United States Environmental Protection Agency Office of Public Awareness (A 1071 Washington DC 20460 1979 OPA 149 9 >EPA Environmental Planning For The '80s y Public indignation and Congres- ouglas sional concern about environmental rOStie problems grew stronger during the 1960's. Existing federal air and wa- ter pollution laws were strength- ened several times. Nevertheless, most people believed that environ- mental problems could be solved through direct and discrete govern- ment actions while the rest of soci- ety continued business as usual. It was not until the 1970's that we began to understand that solving environmental problems was more complex than simply placing "stop- pers" on the main stacks and out- falls of industries and municipali- ties. We were finally ready to face the fact that urban and rural en- vironmental problems cannot be separated, and stem from the ran- dom use and misuse of science and technology, from the way cities are built, from the way our transporta- tion needs are met, from the way we extract resources, manufacture and distribute goods, dispose of wastes, —and significantly—from the way we think, about our relationship to the planet we inhabit. This awakening produced far- reaching changes in our attitudes, habits, and institutions. Congress has greatly strengthened air and water pollution laws and has en- acted major new laws to get to the v root of environmental and related public health problems. These more " recent laws and amendments reflect a new awareness of the fact that the manner in which our society con- ducts its private and public business —has far-reaching health, econom- ic, and social implications and bears fundamentally on the essential in- tegrity of ecological systems. With this legislation in place, I I believe we are now on the threshold of a new era in environmental pro- tection. It will be an era in which the after-the-fact attempt at cor- rective action, which has character- ized our approach to environmental problems in the past, will give way to an emerging imperative for be- fore-the-fact techniques of resource management and public health pro- tection. We need new interaction, communication, and cooperation among all levels of government which will require a level of effec- tive planning effort far beyond any- thing we have seen. Since becoming Administrator of the Environmental Protection Agency, I have encouraged unity in our environmental program efforts in general and in our planning ef- forts in particular. I have also been aware that in our zeal to address environmental concerns we must take care not to inhibit or deflect the intent of the separate environ- mental laws we implement. Many environmental problems are quite discretely different from others. For example, air pollution problems cannot be solved in precisely the same way as water pollution prob- lems. But it is equally important to keep in mind that most environ- mental problems do overlap and ulti- mately merge with one another. Practical experience reminds us that certain proposed solutions to one problem may intensify another: Solutions to air pollution can in- crease solid waste problems, solu- tions to solid waste problems can create drinking water problems, and on and on. To keep two apparently opposing ideas in mind and to continue func- tioning effectively is not easy for individuals or for institutions. Careful and creative planning ef- forts are needed to implement our individual laws and deal efficiently and comprehensively with the real world. These efforts take several forms and are intended to curtail inefficiency, encourage cooperation, decrease paperwork, generate com- mon sense solutions to common problems, and release creative ener- gies. The initiatives *hat we have taken include: regulatory reform, interagency coordination, the Car- ter administration's urban policy, and program integration. Streamlining implementation. One ma- jor reform that may ultimately re- shape the nature of environmental planning is the proposed Integrated Environmental Assistance Act. This act, recently submitted to Congress, would enable states to draw up inte- grated plans for two or more en- vironmental programs. For exam- ple, a state could combine the sepa- rate planning processes for its air and water programs. The act would simplify the task of applying for federal environmen- tal grants (all EPA grant programs except those for wastewater treat- ment facilities could be integrated). It would permit the transfer of up to 20 percent of funds among pro- grams and provide a supplementary $25 million as an incentive to inno- vation in state and local environ- mental programs. Most important, while maintaining continuity and current funding levels in our exist- ing programs, the act would give states the ability to concentrate re- sources on their most pressing en- vironmental problems. Written agreements between EPA and the states represent another promising step toward cre- ative solutions. These agreements are a flexible mechanism for the states and EPA to set environmen- tal priorities and tailor specific ac- tions to each state's needs. The agreements should offer several im- portant benefits, including the op- portunity for greater state initia- tive, improved management, and the integration of individual program efforts. Begun this fiscal year 1979, the agreements cover the various programs under the Clean Water Act. In 1980, programs carried out under the Safe Drinking Water and Resource Conservation and Recov- ery acts will be included. Following ------- that we will add profr|ms ^con- ducted under the Clean Air Act. Thirty-one states had signed agree- ments by the end of March 1979. - We have also reduced or elimi- nated overlap among EPA's plan- ning requirements. For example, we have eliminated 54 of the steps pre- viously required in water quality management planning. We discov- ered that planners had been asked to cover the same ground two or three times! This example alone strongly suggests that there will be numerous opportunities for curtail- ing duplication as more programs are integrated. Combining federal efforts. The early transportation control plans re- quired under the Clean Air Act did not take sufficient account of the well-established transportation planning processes of state and lo- cal agencies, nor of the fact that not all state and local agencies had sufficient resources or time to carry out the required planning. Underlying both issues was the fact that state and local agencies were confronted with uncoordinated transportation planning require- ments from two federal agencies. Last June, EPA and the Depart- ment of Transportation (DOT) pub- lished guidelines for an integrated transportation-air quality pk.nning process and agreed to joint review of plans and planning programs of mutual concern. Furthermore, the Clean Air Act amendments provide state and local agencies with the opportunity, both in terms of additional time and funding, to develop local air quality implementation plans. They require control of virtually all types of sig- nificant emission sources. A critical element involves reducing trans- portation-caused pollution in major metropolitan areas. Rather ' than creating an additional planning process, we rely on existing DOT programs. Because of the impor- tance of this program to continued economic development in major metropolitan areas, funds to assist local governments were requested in the President's urban policy mes- sage. The program to insure that air quality needs are fully considered in transportation planning will be jointly administered by DOT and EPA. We will disburse funds of up to $50 million to designated local agencies through the existing Ur- ban Mass Transit Administration (UMTA) Section 9 grant program in coordination with the "3C" trans- Douglas Costle is Administrator of the U.S. Environmental Protection Agency. portation planning process. The grants are targeted at urban areas of greater than 200,000 population. Those with over one million people will receive emphasis because of heightened pollution levels, greater exposure rates, and more complex problems. The first of the grants, $129,050 for the Portland, Oregon, Metropolitan Service District, was announced in February. Another EPA initiative of great interest to planners is our commit- ment to help recipients of water cleanup grants capture the public recreation benefits that wastewater treatment facilities can provide. To achieve this we are coordinating EPA step 1 construction grants and 208 planning processes with those We have eliminated 54 of the steps previously required in water quality management planning. of the Department of the Interior's State Comprehensive Outdoor Rec- reation Plans. This collaboration should encourage community in- volvement in coordinating water cleanup with recreation acquisition and shoreland protection, obtain multiple use of wastewater treat- ment facilities, and expand recrea- tion and open space opportunities through "greenway" concepts. We have also arranged with HUD to coordinate environmental plan- ning with land use plans developed under the Comprehensive Planning ("701") Program. Among other things, the two agencies have agreed to encourage the use of uni- form data bases as well as common analytical techniques and criteria in establishing guidelines for their planning program. Urban Initiatives. In EPA we are im- proving our existing programs and developing new ones in support of the President's urban policy mes- sage. We want to make sure that the wastewater treatment program does not encourage wasteful sprawl. And we are reviewing our efforts to al- low economic growth in areas that violate national air quality stand- ards. As the wastewater treatment pro- gram hasi matured, EPA has learn- ed how construction of new treat- ment plants and placement of new interceptor sewer lines can influ- ence development patterns. Plants designed with a large margin for growth may serve as an inducement to suburban sprawl, and intercep- tors that penetrate rural or lightly developed areas can open them up for intensive development. We recently issued guidelines for the sewage treatment program de- signed to confront these tacit in- ducements for growth while still al- lowing well managed development. Among other things, the guidelines: • preclude federal funding of wastewater treatment capacity be- yond that determined to be cost effective; • require states to disaggregate population projections based on state population figures which are consistent with those developed by the Bureau of Economic Analysis forecasts (Department of Com- merce) ; • call for strong emphasis on wa- ter conservation; • discourage the use of costly and highly centralized treatment tech- nologies where more cost-effective alternatives such as land applica- tion or treatment can do the job; • discourage federal funding of interceptor lines into undeveloped areas, except where the lines are needed to deal with existing pollu- tion problems. These guidelines mean that funds for wastewater treatment will in- creasingly be spent where the need is greatest. For the most part, that means urban areas, and especially the urban core. EPA has long recognized that ur- ban areas bear a special burden in dealing with air quality issues. ------- Many urban areas have the most serious pollution problems. They also have disproportionately high unemployment and thus need to pro- mote economic growth. To keep the need for economic growth from con- flicting with the need for clean air, the agency established an emissions offset policy. Under this policy, an area can bring in new industry so long as pollution from existing sources is cut back by more than the amount the new plant will emit. Congress endorsed this policy when amending the Clean Air Act in 1977. Since then, EPA has expanded the opportunities connected with off- sets. We now allow areas to "bank" emissions reductions. They can now build up credit for the pollution cutbacks stemming from reducing industrial emissions or auto pollu- tion, and then draw on this credit when new industries come to the area or when existing industries want to expand. From a planning perspective, one major benefit of banking is that it eliminates a major element of un- certainty. Under the original off- set policy there was always the dan- ger that required offsets could not be found when it came time to site a new plant. With banking, plan- ners will know what air resources are available in much the same way that they now know what land, wa- ter, and energy resources are avail- able. A proposed urban assistance pro- gram will provide added support for cities to develop and test such ap- proaches for achieving both eco- nomic development and clean air goals. The Air Quality Technical Assistance Demonstration Program is sponsored by four federal agen- cies: Commerce (Economic De- velopment Administration), HUD, DOT, and EPA. Eight cities are re- ceiving a total of $3.6 million in grants. The recipients are: Phila- delphia; Chicago; Boston; Bridge- port/ Waterbury, Conn.; Buffalo/ Erie County; Portland, Oregon; Elizabeth, N.J.; and Minneapolis/ St. Paul. Emissions banking pro- grams are among the initiatives that these cities have included in their proposals. Rural initiatives. New efforts much like those providing a new level of coherence and direction to policies affecting cities, are also focusing on the special needs and concerns of rural areas. EPA has signed a far-reaching agreement on rural development with the Farmers Home Adminis- tration, the Economic Development Administration, the Community Services Administration, and the Labor Department. The agencies have agreed to en- courage the use of innovative and alternative forms of technology suited to the needs of small com- munities. EPA's wastewater treat- ment program is a prime example. The 1977 Clean Water Act Amend- ments now permit us to fund even those treatment projects that in- clude individual septic systems, if they are the best and most economi- cal way to deal with a community's treatment needs. This will keep wastewater treatment projects from imposing a heavy financial burden on smaller municipalities. In another action of significance to rural areas, EPA has taken steps to insure that its programs will not accelerate the rapid conversion of agricultural lands to other uses. Under EPA's agricultural lands policy, all major agency program de- cisions that may lead to the perma- nent conversion of environmentally significant agricultural land—deci- sions, for example, on the funding of sewer lines across or into such Urban areas bear a special burden in dealing with air quality issues. land—must be examined in the light of their potential impact. Where there is the likelihood that environ- mentally significant farmland will be lost, we will reexamine our origi- nal decision and seek alternatives. Facing challenges. As a nation, we are now more sophisticated about environmental planning than we were in the early 1970's. Environ- mental planning requirements often posed a special challenge to the tra- ditional concerns and expertise of the planning community. We have all gone through a painful period of transition while old ways of ap- proaching problems, too often with little concern for the environment, have evolved to reflect a broader concern for the environmental soundness of our communities. A particularly good example is the effort over the last five years to integrate air quality considerations into transportation planning. Some members of the transportation plan- ning community were not accus- tomed to dealing with some of the mass transportation considerations needed.to reduce air pollution. In the past year I think we have made tremendous progress in overcom- ing these problems. In other areas there are now leg- islated standards, technical support, and financial incentives to encour- age environmental planning. The Safe Drinking Water Act supports local action to protect sole source aquifer drinking water supplies, just as the National Environmental Policy Act and the Clean Water Act's dredge and fill permit pro- gram support local wetland protec- tion programs. Environmental problems will con- tinually pose new challenges to plan- ners in areas that have heretofore been neglected. The tragedies of Buffalo's "Love Canal" and Louis- ville's "Valley of the Drums" are current reminders. Many other areas face health problems of crisis proportions because of improper hazardous waste disposal. As we approach a new decade, planners face new challenges, par- ticularly in the area of growth and environmental management. We must develop new tools to address problems of scarce environmental resources. In EPA we are already encouraging increased use of mar- ket mechanisms to supplement the traditional regulatory process. But planning techniques must still be developed for making decisions about allocation rules where mar- kets are not feasible or desirable. And we need to fashion general rules under which the markets can serve to maintain environmental standards while preserving econom- ic incentives. Planners must address these chal- lenges. Our society can have both environmental quality and economic development, without falling prey to the assumption that we can have only one or the other. The truth is, if we choose one and neglect the other, we will surely achieve neither. More Information. For more informa- tion on EPA's programs, contact: Public Information Cen|tcr, JPJM2UJ5 Environmental Protection Agency Washington, D.C. 20460 212/755-0707; O Reprinted from Practicing Planner magazine, June 197!-), Volume 9, Number 2, a pub- lication of the American Planning Association. ------- EPA is charged by Congri- , 'lion's land air and water systems Under a mandate of nation, vironmental laws focused on air and //ate. ality solid waste management and the control of toxic substar pesticides, noise and radiation the Agency jtnvf.-s to formulate and implement actions which lead to a comp balance between human acivities and the ability of natural systems to support and nuture life If you have suggestions, questions, or requests for further information they may be directed to your near- est EPA Regional public information office EPA Region 1 « JFK Federal Bldg Boston MA 02203 Connecticut, Maine, Massachusetts, New Hampshire, Rhode Island, Vermont 617-223 7210 EPA Region 2 • 26 Federal Plaza New York NY 10007 New Jersey, New York, Puerto Rico, Virgin Islands 212 264 2525 EPA Region 3 «6th and Walnut Streets Philadelphia PA 19106 Delaware, Maryland, Pennsylvania, Virginia, West Virginia, District of Columbia 215597-9814 EPA Region 4 . 345 Courtland Street NE Atlanta GA 30308 Alabama, Georgia Florida, Missis- sippi, North Carolina, South Carolina, Tennessee, Kentucky 404 881 4727 EPA Region 5 • 230 S Dearborn Chicago IL 60604 Illinois Indiana, Ohio, Michigan, Wisconsin, Minnesota 312 353 2000 EPA Region 6 «1201 Elm Street Dallas TX 75270 Arkansas, Louisiana, Oklahoma, Texas, New Mexico 214-767-2600 EPA Region 7 . 324 East 11 th Street Kansas City MO 64106 Iowa, Kansas, Missouri, Nebraska 816 374-5493 EPA Region 8 • 1860 Linc< Street Denver CO 80295 Colorado, Utah, Wyoming, Montana, North Dakota, SOL Dakota 303 837 3895 EPA Region 9 • 21 5 Fremo Street San Francisco CA J Arizona, California, Nevada, Guam, American Samoa, Tru Territories of the Pacific 41 5 556-2320 EPA Region 10 • 1 200 Six1 Avenue Seattle WA 981 01 Idaho, Oregon, Washington 206-442-1220 c o • a. n ------- |