies
are generally  under  an obligation to raise issues or
otherwise participate in the EIS  process during scoping and
EIS preparation if they reasonably can do so. In practical
terms,  if a cooperating agency fails to cooperate at the
outset,  such as  during scoping,  it win find that its
comments at a later stage win not be as persuasive to the
lead agency.

15. Q.  Are responsibilities  of the EPA to  review and
comment on the environmental effects of agency proposals
under Section 309 of the Clean Air Act independent of its
responsjbilily as a cooperating agency?

A. Yes.  EPA has an obligation under Section 309 of the
dean Air Act to review and comment in writing on the
»fpftm^py^*«i imrint of any *"•»*** relating to the authority
of the administrator  contained m proposed  legislation,
federal construction projects, other federal actions requiring
EISs, and new regulations (42 U.S.C. See. 7609). This
obligation is independent of its role as a, cooperating agency
under the NEPA regulations.

16. Q. What is meant by the term •third party contracts*
in connection with the preparation of an EIS? (See Section
1506.5(c).) When can •third party contracts* be used?

A. As used by EPA and other agencies, the term "third
party contract*  refers  to the preparation of EISs by
contractors paid by me applicant. In me case of an EIS for
a  National  Pollution  Discharge  Elimination  System
(NPDES) permit, the applicant, aware in the early planning
stages of the proposed project of the need for an EJS,
contracts directly with a consulting firm for ks preparation
(Section  40 CFR 6.604(g)). The "third party* is  EPA
which, under Section 1506.S(c) must select the consulting
firm, even  though  the  applicant pays for the cost of
preparing the EIS. The consulting firm is responsive to
EPA for preparing an EIS that meets the requirements of
the NEPA  regulations and the NEPA procedures of the
EPA. ft  is  in the applicant's interest that  the EIS can
comply with the law so that EPA can take prompt action on
the NPDES permit application. The third party contract*
method under the NEPA procedures of the EPA is purely
voluntary, though most applicants have found it helpful in
expediting compliance with NEPA.
      If a federal agency used "third party contracting*,
the applicant may undertake the necessary paperwork for
the solicitation of a field of """^VfiT im»i»f the direction
                                       of the agency, so long as the agency complies with Section
                                       1506.5(c). Federal procurement requirements do not apply
                                       to the agency because it incurs no  obligations or costs
                                       under the contract, nor does the agency procure anything
                                       under the contract

                                       17*. Q. If an EIS is  prepared with the assistance of a
                                       consulting  firm, the  firm must  nrrrntc a  disclosure
                                       statement.  What  criteria  must  the firm  follow  in
                                       determining whether ft has any 'financial or other interest
                                       in the outcome of the project* which would cause a. conflict
                                       of interest?

                                       A. Section 1506.5(c), which specifies that a consulting firm
                                       preparing an **fl^ mint CTyfftf* a disclosure T^***jiifntj. dopt
                                       not define "financial or other interest in the outcome of the
                                       project." The Council interprets this term broadly to cover
                                       any known benefits other than general enhancement of
                                       professional reputation. This includes any fi«mei«i benefit
                                       such as a promise of future construction or design work on
                                       the project as well as indirect benefits the consultant u
                                       aware of (e.g., if the project would aid proposals sponsored
                                       by the other clients of the firm). For example, completion
                                       of a highway  project  may encourage construction of a
                                       shopping  center or  industrial  park  from  which  the
                                       consultant stands to benefit. If a consulting firm is aware
                                       thst it has such an interest in the decision on the proposal,
                                       k should be disqualified from preparing the EIS to preserve
                                       the objectivity and integrity of the NEPA process.
                                           When a  consulting  firm  has  been  involved  in
                                       developing initial data  and plans for the project, but does
                                       not have any financial  or other interest in the outcome of
                                       the decision, it need not be disqualified from preparing the
                                       EIS. However, a disclosure statement in the draft EIS
                                       should clearly state the scope and  extent of the prior
                                       involvement of the firm to expose any potential conflicts of
                                       interest that may exist.
                                                     4-19 :

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                                                                                                       T
                   17b. Q. If the firm m fact has no promise of future work
i aWiaBBiiii: :iiti», or	other interest in	the outcome	of the proposal, may tbe
                   farm later bid a competition with others for future work on
;	the project if me proposed action is approved?

	A. Yes.

1	-	" •'-" r^';;;:'•; ;i,'^Ja	Q- How «o°ajd uncertainties about indirect effects	of,
                             be addressed, for example, m eases of disposal
                             lands when the identity or plans of  future

                   A. Tbe E3S	most	identify all	the	indirect effects	that are	
                     	   , and make a good faith effort to explain the effects
           "-•	-	—	: that	are not  known,	but	are	"reasonably  foreseeable"	
                   (Section	150S.S(b)).	In  tie" rnitnplf., if there is total
                   uncertainty about the  identity of future land owners  or the	
                111111 nature of future land uses, then of course tbe agency is not

                   their future pkns. But,  in the ordinary course of business,
                   people do make  judgiwuts   based upon  reasonably
                   foreseeable occurrences. It win  often be possible  to
                   consider the Ekely purchasers and the development trends
                   in  that area, or	similar	areas	in	recent  yean; or the
                   Oodihood that the land win	be used for an energy project,
                   shopping center, subdivision, farm, or factory. The agency
                   has therespoosjfciljtyto  make an informed judgment and to
                   t*tim?t*i future impacts on that basis, especially if trends
^i^nKi	is,,;;:y,i,i;'5^	are	ascerdunable	or	potential purchasers  have  made
-.^^.r^z	!,::::::,:      themselves  known.   The agency  cannot ignore  these
                   uncertain, but probable, effects of its decisions.

                                    scope of mitigation measures thai must
                                                    im an fffs must cover
                     : range of impacts on the proposal. Tbe measures must
                  include	such	things  as  design alternatives that  would
                    CJCftaM?  DOSllDOQ   CffllUlOCUFt   OQf^atfHlc^iQn  UDOfcCtS*
                    sthetic intrusion, as well as relocation assistance, possible
                  efforts.	Mitigation measures must be considered even for
                           mat by themselves  would not be  considered
	"significant". Once tbe proposal itself is considered as a
 	whole to have significant effects, all of its specific effects
   ok the environment (whether or not "significant") must be
   considered, and mitigation measures must be developed
   where	I  k  feasible  to do	so  (Sections  1502.14(f),
™	15024601), 1508.14).
!i'!£^: ||   ~  -"      B   '     	 	!	

   19fc.	Q. How should an EIS treat the subject of available
   mitigation measures thai are (I) outside tbe jurisdiction of
   the kad agency or cooperating agencies or (2) unlikely to
   be adopted or enforced by the responsible agency?

   A. All relevant, rMsonshJemhigstinn measures that could
  "• improve tbe project are to be k;
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available information. The analysis it formulated on the
basis of available information, using reasonable projections
of the worst possible consfquencct of a proposed action.
                  if diere are ac**r*i*iify* uncertainties i
       i the available information concerning die numbers
of juvenile fish tiiat would be entrained in a cooling water
facility, die responsible agency must disclose and consider
die possibility of die  loss of die commercial or sport
fishery.
      In  addition  to   an   analysis  of   a   low
probability/catastrophic impact event,  die  wont  case
analysis should also include a tprrtntm of events of higher
probabffity, but of leas drastic impact.

21. Q. Where an EIS or an EA is combined wfth another
project   planning    document    (sometimes   called
"piggybacking"), to what degree may die EIS or EA refer
to and rely upon information in die project document to
satisfy die requirements of NEPA?

A. Section 1502.25 of die regulations requires dial draft
EISs  be  prepared  concurrently  and  integrated  with
environmental analyses and related surveys and studies
required by other federal statutes.  In addition, Section
1506.4  allows any environmental document prepared in
compliance with NEPA to be combined with any other
agency  document to reduce duplication a*v^ paperwork!.
However, these provisions were not intended to authorize
the preparation of a abort summary or outline ESS, attached
to a ^**ytfA project report or land use plan containing the
required environmental impact data. In such circtimttiixTS,
die reader would have to refer constantly to the detailed
report to upocr«rtttno toe cuvuom&cDtsU  sDDftcts ADQ
alternatives which would have been found in the EIS itself.
      The EIS must  stand on its own as an analytical
document which fully informs decision makers and the
public of the environmental effects of the proposal and
those of the reasonable alternatives (Section 1502.1). But,
as  long  as  the EIS  is  dearly  identified   and  is
self-supporting, it can be physically included in or attached
to the project report or land use plan and may use attached
lepuil material as technical backup.
      Forest Service environmental impact statements for
forest management plans are hannTnd in this manner. The
EIS identifies the preferred alternative of the agency, which
is developed m flr^w" as the proposed management plan.
The detailed proposed plan accompanies the EIS through
the review process, and documents are appropriately cross
referenced. The proposed plan is useful for EIS readers as
an example to show how one choice of management options
translates into effects on natural resources. This procedure
permits initiation of die 90-day public review of proposed
forest plans which is required by die National Forest
Management Act.
      All die alternatives are discussed in  die EIS which
can be read as an independent document. The details of die
management plan are not repeated in die EIS,  and vice
versa. This is a reasonable nmctinnal separation of die
documents: die EIS contains information relevant to die
choice among alternatives; die plan is a detailed description
of proposed management activities suitable for use by die
Hand managers. This procedure provides for concurrent
compliance with die public review requirements of bom
NEPA and die National Forest Management Act
      Under some  circumstances, a project report or
management pkn may be totally merged wim die EIS, and
the one document hi^V^} as both "EIS" and "management
plan" or "project report". This may be reasonable where
me documents are short or where die EIS format and die
regulations  for clear,  analytical  EISs also  satisfy  die
requirements for a pioject report.

22. Q. May state and federal agencies serve as joint lead
agencies? If so, how do diey resolve kw, policy, and
resource conflicts  under NEPA and die relevant state
environmental policy act? How do diey resolve differences
in perspective where, for example, national and local needs
may differ?

A. Under Section  1501.5(b), federal, state,  or local
agencies, as long  as  diey include at least one federal
Agency, may act as joint lead agencies to prepare an EIS.
Section 1506.2 also strongly urges state and local agencies
end die relevant federal agencies to cooperate fully with
each other. This should cover joint research and studies,
planning   activities,  public  hearings,   environmental
           , and die preparation of joint EISs under NEPA
and die  relevant  'little NEPA"  state laws so  that one
document will satisfy bom laws.
      The   regulations   also  rrcognfrr  that  certain
inconsistencies  may exist between die proposed federal
action and any approved state or local plan or law. The
joint document should discuss die extent to which die
federal agency would reconcile its proposed action wim
such plan or law (Section 1506.2(d); see Question 23).
      Because dwre may be differences in perspective, as
well as conflicts among federal, state, and local goals for
resources,   management,  ate   Council  has   advised
participating agencies  to adopt  a flexible,  cooperative
approach. The final EIS should reflect all of dieir interests
and missions, clearly identified as such. The final document
would then indicate how state and local interest have been
accommodated, or would identify conflicts in goals (e.g.,
bow a hydroelectric project, which might induce second
borne development, would require new land use controls).
The EIS must contain a complete discussion of scope and
purpose of die proposal, alternatives, and impacts so that
the discussion is adequate to meet die needs of local, state,
and federal decision makers.

23a. Q. How should an agency handle potential conflicts
between a proposal and die objectives of federal, state, or
                                                      4-21

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                                  p•,.ij|i|i "if"liisiii'l*"I'jgjjft'vi&rSf '!': i!:S>'!-1 "•''S'"=,ilii-!"li1	ii .: SitWisSJl1 SSii'l'i"!	lii,Si* *§itSl',• W'1!"lijiEsi1:	1 PIKf"
                                                                                                                                        ^

                local land use plans, policies, and controls for the area
                concerned? (See Section1502, IO(e)).
                A. The agency  should  first inquire  of other agencies
                whether there are any potential conflicts. If there would be
                	; conflicts, or & ^mfnVti could arise in the future
                when the plans arc finished (see Question 23b below), the
                EIS must acknowledge and describe the extent of those
                conflict*.	If	,{1616,	are	any potsfeilities of resolving the
                cooJlicts,	these	should	be	gpjajnrd	as	welL	The	EIS	
                "'itlinti^H aft) ejvaluaiic tfer n^ritMif iiftf of tfy- jnwict of the
                proposal oa the land use plans and policies and whether, or
                bow much, the proposal will impair the effectiveness of
                lagkd use control nirx'niintffTny for the area. Comments
                officiak	of the aficcted area	should be solicited early and
                lii	ii1'	i	i	i.	i|iiiiiiiiiiiiiiiiiiiiiniiiii	nniiii	i	iiiiiiiiiiiiiiliiiiiiiiii!iiiiiii'!iiiiiiiiiiiiiiiiiiiiiiiiiii:iiiiiiiiiiliiiiii!iin             	iniiiilii	mi	iiiiiiniiiiiiiiiiiiiiiiiiii.	 *
                                           land	use plan or policy* for
                                                 ~'
                A.  The term "knd  use plans',  includes  all types of
              "	formally adopted documents for land use planning, zoning,
                and related regulatory	requirements. Local general plans
                are included,	even	though	they	are	subject  to  future
     ":	change. Proposed plans should also be addressed if they
 jpssSsSsrsE1   have	been formally proposed by the appropriate govcm-
 '	!	  meat body m a written form and are being actively pursued
                by officials of the jurisdiction. Staged plans, which must go
                through phases of 'development such as the Level A, B, and
                C planning process of the Water Resources Council, should
         provision would require the decision maker to explain any
         decision to override land use plans, policies, or controls for
         the area.

         24a- Q. When are RTSs required on policies, plans or
         programs?

         A.  An  EIS  must be prepared if an agency proposes to
         implement a specific policy, to adopt a plan for a group of
        	related	actions, or to implement a  specific statutory
         program or  executive directive (Section  1508.18). In
         addition, the adoption of official policy in the form of
         rules, regulations,  and interpretations  pursuant to the
        	Administrative	Procedure	Act,  treaties, conventions, or
         ntfryr formal  ifru!VTnrnt*  establishing governmental or
         agency  policy  which wOl  •"h**"'*;*ffly  alter  agency
         programs could require an EIS (Section 1508.18). In all
         cases, the policy, phut, or program must have the potential
         for significantly  affecting  the  quality  of  the  human
         environment in order to require an EIS. ft should be noted	
         that a proposal "may exist in fact as wefl as by agency
         declaration mat one exists" (Section 1508.23).
	abp be included,	even though they are incomplete.
~,^^"_~1, ~~, ,1	"	^'l'*',,'	The	term	"policies" includes  formally  adopted
                statements  of land	use policy as ftnhodjgd	in	laws	or	
      ^^^      y^jj^j^j^ jj a^ jQgjj^^ pjppjj^j, for actjon juch u the
      	initittioo	of a planning process or a formally adopted
      	iBcy' statement of the	local,	regional, or	state	executive	
                       "even if i has not yet been formally adopted by the
                23c.	Q. What options are available for the decision maker
                when	cooilicts with	such, plans or policies are identified?
                   After	identifying any potential land use conflicts, the
             ••	 deckioa maker must weigh the significance of the conflicts
     tiiiin^^
amoog all the
                                                   id nonenviroomental
                      ;	that	must be considered in reaching a rational	and
                causmg or contributing to any inconsistency with the land
                use plans, policies, or controls, the decision maker retains	
               ;	the authority to go forward	with	the proposal, despite the
                poteotiil conflict, li the record of decision, the decision
              .;•:!;' maker must explain	what	the decision was,	how it was	
                made, and whit mitigation measures are being imposed to
                lessen adverse	S!"-~!!.I!S!!S!	imP*ct* °K	1bc	proposal,
 !^^           amoflfi	the other	requirements	of Section	1505.2. This
         24b.  Q.  When  is  an  area-wide or  overview  EIS
         appropriate?

         A. The preparation of an area-wide or overview EIS may
         be particularly useful when similar actions, viewed with
         other reasonably foreseeable or proposed agency actions,
         share common timing or geography. For example, when a
         variety of energy projects may be located in a  single
         watershed, or when a series of new energy technologies
         may be developed through federal funding, the overview or
         area-wide	EIS	would	serve	as  a valuable and necessary
         analysis of the 9fffftt4 environment "*^ the potential
         cumulative impacts of the reasonably foreseeable actions
         under that program or within that geographical area.

         24c. Q. What is the function of tiering in such cases?

         A. Tiering is a procedure which allows an agency to avoid
         duplication  of paperwork through the incorporation by
         reference of the general discussions and relevant specific
         discussions from  an environmental trnpict staff iwnf of
         broader scope into one of lesser scope or vice versa. In the
         example given in Question 24b, this would mean that an
         overview EIS would be prepared for all of the energy
        	activities reasonably foreseeable in a particular geographic
         area or resulting from a particular development program.
         Thu impact  statement  would  be followed by  site- or
         project-specific EISs. The tiering process would make each
         PIS of greater use and meaning to the public aa the plan or
         program develops, without duplication of  the  analysis
         prepared for the previous impact statement.
                                                                                         :," ,h,	,'i' '.iillll /"IHIIIilll!!';'!,!'I " il, 1,11": '' 'Nil	I'll" illlll'l'"'1'
                                                                        4-22
                                                 ii;:«li	hill, i!1!':!!,!!!	'1'	Ml1' ::""!«XV'K
    :'vi'i: 'nfru iilljli-lt .i'1 lliilll1 <>t>!l!  '' ll/i ,'V'J' illl'lil!!'1)!1'1' :i!^lAiW^^^^^^^^^   	ili ilMlL  *SWl it • '	'	
                                                                                                                                        	till!)!:;
      !	llfciif 3
                                     «H^^^
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                                    	iita^^^^^
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25a. Q. When is it appropriate to use appendic
                        stead of
including information in the body of an EIS?

A. The body of the E1S should be a succinct
afl  the information  on  environmental impacts  and
ffrfms^r^CT that the decision fr^frrr aft^ the public nerd in
order to make the decision and to ascertain that every
significant factor has been '^•""Tfd  The EIS must g*pi«»f«
nr mmrtm»rfff m^h*yfr»]ngj^ fff jt^fmrptt mtut modeling and
the results of research that may have been conducted to
analyze impacts and alternatives.
      Lengthy  nxhniol  discussions  of   modeling
methodology, baseline studies, or other work are  best
reserved for the  appendix.  In other words, if  only
technically trained individuals  are likely to understand a
         discssion , thrr* it ThpnM go m tfaff ippnKtiy, »"A
a plain language summary of the analysis and conclusions
of mat trrhniriil discussion shmiM go in the tait of the EIS.
      The final sts
at;
     stals
otain the response of
me agency to comments on the draft ESS. These responses
wHl be primarily in the form of changes in the document
itself, but specific answers to each Titnif***^ comment
should also be included. These specific responses may be
placed in an trpfKlrt  If the comments are especially
voluminous, summaries of the comments and responses will
suffice. (See Question 29 regarding the level of detail
required for responses to comments. )

25b. Q. How does an appendix differ from incorporation
by reference?

A. First, if at aU possible, the appendix accompanies the
EIS,  whereas the  material which is  incorporated by
reference does not accompany the EIS. Thus, the appendix
should contain information that reviewers will likely want
to r Rumin^  The sppcudix shoflld include tn**^rMi that
pertains to preparation of a particular EIS. Research papers
directly relevant to the proposals, lists of affected species,
discussion of thr*  methodology of nwffl? iPtTHf in thy
analysis  of impacts, extremely  detailed  responses to
commeats, or other information  would be placed in the
appendix.
      The appendix must be complete and available at the
time the EIS is filed. Five copies of me appendix must be
sent to EPA with five copies of the EIS  for filing. If the
appendix is too bulky to be circulated, it instead must be
placed in conveniently accessible locations or furnished
directly to commenton upon request. If it is not circulated
with EIS, the Notice of Availability published by EPA must
so state, giving  a  telephone number to enable potential
commenton to locate or request copies of the appendix
promptly.
      Material that is not directly related  to preparation of
the EIS should be incorporated by reference. This would
include other EIS*,  research papers  in  the  general
                          literature, technical background papers, or other material
                          that someone with technical training could use to evaluate
                          lhe analysis of the proposal. These must be made available,
                          either by citing the literature, furnishing copies to central
                          locations, or sending copies directly to commenton upon
                          request
                                Care must be taken in  aU cases to ensure that
                          material  incorporated by  reference,  and the occasional
                          appendix that does not accompany the  EIS, are in fact
                          available for the full minimum public *v>""TKnt period.
                          26a. Q.
                                                           must an EIS indnc be?
 A. The EIS index should have a level of detail sufficient to
 focus on areas of the EIS  of  reasonable interest to any
 reader, It cannot be restricted to the most important topics.
 On the other hand, ft need not identify every conceivable
 term or phrase in the EIS. If an agency believes that the
 reader is reasonably likely to be interested in a topic, it
 should be included.

 26b. Q. Is a key word index required?

 A.  No. A key word  index is a  relatively short list of
 descriptive terms that identifies  the key concepts or subject
 areas in a document. For example, it could consist of 20
 term, urfneh A-agrgte ttv mn* rigmf^Mit ««p~*. nf •• PTg
 mat a future researcher would need: type of proposal, lype
 of  impacts, type  of environment,  geographical area,
 sampling or modelling methodologies used. This technique
 permits the compilation of EIS  «*•*• banks, by facilitating
 quick and inexpensive access to stored materials. While a
 key word index is not required by the regulations, it could
 be a useful addition for several reasons. First, it can be
 useful as a quick index for reviewers of the EIS, helping to
 focus on areas of interest. Second, if an agency keeps a
 fisting of the key word indexes of the EISs it produces, the
 EIS piepaieu themselves will have quick access to similar
 research data «m< methodologies to •*** their  future ***^
 work. Third, a key word index win be needed to make an
 EIS available for future researcben using  EIS data banks
 that are being developed. Preparation of such an mdex
 now, when the document is produced, win save a later
 effort when uw data banks become operational.

 27*. Q. If a consultant is used  in preparing an EIS, must
 the list  of preparen identify members  of the consulting
 firm as wefl as the agency NEPA staff who were primarily
 responsible?

• A. Section 1502. 17 requires identification of the names and
 qualifications of persons who were primarily responsible
 for preparing the EIS or significant background papen,
 including basic components of  the statement. This m*****
 that member* of a consulting firm preparing material that
 is to become part of the EIS must be identified  The EIS
                                                      4-23

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•1 Illllll lull
          I (I (IP
                                Illllll  I 111 ill  1  II
                                                                                            ill Illllll
                                                                                                                                 ll(llllll I lllllll(l  Illllll   I	III III
               —- i	should	identify  these	individuals	even	though  the
          	'	''"	 coo*ultanf« contribution may have been ***$"&*$ by the
          1	'	'	'	::::	'	:'	'	'	'	
                   27b.  Q. Should sgency staff involved in reviewing and
                   editing the EIS also be included in the list of preparers?
        ill i iiiiiii
        II	lllllllllll'
                      Agency personnel who	wrote basic components of the
              	EIS or significant background papers must, of course, be
                   identified. The feift sbowM »*«" litt the tr*"tiT\"~*\ editors
                   who reviewed or edited the sfttrmcnts.

                   27c. Q. How mach mfermation should be included on each
                   person listed?
              Illllll   lllllllllll i lllllllllll 111 Illllll I llllW^ lllllllllll Illllll i ill III ill lllllllllll 111 i I lllllllllll lllllllllll ill I Illllll Hill  lllllllllll 111
                   A. The list of preparers should normally not exceed two
                   pages.  Therefore,  agencies  must  determine  which
                   individuals had primary respomubuity and need not identify
                   individuals with minor involvement. The list of preparers
                   should include a very brief identification of the individuals
                   involved,  their  qualifications   (expertise,  professional
                   disciplines), and the specific portion of the EIS for which
                   they arc responsible. This may be done in tabular form to
                   cot	down on  length. A fine or two for each person's
                   qualifications should be sufficient.
Illllll Illllll     lllllllllll  I Hi
iiiiiiM    	mm
                   28. Q. May an agency file photocopies of an EIS with EPA
                   pending the completion of printing the document?
                  lllllllllll 111 1H^^^^        i Illllli I lllllliiiilllililH I ill • I •• lllllllA lllllllllll I illililll II (I I Iiiiiii Illllll
                   A. Photocopies of an EIS may be filed with EPA prior to
                   printmg only if the photocopies are simultaneously made
                   available to other agencies and the public. Section 1506.9
                   of the regulations, which governs EIS filing, specifically
                   requires federal agencies to file prsT with EPA no earlier
;;;:	,	:	,	:	;: ;>>	:	:	: ;;:>	, ;	:>>:;	: then	the	EJS	k districted	to	the 'public. However, this
                   section does not prohibit  photocopying as  a form of
llllllllll!!lilllllllllllllllllllllllllllUjl!:;illil^i:llMlll!llil!INjli::iiijllll|!|!li            	i	»B	I	lllllllllllll»lll	MB	«"	*	NININNINIIINIIIIII	
                     s--____ ....... and ...... distribution. ......... When ........ an ........ agency ........ chooses ......
                   T^K*ocopyingas the reproductioo method, the EIS must be
                | .................. ""clear *"^ legible to infi'iift ease of reading and
                          decides that no substantive response to a comment  is
                         i_necessary}iit	mustbriefly explain why.
                          	An	agency it not under an obligation  to  issue a
                          lengthy reiteration of its methodology for any portion of an
                          EIS if the only comment addressing the methodology is a
                          simple complaint that the EIS methodology is ""Hi'tttf
                          But agencies must respond to
                          which  are  specific   in   their
         ..................................... : ......................... microfiching of the EIS. Where color graphs are irnportant
         lit ViliiiillllH Hill lllllllllll iiilllllllllllllll lljiliiiliilTVIIillllllliililllllliilllllll'lwnnnillWllllllllllllliii' [[[                      ^  *        *
                     the EIS, they should be reproduced and circulated with
                                 ........................................... ' [[[                ............................ ......
                   29a. Q.	What response must  an agency provide to a
           „„	    comment  on  a draft EIS  which  states  that the  EIS
           	methodology is inadequate or *"***Tiitfly mplainfd? For
                   example, what level of detafl must an agency include in its
                                                               ig such an
                                                                                                                      , however brief,
                                                                                                                 criticism  of  agency
             ;l	'
                   response to a simple pott card
                   allegation?
at male
                          methodology. For example, if a commentor of an EIS said
                          that the air quality dispersion analysis or methodology of
                          an agency was tnsdrqiistr, and the agency had included a
                          discussion of that analysis in the EIS, little if anything need
                          be added in response to such a comment. However, if the
                          cnmmemnr «aid that ttm Hi«per«i«n «n.ly«« M« ^i.A^.^T»
                          because of fts use of certain computational techniques, or
                          that a dispersion  analysis was ins^ffwistfly  explained
                          because computational  techniques were not  included or
                          referenced, then  the agency  would have to respond in a
                          substantive and meaningful way to such a comment.
                               If a number of  comments are identical or very
                          similar, agencies may group  the comments and prepare a
                          single answer for each group. Comments may be sum-
                          marized if they are especially voluminous. The commeuu
                          or summaries must be attached to the EIS, regardless of
                          whether  the	agency  believes  they merit individual
                          discussion in the body of the final EIS.

                          29b. Q. How must an agency .respond to a comment on a
                          draft EIS  that raises a new alternative not previously
                          considered in the draft EIS?

                          A. This question might arise in several possible situations.
                          First, a commentor on a draft EIS may indicate that there
                          is a possible alternative which, in the view of the agency,
                          is not a reasonable alternative (Section 1502.14(a)). If that
                          is die case, the agency must explain why the comment does
                          not	warrant	further agency response, citing authorities or
                          reasons that support the position of  the agency and, if
                          appropriate,  indicate those circumstances which  would
                          trigger agency reappraisal or further response (Section
                          1503.4(a)). For example, a commentor on a draft EIS on
                          a coal-fired  power plant may suggest the alternative of
                          using synthetic fuel. The agency may reject the alternative
                          with  a  brief discussion   (with  authorities)  of die
                          unavailability of synthetic fuel  within the  time  frame
                          necessary to meet the need and purpose of the proposed
                          facility.  	'
      A second possibility is that an agency may receive a
comment .indicating that a rurtiwliir alternative,  while
                                  responses to comments are described m
               ,:	   Section	1503.4.	Normally, tie responses should result in
                   changes	ia the text	of the ESS, 'not simply a separate
                   answer at the back of the dnammtf But, in addition, the
                  	agency must die what is response was, and if the agency
                                                                                                             	,	,
                                                                                 achieve certain	mitigation benefits	or for other reasons. If	
                                                                                 "the	modification	is	reasonable, the agency should include
                                                                                 a	discussion	of	k	in	the	final	EIS.	For	example, a
                                                                                 commentor on a draft EIS on a proposal for a pumped
                                                                                 storage power facility 'might" suggest mat the  applicant's"

-------
 certain reasonable mitigation  measures,  including the
 purchase  and  setting aside of a  wildlife preserve to
 substitute for the tract to be destroyed by the project. The
 modified  alternative  including the •A4*Y*rt*\ mitigation
 measures should be discussed by the agency in the final
 ECS.
      A third,  slightly  different possibility  is  that  a
 comment on a draft EIS will raise an alternative which is
 a minor variation of one of the alternatives discussed in the
 draft  EIS,  but this variation  was  not  given  any
 consideration by the agency. In such a case,- the agency
 should develop and evaluate the new alternative, if ft is
 reasonable, in the final EIS. If k is gualitatively within the
 spfrtruin of alternatives that were ditcuisrd in the draft, a
 supplemental draft  will not be needed. For example, a
 commentor on a draft FP to designate a wilderness area
 within a nations 1 forest might reasonably identify a specific
 tract  of the forest and  urge that ft be considered for
 designation. If the draft EIS considered designation of a
 range of alternative tracts which encompassed forest area
 of similar quafity and quantity, no supplemental EIS would
 have to be prepared. The agency could fulfill its obligation
 by addressing that specific alternative in the final EIS.
      As another example, an EIS on an urban bousing
 project may analyze the alternatives of constructing 2000,
 4000, or 6000 units. A commentor on the draft EIS might
 urge the consideration of constructing 5000 units, utilizing
 a different configuration of buildings. This alternative is
 within the spectrum of alternatives already considered and,
 therefore, could be addressed in the final EIS.
      A fourth possibility is that a commentor points out an
 alternative which is not a variation of the proposal or of
 any alternative <*CT?tiMf< in the draft impact statement and
 is  a reasonable alternative mat warrants serious  agency
 response.  In such a case, the agency must  issue  a
 supplement to  the draft EIS  **'*t  discusses this new
alternative. For example, a commentor on a draft ESS on
a nuclear power plant might suggest that a  reasonable
alternative for meeting the projected need for power would
be through peak load management and energy conservation
Illinium*  if the permitting agency has failed to consider
that approach in the draft EIS, and the approach cannot be
dismissed by the agency as unreasonable, a supplement to
the draft  Vt$ which  discusses that  alternative must be
prepared.  (If necessary, the same supplement should also
 discuss  substantial  changes in the proposed action or
            w circumstances or information, as required
by Section 1502.9(cXl) of the CEQ regulations.
      If  the new  alternative  was  not raised by the
commentor during  scoping,  but  could  have  been,
commentors may find mat they are unpersuasive in their
efforts to have their suggested alternative analyzed in detail
by  the agency.  However,  if  the new alternative is
discovered or developed later, and it could not reasonably
have been raised during the scoping process, then the
agency must address it in a supplemental draft EIS. The
agency is, m any case, ultimately responsible for preparing
an adequate EIS that considers all alternative*.

30. Q. When a cooperating agency with jurisdiction by law
intends to adopt the EIS  of a lead agency and it is not
satisfied with the adequacy of the document, may the
cooperating agency adopt only the part of the EIS with
which it is satisfied? If so, would a Twting agency
with jurisdiction by law have to prepare a separate EIS or
EIS supplement covering the areas of disagreement with the
Head agency?

A. Generally, a cooperating agency may adopt the EIS of
a lead agency without recirculating it if it concludes that its
NEPA requirements and its comments and suggestions have
been  satisfied (Section 1506J(a),(c)).  If necessary,  a
cooperating agency may adopt only a portion of the EIS of
the lead agency and  may reject that part of the EIS with
which it disagrees, stating publicly when it did not (Section
1506.3(a)).
      A cooperating agency with jurisdiction by law (e. g
., an  agency with independent legal responsibilities with
respect to the proposal) has an independent legal obligation
to comply with NEPA.  Therefore,  if the  cooperating
agency determines that the EIS is wrong or ip^^fq'HrtP. it
must prepare a supplement to the EIS, replacing or adding
any needed information, and must circulate the supplement
as a draft for public  and agency review and comment. A
final supplemental RIS would be required before the agency
could take action. The adopted portions of the lead agency
EIS should  be circulated with the supplement (Section
1506.3(b)). A cooperating agency with jurisdiction by law
win have to prepare its  own  record of decision  for its
action,  in  which  it must explain how it  reached its
conclusions. Each agency should explain bow and why its
conclusions differ, if that is the case, from those of other
agencies which issued their records of decision earlier.
      An agency that did not cooperate in preparation of an
EIS may also  adopt  an EIS or portion thereof. But this
would arise only in rare initsnrrs, because an agency
adopting an EIS for use in its own decision normally would
have been a cooperating agency. If the proposed action for
which the EIS was prepared is substantially the same as the
proposed action of the adopting agency, the EIS may be
adopted as long as it  is recirculated as a final EIS and the
agency announces what it is doing. This would be followed
by the 30-day review period and issuance of a record of
decision by the adopting agency. If the proposed action by
the adopting agency is not substantially the same as that in
the EIS (e.g., if an EIS on one action is being adopted for
use in a decision on another action), the EIS would be
treated as a draft and circulated for the normal public
comment period and other procedures (Section 1506.3(b)).

31a.  Q.  Do  the  CEQ  NEPA  regulations apply  to
independent regulatory agencies like the Federal Energy
                                                       4-25

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                                                                                                                                            1
        ?i||          	!•                 	Ill	II,	1111"!!	Ill	li HI I	Hill	I	Hill	I1
        -	"	":::::	Regulatory   Commission  (FERC)  and   the   Nuclear
                 Regulatory Commission (NRC)?
        	,	• ,	<	I	i	i	i	(	i	i	
        imhliiliiillllllMiiiiF1 'WjlljH               I
                 A. The statutory requirements of NEPA Section 102 apply
        	'"::'	'	:	te>t*aH agencies of the federal government."  The NEPA
                regulation! impfcment the procedural provisions of NEPA
                a* f«t form ia NEPA Section 102(2) for all agencies of the
                 federal government.  The  NEPA regulations apply  to
                independent regulatory agencies; however, they do not
       	   direct independent regulatory agencies or other agencies to
       ;!:£=;;	make  decisions in  any particular way or  in  a  way
                inconsistent with  the statutory  charter of  an  agency
III -II III	•	(Sections 1500.3,1500.6,1507.1, and 1507.3).
iiiiiiiiiiiiiiiii!' i iniiF i'i i1' i11 iiiiiiiiiiiiiiiiiii1' ?f IB** i«ii |i                    i
                 31b.  Q.  Can aa  executive  branch agency,  like the
                 Department of Interior, adopt an BIS  prepared by an
                 independent regulatory agency such as FERC?
                 A. If an independent regulatory agency such as FERC has
                 prepared an EIS in connection with its approval of a
                 proposed project, an executive branch agency (e.g., the
                 Bureau of Land Management in the Department of Interior)
                 may, in accordance with Section 1506.3, adopt the EIS or
                 a portion thereof for its use  in considering the  same
1	Jl<	'	m	"	'	"!	"	proposal. In such a ease, the EIS must, to the satisfaction
	i	.1.'	i	   of the adopting agency, meet the standards for an adequate
                         mder the NEPA regulations (including scope and
JH^	Illlll qualify of analysis  of alternatives)	and	must	satisfy the
 	"   comments and suggestions of the adopting agency. If the
                            regulatory agency fails to comply with the
                    •A regulations, the cooperating or adopting agency may
                find that	it	is	unable	to	adopt the EIS, thus forcing  the
:	::<	-== '"=	:= =	preparation of a new EIS or EIS supplement for the same
-:	action. The NEPA regulations were made applicable to all
                federal agencies in order to avoid mis result and to achieve
	:	;	uniform application and efficiency of the NEPA process.
                32. Q. Under what circumstances do old EtSs have to, be
                supplemented before taking action on a proposal?

                A. At a rule of thumb, if the proposal has not yet been
                impkmented,	or if the EIS concerns an ongoing program,
                EJS*	that	are	more	{ban	5 years old should be carefully
	!|i!!	!	!l~	             amined to determine if the criteria in Section 1502.9
                compel preparatioci of an mS suppiemeoti
                      If an	agency	has made a subtttntial change in a
              	ction that k relevant to envirciMnental concerns,	
                             significant new <
                   	to	environmental concerns	and  bearing on the
                proposed action or its	impacts, a supplemental EIS must be
                prepared for an old EIS so that the agency has the best
                poMJblc information to make any necessary  substantive
                changes in its decisions regarding the proposal. (Section
 33a.  Q.  When  must  a referral  of an  interagency
 disagreement be made to the Council?

 A. The referral procedure of the Council is a predeciskm
 referral process for interagency disagreements . Hence,
 Section 1  S04. 3  requires that a referring agency must
 deliver its referral to the Council not later than 25 days
 after publication by EPA of notice that the final EIS is
 available (unless the lead agency grants an extension of
 time under Section 1504.3(b)).

 33b. Q. May a referral be made after this issuance of a
 record of decision?

 A. No, except for cases where agencies provide an internal
 appeal procedure which permits simultaneous filing of the
 final  EIS  and ............. the ........ record ................... of ............... decision ............. (Section
," 1506.10(bX2)). Otherwise, as ..... stated above, ..... the process is
 a predecision referral process. Referrals must be made
 within 25 days after the notice of availability of the final
 ESS, whereas the final decision (ROD) may not be made or
 filed until after 30 days from the notice of availability of
 the ESS (Sections lSOO(b), 1506.10(b)). If a lead agency
 has granted an extension of time for another agency to take
 action on a referral, the ROD may not be issued until  the
 extension has expired.

 34a. Q. Must records of decision be made public? How
 should they be made available?

 A. Underthe regulations, agencies must prepare a "concise
 public  record of decision,* which contains the elements
 specified in  Section 1505.2. This public record may be
 integrated into any other decision record prepared by  the
 agency, or it may be separate if decision documents are not
 normally made public. The record of decision is intended
 by the Council to be an environmental document (even
 though it is  not explicitly mentioned in the definition of
 *cn"ironmffntal 4ocsinnmt" in Section 1 50ft. 1 0)
 it must be made available to the public through appropriate
 public notice, as required by Section 1506.6(b). However,
 there is no specific requirements for publication of the
 ROD itself, either in the Federal Register or elsewhere.

 34b.  Q.  May  the  summary  section  in the final
 environmental impact statement substitute for or constitute
 the record of decision of an agency?

 A. No. AH environmental impact statement is supposed to
 inform the decision maker before the decision is made
• (Section 1502. 1,1505.2). The CEQ regulations provide for
 a 30-day period after notice is published mat the final EIS
 has been filed with EPA before the agency may take final
 action. During that period, in addition to the internal final
              agency, ..... the public ....... and ....... other ..... agencies ....... can ....................
 comment on the ....... final ...... EIS ..... prior ..... to ....... the ...... final ...... action ..... of the

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 agency on the proposal. In addition, the CEQ regulations
 T"if« it clear that the requirements for the summary in an
 EIS are not the same as  the requirements for a ROD
 (Sections 1502.12 and 1505.2) .

 34c. Q. What provisions should records of decision contain
 pertaining to mitigation and monitoring?

 A. Lead agencies "shall include appropriate conditions
 (including   mitigatVifl  measures  m*A   monitoring  and
 enforcement programs)  m  gnun% pcrnuts''  or  other
 approvals"  >tv^  «K«II "condition  fim^ing of actions on
 mitigation*  (Section 1505 3). Any such measures that are
 adopted must be explained and CAmmiffT^f in the ROD.
      The reasonable alternative mitigation measures and
 monitoring programs th^wkf have been nMrctifd in tl^
                     The  discussiott of mitigation v^
monitoring in a record of decision must be more detailed
than a general statement that mitigation is being required,
but not so ^"^nfl^d gg JQ duplicate discussion of mitigation
in the EIS. The record of decision should contain a concise
summary identification of the mitigation measures which
the »tp^j*^y IM« ^^miypiftf^ itself to adopt.
      The record of decision must also state whether all
practicable mitigation measures have been adopted and, if
not, why not (Section 1505.2(c)). The record of decision
must identify the mitigation measures and monitoring and
enforcement programs mat have been selected and plainly
indicate that they are adopted as part of the decision of the
agency. If the proposed action is the issuance of a permit
or other approval, the specific details of the  mitigation
measures shall then be included as appropriate conditions
in whatever grants, permits, funding or other approvals are
being made by the federal agency (Section 1505 J3(a),(b)).
If the proposal is to  be carried out by the federal agency
itself, the record of decision should *mirf*^ta the mitigation
and monitoring measures in sufficient detail to constitute an
enforceable  commitment or incorporate by reference the
portions of the EIS that do so.

34d. Q. What is the enforceabflity of a record of decision?
A. Pursuant to generally :
id principle* of federal
                          ogn
administrative law, agencies wul be held accountable for
preparing records of decision that conform to the decisions
actually made and for carrying out the actions set forth in
the records of deciskm. This is based on the principle that
an agency  must comply with  its own decisions and
regulations once they are adopted. Thus, the terms of *
record of deciskm are enforceable by agencies and private
parties.  A record of decision can be  used to compel
compliance with or execution of the mitigation measures
identified therein.

35. Q.  How long should the  NEPA  process take to
complete?
                             A. When an EIS if required, the process obviously wul
                             take longer than  when an  EA is  the only document
                             prepared.  But the  CEQ NEPA regulations encourage
                             streamlined review, adoption of deadlines, elimination of
                             duplicative work, eliciting suggested alternatives and other
                             comments early through  scoping,  cooperation among
                             agencies, and consultation with  applicants during project
                             planning. The Council has advised agencies that under the
                             new NEPA regulations, even  large,  complex energy
                             projects would require  only about 12 months for the
                             completion of the  entire EIS process. For most major
                             actions, this period is well within the planning time that is
                             needed in any event, apart from NEPA.
                                  The time required for  the preparation of  program
                             EISs may be greater. The Council  also »««e"fee« that
                             some projects wul entail difficult long-term planning and/or
                             the acquisition of certain  data  which of necessity wul
                             require more time for the preparation of the EIS. Indeed,
                             some proposals  should  be  given more time  for  the
                             thoughtful preparation of an EIS and  development of a
                             decision which fulfills the substantive goals of NEPA.
                                  Bar e**e* in which only «n emmrmtry-ntjl
                             wiD be prepared, the NEPA process should take no more
                             men 3  months, and in many cases, substantially less, as
                             part of the normal analysis and approval process for the
                             action.

                             36a. Q. How long and detailed  must an environmental
                             assessment (EA) be?

                             A. The environmental assessment is a concise public
                             document which has three defined functions: (1) it briefly
                             provides sufficient evidence and analysis for determining
                             whether to prepare an EIS; (2) it aids the compliance of an
                             agency with NEPA when no EIS is necessary, Le. , it helps
                             to identify better alternatives and mitigation measures; and
                             (3)  it  facilitates  preparation  of an  EIS  when  one  is
                             necessary (Section 1508.9(a)).
                                  Since the EA is a concise Av^i^ne^ it should not
contain long descriptions or detailed data which the agency
may have gathered.  Rather,  it should  contain a brief
discussion of the need for the proposal, alternatives to the
proposal, the .environmental impacts of the proposed action
and  alternatives,  and a  list  of  agencies and persons
consulted (Section 1508.9(b)).
     While the regulations do not contain page limits for
EA*, the Council has generally advised agencies to keep
the length of EAs to not more than approximately 10 to 15
pages. Some agencies expressly provide page guidelines
(e.g., 10 to 15 pages  in the ease of the Army Corps). To
avoid undue length, the EA may incorporate by reference
background data to support its concise discussion of the
proposal and relevant issues.
                                                             36b. Q.  Under  what circumsts.
                                                             appropriate?
                                                                is a  lengthy  EA
                                                      4-27

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                                                                           	I	
               A. Agencies ibould avoid preparing lengthy EAs. except in
               unusual cases, where' a proposal is  ao complex  that a
      	•	coecibedociiffleBt cannot meet the goals of Section 1508.9
       ~-      and where* is extremely difficult to determine whether the
               propo«*l	e»uld have	significant environmeaul effects. In
              I'most coc», however, a lengthy EA indicates that an EIS is	
;;';»     	    37a,	Q. What a the level of detail of informatioa that must
      	^ be included in a finding of no significant impact (FONSI)?
          	A. The PONSJ a a document in which the agency briefly
              explains  the reasons	why an	action	will	not	have	a
                                  ......       ...........
                        effect oo the >"""•" environment and, therefore,
              why an ESS win not be prepared (Section ........ 1508.13). The
                                    detailed, but nu?it succinctly f**>j»
 !i!!!B
              tfae ...... reasons .......... for deciding ......... that ......... the ......... action .......... win ........... have ....... no .........
          ..............  significant ....... environmental ....... effects, ......... and, ........ if ...... relevant, ......... must .......
              show which ......... factors ........ were ...... weighted most heavily in the
dctenniaatioo. In addition to
                                                        the FONSI
hi "I iillil LI Ij'ln: HI!!!
              must include, ......... summarize, or attach and incorporate by
             " reference the envaomoental i
                   	Q. What are the  criteria for deciding  whether a
                                   s available for public review for 30
                          file  final	determination	of	the	.agency or
                      to prepare an EIS?
              A.  Public review is necessary, for example, (I)  if the
              proposal is  a  borderline case,  Le.,  when there is  a
              reasonable argument for preparation of an EIS; (2) if it is
             	an	unusual	case,	a	new	kind	of	action,	or	a
              precedcot-Ktting case such as a first intrusion of even	a m
              minor development into a pristine area;  (3) when there is
              either scientific or public controversy over the proposal; or
              [4)	when	I	involves	a proposal which is or is closely
                  	'	to	one which	normally requires preparation of an
                  (Sections 1501.4(c)(2), 1508.27). Agencies also must	
              alow	a	period	of	public	^view	of the FONSI	if the
                                                                narionil groups might be appropriate for proposals th«t are
                                                                national in scope. Local newspaper notices may be more
                                                                appropriate for regional or site-specific proposals.
                                                                     The objective, however, is to notify all interested or
                                                                affected parties. If this is not being achieved, then the
                                                               ^ methods	should	be	reevaluated and  changed. PT»^>~<
                                                                failure to reach the interested or affected public would be
                                                                interpreted as a violation of the regulations.

                                                                39.	Q.	Can	an	EA	and	FONSI	be	used	to	.improve
                                                                enforceable mitigation measures, monitoring programs, or
                                                                other requirements, even though there is no requirement in
                                                                the,  regulations in such  cases for a formal  record  of
                                                                decision?

                                                                A. Yes. meases where an environmental assessment is the
                                                                appropriate environmental document, there still may  be
                                                                mitigation measures or alternatives that would be desirable
                                                                to consider and  adopt, even though the impacts of the
                                                                proposal win not be  "significant". In  such cases, the EA
                                                                should  include  a  discussion  of these  measures  or
                                                                alternatives	to	"assist	agency	planning  and  decision
                                                                  g" and to "aid an agency's compliance with (NEPA)
                                                            when no environmental impact statement  is necessary"
                                                            (Section 1501J3(b), 1508.9(2)). The appropriate mitigation
                                                            measures CTII be imposed as enforceable p****"^ conditions,
                                                            or adopted as part of the final decision of the agency in the
                                                            same manner mitigation measures are adopted in the formal
                                                            record of decision that is required in EIS eases.
                                                                                  ntal
                                                                                                 at indicates that the
              ptopt
                     sdi
                 uid be located in a floodphin or wetland
 UK niUo'll'lhlllllliiilPI'Mn, nil	lllllllliK
   (E.O. 11988, Sec. 2(aX4); E.0.11990, Sec. 2
-------
 result in enforceable mitigation measures  through the
 record of decision.
      In some instances  where the proposal itself so
 integrates  mitigation  from  the beginning  ft"*  it is
 impossible to define the proposal without including the
 mitigation, the agency may men rely on the mitigation
 measures in mniitf>>f>itt to build fi*fr ladders, to i permit iidfiiMsly down
 stream flow, and to replace any lost wetlands, wildlife
 habitat, and recreations! potential).  In those instances,
 agencies should make the FONSI and EA available for 30
 days  of public comment before taking action (Section
 1501.4
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V
                           United States Environmental Protection Agency
                           Office of Enforcement and Compliance Assurance
                           EPA's  Section  309 Review:
                           The Clean Air Act and NEPA
                                                               March 1995
                           Office of Federal Actmties (2251)
                                                   Quick Reference Brochure
                   ENVIRONMENTAL REVIEW AND THE CLEAN AIR ACT

     The Clean Air Act, a law to prevent pollution of a single environmental medium, contains an
  unusual provision. That provision is Section-309, which authorizes the Environmental Protection
  Agency (EPA) to review certain proposed actions of other federal agencies in accofdance with the  .
  National Environmental Policy Act (NEPA) and to make those reviews public.  If the proposing
  agency (the "lead" agency) does not make sufficient revisions and the project remains environmentally
  .unsatisfactory, EPA may refer the matter to the President's Council on Environmental Quality for
  mediation.  (See Highlight A.)                                         .
                        HIGHLIGHT A: Section 309 of the dean Air Act

     .. (a) The Administrator shall review and comment in writing on the environmental-impact of any matter:
     relating to duties and responsibilities granted pursuant to this Act or other provisions of the authority of
     the Administrator, contained in any (1) legislation proposed by any Federal department or agency, (2)
     newly authorized Federal projects for construction and any major Federal agency action (other than a.
     project for construction) to which Section 102(2XQ of Public Law 91-190 [*] applies, and (3) proposed
     regulations .published by any department or agency.of the Federal government. Such written comment'
     shall be made public at the conclusion of any such review.     .. • . .        •.. •   '•
       (b) In the event the Administrator determines that any such legislation, action, or regulation is
     unsatisfactory from the-standpoint of public health or welfare or environmental quality, he shall publish
     his determination and the matter shall be referred to the Council on Environmental Quality.
    [*] NEPA (42 USC 4332(2)(C) et seq.)
     Section 309 originated in 1970, the year in which landmark national legislation created new
  agencies and new requirements for restoring and protecting the environment.  Besides NEPA and.its .
  creation of CEQ, the National Oceanic and Atmospheric Administration (NOAA) and EPA were
  established, and, at the end of 1970, the Clean Air Act was passed.  At that time, many issues of
  environmental consequence were brewing (see Highlight B), one of which—the proposed supersonic.
-transport aircraft (SST)-became a crucial test of NEPAl (See The National Environmental Policy
  Act section, below.)     '                                      •       •

     The lead agency for the SST project, the Department of Transportation.(DOT), chose not to
  disclose EPA's comments on the NEPA-*equired environmental impact statement (EIS) before having
                                             '   4-31

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            ""!	'I,11!!,,.'
             1  jiiii;iPii:i!!^^
             	i|Ji* >l 'lillllllllllilllllllllli'"},"!	IIIIIP'''lliiil'i'llliljl'li'iii'lilllll
                                                                        HIGHLIGHT B:  When NEPA
                                                                        Was New:  1970-1971
                                                                        Issues

                                                                        o  Trans-Alaska oil pipeline and the
                                                                            •North Slope-Valdez route
                                                                          Supersonic transport aircraft
                                                                          Cross-Florida Barge Canal
                                                                          Clearcutting "areas of scenic
                                                                           • beauty* in national forests
                                                                       o  Tennessee-Tombigbee Waterway
                                                                          Dredging and filling in Wetlands
                                                                          Calvert Cliffs (MD) nuclear
                                                                           •- power plant-
Ill ..... Ill
 in in iii
1(1 II	III1!
     iii ..... |i|i
    ji| ..... ijii'
   issued its final decision, construing NEPA to contain no
   explicit pU5j|c disclosure requirements.  Although later
   CEQ regulations under the Act would clarify this
   ambiguity, the Congress had. a vehicle at hand in which to
   make its point: the draft Clean Air Act.  Senator Edmund
   Muskie, sponsor of Section 309,,  said to the Senate when
   submitting the conference report^ that as soon as EPA has'
   completed its review of a proposed action, it must make" its
   written comments public, and "not when the environmental
   impact agency decides the public should be informed."..  .
   (116 Cong. Rec. S-20602, Dec. 18, 1970)  ,

      To correct anoth'er ambiguity of NEPA, Section 309
   places the requirement to review EISs upon EPA because
   NEPA "does not assure that Federal environmental .agencies
   will effectively participate in the decision-making process.
   It is essential that .mission-oriented Federal agencies have   '•','•         .
   access to environmental expertise in order to give adequate  consideration to environmental factors."
   (Sen.lRept. Nol9£li§o79"lit CongTi 21SessI 43, 1970) Consequently, EPA has reviewed most of
   the approximately 20,000 draft and final EISs produced since the passage of NEPA.
 I III Illi  I ILL ill	I.	  mm*	11	i	'it      ' '-	'-	V:  ,	
iiljM                                             .        • •'  '
   responsibilities for proposed "federal actions. (See
   Highlight C.)  The EPA Administrator delegates this  ..
   responsibility to the Office of Federal Activities (OFA),
   which has developed a set of criteria for rating draft EISs.
 illlllllli in inn in iiinin         	i	          •            •
   The rating system provides a. basis upon which EPA makes
   recommendations to the lead agency for improving the.
   draft.  If improvements are noTmade in the final EIS, EPA'
   may refer the final EIS to CEQ.  (See sections on The
   National Enyironinenfal Policy Act and Referrals,
   belowl)	'	'	:	;   •         '            '
       im	ij	Annually, OFA's Federal Agency Liaison Division and
                                i review about 450 EISs and some
                                                 Among the
                                                                       HIGHLIGHT C: Materials
                                                                       Which EPA Reviews Under
                                                                       Section 309 Authority
                                                                       o Proposed legislation
                                                                       o Proposed regulation
                                                                       o -Environmental assessment (EA)
                                                                       o Environmental impact statement
                                                                            (EIS), draft and final
                                                                       o Any proposal that the lead agency
                                                                         maintains does not require an EIS
                                                                         but that EPA believes constitutes
                                                                         a major federal action signifi-
                                                                         cantly affecting the environment
                                                                         so as to require an EIS.
              oTj^rapose3 ...... ^g^
                                               reviewed, besides.that for which an agency provides an
          impact statement, are:, legislation proposed by a federal agency; a proposed agency regulation; the
             Swll ...... of an action onguially ^approved before the enactment of NEPA; a proposal for which an
          agency ..... Has ....... ggUJjgg ...... gjjj ..... 55 ........ ^--^ ..... ^— genTLis needed, whether or not the agency has published a
         .jFinding of No Significaiilmpact (FONSI); and, an action that is actually a segment of either a
          program or a reasonably expected succession of actions that could result in a cumulative negative
          impact on human health or welfare or the environment.
                                                       4-32
        i in  i   iiiiii in nil in •
   in ii iii iii iiiiiiiiiiiiiii  n   iiiiiiiiiii in iii  Illi 1111

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                                                                                                                 ~]
              Rgure 1:  EPA's Criteria for Sec. 309 Review of impact Statements

    Rating Environmental Impacts:          ,                                        .
    L.O—Lack of Objections               .
    EC—Environmental Concerns—Impacts identified that should be avoided.  Mitigation measures may be
         required.       '             . •
    EO—Environmental Objections—Significant impacts identified.  Corrective measures may require
         substantial changes to the proposed action or consideration of another alternative, including any that
        . was either previously unaddressed  or eliminated from the study, or the no-action alternative). •''
         Reasons can include:  .-.•••     !  .  \ "'•  ,.  >  '  '    •        •                   .      .
         o violation of a federal environmental'standard; . .          -       '
         o violation of the federal agency's own environmental standard;            '      .   .         :
         o violation of an EPA policy declaration;  --<"• ...                     •    •
         o potential for significant environmental degradation; or,  \         .               •  .
         o precedent-setting for future actions that collectively could result, in significant environmental
           impacts.   .                  :..   •  .        .        '  '  •
   EU—Environmentally Unsatisfactory—Impacts identified are so severe that the action must not proceed as
         proposed.  If these deficiencies are not corrected in the final EIS, EPA may refer the EIS to CEQ
         Reasons, in addition to impacts identified, can include:
         o substantial violation of a federal environmental standard;
         o severity, duration, or geographical extent of impacts that warrants special attention; or,        ' '
         o national importance, due to threat to national environmental resources or policies.

   Rating Adequacy of the Impact Statement; .     .-,'"••     '• !
   1  (Adequate)—No further information is required for review.                          .       .
   2  (Insufficient Information)—Either more information is needed for review, or other alternatives should
   be          '      - -'    •  . '   '  •   '  ' .   '  .      -       ' :
         evaluated.  -The identified additional information or analysis should be included in the final EIS.
   3 . (Inadequate)—Seriously lacking in information or  analysis to address potentially significant . '         .
       •  environmental impacts. The draft EIS does not meet NEPA and/or Section 309 requirements:  If
         not revised or supplemented and provided again as. a draft EIS for public comment, EPA may refer
         the EIS to CEQ.                                             .                  .
   (See Selected Publications, below: EPA's Policy and Procedures for the Review of Federal Actions
   Impacting the Environment.)
   In addition to conducting environmental reviews, OFA develops guidance materials and provides
training courses on NEPA and Section 309 requirements for EPA regional staff, and promotes.
coordination between EPA offices and other federal .agencies.  Also, OFA distributes annual
certificates of merit to federal agencies in recognition of outstanding performance for environmental
protection.                   '                                                      •

               THE NATIONAL ENVIRONMENTAL POLICY ACT AND CEQ

  " The National Environmental Policy Act (NEPA, 42 USC 4321 et seq.) was enacted on January 1,
1970 in recognition of the widening influence.on the human and natural environment that individual
federal agency actions can exert.  With its stated purpose (see Highlight D) and with heightened
                                               4-33

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                                                                                        ;:	r
     •in i nil i HIM 'i
             public awareHess of environmentalquality questions, NEPA makes its goals and policies
             "supplemental to those set forth in existing authorities of Federal agencies" (NEPA, Section 105).  In
      jffW'B'!!! ..... • this way, tEeagencies' authorizing statutes were amended to include NEPA requirements.
      i ........ iiii ii i ......... "it ...... i. ! « >^^               " < .................. i ' ........... " ...... '
                 Title ..... I ...... of NEPA requires tiieleral .......
             government to use all ...... iprac^caBIe ...... me^ ~{Q
             preserve and maintain conditions under which
             .human beings can coexist with the natural world
            - in productive harmony. 'Section 102 directs
             feder2~I|Scies_ to lend appropriate support to
             initiatives ...... 'aid"" programs ...... nJeanT ..... lo ....... anticipate and
             prevent degradation of world environmental
             quality.  Further, this section requires federal
             agencies to incorporate environmental
             considerations in their decision-making, using a
             systematic, interdisciplinary; approach.     .   '  •
rzr if:'£ir .:',,;,,;: TlSenS	oTNElPA"	establishes lie Council" on	
                                                               HIGHLIGHT D: The Purposes of NEPA

                                                               The purposes of this Act are: To declare a
                                                               national policy which will encourage productive
                                                               and enjoyable harmony between man and his '
                                                               environment; to promote efforts which will
                                                               prevent or eliminate damage to the environment
                                                               and biosphere and stimulate the health and
                                                               welfare of man; to enrich the understanding of
                                                               the ecological systems and natural resources
                                                               important .to the Nation; and .to establish a
                                                               Council on Environmental Quality.
                                                                         , 42 use 4321 et seq.)
                                        of NEPA, the
                                             11514 authorizing CEQ to guide the Sec. 102 process.  Under this
 :'::::! T::^:	,;Twa
            President i
            order, ffie Council immediately published guidelines, followed in 1978 by regulations (40 CFR Parts
SSS::'	'	lil::;	3""5S'5"'	*""FKig)	rapjunng all Federal agencies to issue NEPA regulations consistent with CEQ's.  •
                     ' to me PlesidentT CEQ conducts studies, prepares the annual Environmental Quality Report
                         indreviews EISs.  Moreover, CEQ mediates interagency disputes concerning
                          analyses o'f matters of national importance.  (See Referrals section, below.)
                    evidence of compliance with the NEPA Section 102 provisions for a proposed major action that
                                 feet-tie environment, CEQ requires tfie lead Agency to prepare a detailed written
             statement addressing NEPA concerns, i.e., an EIS (40 CFR Part 1501). The lead agency may first
             prepare an environmental assessment (EA), which is a concise public document (40  CFR Part 1501.3).
             mat determines whether an EIS or a FONSI (40 CFR Part 1501.4(e)) should be prepared.  An EA is
r^^irr	nSfnefeSSaTyY however, if the agency has decided at.the outset to prepare an EIS.
           ''llltlJBII!1 Ill
            liilfil I"' ill
                    review, the lead agency provides tne fcis to tnose teaerai agencies having statutory jurisdiction
                               £ as well as to appropriate other federal, state, and local agencies; Indian tribes,
                   the proposed'action might impact tribal lands; and, the interested or affected public (40 CFR
             Part 1503.1).  Once the EIS is -final, the lead agency must file it formally, simultaneously making it
             available to me public, together with the reviewers' comments and the lead agency's responses to .
             those cojnmentf(40 CFR Part 1506.9).  The CEQ regulations designate EPA the official recipient of
in^        ;	MQinal 11?!,	which responsibility the EPA Administrator delegates to OFA.
         fii* . K;	'"""iniiiii' 'iiiiia i; *f.i,,„», f j'.lihiiiiiiiLijiiiiii^iijiiiiijiiiiiiiiijii;;, m iiiiiiiiiijij;;^r^• iguii;;
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              REFERRALS TO THE COUNCIL ON ENVIRONMENTAL QUALITY
      The "predecision referrals" provision (40 CFR Part 1504)
   enables any federal agency under NEPA to refer another agency's
   final EIS to CEQ during the 30-day waiting period before a lead
   agency can proceed with the action. On the other hand, Section
   309 authorizes EPA to refer to CEQ a broader range of federal
   activities, not only, actions for which EISs are prepared.  The CEQ
   regulations (40 CFR 1504. l(b)) implement Section 309 of the Clean
   Air Act, acknowledging that EPA has been assigned more extensive
   review and referral authority than the other agencies (see Highlight

                               '
     Within 25 days after the lead agency has made the final EIS
  available to the public, the referring agency must provide early .
  notification to that agency about its intention, and make its referral
  in writing to CEQ.  The lead agency, once it has received written
  notification from CEQ, is to respond in writing within 25 days.  .
  During that same period, other agencies and the public may submit
  written comments to CEQ.  Then CEQ may publish Findings and
  Recommendations; mediate between the disputing agencies; hold  .
  public meetings or hearings; refer irreconcilable disputes to the
  Executive Office of the President for action; or, conclude either that
  the issue is not of national importance or that insufficient
'  -information has been. submitted upon which 'to base a decision.

     In the time since the referral process was formally established in
  1973, agencies have referred a total of 24 proposed federal actions
  to CEQ.  Of these, EPA was •responsible for 15, of which one was
  referred jointly with the Department of the Interior (DOI).  (See
 'Figure 2 for EPA regional environmental review offices.) So far,
  in no case has CEQ made a formal referral to the Office of the
  President. Most often, CEQ has issued Findings and
  Recommendations. In a few cases the lead agency has withdrawn
  the proposal, and hi three cases CEQ determined that the issue was
  not a matter of national importance.       •  .

     In 1989, CEQ upheld EPA's Section 309 referral authority. At
  issue was a DQI Bureau of Reclamation proposal to renew longterm
  water contracts for irrigation operations of the Friant Unit in the
  Central Valley Project of California.  The reason for referral was
  that no EIS had been prepared on the contract renewals, which
  individually and in the aggregate were likely to result in
-.unsatisfactory environmental effects.  In response^ DOI questioned
 ~EPA's right to challenge the agency's decision that no EIS was
  needed. In rejecting that argument, CEQ established a precedent,
  that is, affirmed that EPA may identify a major federal action    .
  significantly affecting the environment, even though .the lead agency
  disagrees.           .          .
                                             4-35

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               of Related U.S. Environmental
       Laws.  (Source: EPA, Crass-cutting
 Environmental Laws, 21E 4001, January 1991.)
 Endangered Species Act, 16 U.S.C. 1531 et seq.

The purpose of the Endangered Species Act (ESA) is
to ensure that federal agencies **>A dfpnr*'iy*ntf use
their authorities to protect and conserve endangered
and threatened species. Section 7 of the Act requires
that federal agencies prevent or modify any projects
authorized, funded, or carried out by the agencies
that are likely to jeopardize die continued existence
of any endangered species or threatened species, or
result in the destruction or adverse modification of
critical  habitat of such species."   Implementing
regulations are found at 50 CFR Parts 402, 450, 451,
452, and 453.

National Historic Presentation Act, 16 U.S.C. 470

The National Historic Preservation Act (NHPA), as
amended, directs federal agencies to integrate historic
preservation into all activities which either directly or
indirectly involve  land use  decisions.  This is to
ensure federal  leadership  in the preservation of
prehistoric and historic  resources  of the  United
States.  Implementing regulations are found at 36
CFR Parts 60, 61, 63,  65, 68, 79  and 800.
Guidelines are found at 48 FR 190, Part IV and 53
FR 4727-46.
  Archeological n«yj| Historic Preservation Act,
         as amended, 16 U.S.C. 469-469c

The Archeological  and Historic Preservation Act
(AHPA), as amended, furthers the policies of the
Historic  Sites Act  -of 1935 by providing for the
preservation  of cultural  resources  that  may be
damaged   by  federal  or  federally  authorized
construction activities.   The  statute contains the
Reservoir Salvage Act of 1960 and amendments made
to it in  1974  (P.L.93-291, known as die Moss-
Bennett Act) and 1978 (P.L.95-625). The portions of
AHPA that may apply to federal agency projects are
Section 4
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   ,Zone Management Act,
=^^                                             '
                                                       (CZMA)
                encourages the management of coastal zone areas and
                provides grants to be used in p**'"*"'"'"0 f*»***t zone
                areas.  It requires that federal agencies be consistent
                with the enforceable policies of state coastal zone
                                                  pnr gmtyirHmr
                                  are. found at 50 CFR Part 35; 43 CFR Parts 19 and
                                  8560; and 36 CFR Parts 293, 261 and 219.
                               1H                                  	             '
                                   Farmland Protection Policy Act, 7 U.S.C. 4201
                                         et seq., and EPA Policy to Protect
                                  Environmentally Significant Agricultural Lands,
                                                 September 1978.
                activities whch affect a coastal zone.  It is intended
                to ensure mat federal activities are consistent with
      II||B|I|I| , _, , . , ,, state programs for the protection and, where possible,
        "' '"'       eSiaacement  of the nation's  coastal zones. ........ As ............................
                       hi the Act, the rrrtTtil z»?p* include8
                                  The purpose of the Farmland Protection Policy Act
                                  (FPPA) is to minimize the extent to which federal
                                            contribute   to  the   unnecessary  and
                                              conversion  of  farmland   to   non-
                                                                      programs
                                                                      irreversible
               waters extending to the outer limit of state submerged
               land tine and ownership, adjacent shorelines and land
               extending inward to the fftft*n't necessary to control
               shorelines.   The coastal zone  includes	islands,
ii iiiiiii i ii'iii	ii	iiiji	i	i1	beaches,  transitional  and  intertidal  areas,  salt
	marshes, etc. Implementing regulations are found at
••i™|W\*j*1^1™,f*11s^«S^25i^i^rl	
       et seq.
[[[ ii« wpu.'
........... ............................ ..... I!" II ', i ..... ................ "' I "I ........ • .................. "I ............... ' ........ " ....................... '" ............... ' ......... "fg ...... tfSlc ....... 3501
                The purpose of the Coastal Barrier Resources Act
                (CBRA) is to protect ecologically sensitive coastal
                barriers along the coasts of the U.S.   The Act
                establishes  the Coastal Barrier Resources  System
                (CBRS) and, with certain exceptions, prohibits new
                federal ? », p^ p?!*"!*** *ru^  fin«tvri«i  assistance for
                development within the System.  Section 5(a) of the
                Act lists expenditures and assistance  specifically
             1 !* prohibited, while ........... Section ............ 6 ............. outlines  the ............ specific
                exceptions to the general prohibition. The U.S. DOI
                Coastal Barrier Act Advisory Guidelines were issued
                by the Fish and Wildlife Service on October 6, 1983.
    	|	The Wflderness Act, 16 U.S.C. 1131 et seq.
 mm	iLiTiiNI I Jill i   if III iiiiiiqiiiiiiiiiiii1 MIIII 'i	in	       	
                                                             ill!11!1:!:1!
                                         fgtjMishcd ft
               iiiiiriiiiiiiiiiiiiiiiiiiiiiiiiiiiiiiiiBliiiirt         ^  —* ^^^          " *
               National Wilderness areas and a policy for protecting
               and managing this system. With certain exceptions,
               die Act prohibits motorized equipment,  structures,
               installations, roads, commercial  enterprises, aircraft
               landings, and mechanical transport. The Act permits
               mining on valid claims, access to private lands, fire
               control, insect and disease control, grazing, water-
               reaource	structures "(upon  the approval of the
               President), and visitor use. Implementing regulations
                                 agricultural uses, and to assure mat federal programs
                                 are administered in a manner ***•*, to the extent
                                 practicable, will be compatible with state, local, and
                                 private programs and policies to protect f*rmf*nd1
                                 Additionally, EPA's policy is to protect the Nation's
                                 significant/important   agricultural   lands    from
                                 conversions mat are irreversible and result in the loss
                               ....................... of ......... an ............. essential .............. food .......... or ............ environmental
                                                                                                             resource.
Implementing procedures	are	found,	at	7	CFR	Part	
658	and	the USD A	Final Rule, Farmland Protection
Policy of July 5, 1984 (proposed revisions published
on January 8, 1987).

 Executive Order 11990-Protection of Wetlands
          (May 24, 1977, 42 FR 26961).

The  purpose  of Executive Order 11990 is  to
"minimize die destruction, loss or degradation of
wetlands and to preserve and enhance the natural and
beneficial values of  wetlands".   To  meet  these
objectives, the Order requires federal agencies,  in
planning their actions,  to consider alternatives to
wetland sites and limit potential damage if an activity
affecting a wetland cannot be avoided.  The Order
applies to:
                        i
•       acquisition, management, and disposition of
        federal lands and facilities;
•       construction  and   improvement  projects
        which	are	undertaken, financed or assisted
        by federal agencies;
•       federal activities and programs affecting land
        use, including but not limited to water and
        related land resources planning, regulation,
        and licensing activities.

EPA's  implementing  procedures   "Statement of
Procedures on Floodplain Management and Wetlands
Protection" were issued on January 5,  1979  (see
 IIIIIIMlllii i
          ifi I
                                                                 4-38
                         ii i ii i i iiiiiiii	in i IK i
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                                                                     1,11	1 li II]
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Appendix A of EPA's NEPA regulations at 40 CFR
Part 6).
 Executive Order 11988-Hoodplain Management,
                 May 24, 1977.

Executive Order 11988 requires federal agencies to
avoid to die extent possible the long and snort-term
advene impacts associated with the occupancy and
modification of floodplains and to avoid direct and
indirect support of fioodplain development wherever
mere is a practicable alternative. In accomplishing
mis objective, "each agency shall provide leadership
and shall take action to reduce the risk of flood loss,
to minimim tha imput of floods oo human safety,
health, and welfare, and to restore and preserve the
natural and beneficial values served by floodplains in
carrying out its responsibilities* for the  following
actions:

•      acquiring,  managing,  and  disposing of
        federal lands and facilities;
•      providing federally-undertaken, financed, or
        mtmetrj construction and improvements;
•      conducting federal activities and  programs
        attending land use, including but not limited
        to water and related land resources planning,
        regulation, and licensing activities.

EPA's  implementing  procedures  were issued on
January 5, 1979 (see Protection of Wetlands above).
On February 10,1978, the Water Resources Council
published "THnndplain TWanagMfigflf Guidelines" at 40
FR  6030.    In 1987,  the  Federal  Emergency
Management Agency issued "Further Advice on EO
11988 Fioodplain Management*.
                                               4-39

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        States with Environmental Policy Acts.  (Source:   Council on Environmental
        Quality.   1992.  Environmental Quality. 22nd Annual Report)
        Sixteen states, the District of Columbia, and Puerto Rico have environmental policy acts
or "little NEPAs."
State

Arkansas

California

Connecticut

District of Columbia

Florida

Hawaii
Maryland
Minnesota

Montana

New York

North Carolina

Puerto Rico

South Dakota

Virginia


Washington

Wisconsin
Citation

Aik. Stat Ann. §8-1-101 (1987)

CaL Pub. Res. Code 5521000 et seq. (West 1982)

Conn. Gen. Stat Ann. 5522a-14 to 22a-20 (West Supp. 1974-75)

D. C.  Code Ann. 1981 §6481 et seq.

Fla. Stat. §§380.92 et seq.

Hawaii Rev. Stat. §§343-1 to 343-8 (1985)

Ind. Code Am. §§13-1-10-1 to 13-1-10-8 (West 1987)

Md. Nat. Res. Code Ann. §§1-301 to 1-305 (1983 and Supp. 1987)

Mass.  Gen. Law* Ann. cfa. 30, §§61-€2H

Minn.  Stat. Ann. §§116D.01 et seq. (West 1977 and Supp. 1981)

Mont.  Code Ann. §§75-1-101 to -105; §75-1-201 (1981)

N.Y. EnvtL Conserv. Law §§8-0101 to 8*0117 (McKinney 1984)

N.C. Gen. Stat. 55113A-1 to 10 (1978)

P.R. Laws Ann. tit. 12, §§1121-1127

SJX Codified Laws Ann. §§34A-9-l to 34A-9-12

Va. Code §§10.1-1200 through 10.1-1212 (Subject to redefinition by the Virginia General
Assembly in 1992)

Wash. Rev. Code S543.21C.010-43.21C.910 (1974); Wash. Admin. Code R. 197-11

Wis. Stat. §1.11 et seq.; DeptrtnKnt of Natural Resources WEPArufcs are found mWis.Adnrin.
Code NR 150.01-40
                                                4-41

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                 States  with Limited  Environmental Review Requirements Established by Statute, Executive  Order, or Other
                 Administrative Directives.   (Source:   Council  on Environmental Quality.   1992.  Environmental Quality.   22nd
                 Annual Report)
                 Eighteen state* ind the District of Columbia have limited environment*! review
        requirements established by statute, executive order, or other administrative directive*.
        State
        Arizona
s
        Arkansas
        California
Reqvtraaua*

An   Executive  Order mandates  that (he Governor's
Commiuion on Arizona Envlrofimentev«lu«t«envlronmenUt
problem*, make recommendation* to the Ooveroor, tnd
eiubll*h • clearinghouse for the exchange of information
relitlni to envlronmeiiUil problem* and their solution*.

la addition to • 'little NBPA," Ark. Code Ana. 115-41-108
provMei tbtl the Arkansas Oime and Fish CommlMhM murt
prepite in EIS for cutting timber on Comml«i!on tend.

In wldlUon to •  'little NBPA,'  the following California
Code* require environmental impact report*:
Cal. Food & Agric. Cods $33487 (aaw eoofuuciion or
repair* of dairy farm*)
Cal. Oov. Code §7075 (eUabliihmentof enterpriie zone*)
Cal. Oov. Code  17087.5  (Initial  *tudy  and notice of
preparation under Employment and Economic Incentive Act)
Cal. Oov. Code 151119  (limberland production zones;
exemption)
Cal. dov. Code {65950.1 (extemlon of time for EIR for
plannlnf and zoning of development project*)
Cat. Health A Safety Code  |33333.3  (preparation and
adoption of community redevelopment plan*)
Cal. Health ft Safety Code |56040 (implementation and
adminirtralion for large Kale urban development)
Cal. Pub. Re*. Code 16873.2 (oil and ga* leatei on tide and
submerged land* and bed* of navigable riven and lake*)
Cal. Pub.  Re*. Code  125540.4 (power facility  and tile
certification)
Cal. Pub. Re*.  Code 130718  (Implementation of port
development under California Coaital Act)
Cal. Sir. ft H. Code |199.9 (mas* Iranill guldeway cystem)
Delaware


District of Columbia


Georgia
Louliiana
                                                                                             Massachusetts
                                                                                             Michigan
Cal. Water Code 113389 (applicability of BIS* to Clean
Water Act)

In the Del. Code Ann. lit. 7, Chapter 66 concern* wetlands
permit*, and Chapter 20, coastal zone permit*.

In addition to a 'little NBPA,* D.C. Code Ann. 143-1903
involve* public utility environmental impact statements.

The Code of Georgia provide* that on certain type* of action*
on a case by case basis,  the state may require that an
environmental assessment  be prepared;  EA*  would be
reviewed by the Hate Department of Natural Resources.
Environmental Protection Division.

La. Rev. Stat. Ann. 130:2021 (West 1991) coven interstate
compact* on environmental control, for which the Louisiana
Department  of  Environmental  Quality  serve*  a*  a
clearinghouse for all statements of environmental impact to
be prepared or reviewed  by date agencies (other  than
Department  of Transportation   and  Development), In
accordance with NEPA. Hie Department of Wildlife, and
Fiiherles i* responsible for review and comment on any BIS
regarding fish and wildlife resources or their habitat, as well
as the discharge of dredge and fill material into state waters.
The Department of  Health  and Human  Resources is
responsible for EIS* regarding public health.

In addition to a 'little NEPA,' Mass. Gen. Laws Ann. ch.
I11H,  |30 concern low-level radioactive waste facility
licensing.

Executive Order 1974-4 require* each Kate agency to prepare
a formal environmental assessment for all major activities of
the agency having  a possible significant impact on the
environment or human life.  Mich. Comp. Laws  Ann.
1281.655 et seq. coven EISs for sand dune mining and
model zoning plans under the Lake* and Riven Sand Dune
Protection and Management Act.

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   -i i «    -»lsr
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              iW
               Wlicoiuin
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ni    in
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                                                      . wbinil to tb» D*p*rto«n» of Envlroftm»nttJ
                                          Protteikw • dttoripiloo of tfct tHvIiroffinwaUlltt^Kt of aU
                                          major cwwtnwtloa proJeoU.  NJ. Rtv. Slat. 113:19-7
                                          pfovkfti for EISi jot eucb projtcU M ootital prot»cljoa, N J,
                                          Rtv. Sut.  127:23-23.5 eovtn Eilt for th« New Itney T"
                                          TumplA««uUK)ffty(li!|hwayia4Kltompibi). NJ. Rev. Sut.
                                          52:l3F-4 rtfirt to  environmental Impact auumtnU  on

                                13S
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